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| issue date = 11/02/2011
| issue date = 11/02/2011
| title = IR 05000293-11-004; on 07/01/2011-09/30/2011; Pilgrim Nuclear Power Station; Flood Protection Measures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent Work Control
| title = IR 05000293-11-004; on 07/01/2011-09/30/2011; Pilgrim Nuclear Power Station; Flood Protection Measures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent Work Control
| author name = Bellamy R R
| author name = Bellamy R
| author affiliation = NRC/RGN-I/DRP/PB5
| author affiliation = NRC/RGN-I/DRP/PB5
| addressee name = Smith R
| addressee name = Smith R
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=Text=
=Text=
{{#Wiki_filter:
{{#Wiki_filter:UNITED STATES NUCLEAR REGU LATORY GOMMISSION


SUBJECT: PILGRIM NUCLEAR POWER STATION - NRC INTEGRATED INSPECTIONREPORT 05000293/201 1004
==REGION I==
475 ALLENDALE ROAD
==SUBJECT:==
PILGRIM NUCLEAR POWER STATION - NRC INTEGRATED INSPECTION REPORT 05000293/201 1004


==Dear Mr. Smith:==
==Dear Mr. Smith:==
On September 30, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed aninspection at your Pilgrim Nuclear Power Station (PNPS). The enclosed inspection reportdocuments the results, which were discussed on October 13,2011, with you and othermembers of your staff.The inspection examined activities conducted under your license as they relate to safety andcompliance with the Commission's rules and regulations, and with the conditions of yourlicense. The inspectors reviewed selected procedures and records, observed activities, andinterviewed personnel.This report documents three NRC-identified findings of very low safety significance (Green).These findings were determined to be violations of NRC requirements. However, because oftheir very low safety significance and because they have been entered into your correctiveaction program, the NRC is treating these findings as non-cited violations (NCVs) consistentwith Section 2.3.2.a of the NRC's Enforcement Policy. lf you contest any NCV, you shouldprovide a response within 30 days of the date of this inspection report, with the basis for yourdenial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, WashingtonDC 20555-0001; with copies to the Regional Administrator, Region l; the Director, Office ofEnforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; andthe NRC Senior Resident lnspector at PNPS. ln addition, if you disagree with the cross-cuttingaspect assigned to any finding in this report, you should provide a response within 30 days ofthe date of this inspection report, with the basis for your disagreement, to the RegionalAdministrator, Region l, and the NRC Senior Resident Inspector at PNPS. The information youprovide will be considered in accordance with lnspection Manual Chapter 0305.ln accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, itsenclosure, and your response (if any) will be available electronically for public inspection in the R. SmithNRC Public Document Room or from the Publicly Available Records (PARS) component ofthe NRC's document system (ADAMS). ADAMS is accessible from the NRC Web site athttp://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
On September 30, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Pilgrim Nuclear Power Station (PNPS). The enclosed inspection report documents the results, which were discussed on October 13,2011, with you and other members of your staff.


Sincerely,Ronald R. Bellamy, ChiefReactor Projects Branch 5Division of Reactor ProjectsDocket No. 50-293License No. DPR-35
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. The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel.


===Enclosure:===
This report documents three NRC-identified findings of very low safety significance (Green).
InspectionReport05000293/2011004M


===Attachment:===
These findings were determined to be violations of NRC requirements. However, because of their very low safety significance and because they have been entered into your corrective action program, the NRC is treating these findings as non-cited violations (NCVs) consistent with Section 2.3.2.a of the NRC's Enforcement Policy. lf you contest any NCV, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator, Region l; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident lnspector at PNPS. ln addition, if you disagree with the cross-cutting aspect assigned to any finding 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 Regional Administrator, Region l, and the NRC Senior Resident Inspector at PNPS. The information you provide will be considered in accordance with lnspection Manual Chapter 0305.
Supplemental lnformationcc: Mencl: Distribution via ListServ
 
ln accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
 
Sincerely, Ronald R. Bellamy, Chief Reactor Projects Branch 5 Division of Reactor Projects Docket No. 50-293 License No. DPR-35 Enclosure: InspectionReport05000293/2011004 MAttachment: Supplemental lnformation cc: Mencl: Distribution via ListServ


=SUMMARY OF FINDINGS=
=SUMMARY OF FINDINGS=
lR 0500029312011004 07fi112011-0913012011; Pilgrim Nuclear Power Station; Flood ProtectionMeasures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent WorkControl.The report covered a three-month period of inspection by the resident and regional-basedinspectors. Three non-cited violations (NCVs) of very low safety significance (Green) wereidentified. The significance of most findings is indicated by their color (Green, White, Yellow,Red) using lnspection Manual Chapter (lMC) 0609, "significance Determination Process."Cross-cutting aspects associated with findings are determined using IMC 0310, "ComponentsWithin the Cioss-Cutting Areas." The NRC's program for overseeing the safe operation ofcommercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process,"Revision 4, dated December 2006.NRC-ldentified FindinqsGornerstone: Mitigating SystemsGreen. The inspectors identified a Green NCV of 10 CFR Part 50, Appendix B,Criterion lll, Design Control, because Entergy's design control measures did not ensuretwo-over-one seismic protection of the 'C' Salt Service Water (SSW) Pump. Specifically,Entergy did not ensure that a Class I to Class ll interface would not result in a failure of aClass I component ('C'SSW Pump). Corrective actions included installing a temporarymodification (i.e., water shield), to protect the pump motor from potential spray effects ofa Class ll piping failure and performing an extent of condition review.The inspectors performed a review of Inspection Manual Chapter (lMC) 0612, AppendixE, "Examples of Minor lssues," and did not find a similar more than minor example. Thefinding was determined to be more than minor because it was associated with theProtection Against External Events (i.e., seismic) attribute of the Mitigating SystemsCornerstone, and adversely affected the cornerstone's objective to ensure the reliabilityof systems that respond to initiating events to prevent undesirable consequences.Specifically, the 'C' SSW pump motor was vulnerable to water spray from a failed Classll pipe during a seismic event which could have rendered the pump inoperable. Theinspectors used IMC 0609.04, "Phase 1 - Initial Screening and Characterization ofFindings," and determined that further evaluation was required since the finding waspotentially risk significant due to a seismic initiating event. As a result of this screening,a Phase 3 evaluation was conducted by a regional Senior Reactor Analyst (SRA). Thecondition was assessed as Green, with a change in core damage frequency (CDF)calculated to be 1.29E-8. Since the finding was assessed to have a CDF of less than1E-7,large early release frequency was not required to be assessed. The finding doesnot have a cross-cutting aspect since the failure to verify the adequacy of design withrespect to ensuring two-over-one seismic protection for the 'C' SSW pump is notindicative of current licensee performance. In addition, current Entergy designprocedures require rigorous Class ll-over-l criteria for all new modifications. (Section1 R06)
lR 0500029312011004 07fi112011-0913012011; Pilgrim Nuclear Power Station; Flood Protection
 
Measures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent Work Control.
 
The report covered a three-month period of inspection by the resident and regional-based inspectors. Three non-cited violations (NCVs) of very low safety significance (Green) were identified. The significance of most findings is indicated by their color (Green, White, Yellow,
Red) using lnspection Manual Chapter (lMC) 0609, "significance Determination Process."
 
Cross-cutting aspects associated with findings are determined using IMC 0310, "Components Within the Cioss-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 4, dated December 2006.
 
NRC-ldentified Findinqs Gornerstone: Mitigating Systems
: '''Green.'''
The inspectors identified a Green NCV of 10 CFR Part 50, Appendix B,
Criterion lll, Design Control, because Entergy's design control measures did not ensure two-over-one seismic protection of the 'C' Salt Service Water (SSW) Pump. Specifically,
Entergy did not ensure that a Class I to Class ll interface would not result in a failure of a Class I component ('C'SSW Pump). Corrective actions included installing a temporary modification (i.e., water shield), to protect the pump motor from potential spray effects of a Class ll piping failure and performing an extent of condition review.
 
The inspectors performed a review of Inspection Manual Chapter (lMC) 0612, Appendix E, "Examples of Minor lssues," and did not find a similar more than minor example. The finding was determined to be more than minor because it was associated with the Protection Against External Events (i.e., seismic) attribute of the Mitigating Systems Cornerstone, and adversely affected the cornerstone's objective to ensure the reliability of systems that respond to initiating events to prevent undesirable consequences.
 
Specifically, the 'C' SSW pump motor was vulnerable to water spray from a failed Class ll pipe during a seismic event which could have rendered the pump inoperable. The inspectors used IMC 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," and determined that further evaluation was required since the finding was potentially risk significant due to a seismic initiating event. As a result of this screening, a Phase 3 evaluation was conducted by a regional Senior Reactor Analyst (SRA). The condition was assessed as Green, with a change in core damage frequency (CDF)calculated to be 1.29E-8. Since the finding was assessed to have a CDF of less than 1E-7,large early release frequency was not required to be assessed. The finding does not have a cross-cutting aspect since the failure to verify the adequacy of design with respect to ensuring two-over-one seismic protection for the 'C' SSW pump is not indicative of current licensee performance. In addition, current Entergy design procedures require rigorous Class ll-over-l criteria for all new modifications. (Section 1 R06)
 
Gornerstone: Barrier IntegritY
: '''Green.'''
The inspectors identified a Green NCV of 10 CFR 50.65, paragraph (a)(1) and (a)(4, "Requirements for Monitoring the Effectiveness of Maintenance of Nuclear Power planis," because Entergy did not monitor the performance of the Primary Containment System (Drywell to Torus Vacuum Breaker Components) against license-established goals to provide reasonable assurance that these components are capable of fulfilling iheir intended functions. Specifically, Entergy did not identify a functional failure of the Drywell to Torus Vacuum Breaker Component portion of the Primary Containment Sy-stem and thereby did not recognize that the system exceeded its unavailability performance criteria, requiring a Maintenance Rule (aX1) evaluation. Entergy subsequently conducted an (aX1) evaluation and concluded that the system should be classified as (a)(1), corrective actions specified, and system monitoring completed.


4Gornerstone: Barrier IntegritYGreen. The inspectors identified a Green NCV of 10 CFR 50.65, paragraph (a)(1) and(a)(4, "Requirements for Monitoring the Effectiveness of Maintenance of Nuclear Powerplanis," because Entergy did not monitor the performance of the Primary ContainmentSystem (Drywell to Torus Vacuum Breaker Components) against license-establishedgoals to provide reasonable assurance that these components are capable of fulfillingiheir intended functions. Specifically, Entergy did not identify a functional failure of theDrywell to Torus Vacuum Breaker Component portion of the Primary ContainmentSy-stem and thereby did not recognize that the system exceeded its unavailabilityperformance criteria, requiring a Maintenance Rule (aX1) evaluation. Entergysubsequently conducted an (aX1) evaluation and concluded that the system should beclassified as (a)(1), corrective actions specified, and system monitoring completed.The finding is more than minor because it is associated with the Barrier Performanceattribute of the Barrier Integrity cornerstone, in that the issue affected the PrimaryContainment System reliability due to the failure to recognize the need to evaluate thesystem for goais, corrective actions, and monitoring. The inspectors determined thesignificance of the finding using IMC 0609-04, "Phase 1 - Initial Screening andCharacterization of Findings." The finding was determined to be of very low safetysignificance (Green) because the degraded condition had been corrected by the time ofthe failure to accurately evaluate the maintenance rule functionalfailure. As a result, thisfinding did not involve a design or qualification deficiency, did not result in a loss ofsysteft safety function, and did not screen as potentially risk significant due to externalinitiating events. The finding has a cross-cutting aspect in the Human Performancecross-cutting area, Decision Making component; in that, Entergy did not useconservative assumptions when evaluating the degraded Drywell to Torus VacuumBreakers condition to correctly conclude that a functional failure had occurred'Specifically, Entergy did not consider that the function of these vacuum breakers wouldbe requireb as soon as plant conditions exceeded 212F, and therefore, the proceduralguidance for Technical Specification applicability not being exceeded was an incorrectbasis for this decision [H.1(b)]. (Section 1 R12)Green. The inspectors identified a Green NCV of 10 CFR 50.65(aX4) because Entergydid not assess and manage risk during elective maintenance for both 'A' and 'B' trains ofthe StandBy Gas Treatment (SBGT) system. Specifically, Entergy did not consultqualitative guidance in their risk assessment process procedures before removing bothtiains of SgCt from service and, therefore, removing the Secondary Containment keysafety function while online. Corrective actions planned include evaluating and revisingrisk assessment procedures, and communicating qualitative risk assessment guidanceto Senior Reactor Operators and Work Week Managers.A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"identified that Section 7, Maintenance Rule, Example e, reflected a similar more thanminor example. This finding was determined to be more than minor because Entergy'srisk assessment failed to account for the loss or significant uncompensated impairmentof a key operating safety function. In addition, the finding affected the Humanperformance attribute of the Barrier Integrity cornerstone's objective to ensure thatphysical design barriers (containment) protect the public from radionuclide releasesEnclosure 5caused by accidents or events. The inspectors performed an evaluation in accordancewith IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitialScreening and Characterization of Findings," and determined that the finding was of verylow safety significance (Green) because the finding only represented a degradation ofthe radiological barrier function provided for the SBGT system. The inspectorsdetermined that this finding had a cross-cutting aspect in the Human Performance cross-cutting area, Work Control component, because Entergy did not plan work activities byincorporating appropriate risk insights [H.3(a)]. (Section 1R13)
The finding is more than minor because it is associated with the Barrier Performance attribute of the Barrier Integrity cornerstone, in that the issue affected the Primary Containment System reliability due to the failure to recognize the need to evaluate the system for goais, corrective actions, and monitoring. The inspectors determined the significance of the finding using IMC 0609-04, "Phase 1 - Initial Screening and Characterization of Findings." The finding was determined to be of very low safety significance (Green) because the degraded condition had been corrected by the time of the failure to accurately evaluate the maintenance rule functionalfailure. As a result, this finding did not involve a design or qualification deficiency, did not result in a loss of systeft safety function, and did not screen as potentially risk significant due to external initiating events. The finding has a cross-cutting aspect in the Human Performance cross-cutting area, Decision Making component; in that, Entergy did not use conservative assumptions when evaluating the degraded Drywell to Torus Vacuum Breakers condition to correctly conclude that a functional failure had occurred'
Specifically, Entergy did not consider that the function of these vacuum breakers would be requireb as soon as plant conditions exceeded 212F, and therefore, the procedural guidance for Technical Specification applicability not being exceeded was an incorrect basis for this decision [H.1(b)]. (Section 1 R12)
: '''Green.'''
The inspectors identified a Green NCV of 10 CFR 50.65(aX4) because Entergy did not assess and manage risk during elective maintenance for both 'A' and 'B' trains of the StandBy Gas Treatment (SBGT) system. Specifically, Entergy did not consult qualitative guidance in their risk assessment process procedures before removing both tiains of SgCt from service and, therefore, removing the Secondary Containment key safety function while online. Corrective actions planned include evaluating and revising risk assessment procedures, and communicating qualitative risk assessment guidance to Senior Reactor Operators and Work Week Managers.


.1a.6
A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples," identified that Section 7, Maintenance Rule, Example e, reflected a similar more than minor example. This finding was determined to be more than minor because Entergy's risk assessment failed to account for the loss or significant uncompensated impairment of a key operating safety function. In addition, the finding affected the Human performance attribute of the Barrier Integrity cornerstone's objective to ensure that physical design barriers (containment) protect the public from radionuclide releases caused by accidents or events. The inspectors performed an evaluation in accordance with IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitial Screening and Characterization of Findings," and determined that the finding was of very low safety significance (Green) because the finding only represented a degradation of the radiological barrier function provided for the SBGT system. The inspectors determined that this finding had a cross-cutting aspect in the Human Performance cross-cutting area, Work Control component, because Entergy did not plan work activities by incorporating appropriate risk insights [H.3(a)]. (Section 1R13)


=REPORT DETAILS=
=REPORT DETAILS=
Summarv of Plant StatusPilgrim Nuclear Power Station (PNPS) began the inspection period operating at 100 percentreactor power. On July 21, operators reduced power to 50 percent reactor power to perform athermal backwash on the main condenser. Pilgrim returned to 100 percent reactor power onJuly 22. On July 25, operators reduced power to 90 percent reactor power to perform a controlrod pattern adjustment and returned to 100 percent reactor power later that same day. OnSepiember 20, operators reduced power to 50 percent reactor power to perform a thermalbackwash on the main condenser. Pilgrim returned to 100 percent reactor power onSeptember 21, and operated at or near 100 percent reactor power for the remainder of theinspection period.1. REACTOR SAFEWCornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity1R01 Adverse Weather Protection (71111.01 - 2 samples)External FloodinqInspection ScopeDuring the week of August 15, the inspectors reviewed Pilgrim's plant design for copingwith the design basis probable maximum flood. The inspectors reviewed the "StormFlooding Protection" section of the Updated Final Safety Analysis Report and operatingprocedures for mitigating externalflooding conditions during severe weather. Theinspectors also performed a walkdown of the site to determine if all susceptible floodingconditions had been considered in the plant design, and whether operating procedurescould be reasonably carried out to mitigate flooding concerns. Documents reviewed foreach section of this inspection report are listed in the Attachment.FindinqsNo findings were identified.lmpendinq StormInspection ScopeDuring the week of August 22, Hurricane lrene was tracking to impact the Pilgrim Plantover the weekend. The inspectors reviewed Entergy's preparations for the hurricaneand the high winds expected to accompany the storm. The inspectors also performed awalkdown of the outside areas including the switchyard to determine if loose debris orother material could become airborne in the presence of high winds and thereby impactsafety related equipment. As the hurricane moved through the region, inspectors werestaffed at the site continuously. The inspectors verified the availability of systemsimportant to safety by monitoring conditions and alarms in the control room and technicalsupport center. The inspectors verified that operator actions defined in Entergy'sb.a..2Enclosure 7adverse weather procedure maintained the readiness of essential systems. Theinspectors discussed readiness and staff availability for adverse weather response withoperations and work control personnel and monitored Entergy's contingency staffing ofemergency response facilities. The inspectors conducted site walkdowns after windshad abated to ensure no adverse conditions arose from this storm. Documentsreviewed during this inspection are listed in the Attachment.b. FindinqsNo findings were identified.
 
Summarv of Plant Status Pilgrim Nuclear Power Station (PNPS) began the inspection period operating at 100 percent reactor power. On July 21, operators reduced power to 50 percent reactor power to perform a thermal backwash on the main condenser. Pilgrim returned to 100 percent reactor power on July 22. On July 25, operators reduced power to 90 percent reactor power to perform a control rod pattern adjustment and returned to 100 percent reactor power later that same day. On Sepiember 20, operators reduced power to 50 percent reactor power to perform a thermal backwash on the main condenser. Pilgrim returned to 100 percent reactor power on September 21, and operated at or near 100 percent reactor power for the remainder of the inspection period.
 
===1. REACTOR SAFEW===
 
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
{{a|1R01}}
==1R01 Adverse Weather Protection==
{{IP sample|IP=IP 71111.01|count=2}}
 
===.1 External Floodinq===
 
====a. Inspection Scope====
During the week of August 15, the inspectors reviewed Pilgrim's plant design for coping with the design basis probable maximum flood. The inspectors reviewed the "Storm Flooding Protection" section of the Updated Final Safety Analysis Report and operating procedures for mitigating externalflooding conditions during severe weather. The inspectors also performed a walkdown of the site to determine if all susceptible flooding conditions had been considered in the plant design, and whether operating procedures could be reasonably carried out to mitigate flooding concerns. Documents reviewed for each section of this inspection report are listed in the Attachment.
 
b.
 
Findinqs No findings were identified.
 
===.2 lmpendinq Storm===
 
====a. Inspection Scope====
During the week of August 22, Hurricane lrene was tracking to impact the Pilgrim Plant over the weekend. The inspectors reviewed Entergy's preparations for the hurricane and the high winds expected to accompany the storm. The inspectors also performed a walkdown of the outside areas including the switchyard to determine if loose debris or other material could become airborne in the presence of high winds and thereby impact safety related equipment. As the hurricane moved through the region, inspectors were staffed at the site continuously. The inspectors verified the availability of systems important to safety by monitoring conditions and alarms in the control room and technical support center. The inspectors verified that operator actions defined in Entergy's adverse weather procedure maintained the readiness of essential systems. The inspectors discussed readiness and staff availability for adverse weather response with operations and work control personnel and monitored Entergy's contingency staffing of emergency response facilities. The inspectors conducted site walkdowns after winds had abated to ensure no adverse conditions arose from this storm. Documents reviewed during this inspection are listed in the Attachment.
 
b. Findinqs No findings were identified.
{{a|1R04}}
{{a|1R04}}
==1R04 Equipment Alignment (71111.04)==
==1R04 Equipment Alignment==
.1 Partial Svstem Walkdowns (71111.04Q - 3 samples)a. Inspection ScopeThe inspectors performed three partial system walkdowns during this inspection period.The inspectors performed a partial walkdown of each system to determine if the criticalportions of the selected systems were correctly aligned in accordance with procedures,and to identify any discrepancies that may have had an effect on operability. Thewalkdowns included selected control switch position verifications, valve position checks,and verification of electrical power to critical components. In addition, the inspectorsevaluated other elements, such as material condition, housekeeping, and componentlabeling. The following systems were reviewed based on their risk significance for thegiven plant configuration:o 'A' Residual Heat Removal during 'B' Core Spray Header Differential PressureTestr 'A' Emergency Diesel Generator during a maintenance window on the StationBlackout (SBO) Diesel Generatoro Reactor Core lsolation Cooling during a maintenance window on the SBO DieselGenerator and Shutdown Transformerb. FindinqsNo findings were identified..2 Complete Svstem Walkdowns (71111.04S - 1 sample)a. Inspection ScopeThe inspectors completed a detailed review of the High Pressure Coolant Injection(HPCI) system to assess the functional capability of the system. The inspectorsperformed a walkdown of the system to determine whether the critical components, suchas valves and breakers were aligned in accordance with operating procedures, and toassess the material condition of valves and other supporting equipment. The inspectorsdiscussed system health with the system engineer, reviewed the system's MaintenanceRule status, and performed a review of outstanding maintenance work orders todetermine whether the deficiencies significantly affected the HPCI system function. TheEnclosure 8inspectors also reviewed condition reports from the past year to determine whetherHPCI equipment problems were being identified and appropriately resolved. Thedocuments reviewed are listed in the Attachment.b. FindinqsNo findings were identified.
{{IP sample|IP=IP 71111.04}}
===.1 Partial Svstem Walkdowns===
{{IP sample|IP=IP 71111.04Q|count=3}}
 
====a. Inspection Scope====
The inspectors performed three partial system walkdowns during this inspection period.
 
The inspectors performed a partial walkdown of each system to determine if the critical portions of the selected systems were correctly aligned in accordance with procedures, and to identify any discrepancies that may have had an effect on operability. The walkdowns included selected control switch position verifications, valve position checks, and verification of electrical power to critical components. In addition, the inspectors evaluated other elements, such as material condition, housekeeping, and component labeling. The following systems were reviewed based on their risk significance for the given plant configuration:
o   'A' Residual Heat Removal during 'B' Core Spray Header Differential Pressure Test r  'A' Emergency Diesel Generator during a maintenance window on the Station Blackout (SBO) Diesel Generator o  Reactor Core lsolation Cooling during a maintenance window on the SBO Diesel Generator and Shutdown Transformer b. Findinqs No findings were identified.
 
===.2 Complete Svstem Walkdowns (71111.04S===
          - 1 sample)
 
====a. Inspection Scope====
The inspectors completed a detailed review of the High Pressure Coolant Injection (HPCI) system to assess the functional capability of the system. The inspectors performed a walkdown of the system to determine whether the critical components, such as valves and breakers were aligned in accordance with operating procedures, and to assess the material condition of valves and other supporting equipment. The inspectors discussed system health with the system engineer, reviewed the system's Maintenance Rule status, and performed a review of outstanding maintenance work orders to determine whether the deficiencies significantly affected the HPCI system function. The inspectors also reviewed condition reports from the past year to determine whether HPCI equipment problems were being identified and appropriately resolved. The documents reviewed are listed in the Attachment.
 
b. Findinqs No findings were identified.
{{a|1R05}}
{{a|1R05}}
==1R05 Fire Protection (71111.05)==
==1R05 Fire Protection==
.1 Annual Fire Drill Observation (71111.05A - 1 sample)a. Inspection ScopeThe inspectors observed an announced fire drill in the'A'4160VAC Switchgear Room.The drill was conducted in accordance with procedure EN-DC-189, Revision 1 , "FireDrills." The inspectors observed performance of the fire brigade personnel to determinewhether Entergy's fire fighting pre-plan strategies were utilized, the pre-planned drillscenario was followed, and the drill objectives were met. The inspectors confirmed thatprotective clothing and breathing apparatus were donned; sufficient firefightingequipment was brought to the scene; the fire brigade leader's fire fighting directionswere clear; and communications with the plant operators and between fire brigademembers were effective. The inspectors observed the drill critique to determine whetherareas to improve fire brigade performance were identified.FindinqsNo findings were identified.Fire Protection - Tours (71111.05Q - 5 samples)Inspection ScopeThe inspectors performed walkdowns of five fire protection areas during the inspectionperiod. The inspectors reviewed Entergy's fire protection program to determine the fireprotection design features, fire area boundaries, and combustible loading requirementsfor the selected areas. The inspectors walked down these areas to assess Entergy'scontrol of transient combustible material and ignition sources. In addition, the inspectorsevaluated the material condition and operational status of fire detection and suppressioncapabilities and fire barriers. The inspectors then compared the existing condition of theareas to the fire protection program requirements to determine whether all programrequirements were met. The documents reviewed during this inspection are listed in theAttachment. The fire protection areas reviewed were:o Fire Area 4.3, Fire Zone 4.3,'A' Emergency Diesel Generator Room. Fire Area 1.9, Fire Zone 2.3, 'A' Battery Roomr Fire Area 1.10, Fire Zone 2.4, 'B' Battery Room. Fire Area 5.3, Fire Zone 5.6, Electric Fire Pump Area and Open Areas of thelntake Structureb.a..2Enclosure
{{IP sample|IP=IP 71111.05}}
===.1 Annual Fire Drill Observation===
{{IP sample|IP=IP 71111.05A|count=1}}
 
====a. Inspection Scope====
The inspectors observed an announced fire drill in the'A'4160VAC Switchgear Room.
 
The drill was conducted in accordance with procedure EN-DC-189, Revision 1 , "Fire Drills." The inspectors observed performance of the fire brigade personnel to determine whether Entergy's fire fighting pre-plan strategies were utilized, the pre-planned drill scenario was followed, and the drill objectives were met. The inspectors confirmed that protective clothing and breathing apparatus were donned; sufficient firefighting equipment was brought to the scene; the fire brigade leader's fire fighting directions were clear; and communications with the plant operators and between fire brigade members were effective. The inspectors observed the drill critique to determine whether areas to improve fire brigade performance were identified.
 
b. Findinqs No findings were identified.
 
===.2 Fire Protection - Tours===
{{IP sample|IP=IP 71111.05Q|count=5}}
 
====a. Inspection Scope====
The inspectors performed walkdowns of five fire protection areas during the inspection period. The inspectors reviewed Entergy's fire protection program to determine the fire protection design features, fire area boundaries, and combustible loading requirements for the selected areas. The inspectors walked down these areas to assess Entergy's control of transient combustible material and ignition sources. In addition, the inspectors evaluated the material condition and operational status of fire detection and suppression capabilities and fire barriers. The inspectors then compared the existing condition of the areas to the fire protection program requirements to determine whether all program requirements were met. The documents reviewed during this inspection are listed in the
. The fire protection areas reviewed were:
o   Fire Area 4.3, Fire Zone 4.3,'A' Emergency Diesel Generator Room
          .
 
Fire Area 1.9, Fire Zone 2.3, 'A' Battery Room r  Fire Area 1.10, Fire Zone 2.4, 'B' Battery Room
          .
 
Fire Area 5.3, Fire Zone 5.6, Electric Fire Pump Area and Open Areas of the lntake Structure I
          .
 
Fire Area 5.3, Fire Zone 5.4, Diesel Driven Fire Pump Room b. Findinqs No findings were identified.


===.1 I. Fire Area 5.3, Fire Zone 5.4, Diesel Driven Fire Pump Roomb. FindinqsNo findings were identified.
{{a|1R06}}
{{a|1R06}}
==1R06 Flood Protection Measures (71111.06 - 1 sample)Internal Floodinq InspectionInspection ScopeThe inspectors walked down the intake structure including the Salt Service Watercompartments, Sea Water pump rooms, Diesel Fire pump and fueltank rooms, andassociated flood propagation pathways to assess the effectiveness of Entergy's internalftood control measures. The inspectors assessed the condition of curbing and selectedflood pathways. The inspectors also evaluated whether potential sources of internalflooding were analyzed.Findinqslntroduction. The inspectors identified a Green non-cited violation (NCV) of 10 CFR Part50, Appendix B, Criterion lll, Design Control, because Entergy's design controlmeasures did not ensure two-over-one seismic protection of the 'C' Salt Service Water(SSW) Pump. Specifically, Entergy did not ensure that a Class I to Class ll interfacewould not result in a failure of a Class I component ('C' SSW Pump).Description. The inspectors reviewed potential internalflooding sources affecting safety-related equipment in Pilgrim's Intake structure. The inspectors identified a potentialvulnerability in the 'C' SSW pump cubicle in that Class ll city water piping carryinglubricating and motor bearing cooling water to the circulating water pumps is housedadjacent to the "C" SSW pump motor. The inspectors discussed this with Entergy'sdesign engineering department to determine if there was a potential flooding scenariothat tould affect the safety-related equipment. Entergy walked down the area andconcluded that the condition had not been previously analyzed. Entergy generated CR-PNP-201 1-3729 and determined that the 'C' SSW motor could be susceptible to directspray impingement from the Class ll city water piping during certain seismic eventscenarios. Entergy reviewed vendor specifications and consulted with the vendorconcluding that although the motor is a weather proof, drip proof design, it is notdesigned for direct spray impingement.Pilgrim's Updated Final Safety Analysis Report (UFSAR) Section 12.2.3.5, "SeismicLoids," discusses design criteria for seismic loading including criteria concerning Classll/Class I interfaces. lt states "Class I to Class ll interfaces are designed so that therewill be no functional failure in the Class I structure. In order to accomplish this designobjective, Class I structures have the capacity of withstanding the forces resulting frompossible failures of Class ll structures which are either attached or adjacent to the Classi Structures." Pilgrim's TDBD-118, Revision E0, "Design Basis Document for SeismicLoading", clarifies design expectations further and adds that "since about 1983, rigorousClass ll-over-l criteria have been applied to all station modifications. This action,b.Enclosure==
==1R06 Flood Protection Measures==
===
{{IP sample|IP=IP 71111.06|count=1}}


10combined with the consideration and resolution of seismic interaction hazards providesreasonable assurance that the UFSAR requirement is met'"Following the determination that the 'C' SSW pump motor would be susceptible to directspray from Class ll piping during a seismic event, Pilgrim declared the'C' SSWinoperable per their Technical Specifications and developed a temporary modificationthai installed a "shield" for protection from this flooding scenario. Pilgrim also conductedextent-of-condition walkdowns around the plant for other potential Class ll/Class I sprayconcerns and found none.Analvsis. The inspectors determined that the failure to verify the adequacy of design withrespect to ensuring adequate two-over-one seismic protection for the 'C' SSW pumpwas a performance deficiency within Entergy's ability to foresee and correct and shouldhave been prevented. Specifically, Pilgrim's UFSAR and seismic design basisdocuments specify, in part, that the failure of a class ll structure will not cause a failure ofa class I structure. ln addition, design control measures for verifying the adequacy suchas a dynamic analysis or verification checks had not been performed pertaining to thisvulneribility. This condition did not impact the regulatory process and did not contributeto any actual consequences; therefore, Traditional Enforcement did not apply. Theinspectors performed a review of Inspection Manual Chapter (lMC) 0612, Appendix E,"Examples of Minor lssues," and did not find a similar more than minor example to apply.The finding was determined to be more than minor because it was associated with theProtection Against External Events (i.e. seismic) attribute of the Mitigating SystemsCornerstone, and adversely affected the cornerstone's objective to ensure the reliabilityof systems that respond to initiating events to prevent undesirable consequences.Specifically, the 'C' SSW pump motor was vulnerable to spray during a seismic eventthat could have rendered the pump inoperable. The inspectors used IMC 0609.04,"Phase 1 - Initial Screening and Characterization of Findings," and determined thatfurther evaluation was required since the finding was potentially risk significant due to aseismic initiating event. As a result of this screening, a Phase 3 evaluation wasconducted by a regional Senior Reactor Analyst (SRA).The SSW system cools the Reactor Building Closed Cooling Water system and has fivemotor driven pumps. The system is configured with train 'A' composed of pumps 'A'and'B', train 'B' composed of pumps 'D'and 'E', and pump 'C' being a swing pump. TheSSW system is normally cross-tied with a total of at least two pumps running. The 'C'pump can be aligned to either train 'A' or'B'. The condition was assessed as aseismically induced transient. The exposure period was assumed to be 1 year. lt wasalso assumed that for all measured seismic events the 'C' SSW pump would fail due towater impingement. The seismic transient frequency of 1E-2lyr was developed from thePilgrim Individual Plant Examination for External Events (IPEEE). No recovery of the 'C'SSW pump was assumed. Based on these assumptions the condition was assessed asGreen, with a change in core damage frequency calculated to be 1
===.1 Internal Floodinq Inspection===


===.29 E-8. Since thefinding was assessed to have a CDF of less than 1E-7,large early release frequencywas not required to be assessed.The finding does not have a cross-cutting aspect since the failure to verify the adequacyof design with respect to ensuring adequate two-over-one seismic protection for the 'C'SSW pump is not indicative of current licensee performance. ln addition, currentEnclosure===
Inspection Scope The inspectors walked down the intake structure including the Salt Service Water compartments, Sea Water pump rooms, Diesel Fire pump and fueltank rooms, and associated flood propagation pathways to assess the effectiveness of Entergy's internal ftood control measures. The inspectors assessed the condition of curbing and selected flood pathways. The inspectors also evaluated whether potential sources of internal flooding were analyzed.
 
b. Findinqs lntroduction. The inspectors identified a Green non-cited violation (NCV) of 10 CFR Part 50, Appendix B, Criterion lll, Design Control, because Entergy's design control measures did not ensure two-over-one seismic protection of the 'C' Salt Service Water (SSW) Pump. Specifically, Entergy did not ensure that a Class I to Class ll interface would not result in a failure of a Class I component ('C' SSW Pump).
 
=====Description.=====
The inspectors reviewed potential internalflooding sources affecting safety-related equipment in Pilgrim's Intake structure. The inspectors identified a potential vulnerability in the 'C' SSW pump cubicle in that Class ll city water piping carrying lubricating and motor bearing cooling water to the circulating water pumps is housed adjacent to the "C" SSW pump motor. The inspectors discussed this with Entergy's design engineering department to determine if there was a potential flooding scenario that tould affect the safety-related equipment. Entergy walked down the area and concluded that the condition had not been previously analyzed. Entergy generated CR-PNP-201 1-3729 and determined that the 'C' SSW motor could be susceptible to direct spray impingement from the Class ll city water piping during certain seismic event scenarios. Entergy reviewed vendor specifications and consulted with the vendor concluding that although the motor is a weather proof, drip proof design, it is not designed for direct spray impingement.
 
Pilgrim's Updated Final Safety Analysis Report (UFSAR) Section 12.2.3.5, "Seismic Loids," discusses design criteria for seismic loading including criteria concerning Class ll/Class I interfaces. lt states "Class I to Class ll interfaces are designed so that there will be no functional failure in the Class I structure. In order to accomplish this design objective, Class I structures have the capacity of withstanding the forces resulting from possible failures of Class ll structures which are either attached or adjacent to the Class i Structures." Pilgrim's TDBD-118, Revision E0, "Design Basis Document for Seismic Loading", clarifies design expectations further and adds that "since about 1983, rigorous Class ll-over-l criteria have been applied to all station modifications. This action, combined with the consideration and resolution of seismic interaction hazards provides reasonable assurance that the UFSAR requirement is met'"
Following the determination that the 'C' SSW pump motor would be susceptible to direct spray from Class ll piping during a seismic event, Pilgrim declared the'C' SSW inoperable per their Technical Specifications and developed a temporary modification thai installed a "shield" for protection from this flooding scenario. Pilgrim also conducted extent-of-condition walkdowns around the plant for other potential Class ll/Class I spray concerns and found none.
 
Analvsis. The inspectors determined that the failure to verify the adequacy of design with respect to ensuring adequate two-over-one seismic protection for the 'C' SSW pump was a performance deficiency within Entergy's ability to foresee and correct and should have been prevented. Specifically, Pilgrim's UFSAR and seismic design basis documents specify, in part, that the failure of a class ll structure will not cause a failure of a class I structure. ln addition, design control measures for verifying the adequacy such as a dynamic analysis or verification checks had not been performed pertaining to this vulneribility. This condition did not impact the regulatory process and did not contribute to any actual consequences; therefore, Traditional Enforcement did not apply. The inspectors performed a review of Inspection Manual Chapter (lMC) 0612, Appendix E, "Examples of Minor lssues," and did not find a similar more than minor example to apply.
 
The finding was determined to be more than minor because it was associated with the Protection Against External Events (i.e. seismic) attribute of the Mitigating Systems Cornerstone, and adversely affected the cornerstone's objective to ensure the reliability of systems that respond to initiating events to prevent undesirable consequences.
 
Specifically, the 'C' SSW pump motor was vulnerable to spray during a seismic event that could have rendered the pump inoperable. The inspectors used IMC 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," and determined that further evaluation was required since the finding was potentially risk significant due to a seismic initiating event. As a result of this screening, a Phase 3 evaluation was conducted by a regional Senior Reactor Analyst (SRA).
 
The SSW system cools the Reactor Building Closed Cooling Water system and has five motor driven pumps. The system is configured with train 'A' composed of pumps 'A'and
'B', train 'B' composed of pumps 'D'and 'E', and pump 'C' being a swing pump. The SSW system is normally cross-tied with a total of at least two pumps running. The 'C' pump can be aligned to either train 'A' or'B'. The condition was assessed as a seismically induced transient. The exposure period was assumed to be 1 year. lt was also assumed that for all measured seismic events the 'C' SSW pump would fail due to water impingement. The seismic transient frequency of 1E-2lyr was developed from the Pilgrim Individual Plant Examination for External Events (IPEEE). No recovery of the 'C' SSW pump was assumed. Based on these assumptions the condition was assessed as Green, with a change in core damage frequency calculated to be 1
 
===.29 E-8. Since the===
 
finding was assessed to have a CDF of less than 1E-7,large early release frequency was not required to be assessed.
 
The finding does not have a cross-cutting aspect since the failure to verify the adequacy of design with respect to ensuring adequate two-over-one seismic protection for the 'C' SSW pump is not indicative of current licensee performance. ln addition, current Entergy design procedures require rigorous Class ll-over-l criteria for all new modifications.
 
=====Enforcement.=====
10 CFR 50, Appendix B, Criterion lll, Design Control, requires, in part, that measures be provided for verifying or checking the adequacy of design, such as by the performance of design reviews, by the use of alternate or simplified calculational methods, or by the performance of a suitable testing program. Contrary to the above, since initial plant design, Entergy's design control measures had not verified that the adequacy of design with respect to ensuring adequate two-over-one seismic protection existed for the'C' SSW pump. Specifically, Entergy had not performed a design review to ensure the 'C' SSW pump would not be affected from Class ll piping during a seismic event. Corrective actions included installing a temporary modification (i.e., water shield),to protect the pump motor from potential spray effects of the Class ll piping failure and performing an extent of condition review. Because this violation was of very low safety significance and was entered into Entergy's corrective action program (CR-PNP-2O11-3729), this violation is being treated as an NCV, consistent with the NRC's Enforcement Policy. (NCV 05000293/2011004-01, Failure to Verify the Adequacy of the Design for the 'G' Salt Service Water Pump).


11Entergy design procedures require rigorous Class ll-over-l criteria for all newmodifications.Enforcement. 10 CFR 50, Appendix B, Criterion lll, Design Control, requires, in part,that measures be provided for verifying or checking the adequacy of design, such as bythe performance of design reviews, by the use of alternate or simplified calculationalmethods, or by the performance of a suitable testing program. Contrary to the above,since initial plant design, Entergy's design control measures had not verified that theadequacy of design with respect to ensuring adequate two-over-one seismic protectionexisted for the'C' SSW pump. Specifically, Entergy had not performed a design reviewto ensure the 'C' SSW pump would not be affected from Class ll piping during a seismicevent. Corrective actions included installing a temporary modification (i.e., water shield),to protect the pump motor from potential spray effects of the Class ll piping failure andperforming an extent of condition review. Because this violation was of very low safetysignificance and was entered into Entergy's corrective action program (CR-PNP-2O11-3729), this violation is being treated as an NCV, consistent with the NRC's EnforcementPolicy. (NCV 05000293/2011004-01, Failure to Verify the Adequacy of the Designfor the 'G' Salt Service Water Pump).
{{a|1R07}}
{{a|1R07}}
==1R07 Heat Sink Performance (71111.07 - 1 sample)a. Inspection ScopeThe inspectors reviewed one sample of Entergy's program for maintenance, testing, andmonitoring of risk significant heat exchangers (HXs) to assess the capability of the HXsto perform their design functions. The inspectors assessed whether the HX programconformed to Entergy's commitments at Pilgrim related to NRC Generic Letter 89-13,"Service Water System Problems Affecting Safety-Related Equipment." ln addition, theinspectors evaluated whether potential common cause heat sink performance problemscould affect multiple HXs in mitigating systems or result in an initiating event. Based onits risk significance and performance history, the 'A' Reactor Building Closed CoolingWater HX was selected for a detailed review by the inspectors.b. FindinqsNo findings were identified.1R1 1 Licensed Operator Requalification Program (71111.11)Resident Inspector Quarterlv Review (71111==
==1R07 Heat Sink Performance==
{{IP sample|IP=IP 71111.07|count=1}}


===.1 1 Q - 1 sample)a. Inspection ScopeThe inspectors observed licensed operator performance during an emergencypreparedness drill on September 7. The inspectors observed crew response to a HostileAction Based scenario which resulted in the loss of the onsite Fire Protection Systemand the Intake Structure. The inspectors assessed the licensed operators'performanceto determine if the drill evaluators adequately addressed observed deficiencies duringthe post-drill critique. The inspectors also reviewed the applicable drill objectives fromthe scenario to determine if they had been achieved. ln addition, the inspectorsEnclosure===
====a. Inspection Scope====
The inspectors reviewed one sample of Entergy's program for maintenance, testing, and monitoring of risk significant heat exchangers (HXs) to assess the capability of the HXs to perform their design functions. The inspectors assessed whether the HX program conformed to Entergy's commitments at Pilgrim related to NRC Generic Letter 89-13, "Service Water System Problems Affecting Safety-Related Equipment." ln addition, the inspectors evaluated whether potential common cause heat sink performance problems could affect multiple HXs in mitigating systems or result in an initiating event. Based on its risk significance and performance history, the 'A' Reactor Building Closed Cooling Water HX was selected for a detailed review by the inspectors.


b.
b. Findinqs No findings were identified.
 
1R1 1 Licensed Operator Requalification Program (71111.11)
Resident Inspector Quarterlv Review (71111
 
===.1 1 Q - 1 sample)===
 
====a. Inspection Scope====
The inspectors observed licensed operator performance during an emergency preparedness drill on September 7. The inspectors observed crew response to a Hostile Action Based scenario which resulted in the loss of the onsite Fire Protection System and the Intake Structure. The inspectors assessed the licensed operators'performance to determine if the drill evaluators adequately addressed observed deficiencies during the post-drill critique. The inspectors also reviewed the applicable drill objectives from the scenario to determine if they had been achieved. ln addition, the inspectors performed a simulator fidelity review to determine if the arrangement of the simulator instrumentation, controls, and tagging closely paralleled that of the control room.
 
b. Findinqs No findings were identified.
{{a|1R12}}
{{a|1R12}}
==1R12 12performed a simulator fidelity review to determine if the arrangement of the simulatorinstrumentation, controls, and tagging closely paralleled that of the control room.FindinqsNo findings were identified.Maintenance Effectiveness (71 1 I 1.12Q)==
==1R12 Maintenance Effectiveness (71 1 I 1.12Q)==
.1 Equipment Failure Evaluations (4 samples)a. Inspection ScopeThe inspectors reviewed the four samples listed below for items such as: (1) appropriatework practices; (2) identifying and addressing common cause failures; (3) scoping inaccordance with 10 CFR 50.65 paragraph (b) of the Maintenance Rule; (4)characterizing reliability issues for performance; (5) trending key parameters forcondition monitoring; (6) charging unavailability for performance; (7) classification andreclassification in accordance with 10 CFR 50.65 paragraph (aX1 ) or (aX2); and (8)appropriateness of performance criteria for structures, systems, and components(SSCs)/functions classified as paragraph (a)(2) and/or appropriateness and adequacy ofgoals and corrective actions for SSCs/functions classified as paragraph (aX1).. Control Room Envelope Functional Failure Evaluation. Drywell to Torus Vacuum Breaker Functional Failure Evaluation. HPCI Drain Valves Functional Failure Evaluation. 'B' Reactor Building Closed Cooling Water Heat Exchanger Functional FailureEvaluationb. Findinqslntroduction. The inspectors identified an NCV of very low safety significance (Green) ofI O Cfn 50.65 paragraph (aX1) and (a)(2), "Requirements for Monitoring theEffectiveness of Maintenance of Nuclear Power Plants," because Entergy did notmonitor the performance of the Primary Containment System (Drywell to Torus VacuumBreaker Components) against license-established goals to provide reasonableassurance that these components are capable of fulfilling their intended functions.Specifically, Entergy did not identify a functional failure of the Drywell to Torus VacuumBreaker Component portion of the Primary Containment System and thereby did notrecognize that the system exceeded its unavailability performance criteria requiring aMaintenance Rule (aX1) evaluation. The subsequent evaluation concluded that thesystem should be classified as (a)(1), corrective actions specified, and systemmonitoring completed.Description. On May 13, Entergy was unable to establish the required differentialpressure netween the drywell and the torus (suppression chamber)during plant start-up.Entergy performed a plant shutdown and determined that several Drywell to TorusVacuum Breakers were leaking by, which precluded the ability to establish thedifferential pressure. On May 26, System Engineering evaluated the condition andconcluded that the issue was not a functional failure since the plant was not operatedEnclosure 13beyond the point at which the drywell to torus differential pressure was required to beestablished by plant technical specifications. The inspectors subsequently reviewed thebasis for this conclusion and determined that the function(s) of the Drywell to TorusVacuum Breakers would have been required independent of this specific technicalspecification (i.e., when the susceptibility to a Loss of Coolant Accident above 212F wasestablished during plant heat-up). Entergy re-evaluated the condition and concludedthat a maintenance preventable functionalfailure had occurred since a maintenanceactivity conducted during the refueling outage had incorrectly adjusted several vacuumbreakers and post work testing was not completed to identify the leaking condition priorto plant start-up. As a result of the re-classification of this degraded condition, SystemEngineering evaluated the status of the Primary Containment System and concludedthat the system should be classified under 10 CRF50.65(a)(1), goals and correctiveactions established, and system monitoring specified.Analvsis. The inspectors determined that Entergy's failure to identify the Dry,vell toTorus Vacuum Breakers condition as a functionalfailure, and as a result, the failure toperform an evaluation of the system under 50.65(a)(1) and thereby specify goals,corrective actions, and monitoring, was a performance deficiency within Entergy's abilityto foresee and correct and should have been prevented. Traditional Enforcement didnot apply, as the issue did not have actual or potential safety consequence, had nowillful aspects, and did not impact the NRC's ability to perform its regulatory function. Areview of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"revealed that no minor examples were applicable to this finding. The finding is morethan minor because it is associated with the Barrier Performance attribute of the BarrierIntegrity cornerstone, in that, the issue affected the Primary Containment Systemreliability due to the failure to recognize the need to evaluate the system for goals,corrective actions, and monitoring. The inspectors determined the significance of thefinding using IMC 0609-04, "Phase 1 - lnitial Screening and Characterization ofFindings." The finding was determined to be of very low safety significance (Green)because the degraded condition had been corrected by the time of the failure toaccurately evaluate the maintenance rule functional failure. As a result, this finding didnot involve a design or qualification deficiency, did not result in a loss of system safetyfunction, and did not screen as potentially risk significant due to external initiatingevents.The finding has a cross-cutting aspect in the Human Performance cross-cutting area,Decision Making component; in that, Entergy did not use conservative assumptionsduring the evaluation of the degraded Drywell to Torus Vacuum Breakers to correctlyconclude that a functional failure had occurred. Specifically, Entergy did not considerthat the function of these vacuum breakers would be required as soon as plantconditions exceeded 212F and therefore the procedural guidance for TechnicalSpecification applicability not being exceeded was an incorrect basis for this decision.lH.1(b)lEnforcement. 10 CFR 50.65 (aX1), requires, in part, that the holders of an operatinglicense shall monitor the performance or condition of structures, systems, or components(SSCs) within the scope of the rule as defined by 10 CFR 50.65 (b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that suchSSCs are capable of fulfilling their intended functions. 10 CFR 50.65 (aX2) states, inpart, that monitoring as specified in 10 CFR 50.65 (aX1) is not required where it hasEnclosure 14been demonstrated that the performance or condition of an SSC is being effectivelycontrolled through the performance of appropriate preventive maintenance, such that theSSC remains capable of performing its intended function. Contrary to the above, onMay 26, Entergy incorrectly evaluated a Primary Containment Systemcomponent failure which precluded System Engineering from evaluating thesystem for 10 CFR 50.65(aX1) monitoring requirements. Subsequently, Entergyre-evaluated the Primary Containment System for this functional failure anddetermined that monitoring under 10 CFR 50.65(a)(1) would be required.Corrective actions taken for this violation included revising the Maintenance Rulefunctional failure evaluation for this equipment, classifying the PrimaryContainment System as a 10 CFR 50.65(a)(1) system, and specifying goals,corrective actions, and monitoring for the system. Because this violation was ofvery low safety significance and was entered into Entergy's corrective actionprogram (CR-PNP-2011-2993 and -3210), this violation is being treated as anNCV, consistent with the NRC's Enforcement Policy. (NCV 05000293/2011004-02, Failure to ldentify a Primary Containment System Maintenance RuleFunctional Failure and Thereby Establish Monitoring Requirements forthe System)..2 Maintenance Rule (aX3) Evaluation Review (1 sample)a. Inspection ScopeThe inspectors performed a review of the Entergy assessment of the PilgrimMaintenance Rule program implementation as specified by 10 CFR 50.65(a)(3). Theinspectors evaluated whether this assessment was conducted within the periodicityrequired by 10 CFR 50.65(aX3). The inspectors also evaluated whether Entergyreviewed 10 CFR 50.65(a)(1) goals and 10 CFR 50.65(a)(2) performance criteria.Preventive maintenance and corrective action effectiveness associated with thisprogram were also reviewed. In addition, the inspectors evaluated the use of lndustryOperating Experience within the program and whether adjustments to the program weremade as a result of the periodic assessment. The documents reviewed are listed in theAttachment.b. FindinqsNo findings were identified.
 
===.1 Equipment Failure Evaluations (4 samples)===
 
====a. Inspection Scope====
The inspectors reviewed the four samples listed below for items such as:
: (1) appropriate work practices;
: (2) identifying and addressing common cause failures;
: (3) scoping in accordance with 10 CFR 50.65 paragraph
: (b) of the Maintenance Rule; (4)characterizing reliability issues for performance;
: (5) trending key parameters for condition monitoring;
: (6) charging unavailability for performance;
: (7) classification and reclassification in accordance with 10 CFR 50.65 paragraph (aX1 ) or (aX2); and (8)appropriateness of performance criteria for structures, systems, and components (SSCs)/functions classified as paragraph (a)(2) and/or appropriateness and adequacy of goals and corrective actions for SSCs/functions classified as paragraph (aX1).
 
          .
 
Control Room Envelope Functional Failure Evaluation
          .
 
Drywell to Torus Vacuum Breaker Functional Failure Evaluation
          .
 
HPCI Drain Valves Functional Failure Evaluation
          .
 
'B' Reactor Building Closed Cooling Water Heat Exchanger Functional Failure Evaluation b.
 
Findinqs lntroduction. The inspectors identified an NCV of very low safety significance (Green) of I O Cfn 50.65 paragraph (aX1) and (a)(2), "Requirements for Monitoring the Effectiveness of Maintenance of Nuclear Power Plants," because Entergy did not monitor the performance of the Primary Containment System (Drywell to Torus Vacuum Breaker Components) against license-established goals to provide reasonable assurance that these components are capable of fulfilling their intended functions.
 
Specifically, Entergy did not identify a functional failure of the Drywell to Torus Vacuum Breaker Component portion of the Primary Containment System and thereby did not recognize that the system exceeded its unavailability performance criteria requiring a Maintenance Rule (aX1) evaluation. The subsequent evaluation concluded that the system should be classified as (a)(1), corrective actions specified, and system monitoring completed.
 
=====Description.=====
On May 13, Entergy was unable to establish the required differential pressure netween the drywell and the torus (suppression chamber)during plant start-up.
 
Entergy performed a plant shutdown and determined that several Drywell to Torus Vacuum Breakers were leaking by, which precluded the ability to establish the differential pressure. On May 26, System Engineering evaluated the condition and concluded that the issue was not a functional failure since the plant was not operated beyond the point at which the drywell to torus differential pressure was required to be established by plant technical specifications. The inspectors subsequently reviewed the basis for this conclusion and determined that the function(s) of the Drywell to Torus Vacuum Breakers would have been required independent of this specific technical specification (i.e., when the susceptibility to a Loss of Coolant Accident above 212F was established during plant heat-up). Entergy re-evaluated the condition and concluded that a maintenance preventable functionalfailure had occurred since a maintenance activity conducted during the refueling outage had incorrectly adjusted several vacuum breakers and post work testing was not completed to identify the leaking condition prior to plant start-up. As a result of the re-classification of this degraded condition, System Engineering evaluated the status of the Primary Containment System and concluded that the system should be classified under 10 CRF50.65(a)(1), goals and corrective actions established, and system monitoring specified.
 
Analvsis. The inspectors determined that Entergy's failure to identify the Dry,vell to Torus Vacuum Breakers condition as a functionalfailure, and as a result, the failure to perform an evaluation of the system under 50.65(a)(1) and thereby specify goals, corrective actions, and monitoring, was a performance deficiency within Entergy's ability to foresee and correct and should have been prevented. Traditional Enforcement did not apply, as the issue did not have actual or potential safety consequence, had no willful aspects, and did not impact the NRC's ability to perform its regulatory function. A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"
revealed that no minor examples were applicable to this finding. The finding is more than minor because it is associated with the Barrier Performance attribute of the Barrier Integrity cornerstone, in that, the issue affected the Primary Containment System reliability due to the failure to recognize the need to evaluate the system for goals, corrective actions, and monitoring. The inspectors determined the significance of the finding using IMC 0609-04, "Phase 1 - lnitial Screening and Characterization of Findings." The finding was determined to be of very low safety significance (Green)because the degraded condition had been corrected by the time of the failure to accurately evaluate the maintenance rule functional failure. As a result, this finding did not involve a design or qualification deficiency, did not result in a loss of system safety function, and did not screen as potentially risk significant due to external initiating events.
 
The finding has a cross-cutting aspect in the Human Performance cross-cutting area, Decision Making component; in that, Entergy did not use conservative assumptions during the evaluation of the degraded Drywell to Torus Vacuum Breakers to correctly conclude that a functional failure had occurred. Specifically, Entergy did not consider that the function of these vacuum breakers would be required as soon as plant conditions exceeded 212F and therefore the procedural guidance for Technical Specification applicability not being exceeded was an incorrect basis for this decision.
 
lH.1(b)l
 
=====Enforcement.=====
10 CFR 50.65 (aX1), requires, in part, that the holders of an operating license shall monitor the performance or condition of structures, systems, or components (SSCs) within the scope of the rule as defined by 10 CFR 50.65 (b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such SSCs are capable of fulfilling their intended functions. 10 CFR 50.65 (aX2) states, in part, that monitoring as specified in 10 CFR 50.65 (aX1) is not required where it has been demonstrated that the performance or condition of an SSC is being effectively controlled through the performance of appropriate preventive maintenance, such that the SSC remains capable of performing its intended function. Contrary to the above, on May 26, Entergy incorrectly evaluated a Primary Containment System component failure which precluded System Engineering from evaluating the system for 10 CFR 50.65(aX1) monitoring requirements. Subsequently, Entergy re-evaluated the Primary Containment System for this functional failure and determined that monitoring under 10 CFR 50.65(a)(1) would be required.
 
Corrective actions taken for this violation included revising the Maintenance Rule functional failure evaluation for this equipment, classifying the Primary Containment System as a 10 CFR 50.65(a)(1) system, and specifying goals, corrective actions, and monitoring for the system. Because this violation was of very low safety significance and was entered into Entergy's corrective action program (CR-PNP-2011-2993 and -3210), this violation is being treated as an NCV, consistent with the NRC's Enforcement Policy. (NCV 05000293/2011004-02, Failure to ldentify a Primary Containment System Maintenance Rule Functional Failure and Thereby Establish Monitoring Requirements for the System).
 
===.2 Maintenance Rule (aX3) Evaluation Review (1 sample)===
 
====a. Inspection Scope====
The inspectors performed a review of the Entergy assessment of the Pilgrim Maintenance Rule program implementation as specified by 10 CFR 50.65(a)(3). The inspectors evaluated whether this assessment was conducted within the periodicity required by 10 CFR 50.65(aX3). The inspectors also evaluated whether Entergy reviewed 10 CFR 50.65(a)(1) goals and 10 CFR 50.65(a)(2) performance criteria.
 
Preventive maintenance and corrective action effectiveness associated with this program were also reviewed. In addition, the inspectors evaluated the use of lndustry Operating Experience within the program and whether adjustments to the program were made as a result of the periodic assessment. The documents reviewed are listed in the
.
b. Findinqs No findings were identified.
{{a|1R13}}
{{a|1R13}}
==1R13 Maintenance Risk Assessments and Emergent Work Control (71111==
==1R13 Maintenance   Risk Assessments and Emergent Work Control (71111==


===.13 - 4 samples)a. Inspection ScopeThe inspectors evaluated four maintenance risk assessments for emergent and plannedtesting and maintenance activities. The inspectors reviewed maintenance riskevaluations, work schedules, and control room logs to determine if concurrentmaintenance or surveillance activities adversely affected the plant risk already incurredwith out-of-service components. The inspectors evaluated whether Entergy took thenecessary steps to controlwork activities, minimized the probability of initiating events,and maintained the functional capability of mitigating systems. The inspectors assessedEntergy's risk management actions during plant walkdowns. The inspectors reviewedEnclosure===
===.13 - 4 samples)===
 
====a. Inspection Scope====
The inspectors evaluated four maintenance risk assessments for emergent and planned testing and maintenance activities. The inspectors reviewed maintenance risk evaluations, work schedules, and control room logs to determine if concurrent maintenance or surveillance activities adversely affected the plant risk already incurred with out-of-service components. The inspectors evaluated whether Entergy took the necessary steps to controlwork activities, minimized the probability of initiating events, and maintained the functional capability of mitigating systems. The inspectors assessed Entergy's risk management actions during plant walkdowns. The inspectors reviewed the conduct and adequacy of maintenance risk assessments for the following maintenance and testing activities:
        .
 
Green Risk during Load Shed Testing of the 'A' and 'C' Residual Heat Removal and 'A'Core Spray Pumps
        .
 
Green Risk during 'A' Emergency Diesel Generator Load Shed Testing
        .
 
Yellow Risk during maintenance on the Station Blackout Diesel Generator and the Shutdown Transformer and an emergent issue with offsite power Line 342
        .
 
Green Risk during maintenance on both 'A' and 'B' trains of the Standby Gas Treatment system b. Findinqs
 
=====Introduction.=====
The inspectors identified a Green NCV of 10 CFR 50.65(a)(4) because Entergy did not assess and manage risk during elective maintenance for both the 'A'and
  'B' trains of the StandBy Gas Treatment (SBGT) system. Specifically, Entergy did not consult qualitative guidance in their risk assessment procedure before removing both trains of SBGT, thereby removing the Secondary Containment key safety function while online.
 
=====Description.=====
On August 3, Pilgrim elected to perform maintenance on both the 'A' and
  'B' SBGT demister drain valves, rendering both trains of SBGT unavailable. Pilgrim's Secondary Containment System (SCS) is designed to be sufficiently leaktight to allow at least one train of SBGT to reduce reactor building pressure to a minimum sub-atmospheric pressure of 0.25 inches of water and for SBGT to treat assumed leakage rates and fission products entrapped in the SCS. Another function of the SCS is to limit the ground level release to the environs of airborne radioactive materials so that offsite doses from a design basis fuel accident or loss of coolant accident will be below the guideline values stated in 10 CFR Part 100, "Reactor Site Criteria."
 
Entergy's Equipment Out of Service (EOOS) risk assessment model does not quantitatively model SBGT nor SCS, since the absence of their function does not contribute quantifiably to core damage frequency (CDF). However, Pilgrim's Secondary Containment is a key safety function that prevents or mitigates the consequences of accidents that could result in potentially significant off-site exposures. Thus, a qualitative risk evaluation for the absence of a key safety function is warranted. As described in Entergy's procedure EN-WM-104, Revision 4, Online Risk Assessment, the definition of a Qualitative Risk Assessment, in part, is "an evaluation of the risk of maintenance based on judgment, in which a broad spectrum of potential impacts on plant safety and operation are considered. These may include, but are not limited to, Technical Specifications, defense in depth, impacts on key safety functions, and radiological/AlARA." Furthermore, Pilgrim's procedure 1.5.22, Revision 14, Risk Assessment Procedure, Section 5.4.2, Qualitative Risk Assessment Guidelines states, "Maintenance activities degrading the integrity of Primary and/or Secondary Containment can increase Large Early Release Frequency. As Primary and/or Secondary Containment is not modeled in EOOS, the risk associated with these activities will be qualitatively assessed by raising the EOOS color one level; e.9., green to yellow." lt goes on to discuss, "The PSA model does not address the radioactivity release protection afforded. lt is entirely possible that planned SBGT maintenance can degrade the radioactivity release mitigation function."
 
The inspectors identified that qualitative considerations were not discussed during the work planning process and that procedure 1.5.22 and EN-WM-104 were not consulted.
 
Thus, the qualitative aspects of removing the secondary containment key safety function were not evaluated by station personnel. Entergy entered this issue into their corrective action program as CR-PNP-2011-3791. Corrective actions planned include evaluating and revising onsite procedure 1.5.22 to better match EN-WM-104 in regard to qualitative criteria as well as to improve proficiency for Senior Reactor Operators and Work Week Managers in the use of qualitative risk assessment guidelines Analvsis. The performance deficiency associated with this finding is that Entergy did not correctly perform a risk assessment using qualitative criteria as outlined in station procedures for elective maintenance of both trains of SBGT as specified by 10 CFR 50.65(aX4). The performance deficiency was within Entergy's ability to foresee and correct and should have been prevented. Traditional Enforcement did not apply as the issue did not have actual or potential safety consequence, had no willful aspects, nor did it impact the NRC's ability to perform its regulatory function.
 
A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"
identified that Section 7, Maintenance Rule, Example e, reflected a similar more than minor example. This finding was determined to be more than minor because Entergy's risk assessment failed to account for the loss or significant uncompensated impairment of a key operating safety function. In addition, the finding affected the Human Performance attribute of the Barrier Integrity cornerstone's objective to ensure that physical design barriers (containment) protect the public from radionuclide releases caused by accidents or events. The inspectors performed an evaluation in accordance with IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitial Screening and Characterization of Findings," and determined that the finding was of very low safety significance (Green) because the finding only represented a degradation of the radiological barrier function provided for the SBGT system.
 
The inspectors determined that this finding had a cross-cutting aspect in the Human Performance cross-cutting area, work control component, because Entergy did not plan work activities by incorporating appropriate risk insights. [H.3(a)]
 
=====Enforcement.=====
10 CFR 50.65 paragraph (aX4), "Requirements for Monitoring the Effectiveness of Maintenance at Nuclear Power Plants," States, in part, that "'..the licensee shall assess and manage the increase in risk that may result from the proposed maintenance activities." Contrary to the above, on August 3, Energy did not correctly assess the risk of removing the SCS safety function. As a result, Entergy did not recognize an increased risk condition and thus did not take risk management actions.
 
Corrective actions planned include evaluating and revising onsite procedure 1.5.22to better match EN-WM-104 in regard to qualitative criteria as well as improve proficiency for Senior Reactor Operators and Work Week Managers in the use of qualitative risk assessment guidelines. Because of the very low safety significance and because it has been entered into the corrective action program (CR-PNP-2011-3791), the NRC is treating this as a non-cited violation (NCV), consistent with Section 2.3.2 a of the NRC's Enforcement Policy. (NCV 05000293/2011004-03, Failure to Accurately Assess Risk of Maintenance on Standby Gas and Secondary Gontainment)
 
{{a|1R15}}
==1R15 Operabilitv Evaluations==
{{IP sample|IP=IP 71111.15|count=4}}
 
====a. Inspection Scope====
The inspectors reviewed four operability determinations associated with degraded or non-conforming conditions to determine if the operability determination was justified and if the mitigating systems or barriers remained available such that no unrecognized increase in risk had occurred. The inspectors also reviewed compensatory measures to determine if the compensatory measures were in place and were appropriately controlled. The inspectors reviewed Entergy's performance against related Technical Specifications and UFSAR requirements. The inspectors reviewed the following degraded or non-conforming conditions:
          . CR-PNP-2011-3344, Residual Heat Removal Loop 'A' Containment Spray Header Flow Transmitter Power Supply Ripple Voltage Out of Specification
          . CR-PNP-2011-3424, High Pressure Coolant Injection Turbine Exhaust Line Drain Valves Open when they are Normally Closed
          . CR-PNP-2011-3733, Failure to Include Seismic Input in Channel-Control Blade lnterference Guidance
          . CR-PNP-2011-4164 and CR-PNP-2011-4200, 'B'Standby Liquid Control Degraded Conditions b. Findinqs No findings were identified.


15the conduct and adequacy of maintenance risk assessments for the followingmaintenance and testing activities:. Green Risk during Load Shed Testing of the 'A' and 'C' Residual Heat Removaland 'A'Core Spray Pumps. Green Risk during 'A' Emergency Diesel Generator Load Shed Testing. Yellow Risk during maintenance on the Station Blackout Diesel Generator andthe Shutdown Transformer and an emergent issue with offsite power Line 342. Green Risk during maintenance on both 'A' and 'B' trains of the Standby GasTreatment systemb. FindinqsIntroduction. The inspectors identified a Green NCV of 10 CFR 50.65(a)(4) becauseEntergy did not assess and manage risk during elective maintenance for both the 'A'and'B' trains of the StandBy Gas Treatment (SBGT) system. Specifically, Entergy did notconsult qualitative guidance in their risk assessment procedure before removing bothtrains of SBGT, thereby removing the Secondary Containment key safety function whileonline.Description. On August 3, Pilgrim elected to perform maintenance on both the 'A' and'B' SBGT demister drain valves, rendering both trains of SBGT unavailable. Pilgrim'sSecondary Containment System (SCS) is designed to be sufficiently leaktight to allow atleast one train of SBGT to reduce reactor building pressure to a minimum sub-atmospheric pressure of 0.25 inches of water and for SBGT to treat assumed leakagerates and fission products entrapped in the SCS. Another function of the SCS is to limitthe ground level release to the environs of airborne radioactive materials so that offsitedoses from a design basis fuel accident or loss of coolant accident will be below theguideline values stated in 10 CFR Part 100, "Reactor Site Criteria."Entergy's Equipment Out of Service (EOOS) risk assessment model does notquantitatively model SBGT nor SCS, since the absence of their function does notcontribute quantifiably to core damage frequency (CDF). However, Pilgrim's SecondaryContainment is a key safety function that prevents or mitigates the consequences ofaccidents that could result in potentially significant off-site exposures. Thus, a qualitativerisk evaluation for the absence of a key safety function is warranted. As described inEntergy's procedure EN-WM-104, Revision 4, Online Risk Assessment, the definition ofa Qualitative Risk Assessment, in part, is "an evaluation of the risk of maintenancebased on judgment, in which a broad spectrum of potential impacts on plant safety andoperation are considered. These may include, but are not limited to, TechnicalSpecifications, defense in depth, impacts on key safety functions, andradiological/AlARA." Furthermore, Pilgrim's procedure 1.5.22, Revision 14, RiskAssessment Procedure, Section 5.4.2, Qualitative Risk Assessment Guidelines states,"Maintenance activities degrading the integrity of Primary and/or SecondaryContainment can increase Large Early Release Frequency. As Primary and/orSecondary Containment is not modeled in EOOS, the risk associated with theseactivities will be qualitatively assessed by raising the EOOS color one level; e.9., greento yellow." lt goes on to discuss, "The PSA model does not address the radioactivityrelease protection afforded. lt is entirely possible that planned SBGT maintenance candegrade the radioactivity release mitigation function."Enclosure 16The inspectors identified that qualitative considerations were not discussed during thework planning process and that procedure 1.5.22 and EN-WM-104 were not consulted.Thus, the qualitative aspects of removing the secondary containment key safety functionwere not evaluated by station personnel. Entergy entered this issue into their correctiveaction program as CR-PNP-2011-3791. Corrective actions planned include evaluatingand revising onsite procedure 1.5.22 to better match EN-WM-104 in regard to qualitativecriteria as well as to improve proficiency for Senior Reactor Operators and Work WeekManagers in the use of qualitative risk assessment guidelinesAnalvsis. The performance deficiency associated with this finding is that Entergy did notcorrectly perform a risk assessment using qualitative criteria as outlined in stationprocedures for elective maintenance of both trains of SBGT as specified by 10 CFR50.65(aX4). The performance deficiency was within Entergy's ability to foresee andcorrect and should have been prevented. Traditional Enforcement did not apply as theissue did not have actual or potential safety consequence, had no willful aspects, nor didit impact the NRC's ability to perform its regulatory function.A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"identified that Section 7, Maintenance Rule, Example e, reflected a similar more thanminor example. This finding was determined to be more than minor because Entergy'srisk assessment failed to account for the loss or significant uncompensated impairmentof a key operating safety function. In addition, the finding affected the HumanPerformance attribute of the Barrier Integrity cornerstone's objective to ensure thatphysical design barriers (containment) protect the public from radionuclide releasescaused by accidents or events. The inspectors performed an evaluation in accordancewith IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitialScreening and Characterization of Findings," and determined that the finding was of verylow safety significance (Green) because the finding only represented a degradation ofthe radiological barrier function provided for the SBGT system.The inspectors determined that this finding had a cross-cutting aspect in the HumanPerformance cross-cutting area, work control component, because Entergy did not planwork activities by incorporating appropriate risk insights. [H.3(a)]Enforcement. 10 CFR 50.65 paragraph (aX4), "Requirements for Monitoring theEffectiveness of Maintenance at Nuclear Power Plants," States, in part, that "'..thelicensee shall assess and manage the increase in risk that may result from the proposedmaintenance activities." Contrary to the above, on August 3, Energy did not correctlyassess the risk of removing the SCS safety function. As a result, Entergy did notrecognize an increased risk condition and thus did not take risk management actions.Corrective actions planned include evaluating and revising onsite procedure 1.5.22tobetter match EN-WM-104 in regard to qualitative criteria as well as improve proficiencyfor Senior Reactor Operators and Work Week Managers in the use of qualitative riskassessment guidelines. Because of the very low safety significance and because it hasbeen entered into the corrective action program (CR-PNP-2011-3791), the NRC istreating this as a non-cited violation (NCV), consistent with Section 2.3.2 a of the NRC'sEnforcement Policy. (NCV 05000293/2011004-03, Failure to Accurately Assess Riskof Maintenance on Standby Gas and Secondary Gontainment)Enclosure 171R15 Operabilitv Evaluations (71111.15 - 4 samples)a. Inspection ScopeThe inspectors reviewed four operability determinations associated with degraded ornon-conforming conditions to determine if the operability determination was justified andif the mitigating systems or barriers remained available such that no unrecognizedincrease in risk had occurred. The inspectors also reviewed compensatory measures todetermine if the compensatory measures were in place and were appropriatelycontrolled. The inspectors reviewed Entergy's performance against related TechnicalSpecifications and UFSAR requirements. The inspectors reviewed the followingdegraded or non-conforming conditions:. CR-PNP-2011-3344, Residual Heat Removal Loop 'A' Containment SprayHeader Flow Transmitter Power Supply Ripple Voltage Out of Specification. CR-PNP-2011-3424, High Pressure Coolant Injection Turbine Exhaust Line DrainValves Open when they are Normally Closed. CR-PNP-2011-3733, Failure to Include Seismic Input in Channel-Control Bladelnterference Guidance. CR-PNP-2011-4164 and CR-PNP-2011-4200, 'B'Standby Liquid ControlDegraded Conditionsb. FindinqsNo findings were identified.
{{a|1R19}}
{{a|1R19}}
==1R19 Post-Maintenance Testinq (71111.19 - 7 samples)a. Inspection ScooeThe inspectors reviewed seven samples of post-maintenance tests during this inspectionperiod. The inspectors reviewed these activities to determine whether the post-maintenance test adequately demonstrated that the safety-related function of theequipment was satisfied given the scope of the work performed, and that operability ofthe system was restored. ln addition, the inspectors evaluated the applicable testacceptance criteria to verify consistency with the associated design and licensing bases,as well as Technical Specification requirements. The inspectors also evaluated whetherconditions adverse to quality were entered into the corrective action program forresolution. The following maintenance activities and their post-maintenance tests wereevaluated:. Replace the Recirculation Flow Converter providing input to the 'B'AveragePower Range Monitor Flow-Biased Scram Setpoint. Replace Internals on the'D' Reactor Building Component Cooling WaterDischarge Check Valve. Replace Standby Gas Treatment Demister Drain Valves. Replace Standby Gas Treatment Damper AO-N-98Enclosure==
==1R19 Post-Maintenance Testinq==
{{IP sample|IP=IP 71111.19|count=7}}
a. Inspection Scooe The inspectors reviewed seven samples of post-maintenance tests during this inspection period. The inspectors reviewed these activities to determine whether the post-maintenance test adequately demonstrated that the safety-related function of the equipment was satisfied given the scope of the work performed, and that operability of the system was restored. ln addition, the inspectors evaluated the applicable test acceptance criteria to verify consistency with the associated design and licensing bases, as well as Technical Specification requirements. The inspectors also evaluated whether conditions adverse to quality were entered into the corrective action program for resolution. The following maintenance activities and their post-maintenance tests were evaluated:
          . Replace the Recirculation Flow Converter providing input to the 'B'Average Power Range Monitor Flow-Biased Scram Setpoint
          . Replace Internals on the'D' Reactor Building Component Cooling Water Discharge Check Valve
          . Replace Standby Gas Treatment Demister Drain Valves
          . Replace Standby Gas Treatment Damper AO-N-98
.
 
Replace the Drain Valve on the Automatic Depressurization pressure switch for the'B'Residual Heat Removal PumP
          .
 
Post Installation Test on the Alternate Charger for the 'A' DC 24V Batteries
          .
 
Preventative Maintenance and Testing on Air Cooled Breaker 103 b.
 
Findinqs No findings were identified.


18. Replace the Drain Valve on the Automatic Depressurization pressure switch forthe'B'Residual Heat Removal PumP. Post Installation Test on the Alternate Charger for the 'A' DC 24V Batteries. Preventative Maintenance and Testing on Air Cooled Breaker 103b. FindinqsNo findings were identified.
{{a|1R22}}
{{a|1R22}}
==1R22 Surveillance Testinq (71111.22 - 5 samples)a. Inspection ScopeThe inspectors witnessed five surveillance activities and/or reviewed test data todetermine whether the testing adequately demonstrated equipment operationalreadiness and the ability to perform the intended safety-related functions. Theinspectors reviewed selected prerequisites and precautions to determine if they weremet, and if the tests were performed in accordance with the procedural steps.Additionally, the inspectors evaluated the applicable test acceptance criteria forconsistency with associated design bases, licensing bases, and Technical Specificationrequirements. The inspectors also evaluated whether conditions adverse to quality wereentered into the corrective action program for resolution. The following surveillance testswere evaluated:. 'D' Reactor Building Closed Cooling Water Pump Biennial Comprehensive In-Service Test (lST)o 'B'Core Spray Pump and Valve Quarterly IST. High Pressure Coolant Injection Cold Quickstart Test. 'A' Salt Service Water Loop Flow Rate Operability Test. 'B' Salt Service Water Pump Quarterly ISTb. FindinqsNo findings were identified.Gornerstone: Emergency Preparedness1EP2 Alert and Notification Svstem (ANS) Evaluation (71114.02 - 1 sample)Inspection ScopeAn onsite review was conducted to assess the maintenance and testing of the PilgrimNuclear Power Station ANS. During this inspection, the inspectors interviewed EP staffresponsible for implementation of the ANS testing and maintenance, and reviewedCondition Reports pertaining to the ANS for causes, trends, and corrective actions. Theinspectors reviewed the ANS procedures and the ANS design report to ensure Entergy'scompliance with design report commitments for system maintenance and testing. Theinspection was conducted in accordance with NRC Inspection Procedure 71114,Enclosure==
==1R22 Surveillance Testinq==
{{IP sample|IP=IP 71111.22|count=5}}


19Attachment 02. Planning Standard, 10 CFR 50.47(bX5) and the related requirements of10 CFR 50, Appendix E, were used as reference criteria.b. FindinosNo findings were identified.1EP3 Emerqencv Response Orqanization (ERO) Staffinq and Auqmentation Svstem(71114.03 - 1 sample)a. Inspection ScopeThe inspectors performed a review of Pilgrim's ERO augmentation staffing requirementsand the process for notifying and augmenting the ERO. This was conducted to ensurethe readiness of key licensee staff to respond to an emergency event and to ensureEntergy's ability to activate their emergency facilities in a timely manner. The inspectorsreviewed the Pilgrim ERO roster, training records, applicable procedures, drill reports foraugmentation, quarterly EP drill reports, and CRs related to the ERO staffingaugmentation system. The inspection was conducted in accordance with NRCInspection Procedure 71114, Attachment 03. Planning Standard, 10 CFR 50.47(bX2)and related requirements of 10 CFR 50, Appendix E, were used as reference criteria.b. FindinqsNo findings were identified.1EP4 EmerqencvAction Level (EAL) and Emerqencv Plan Chanoes (71114.04 - 1 sample)a. Inspection ScopeSince the last NRC inspection of this program area, in November 2010, Entergy hadimplemented various revisions of the different sections of the Pilgrim Nuclear PowerStation Emergency Plan. Entergy had determined that, in accordance with10 CFR 50.54(q), any change made to the Plan, and its lower-tier implementingprocedures, had not resulted in any decrease in effectiveness of the Plan, and that therevised Plan continued to meet the requirements of 10 CFR 50.47(b) and Appendix E to10 CFR 50. The inspectors reviewed all EAL changes that had been made sinceNovember 2010, and performed a sampling review of other Emergency Plan changes,including the changes to lower-tier emergency plan implementing procedures andEP-related equipment, to evaluate for any potential decreases in effectiveness of theEmergency Plan. However, this review was not documented in an NRC SafetyEvaluation Report and does not constitute formal NRC approval of the changes.Therefore, these changes remain subject to future NRC inspection in their entirety. Theinspection was performed in accordance with NRC Inspection Procedure 71114,Attachment 04. The requirements in 10 CFR 50.5a(q) were used as reference criteria.b. FindinqsNo findings were identified.Enclosure b.201EPs Correction of Emerqencv Preparedness Weaknesses (71114.05 - 1 sample)lnspection ScopeThe inspectors reviewed a sampling of self-assessment procedures and reports toassess Entergy's ability to evaluate their EP performance and programs. The inspectorsreviewed a sampling of condition reports from January 2010 through July 2011, initiatedby Entergy at Pilgrim from drills, self-assessments and audits. Additionally, theinspectors reviewed Quality Assurance audits, including 10 CFR 50.54(t) audits, andseveral self-assessment reports. This inspection was performed in accordance withNRC lnspection Procedure71114, Attachment 05. Planning Standard, 10 CFR 50.47(b)(14) and the related requirements of 10 CFR 50 Appendix E were used as referencecriteria.FindinqsNo findings were identified.lEPO Drill Evaluation (71114.06 - 1 sample)a. Inspection ScopeThe inspectors observed a licensed operator emergency preparedness drill onSeptember 7. The inspectors evaluated operator performance in the simulator for aHostile Action Based scenario which resulted in the loss of the onsite Fire ProtectionSystems and the Intake Structure. The scenario escalated from an unusual event to ageneral emergency. The inspectors assessed the implementation of Emergency ActionLevel classification and notification decisions for this event. The inspectors alsoassessed whether Pilgrim's critique of the exercise assessed all observations andfindings.b. FindinqsNo findings were identified.2. RADTATTON SAFETY (RS)Gornerstones: Occupational and Public Radiation Safety2RS08 Radioactive Solid Waste Processinq and Radioactive Material Handling. Storaqe andTransportation (7 1 I 24.08)a. Inspection ScopeDuring the period August 8 through August 11, the inspector performed the followingactivities to verify that Entergy effectively implemented their programs for processing,handling, storage and transportation of radioactive material. lmplementation of thesecontrols was reviewed against the criteria contained in 10 CFR Part20, relevantTechnical Specifications, and the licensee's procedures.Enclosure 21lnspection PlanninqThe inspector reviewed the solid waste system description in Pilgrim's UpdatedFinal Safety Analysis Report, Pilgrim's Process Control Program, and Pilgrim's2010 Annual Effluent Release Report.The inspector reviewed Pilgrim's 2009 audit, QA-1 4115-2009-PNP-01, of theRadiation Protection / Radwaste program.Radioactive Material StoraqeThe inspector observed the storage of containers of radioactive material in theTrash Compactor Facility (TCF) yard area and other areas of the site. Theinspector verified the containers were properly labeled.The inspector verified that the radioactive material storage areas were properlyposted and controlled.The inspector verified that Entergy has established a process for monitoring theimpact of long-term storage of radioactive waste.The inspector verified that there were no signs of swelling or leakage of thecontainers used to store radioactive materials.Radioactive Waste Svstem Walkdown. The inspector walked down the accessible portions of the liquid and solidradioactive waste systems including the reactor water clean-up system, thechemical waste clean-up system, clean waste clean-up system, and the spentresin processing system.. The inspector verified the concentrator that was abandoned in place is isolatedand will not contribute to an unmonitored release path.. The inspector verified there have been no changes to the radioactive wasteprocessing system since the last inspection in 2009'. The inspector verified that the waste stream mixing, sampling procedures, andmethodology for waste concentration averaging are consistent with the ProcessControl Plan (PCP) and provide representative sampling of the spent resin forwaste classification.. The inspector verified that the liquid waste tanks for discharge are recirculated toprovide sufficient mixing.. The inspector verified the PCP contains references to procedures that correctlydescribe the current methods for dewatering and waste stabilization.Waste Characterization and Classification. The inspector reviewed the analyses for two waste streams and verified thatEntergy's radiochemical sample analysis results were sufficient to supportaccurate radioactive waste characterization. The inspector verified that Entergy'suse of scaling factors, dose rates and dose to curie conversion factors, andcalculations to account for difficult-to-measure radionuclides is technically soundand based on current 10 CFR Part 61 analyses'. The inspector verified that Entergy's procedures take into account changing plantEnclosure b.22operational parameters, and additional samples are obtained for 10 CFR Part 61analyses when needed to maintain the validity of the waste stream compositiondata between the annual and biennial sample analysis.. The inspector verified that Entergy has established and maintains an adequateQuality Assurance program to ensure compliance with the waste classificationand characterization requirements.Shipment Preparation. The inspector observed the loading of a spent resin liner into a transport caskand torquing of the lid for transport. The inspector observed the labeling,marking, placarding, vehicle checks, shipping papers provided to the driver, andlicensee verification of shipment readiness. The inspector verified that thereceiving licensee was authorized to receive the shipment packages'. The inspector observed radiation protection technicians during the conduct ofradioactive waste processing and radioactive material shipment preparation. Theinspector verified that the personnel were knowledgeable of the shippingregulations and demonstrated adequate skills to accomplish the packagepreparation req u i rements for publ ic transport.Shippinq Records. The inspector reviewed three Type A shipping packages and verified thedocuments indicated the proper shipper name; emergency response informationincluding a 24-hour contact telephone number; accurate curie content andvolume of material; appropriate waste classification; and UN number.Problem ldentification and Resolution. The inspector reviewed Pilgrim's self-assessments and audits related to the solidradioactive material control program to determine if identified problems wereentered into the corrective action program. The inspector verified that problemsidentified were put into the corrective action program and appropriate correctiveactions were identified.FindinosNo findings were identified.OTHER ACTIVITIES ]OAIPerformance Indicator (Pl) Verification (71 151)4.40A1.1 Cornerstone: Mitiqatinq Svstems (3 samples)a. Inspection ScopeThe inspectors reviewed Pl data to determine the accuracy and completeness of thereported data. The review was accomplished by comparing reported Pl data toEnclosure b.a..223confirmatory plant records and data available in plant logs, condition reports, LicenseeEvent Reports, and NRC inspection reports. The acceptance criteria used for the reviewwas Nuclear Energy Institute (NEl) 99-02, Revision 6, "Regulatory AssessmentPerformance lndicator Guidelines." The following performance indicators werereviewed:. High Pressure Coolant Injection System from the third quarter of 2Q10 throughthe second quarter of 2011 [MS07]. Heat Removal System from the third quarter of 2Q10 through the second quarterof 2011 [MS08]. Residual Heat Removal System from the third quarter 2010 through the secondquarter of 2011 [MS09]FindinqsNo findings were identified.Cornerstone: Emerqencv Preparedness (EP) (3 samples)Inspection ScopeThe inspectors reviewed data for the Pilgrim EP Pls, which are: (1) Drill and ExercisePerformance (DEP); (2) Emergency Response Organization (ERO) Drill Participation;and, (3) Alert and Notification System (ANS) Reliability. The last NRC EP inspection atPilgrim was performed in the fourth quarter of 2010, so the inspectors reviewedsupporting documentation from EP drills, training records, and equipment tests from thefourth calendar quarter of 2010 through the second quarter of 2011, to verify theaccuracy of the reported Pl data. The review of these Pls was conducted in accordancewith NRC lnspection Procedure 71151, using the acceptance criteria documented inNEI gg-02, "Regulatory Assessment Performance Indicator Guidelines," Revision 6.FindinqsNo findings were identified.ldentification and Resolution of Problems (71152)Review of ltems Entered into the Corrective Action Prooram (CAP)Inspection ScopeThe inspectors performed a screening of each item entered into Entergy's correctiveaction program. This review was accomplished by reviewing printouts of each conditionreport, attending daily screening meetings and/or accessing Entergy's database. Thepurpose of this review was to identify conditions such as repetitive equipment failures orhuman performance issues that might warrant additional follow-up.FindinqsNo findings were identified.b.4c.42.1a.b.Enclosure
====a. Inspection Scope====
The inspectors witnessed five surveillance activities and/or reviewed test data to determine whether the testing adequately demonstrated equipment operational readiness and the ability to perform the intended safety-related functions. The inspectors reviewed selected prerequisites and precautions to determine if they were met, and if the tests were performed in accordance with the procedural steps.


===.124 Annual Sample: Operator WorkaroundsInspection ScopeThe inspectors performed the annual review of operator workarounds to verify Entergywas identifying operator workaround problems at an appropriate threshold and enteringthem into the corrective action program. The inspectors reviewed identifiedworkarounds to determine whether the mitigating system function was affected, whetherthe operator's ability to implement abnormal and emergency operating procedures wasaffected, and whether appropriate procedures had been updated to reflect actual plantconditions. The inspection was accomplished through personnel interviews, plant tours,and review of station documents.FindinqsNo findings were identified. Operator workarounds have been identified and entered intothe corrective action program for resolution. No unrecognized impacts to operator orsystem performance were identified, and corrective actions have been implemented orare planned to restore the affected systems.Event Follow-up (71 153)(2 samples)Inspection ScopeThe inspectors observed operators perform a condenser backwash and control rodtesting on July 21 and September 20. Specifically, the inspectors observed plannedplant downpowers to approximately 50 percent reactor power to support backwashes ofthe main condenser on these dates. The inspectors reviewed procedural guidance forstation power changes and the power maneuver plan, and observed the lnfrequentlyPerformed Test or Evolution briefs. The inspectors also observed control room operatorperformance during the power maneuvers and in response to unexpected plantconditions.FindinqsNo findings were identified.'A'and 'B'Trains of Salt Service Water (SSW) Svstem Declared Inoperable (1 sample)Inspection ScopeOn September 22, Entergy identified that all five SSW pumps were susceptible to failureduring certain degraded voltage scenarios. Entergy evaluated plant risk and entered theappropriate Technical Specification (TS) which was to place the reactor in cold shutdownwithin 24 hours with both trains of SSW inoperable. Entergy performed a modificationthat removed the design vulnerability and exited TS before having to shutdown. Theb..2a.Enclosure===
Additionally, the inspectors evaluated the applicable test acceptance criteria for consistency with associated design bases, licensing bases, and Technical Specification requirements. The inspectors also evaluated whether conditions adverse to quality were entered into the corrective action program for resolution. The following surveillance tests were evaluated:
          .


25inspectors responded to the control room, reviewed Entergy's actions, plant risk, and TSadministration.b. FindinqsNo findings were identified..3 (Closed) Licensee Event Report (LER 05000293/201 1-001-00). Technical Specification(TS) Required Shutdown - Reactor Buildinq Closed Coolinq Water (RBCCW)'B'Declared InoperableThe inspectors reviewed Entergy's actions and reportability criteria associated with LER05000293/2011-001-00, which is addressed in CR-PNP-2011-0721. On February 20,Pilgrim commenced a shutdown of the reactor due to the 'B' RBCCW system beingdeclared inoperable and expected to exceed its 72-hour TS Limiting Condition forOperability. NRC Inspection Report 05000293/2011002, Section
'D' Reactor Building Closed Cooling Water Pump Biennial Comprehensive In-Service Test (lST)o  'B'Core Spray Pump and Valve Quarterly IST
{{a|4OA3}}
          .
==4OA3 documents theevent and the inspectors' response. Following the event, repair activities identified asingle tube leak in the 'B' RBCCW heat exchanger related to a shortened inlet endsleeve. No findings or violations of NRC requirements occurred. This LER is closed.==
 
.4 (Closed) Licensee Event Report (LER 05000293/2011-002-00). Reactor Scram Durinq aPlanned Reactor Cool-Down with All Control Rods Fullv lnsertedThe inspectors reviewed Entergy's actions associated with LER 05000293/2011-002-00,which is addressed in CR-PNP-2011-0733. On February 20, with the reactor shutdownand all control rods fully inserted, a valid Reactor Protection System low reactor waterlevel scram initiation signal was received. At the time of the event, a reactor cooldownwas in progress and the Reactor Mode Selector Switch was in "Startup". Entergyperformed a causal analysis and determined that the scram actuation signal was theresult of reactor water level control difficulties during the cooldown using the MechanicalPressure Regulator. Reactor Water level was immediately restored and the scramsignal was reset. No findings or violations of NRC requirements occurred. This LER isclosed..5 (Closed) Licensee Event Report (LER 05000293/2011-003-00). Reactor Scram onlntermediate Ranqe Monitor Hiqh-Hioh FluxThe inspectors reviewed Entergy's actions and reportability criteria associated with LER05000293/2011-003-00, which is addressed in CR-PNP-2011-2475. On May 10, areactor scram event occurred at Pilgrim during a reactor plant start-up. A SpecialInspection Team (SlT) was chartered and arrived on-site on May 16. The SIT reviewedthe event, interviewed personnel, and reviewed Entergy's root cause analysis. NRCInspection Report 05000293/2011012 was issued on September 1, and documents theresults of the SIT inspection. This LER is closed..6 (Closed) Licensee Event Report (LER 05000293/2011-004-00). Technical Specification(TS) Required Shutdown Drwell to Torus DPThe inspectors reviewed Entergy's actions associated with LER 05000293/2011-004-00,which is addressed in CR-PNP-2011-2538. On May 14, plant operators were unable toEnclosure 26establish a drywell to torus differential pressure as specified by TS. The plant wasshutdown, the problem investigated, and several drywell to Torus Vacuum Breakerswere found leaking due to an improper magnet to striker plate clearance. Entergyperformed a causal analysis and determined that the vacuum breakers had beenincorrectly adjusted during refueling outage maintenance activities due to insufficientprocedural guidance. The vacuum breakers were re-adjusted and a plant startup wascommended. No findings or violations of NRC requirements occurred. This LER isclosed.4OAO Meetinqs. Includinq ExitOn July 28, an Emergency Preparedness exit meeting was conducted with Mr. StephenBethay, Director of Nuclear Safety Assurance, and other members of the Entergy staff.The inspector confirmed that proprietary information was not provided or examinedduring the inspection.On August 11, a Radiation Safety exit meeting was conducted with Mr. VincentFallacara, Director of Engineering (and Acting Site Vice President). The inspectorconfirmed that no proprietary information was provided to the inspector for theinspection.On October 13, the resident inspectors conducted an exit meeting and presented thepreliminary inspection results to Mr. Robert Smith, and other members of the Pilgrimstaff. The inspectors confirmed that proprietary information provided or examined duringthe inspection was controlled and/or returned to Entergy, and the content of this reportincludes no proprietary information.ATTACHMENT:  
High Pressure Coolant Injection Cold Quickstart Test
          .
 
'A' Salt Service Water Loop Flow Rate Operability Test
          .
 
'B' Salt Service Water Pump Quarterly IST b.
 
Findinqs No findings were identified.
 
Gornerstone: Emergency Preparedness 1EP2 Alert and Notification Svstem (ANS) Evaluation (71114.02 -      1 sample)
Inspection Scope An onsite review was conducted to assess the maintenance and testing of the Pilgrim Nuclear Power Station ANS. During this inspection, the inspectors interviewed EP staff responsible for implementation of the ANS testing and maintenance, and reviewed Condition Reports pertaining to the ANS for causes, trends, and corrective actions. The inspectors reviewed the ANS procedures and the ANS design report to ensure Entergy's compliance with design report commitments for system maintenance and testing. The inspection was conducted in accordance with NRC Inspection Procedure 71114, Attachment 02. Planning Standard, 10 CFR 50.47(bX5) and the related requirements of 10 CFR 50, Appendix E, were used as reference criteria.
 
b.
 
Findinos No findings were identified.
 
{{a|1EP3}}
==1EP3 Emerqencv Response Orqanization (ERO) Staffinq and Auqmentation Svstem==
{{IP sample|IP=IP 71114.03|count=1}}
 
====a. Inspection Scope====
The inspectors performed a review of Pilgrim's ERO augmentation staffing requirements and the process for notifying and augmenting the ERO. This was conducted to ensure the readiness of key licensee staff to respond to an emergency event and to ensure Entergy's ability to activate their emergency facilities in a timely manner. The inspectors reviewed the Pilgrim ERO roster, training records, applicable procedures, drill reports for augmentation, quarterly EP drill reports, and CRs related to the ERO staffing augmentation system. The inspection was conducted in accordance with NRC Inspection Procedure 71114, Attachment 03. Planning Standard, 10 CFR 50.47(bX2)and related requirements of 10 CFR 50, Appendix E, were used as reference criteria.
 
b. Findinqs No findings were identified.
 
{{a|1EP4}}
==1EP4 EmerqencvAction Level (EAL) and Emerqencv Plan Chanoes==
{{IP sample|IP=IP 71114.04|count=1}}
 
====a. Inspection Scope====
Since the last NRC inspection of this program area, in November 2010, Entergy had implemented various revisions of the different sections of the Pilgrim Nuclear Power Station Emergency Plan. Entergy had determined that, in accordance with 10 CFR 50.54(q), any change made to the Plan, and its lower-tier implementing procedures, had not resulted in any decrease in effectiveness of the Plan, and that the revised Plan continued to meet the requirements of 10 CFR 50.47(b) and Appendix E to 10 CFR 50. The inspectors reviewed all EAL changes that had been made since November 2010, and performed a sampling review of other Emergency Plan changes, including the changes to lower-tier emergency plan implementing procedures and EP-related equipment, to evaluate for any potential decreases in effectiveness of the Emergency Plan. However, this review was not documented in an NRC Safety Evaluation Report and does not constitute formal NRC approval of the changes.
 
Therefore, these changes remain subject to future NRC inspection in their entirety. The inspection was performed in accordance with NRC Inspection Procedure 71114, 04. The requirements in 10 CFR 50.5a(q) were used as reference criteria.
 
b. Findinqs No findings were identified.
 
1EPs Correction of Emerqencv Preparedness Weaknesses (71114.05 - 1 sample)lnspection Scope The inspectors reviewed a sampling of self-assessment procedures and reports to assess Entergy's ability to evaluate their EP performance and programs. The inspectors reviewed a sampling of condition reports from January 2010 through July 2011, initiated by Entergy at Pilgrim from drills, self-assessments and audits. Additionally, the inspectors reviewed Quality Assurance audits, including 10 CFR 50.54(t) audits, and several self-assessment reports. This inspection was performed in accordance with NRC lnspection Procedure71114, Attachment 05. Planning Standard, 10 CFR 50.47(b)
: (14) and the related requirements of 10 CFR 50 Appendix E were used as reference criteria.
 
b. Findinqs No findings were identified.
 
lEPO Drill Evaluation (71114.06 - 1 sample)
 
====a. Inspection Scope====
The inspectors observed a licensed operator emergency preparedness drill on September 7. The inspectors evaluated operator performance in the simulator for a Hostile Action Based scenario which resulted in the loss of the onsite Fire Protection Systems and the Intake Structure. The scenario escalated from an unusual event to a general emergency. The inspectors assessed the implementation of Emergency Action Level classification and notification decisions for this event. The inspectors also assessed whether Pilgrim's critique of the exercise assessed all observations and findings.
 
b. Findinqs No findings were identified.
 
===2. RADTATTON SAFETY (RS)===
 
Gornerstones: Occupational and Public Radiation Safety 2RS08 Radioactive Solid Waste Processinq and Radioactive Material Handling. Storaqe and Transportation (7 1 I 24.08)
 
====a. Inspection Scope====
During the period August 8 through August 11, the inspector performed the following activities to verify that Entergy effectively implemented their programs for processing, handling, storage and transportation of radioactive material. lmplementation of these controls was reviewed against the criteria contained in 10 CFR Part20, relevant Technical Specifications, and the licensee's procedures.
 
lnspection Planninq The inspector reviewed the solid waste system description in Pilgrim's Updated Final Safety Analysis Report, Pilgrim's Process Control Program, and Pilgrim's 2010 Annual Effluent Release Report.
 
The inspector reviewed Pilgrim's 2009 audit, QA-1 4115-2009-PNP-01, of the Radiation Protection / Radwaste program.
 
Radioactive Material Storaqe The inspector observed the storage of containers of radioactive material in the Trash Compactor Facility (TCF) yard area and other areas of the site. The inspector verified the containers were properly labeled.
 
The inspector verified that the radioactive material storage areas were properly posted and controlled.
 
The inspector verified that Entergy has established a process for monitoring the impact of long-term storage of radioactive waste.
 
The inspector verified that there were no signs of swelling or leakage of the containers used to store radioactive materials.
 
Radioactive Waste Svstem Walkdown
    .
 
The inspector walked down the accessible portions of the liquid and solid radioactive waste systems including the reactor water clean-up system, the chemical waste clean-up system, clean waste clean-up system, and the spent resin processing system.
 
    .
 
The inspector verified the concentrator that was abandoned in place is isolated and will not contribute to an unmonitored release path.
 
    .
 
The inspector verified there have been no changes to the radioactive waste processing system since the last inspection in 2009'
    .
 
The inspector verified that the waste stream mixing, sampling procedures, and methodology for waste concentration averaging are consistent with the Process Control Plan (PCP) and provide representative sampling of the spent resin for waste classification.
 
    .
 
The inspector verified that the liquid waste tanks for discharge are recirculated to provide sufficient mixing.
 
    .
 
The inspector verified the PCP contains references to procedures that correctly describe the current methods for dewatering and waste stabilization.
 
Waste Characterization and Classification
    .
 
The inspector reviewed the analyses for two waste streams and verified that Entergy's radiochemical sample analysis results were sufficient to support accurate radioactive waste characterization. The inspector verified that Entergy's use of scaling factors, dose rates and dose to curie conversion factors, and calculations to account for difficult-to-measure radionuclides is technically sound and based on current 10 CFR Part 61 analyses'
    .
 
The inspector verified that Entergy's procedures take into account changing plant operational parameters, and additional samples are obtained for 10 CFR Part 61 analyses when needed to maintain the validity of the waste stream composition data between the annual and biennial sample analysis.
 
        . The inspector verified that Entergy has established and maintains an adequate Quality Assurance program to ensure compliance with the waste classification and characterization requirements.
 
Shipment Preparation
        . The inspector observed the loading of a spent resin liner into a transport cask and torquing of the lid for transport. The inspector observed the labeling, marking, placarding, vehicle checks, shipping papers provided to the driver, and licensee verification of shipment readiness. The inspector verified that the receiving licensee was authorized to receive the shipment packages'
        .
 
The inspector observed radiation protection technicians during the conduct of radioactive waste processing and radioactive material shipment preparation. The inspector verified that the personnel were knowledgeable of the shipping regulations and demonstrated adequate skills to accomplish the package preparation req u rements for publ ic transport.
 
i Shippinq Records
        .
 
The inspector reviewed three Type A shipping packages and verified the documents indicated the proper shipper name; emergency response information including a 24-hour contact telephone number; accurate curie content and volume of material; appropriate waste classification; and UN number.
 
Problem ldentification and Resolution
        .
 
The inspector reviewed Pilgrim's self-assessments and audits related to the solid radioactive material control program to determine if identified problems were entered into the corrective action program. The inspector verified that problems identified were put into the corrective action program and appropriate corrective actions were identified.
 
b. Findinos No findings were identified.
 
==OTHER ACTIVITIES==
]OAI 40A1 Performance Indicator (Pl) Verification (71 151)
 
===.1 Cornerstone: Mitiqatinq Svstems (3 samples)===
 
====a. Inspection Scope====
The inspectors reviewed Pl data to determine the accuracy and completeness of the reported data. The review was accomplished by comparing reported Pl data to confirmatory plant records and data available in plant logs, condition reports, Licensee Event Reports, and NRC inspection reports. The acceptance criteria used for the review was Nuclear Energy Institute (NEl) 99-02, Revision 6, "Regulatory Assessment Performance lndicator Guidelines." The following performance indicators were reviewed:
          .
 
High Pressure Coolant Injection System from the third quarter of 2Q10 through the second quarter of 2011 [MS07]
          .
 
Heat Removal System from the third quarter of 2Q10 through the second quarter of 2011 [MS08]
          .
 
Residual Heat Removal System from the third quarter 2010 through the second quarter of 2011 [MS09]
b. Findinqs No findings were identified.
 
===.2 Cornerstone: Emerqencv Preparedness (EP) (3 samples)===
 
====a. Inspection Scope====
The inspectors reviewed data for the Pilgrim EP Pls, which are:
: (1) Drill and Exercise Performance (DEP);
: (2) Emergency Response Organization (ERO) Drill Participation; and,
: (3) Alert and Notification System (ANS) Reliability. The last NRC EP inspection at Pilgrim was performed in the fourth quarter of 2010, so the inspectors reviewed supporting documentation from EP drills, training records, and equipment tests from the fourth calendar quarter of 2010 through the second quarter of 2011, to verify the accuracy of the reported Pl data. The review of these Pls was conducted in accordance with NRC lnspection Procedure 71151, using the acceptance criteria documented in NEI gg-02, "Regulatory Assessment Performance Indicator Guidelines," Revision 6.
 
b. Findinqs No findings were identified.
 
4c.42 ldentification and Resolution of Problems (71152)
 
===.1 Review of ltems Entered into the Corrective Action Prooram (CAP)===
 
====a. Inspection Scope====
The inspectors performed a screening of each item entered into Entergy's corrective action program. This review was accomplished by reviewing printouts of each condition report, attending daily screening meetings and/or accessing Entergy's database. The purpose of this review was to identify conditions such as repetitive equipment failures or human performance issues that might warrant additional follow-up.
 
b. Findinqs No findings were identified.
 
Annual Sample: Operator Workarounds Inspection Scope The inspectors performed the annual review of operator workarounds to verify Entergy was identifying operator workaround problems at an appropriate threshold and entering them into the corrective action program. The inspectors reviewed identified workarounds to determine whether the mitigating system function was affected, whether the operator's ability to implement abnormal and emergency operating procedures was affected, and whether appropriate procedures had been updated to reflect actual plant conditions. The inspection was accomplished through personnel interviews, plant tours, and review of station documents.
 
Findinqs No findings were identified. Operator workarounds have been identified and entered into the corrective action program for resolution. No unrecognized impacts to operator or system performance were identified, and corrective actions have been implemented or are planned to restore the affected systems.
 
Event Follow-up (71 153)
 
===.1 (2 samples)===
 
Inspection Scope The inspectors observed operators perform a condenser backwash and control rod testing on July 21 and September 20. Specifically, the inspectors observed planned plant downpowers to approximately 50 percent reactor power to support backwashes of the main condenser on these dates. The inspectors reviewed procedural guidance for station power changes and the power maneuver plan, and observed the lnfrequently Performed Test or Evolution briefs. The inspectors also observed control room operator performance during the power maneuvers and in response to unexpected plant conditions.
 
b. Findinqs No findings were identified.
 
===.2 'A'and 'B'Trains of Salt Service Water (SSW) Svstem Declared Inoperable (1 sample)===
 
====a. Inspection Scope====
On September 22, Entergy identified that all five SSW pumps were susceptible to failure during certain degraded voltage scenarios. Entergy evaluated plant risk and entered the appropriate Technical Specification (TS) which was to place the reactor in cold shutdown within 24 hours with both trains of SSW inoperable. Entergy performed a modification that removed the design vulnerability and exited TS before having to shutdown. The inspectors responded to the control room, reviewed Entergy's actions, plant risk, and TS administration.
 
b. Findinqs No findings were identified.
 
===.3 (Closed) Licensee Event Report (LER 05000293/201 1-001-00). Technical Specification===
 
  (TS) Required Shutdown - Reactor Buildinq Closed Coolinq Water (RBCCW)'B' Declared Inoperable The inspectors reviewed Entergy's actions and reportability criteria associated with LER 05000293/2011-001-00, which is addressed in CR-PNP-2011-0721. On February 20, Pilgrim commenced a shutdown of the reactor due to the 'B' RBCCW system being declared inoperable and expected to exceed its 72-hour TS Limiting Condition for Operability. NRC Inspection Report 05000293/2011002, Section 4OA3 documents the event and the inspectors' response. Following the event, repair activities identified a single tube leak in the 'B' RBCCW heat exchanger related to a shortened inlet end sleeve. No findings or violations of NRC requirements occurred. This LER is closed.
 
===.4 (Closed) Licensee Event Report (LER 05000293/2011-002-00). Reactor Scram Durinq a===
 
Planned Reactor Cool-Down with All Control Rods Fullv lnserted The inspectors reviewed Entergy's actions associated with LER 05000293/2011-002-00, which is addressed in CR-PNP-2011-0733. On February 20, with the reactor shutdown and all control rods fully inserted, a valid Reactor Protection System low reactor water level scram initiation signal was received. At the time of the event, a reactor cooldown was in progress and the Reactor Mode Selector Switch was in "Startup". Entergy performed a causal analysis and determined that the scram actuation signal was the result of reactor water level control difficulties during the cooldown using the Mechanical Pressure Regulator. Reactor Water level was immediately restored and the scram signal was reset. No findings or violations of NRC requirements occurred. This LER is closed.
 
===.5 (Closed) Licensee Event Report (LER 05000293/2011-003-00). Reactor Scram on===
 
lntermediate Ranqe Monitor Hiqh-Hioh Flux The inspectors reviewed Entergy's actions and reportability criteria associated with LER 05000293/2011-003-00, which is addressed in CR-PNP-2011-2475. On May 10, a reactor scram event occurred at Pilgrim during a reactor plant start-up. A Special Inspection Team (SlT) was chartered and arrived on-site on May 16. The SIT reviewed the event, interviewed personnel, and reviewed Entergy's root cause analysis. NRC Inspection Report 05000293/2011012 was issued on September 1, and documents the results of the SIT inspection. This LER is closed.
 
===.6 (Closed) Licensee Event Report (LER 05000293/2011-004-00). Technical Specification===
 
  (TS) Required Shutdown Drwell to Torus DP The inspectors reviewed Entergy's actions associated with LER 05000293/2011-004-00, which is addressed in CR-PNP-2011-2538. On May 14, plant operators were unable to establish a drywell to torus differential pressure as specified by TS. The plant was shutdown, the problem investigated, and several drywell to Torus Vacuum Breakers were found leaking due to an improper magnet to striker plate clearance. Entergy performed a causal analysis and determined that the vacuum breakers had been incorrectly adjusted during refueling outage maintenance activities due to insufficient procedural guidance. The vacuum breakers were re-adjusted and a plant startup was commended. No findings or violations of NRC requirements occurred. This LER is closed.
 
4OAO Meetinqs. Includinq Exit On July 28, an Emergency Preparedness exit meeting was conducted with Mr. Stephen Bethay, Director of Nuclear Safety Assurance, and other members of the Entergy staff.
 
The inspector confirmed that proprietary information was not provided or examined during the inspection.
 
On August 11, a Radiation Safety exit meeting was conducted with Mr. Vincent Fallacara, Director of Engineering (and Acting Site Vice President). The inspector confirmed that no proprietary information was provided to the inspector for the inspection.
 
On October 13, the resident inspectors conducted an exit meeting and presented the preliminary inspection results to Mr. Robert Smith, and other members of the Pilgrim staff. The inspectors confirmed that proprietary information provided or examined during the inspection was controlled and/or returned to Entergy, and the content of this report includes no proprietary information.
 
ATTACHMENT:  


=SUPPLEMENTAL INFORMATION=
=SUPPLEMENTAL INFORMATION=


==KEY POINTS OF CONTACT==
==KEY POINTS OF CONTACT==
Entergy personnel:
Entergy personnel:
: [[contact::S. Brewer Radiation Protection SupervisorD. Brugman Radiation Protection SupervisorB. Chenard System Engineering ManagerJ. Dreyfuss Plant General ManagerV. Fallacara Engineering DirectorE. Herbert l&C SupervisorW. Lobo Licensing EngineerJ. Lynch Director]], Nuclear Safety Assurance and Licensing ManagerJ. Macdonald Assistant Operations Manager-ShiftT. McElhinney Training ManagerD. Noyes Operations ManagerM. O'Meara System EngineerR. Pace Design Engineering SupervisorJ. Priest Radiation Protection ManagerM. Santos Chemistry TechnicianJ. Scheffer Chemistry SupervisorK. Sejkora Senior Chemistry SpecialistR. Smith Site Vice PresidentJ. Taormina Maintenance ManagerJ. Whalley Operations Shift ManagerT. White Emergency Planning Manager
S. Brewer           Radiation Protection Supervisor
D. Brugman         Radiation Protection Supervisor
B. Chenard         System Engineering Manager
J. Dreyfuss         Plant General Manager
V. Fallacara       Engineering Director
E. Herbert         l&C Supervisor
W. Lobo           Licensing Engineer
: [[contact::J. Lynch           Director]], Nuclear Safety Assurance and Licensing Manager
J. Macdonald       Assistant Operations Manager-Shift
T. McElhinney       Training Manager
D. Noyes           Operations Manager
M. O'Meara         System Engineer
R. Pace             Design Engineering Supervisor
J. Priest           Radiation Protection Manager
M. Santos           Chemistry Technician
J. Scheffer         Chemistry Supervisor
K. Sejkora         Senior Chemistry Specialist
R. Smith           Site Vice President
J. Taormina         Maintenance Manager
J. Whalley         Operations Shift Manager
T. White           Emergency Planning Manager
 
==LIST OF ITEMS==
==LIST OF ITEMS==
OPENED, CLOSED AND DISCUSSEDOpened and  
 
===OPENED, CLOSED AND DISCUSSED===
 
===Opened and Closed===
: 05000293/2011-004-01 NCV Failure to Verify the Adequacy of the Design for the 'C' Salt Service Water PumP
: 05000293/2011-004-02 NCV Failure to ldentify a Primary Containment System Maintenance Rule Functional Failure and Thereby Establish Monitoring Requirements for the System
: 05000293/2011-004-03 NCV Failure to Accurately Assess Risk of Maintenance        on Standby Gas and Secondary Containment
 
===Closed===
===Closed===
: [[Closes LER::05000293/LER-2011-004]]-01 NCV Failure to Verify the Adequacy of the Design for the 'C'Salt Service Water PumP05000293/2011-004-02 NCV Failure to ldentify a Primary Containment SystemMaintenance Rule Functional Failure and Thereby EstablishMonitoring Requirements for the System05000293/2011-004-03 NCV Failure to Accurately Assess Risk of Maintenance onStandby Gas and Secondary ContainmentClosed05000293/2011-001-00 LER Technical Specification (TS) Required Shutdown -Reactor Building Closed Cooling Water (RBCCW)'B' Declared InoperableAttachment
: 05000293/2011-001-00 LER Technical Specification (TS) Required Shutdown         -
: A-2
Reactor Building Closed Cooling Water (RBCCW)
: [[Closes LER::05000293/LER-2011-002]]-00 LER Reactor Scram During a Planned Reactor Cool-Downwith All Control Rods Fully Inserted
                                  'B' Declared Inoperable
: [[Closes LER::05000293/LER-2011-003]]-00 LER Reactor Scram on Intermediate Ranger MonitorHigh-High Flux
: 05000293/2011-002-00 LER Reactor Scram During a Planned Reactor Cool-Down with All Control Rods Fully Inserted
: [[Closes LER::05000293/LER-2011-004]]-00 LER Technical Specifications (TS) Required Shutdown Drywellto Torus DPAttachment
: 05000293/2011-003-00 LER Reactor Scram on Intermediate Ranger Monitor High-High Flux
: A-3
: 05000293/2011-004-00 LER Technical Specifications (TS) Required Shutdown Drywell to Torus DP
 
==LIST OF DOCUMENTS REVIEWED==
==LIST OF DOCUMENTS REVIEWED==
Section 1R01Finat Safety Analysis Report, Section 2.4.4, Storm Flood ProtectionCR-PNP-2010-3006, Coastal Storm Procedure does not direct a preemptive walkdown of the siteMaster/Local Control Center Procedure No. 2 (M/L CC2) Abnormal Conditions Alert, Revision 14Procedure 2.1.37, Revision 28, Coastal Storm - Preparations and ActionsProcedure 5.2.2, Revision 32, High Winds (Hurricane)Procedure 2.1.42, Revision 10, Operation During Severe WeatherSection 1R04CR-PNP-201
 
: 1-3391 , Potential Seismic Interaction Hazard in the 'B' RHRyCS QuadCR-PNP-201
: 1-3468, Step Ladder found in 'A' RHR Quad near lnstrumentation RackCR-PNP-2011-3770, Reactor Building Sump Pumps lying on the Floor Adjacent to theHPCI lnstrument TrackDrawing M243, P&lD, HPCI System, Revision 53Drawing M244, P&lD, HPCI System, Revision 31Open Work Order Spread Sheet for System 23, HPCIProcedure 8.M.2-2.4.1, Revision 24, Core Spray Header Delta-PProcedure 2.2.19, Revision 104, Residual Heat RemovalProcedure 8.C.43, Revision 10, Monthly System Valve Lineup SurveillanceProcedure 2.2.8, Revision 97, Standby AC Power System (Diesel Generators)Procedure 2.2.22, Revision 72, Reactor Core lsolation Cooling System (RCIC)Procedure 2.2.21, Revision 79, High Pressure Coolant Injection SystemP&lD RCIC System M245, Revision E35 and M346, Revision E32Third Quarter HPCI System Health ReportVendor Manual V-0257, HPCI Turbine, Revision 36Vendor Manual V-0321, High Pressure Coolant Injection System, Revision 2Section 1R05Fire Hazards AnalysisFinal Safety Analysis Report, Chapter 10.8, Fire Protection SystemFire Brigade 2011 Matrix for Operations' Participation in Fire DrillsCR-PNP-2011-3795, Power Panels in EDG building are not labeled correctlyCR-PNP-2011-3787, Diamond Plating installed on scaffolding potentially obstructingOverhead Fire SuppressionCR-PNP-2011-3794, Found Breaker in lighting panel trippedCR-PNP-2011-3796, Severe kink in CO2 Hose ReelCR-PNP-2011-3789, Procedure 5.5.2, Fire Plan Sheets are missing some FireProtection AttributesCR-PNP-2011-3790, Severe bend in CO2 Hose ReelCR-PNP-2011-3793, 'A' Battery Room eyewash station is not securedProcedure 5.5.2, Revision 46, Special Fire ProcedureProcedure
: ENN-DC-189, Revision 1, Fire DrillsProcedure
: EN-TQ-125, Revision 0, Fire Brigade DrillsAttachment
: A-4Section 1R06CR-PNP-2Q11-3497, Dam at entrance to Diesel Fire Pump room is separating from the wallCR-PNP-2O11-3729, Potential Failure of Class ll Piping could affect'C' SSW PumpProbabilistic Safety Assessment IPE Update, Revision 1, Appendix E, Internal Flooding AnalysisFinal Safety Analysis Report, Revision 27, Sections 10 & 1 1 , Auxiliary System andPower Conversion SystemWO#
: 285591, Replace Dam in Diesel Fire Pump RoomRegulatory Guide 1.29, Seismic Design ClassificationTDBD-118, Revision E1, Design Basis Document for Seismic DesignUpdated Final SafetyAnalysis Report, Section 12.2.3.5, Seismic LoadsSection 1R07Final Safety Analysis Report, Revision 27, Section 10.7, Salt Service Water System andSection 10.5Calculation M-710, Revision 0, RBCCW Fouling Calculation'A' RBCCW Thermal Performance Test for
: RFO-17,
: RFO-15, and
: RFO-13Procedure 8.5.3.14.1, RBCCW Thermal Performance TestSection 1Rl1Combined Functional Drill 11-03, Hostile Action Based ScenarioEmergency Action Levels for Security ThreatSection 1R12CR-PNP-2011-3049, Control Room Access Door Latch Failure and Functional FailureDeterminationCR-PNP-2O11-3424,
: CV-9068 A&B were found open on C903CR-PNP-2g11-2538, Unable to establish Drywell to Suppression Chamber Differential PressureCR-PNP-2Q11-2993,Inaccurate supporting basis for Maintenance Rule Functional FailureDetermination in
: CR-PNP-201 1 -2538CR-PNP-2011-3210, The Drywell to Torus Vacuum Breaker System Exceeded MaintenanceRule UnavailabilityCR-PNP-2g11-3799, Periodic Update of Maintenance Rule Basis Documents has notbeen CompletedCR-PNP-201
: 1-3126, Conditions Associated with Door
: DR-1 50 should have been Evaluatedfor Maintenance Rule Functional FailuresCR-PNP-2O11-3470, 'B'RBCCW HX reading not as expectedCR-PNP-2011-1330, Functional Failure Determinations, CA 1Q2,'B' RBCCW
: DPCR-PNP-2011-3636, RBCCW HX dp evaluation unable to achieve 3500gpmCR-PNP-2011-3663, 'A' and 'B' RBCCW HX failed weekly 2'2'32 Att'7CR-PNP-201
: 1-3988, Functional Failure Determinations Result in RBCCW exceeding a(1) criteriaCR-pNP-2g11-3920,2.2.32 Att. 7 Fouling Evaluation resulting in backwashing 'A' and 'B'HX twice10 cFR 50.65, Requirements for Monitoring at Nuclear Power PlantsEC 30600, Revision 2, Calculation C15.0.2805, Affects of Control Room Ventilation on VitalArea Doors with Failed Latching MechanismsEN-DC-207, Revision 2, Maintenance Rule Period AssessmentExpert Panel Meeting,
: 9130111 Agenda, SSW System 29 a(1) plan approvalAttachment
: A-5Functional Failu re Determ ination for
: CR-PN P-2 01 1 -3424Maintenance Rule Committee Meeting Minutes Dated 8116111Maintenance Rule (aX1) Evaluation for
: CR-PNP-2011-3210Maintenance Rule Periodic Assessment August 2009P&lD HPCI System, M243, Sheet 1, Revision 53P&lD HPCI System, M244, Sheet 1, Revision 1Pilgrim Maintenance Rule Periodic Assessment Conducted June 20 - June 24,2011Section 1Rl3CR-PNP-201
: 1-3965, Line 342, Carrier Receiver is receiving a Continuous Block SignalCR-PNP-2011-3791, Qualitative Assessment of Risk for Standby Gas did not Result in anIncrease of Risk One Color Level (to Yellow)Control Room Logs and Daily Risk Sheet for 813111Equipment out of Service (EOOS) Quantitative Risk Assessment ToolDaily Risk Sheet for 7114111Procedure 3.M.3-47, Revision 80, Attachment 5, Functional Test of Initiation CircuitAssociated with'A' CSCS PumpsProcedure 3.M.3-47, Revision 80, Load Shed Relay Operational / Functional TestProcedure 1.5.22, Revision 14, Risk Assessment ProcessProcedure
: EN-WM 104, Revision 4, On Line Risk AssessmentFSAR, Section 5.3, Secondary ContainmentTechnical Specifications Section 3.7.C Basis Section for Secondary ContainmentSection 1R15CR-PNP-2011-0334, RHR Loop 'A' Containment Spray Header Flow Transmitter PowerSupply Ripple Voltage Out of SpecificationCR-PNP-2011-3501, Compensatory Measure was required for
: CR-PNP-2011-3344 and theoperability evaluation was not completed in the specified timeframeCR-PNP-2011-3424, HPCI Turbine Exhaust Line Drain Valves Open when they areNormally ClosedCR-PNP-2 01
: 1-1330, CA 1 03,
: CR-PNP-201 1 -3424 Maintenance Rule FunctionalFailure EvaluationCR-PNP-2011-3733, Failure to Include Seismic Input in channel-Control BladeInterference GuidanceCR-PNP-2011-4164, 'B' SBLC Accumulator has required charging every two weeksand associated operability evaluationCR-PNP-2011-4200, SBLC tank high level alarm received in the control room andassociated operability evaluationCR-PNP-2011-4395, When restoring 'B' SBLC Accumulator, header pressure wasreading 450lbs.EN-OP-104, Revision 5, Operability Determination ProcessFSAR, Section 6.4, High pressure Coolant lnjection SystemGE Hitachi 10 CFR Part2l Communication dated August 11,2011, Part 21 ReportableCondition Notification: Failure to Include Seismic Input in Channel-ControlBlade Interference Customer GuideGE Hitachi
: Memorandum dated August 18,2011, Modification of Recommendations lssuedin SC11-04Procedure 8.E.10, Revision 45, LPCI System Instruments CalibrationAttachment
: A-6Section 1Rl9CR-PNP-2011-3007,Intermittent Fault causing Recirculation Flow Converter Failure AlarmCR-PNP-2O11-3482, Discoloration on Pump Side Coupling on P-202DCR-PNP-2011-3573, Air Line Feeding the
: AO-N-98, Damper Broke during lnstallationCR-PNP-2O11-3655, Incorrect Revision to System DrawingCR-PNP-2011-2789, Procedure 8.C.4 does not test
: AO-N-98 damper positionCR-PNP-2O11-4222, Review of Procedure 3.M.3-36.8 Revealed Missing SignaturesCR-PNP-2011-4228, Procedure 3.M.3-36.8 does not include a current check as a postinstallation stepCR-PNP-2O11-4263, WO# 290081-4 did not specify PWT current measurement as specified inEN-WM-107CR-PNP-2O11-4264, Procedure 3.M.3-71 needs to be revisedCR-PNP-2011-4127, Trip times on 2 of 3 poles for
: ACB-103 were faster than80-1 00MS acceptance criteriaCR-PNP-2011-4429, Post Maintenance Test Acceptance Criteria not Specified in Work Orderfor
: ACB-103CR-PNP-2O11-4431, Incorrect drawing referenced in Work Order for
: ACB-103EC 26526,
: AO-N-98, Damper ReplacementEC 23892,
: AO-N-98, Temporary ModificationEC 24796,
: AO-N-98, Temporary Modification Change NoticePreferred MetalTechnologies Dynamics Operation and Pressure Drop Test DataProcedure 8.M.2-3.6.5, Revision 37, Recirculation Loop Instrumentation NeutronMonitoring Power Range EquipmentProcedure 3.M.4-53, Revision 6, Check Valve Disassembly and InspectionProcedure 8.C.4, Revision 24, Routine Running of Standby Gas Treatment SystemProcedure 8.M.2-2.3.1, Revision 31,
: ADS-Pump Discharge AC lnterlockProcedure
: EN-WM-1 07, Revision 3, Post-Maintenance TestingProcedure 3.M.3.36.8, Revision 1, Temporary Power for +l- 24V DC Bus 'A' or'B'Procedure 3.M.3-71, Revision 2, lnspection and Maintenance of 345KV Disconnects,Insulators and Miscellaneous Switchyard ComponentsWork Order (WO)#
: 00281250, Task 3, Perform Post Maintenance Testing for
: FC-28-BWO#
: 00281250, Task 1,
: FC-28-B Analog Output is Drifting and Spiking HighWO#
: 52303161, Task 1 , Replace RBCCW Check Valve InternalsWO#
: 5202681901 , Inspect Demister Drains
: VGTF-2O18WO#
: 5202681902, Post Maintenance Testing Operations 45-HO-48WO#
: 5203478801, Inspect Demister Drain in
: VGTF-2O1AWO#
: 5203478802, Post Maintenance Testing Operations 45-HO-44WO#
: 0024642601,
: EQ 26526 Replace Broken DamperWO#
: 0024642606, PWT after Damper Replacement (OPS)WO#0024642617, PWT after Damper Replacement (MECH)W O#
: 0022332501, Replace PS- 1 00 1 -938 Drain ValveW O#
: 0022332502, lsolate, Vent, Drain PS- 1 00 1 -938WO#
: 0022332503, Post Work Testing of
: PS-1001-93BWO#
: 290081, Tasks 3 and 4, D25, Post-Work Testing, Temp. Power to D25WO#5231401301, Line 342, Switchyard insulator and Structure inspectionsWO#
: 5231397701,
: ACB-103 Breaker lnspection and TestingWO# 52313977Q3,
: ACB-103 Breaker Inspection and Testing Post Work TestWO#
: 5231161401, Perform
: ACB-103 Current Transformer Testing / InspectionAttachment
: A-7Section 1R22CR-PNP-2011-3781, HPCI Drain Valves Opened forTwo Minutes Priorto Cold StartSurveillance has the Potential for PreconditioningCR-PNP-2011-4106, Incorrect Surveillance Test Data Recorded in Procedure 8.5.3.14Final Safety Analysis Report, Chapter 10.7, Salt Service Water SystemProcedure 8.5.3.1, Revision 59, RBCCW System Quarterly and BiennialComprehensive OperabilitYProcedure
: CEP-IST-4, Revision 305, Standard of lnservice TestingProcedure 8.5.1 .1 , Revision 57, Core Spray System Operability - Pump Quarterly andBiennial Comprehensive Flow Rate Tests and Valve TestsProcedure 8.5.1.3, Revision 29, Core Spray Motor-Operated Valve Quarterly Operability Test'D'RBCCW Pump IST Vibration, Flow and Head DataProcedure 8.5.4.1-1, Revision 23, High Pressure Coolant Injection SimulatedAutomatic Actuation, Flow Rate and Cold Quickstart TestProcedure 8.5.3.14, Revision 32, Salt Service Water Flow Rate Operability TestProcedure 8.5.3.2.1, Revision 24, Salt Service Water Pump quarterly andBiennial (Comprehensive) Operability and Valve Operability TestsNRC Inspection Manual Part 9900: Technical Guidance, Maintenance - Preconditioningof Structures, and Components before Determining OperabilityControl Room Logs for 712512011WO#52290862, Task 1 Perform HPCI Cold Start TestSection 1EP2RFQ# NP00121, Specifications for the Prompt Alert Siren Notification System for the PilgrimNuclear Power StationEP-AD-417, Revision 4, Annual Siren Test ProgramEP-AD-418, Revision 11, Monthly Testing of the Prompt Alert and Notification System (PANS)Ep-AD-419. Revision 9, Annual Maintenance of the Prompt Alert and Notification SystemPANS Monthly Maintenance Forms, January 2010 - July 2011PANS-related Condition Reports, January 2010 - July 2011Pilgrim Nuclear Power Station Safety Evaluation for Emergency Action Levels (TAC No. ME0101)dated July 30, 2009Section 1EP3EP-PP-g1, Revision 36, Pilgrim Nuclear Power Station Emergency Plan, Section B: StationEmergency OrganizationEp-PP-91, Revision 36, Pilgrim Nuclear Power Station Emergency Plan, Section E: NotificationMethods and ProceduresEp-PP-91, Revision 36, Pilgrim Nuclear Power Station Emergency Plan, Section O: EmergencyResponse TrainingEN-EP-801, Revision 2, Emergency Response OrganizationEP-AD-410, Revision 3, Maintenance of the
: CANSEp-AD-411, Revision 7, Testing of the Computerized Automatic Notification System (CANS)EN-PL-140, Revision 1, Emergency Response Organization Respiratory Protection GuidelinesPNPS Nuclear Training Manual, Revision 35PLP-CHRP-EMER, Chemistry Technician Training Lesson Plan, Revision 3pLp-CHRP-EMERRQL, Chemistry Technician RP Duties during Declared Emergencies Requal,Revision 0Attachment
: A-8PNPS ERO Roster (dated July 25, 2011)Test Sheets for PNPS Weekly Off-Hour Unannounced ERO Notification Test, for all weeksbetween June 1 4,2011, and July 18,2011Section 1EP4EP-PP-Q1, Revision 36, Pilgrim Nuclear Power Station Emergency PlanEN-LI-100, Revision 1 0, Process Applicability DeterminationEN-EP-305, Revision 2, Emergency Planning 10CFR50.54(q) Review ProgramEP-lP-100.1, Revision 8, Emergency Action Levels,EP-AD-601, Revision 0, Emergency Action Level Technical Bases DocumentDIE Reviews for EP Procedures:Emergency Plan lmplementing Procedure (EPIP) 260, Revision 1, EOF OperationsEPIP 261, Revision 2, TSC OperationsEPIP 300, Revision 8, Off-Site Rad Dose AssessmentEPIP 310, Revision 9, Off-Site Monitoring Team Activation and ResponseEPIP 400, Revision 14, Protective Action RecommendationsEPIP 520, Revision 7, Transition and RecoveryDIE Reviews non-EP Procedures:EN-EP-311, Emergency Response Data System (ERDS) Activation via Virtual Private Network(VPN), Revision 0-AEN-EP-310, Emergency Response Organization Notification System, Revision 0EN-EP-202, Equipment lmportant to Emergency Preparedness, Revision 0EN-EP-8O1, Emergency Response Organization, Revision 0EN-EP-308, Emergency Preparedness Critiques, Revision 1EN-EP-306, Drills and Exercises, Revision 1EN-TQ-110, Emergency Preparedness Training Program, Revision 0EC 17120, ARINC Integration Platform, Including the SOCA Monitoring Center, Revision 0EC-16895, Civil yard modifications SOCA Enhancements at Pilgrim including Fences, VBS,MAC8X, and Underground Pathways, Revision 050.5a(q) screenings conducted between November 2010 and July 201 1Procedure 5.3.14, Security lncidents, Revision 39Procedure 2.4.143, Shut Down From Outside the Control Room, Revision 45Procedure 5.2.1, Earthquakes, Revision 33Section 1EPSQuality Assurance Audit Report
: QA-07-201 0-PNP-1 (1 0CFR50.54(t) Report)Quality Assurance Audit Report
: QA-07-20 1 1 -PN P- 1 ( 1 0CFR50. 54(t) Report)Quality Assurance Surveillance Report
: QS-201O-PNPS-020 (Evaluation of EP Interface betweenTaunton Emergency Management Director and PNPS)LO-PNPLO-2Q10-0070, Emergency Preparedness Exercise ReadinessLO-PNPLO -201
: 1-0020, Pre-NRC InspectionNA 10-043, November 16,2Q10, NRC/FEMA EP Evaluated Exercise Report (10-05)NA 11-005, December 14,2010, Accountability DrillNA 11-011, February g,2Q11,EP Combined Functional Drill Report(1-01)Quality Assurance Oversight Observation Checklists:O2C-PNPS-2010-0059; -0060; -0063; -0082; -0215O2C-PNPS -201 1 -01 44: -01 45Attachment
: A-9EP-related Condition Reports written between January 2010 and July 2011Specific CRs reviewed:CR-PNP-2O10-0521; -Q740; -1232; -1256; -1387; -1437; -1451CR-PNP-2011-0383; -0692; -0707; -0710; - 0838; -0862; -0970; -1188; -1462;-1489; -2440Section 1EP6CR-PNP-2011-4116, Alert EAL Classification during Emergency Preparedness Drill Needs to beReviewedCombined Functional Drill 11-03, Hostile Action Based ScenarioEP Combined Functional Drill Report (11-03), September 7,2011Emergency Action Levels for Security ThreatPerformance Indicator Submittal Data SheetsSection 2RS08CR-PNP-2010-0069
: CR-PNP-2010-1343CR-PNP-2010-2968
: CR-PNP-2010-3025CR-PNP-2010-2969
: CR-PNP-2010-3256CR-PNP-2010-2970
: CR-PNP-2010-3607CR-PNP-2010-0075
: CR-PNP-2010-3690CR-PNP-2010-1 105
: CR-PNP-2010-3695CR-PNP-2010-1214
: CR-PNP-2010-3720Procedure
: EN-RW-102, Revision 8, Radioactive Shipping ProcedureProcedure
: EN-RW-104, Revision 8, Scaling FactorsProcedure
: EN-RW-105, Revision 1, Process Control PlanProcedure
: EN-RP-108, Revision 10, Radiation Protection PostingsProcedure 2.5.1.10, Revision 19, Transfer of Resin and Dewatering Liners Using StudvikProcessing Facility THOR Dewatering SystemProcedure 2.5.1.11, Revision 9, Transfer of Sludge or Bead Resin and Dewatering HIC LinersUsing Studvik Processing Facility THOR Dewatering SystemShippinq Packaqes:1 1-05 Type A 1.28 Ci11-08 Type A 4.06 Ci11-09 Type A 16.7 Ci10 CFR Part 61 AnalvsesBead Resin Waste StreamDry Activated Waste (DAW) Waste StreamAudits and Assessments:RP Records / Dose Control 1l21l2O1OShipping Exterior RAM Control 4112-1612010LO10-069 Focused Assessment 8116-2012010LO11.0137 >1FUhr @ 3 meters Radwaste Shipments 611412011QA-14115-2009-PNP-01 RadiationProtection/RadwasteSeptember 08 - October 02, 2009Attachment
: A-10Section 4OAlEN-EP-201, Revision 12, Performance lndicators,DEP Pl data, October 2010 - June 2011ERO Drill Participation Pl data, October 2010 - June 2011ANS Reliability Pl data, October 2010 - June 2011Licensee Event ReportsMSPI Data Sheets from 3'd Quarter 2010 to 2nd Quarter 2011 for HPCI/RCICNEI 99-02, Revision 6, Regulatory Assessment Performance Indicator GuidelineNRC Pl Approved Frequently Asked QuestionsNRC Performance lndicator Data GraphsNRC lnspection ReportsMSPI Data Sheets from 3'd Quarter 2010 through 2no Quarter 2011 for RHRControl Room LogsRHR System Health ReportSection 4OA2Compensatory Actions and Disabled Annunciator LogsCR-PNP-2011-4369, Disabled Annunciator Log Index in ErrorCR-PNP-2O11-4367, Definitions of OperatorWorkAround and Operator Burdens Do NotAgree Between Site and Corporate ProceduresCR-PNP-2011-4441, Discrepancy was identified with the Pl associated with theOutage Operator Workaround indicator for the month of August 201 1Procedure
: EN-FAP-OP-006, Revision 6, Operator Aggregate lmpact Index Performance IndicatorProcedure 1.3.34.4, Revision 17, Compensatory MeasuresPitgrim Operator Workarounds Aggregate lmpact ReportPilgrim Operator Compensatory Measures LogPilgrim Open Operations Aggregate Work OrdersSection 4OA3LER 2011-001-00, Technical Specification Required Shutdown- RBCCW'B' Declared InoperableLER 2011-002-00, Reactor Scram During a Planned Reactor Cool-Down with All ControlRods Fully InsertedLER 2011-003-00, Reactor Scram on Intermediate Range Monitor High-High FluxLER 2011-004-00, Technical Specification Required Shutdown- Drywell to Torus
: DPCR-PNP-2011-2538, Unable to Establish Drywell to Suppression Chamber Differential PressureCR-PNP-2011-3436, Shortfalls ldentified during the Conduct of the
: 712112011 DownpowerIPTE BriefCR-PNP-2011-4285, During development of Operability Evaluation for
: CR-PNP-2011-4182,SSW motor currents were measured and are operating beyond full load capacityCR-PNP-2011-4182, Multiple Motor Starts of RBCCW and SSW Pump MotorsPower Maneuver Plan Approval Form Date/September 19,2011Power Maneuver Plan Graph of Power Versus Date/Time for September 20,2011Control Room Logs for 9122111Emergent Risk Assessment for 9122111Attachment
: ADAMSALARAANSCACRDRPDRSEALEDGEPEPIPEROFSARHPCIHXrMcLERNCVNEINRCPIPNPSQARBCCWRCtCRFORHRRPMRPSRWPSBGTSSCUFSARWOA-11
==LIST OF ACRONYMS==
Agencywide Documents Access and Management Systemas low as reasonably achievablealert and notification systemcorrective actioncondition reportDivision of Reactor ProjectsDivision of Reactor Safetyemergency action levelemergency diesel generatoremergency preparednessemergency plan implementing procedureEmergency Response Organizationfinal safety analysis reporthigh pressure coolant injectionheat exchangerinspection manual chapterLicensee Event Reportnon-cited violationNuclear Energy lnstituteNuclear Regulatory Commissionperformance indicatorPilgrim Nuclear Power Stationquality assurancereactor building closed cooling waterreactor core isolation coolingrefueling outageresidual heat removalRadiation Protection Managerreactor protection systemradiation work permitstandby gas treatmentstructure, system or comPonentUpdated Final Safety Analysis Reportwork orderAttachment
}}
}}

Latest revision as of 03:27, 21 December 2019

IR 05000293-11-004; on 07/01/2011-09/30/2011; Pilgrim Nuclear Power Station; Flood Protection Measures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent Work Control
ML11306A054
Person / Time
Site: Pilgrim
Issue date: 11/02/2011
From: Bellamy R
NRC/RGN-I/DRP/PB5
To: Rich Smith
Entergy Nuclear Operations
LHP
References
IR-11-004
Download: ML11306A054 (40)


Text

UNITED STATES NUCLEAR REGU LATORY GOMMISSION

REGION I

475 ALLENDALE ROAD

SUBJECT:

PILGRIM NUCLEAR POWER STATION - NRC INTEGRATED INSPECTION REPORT 05000293/201 1004

Dear Mr. Smith:

On September 30, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Pilgrim Nuclear Power Station (PNPS). The enclosed inspection report documents the results, which were discussed on October 13,2011, with you and other members of your staff.

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. The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel.

This report documents three NRC-identified findings of very low safety significance (Green).

These findings were determined to be violations of NRC requirements. However, because of their very low safety significance and because they have been entered into your corrective action program, the NRC is treating these findings as non-cited violations (NCVs) consistent with Section 2.3.2.a of the NRC's Enforcement Policy. lf you contest any NCV, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator, Region l; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident lnspector at PNPS. ln addition, if you disagree with the cross-cutting aspect assigned to any finding 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 Regional Administrator, Region l, and the NRC Senior Resident Inspector at PNPS. The information you provide will be considered in accordance with lnspection Manual Chapter 0305.

ln accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely, Ronald R. Bellamy, Chief Reactor Projects Branch 5 Division of Reactor Projects Docket No. 50-293 License No. DPR-35 Enclosure: InspectionReport05000293/2011004 MAttachment: Supplemental lnformation cc: Mencl: Distribution via ListServ

SUMMARY OF FINDINGS

lR 0500029312011004 07fi112011-0913012011; Pilgrim Nuclear Power Station; Flood Protection

Measures, Maintenance Effectiveness, and Maintenance Risk Assessment and Emergent Work Control.

The report covered a three-month period of inspection by the resident and regional-based inspectors. Three non-cited violations (NCVs) of very low safety significance (Green) were identified. The significance of most findings is indicated by their color (Green, White, Yellow,

Red) using lnspection Manual Chapter (lMC) 0609, "significance Determination Process."

Cross-cutting aspects associated with findings are determined using IMC 0310, "Components Within the Cioss-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 4, dated December 2006.

NRC-ldentified Findinqs Gornerstone: Mitigating Systems

Green.

The inspectors identified a Green NCV of 10 CFR Part 50, Appendix B,

Criterion lll, Design Control, because Entergy's design control measures did not ensure two-over-one seismic protection of the 'C' Salt Service Water (SSW) Pump. Specifically,

Entergy did not ensure that a Class I to Class ll interface would not result in a failure of a Class I component ('C'SSW Pump). Corrective actions included installing a temporary modification (i.e., water shield), to protect the pump motor from potential spray effects of a Class ll piping failure and performing an extent of condition review.

The inspectors performed a review of Inspection Manual Chapter (lMC) 0612, Appendix E, "Examples of Minor lssues," and did not find a similar more than minor example. The finding was determined to be more than minor because it was associated with the Protection Against External Events (i.e., seismic) attribute of the Mitigating Systems Cornerstone, and adversely affected the cornerstone's objective to ensure the reliability of systems that respond to initiating events to prevent undesirable consequences.

Specifically, the 'C' SSW pump motor was vulnerable to water spray from a failed Class ll pipe during a seismic event which could have rendered the pump inoperable. The inspectors used IMC 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," and determined that further evaluation was required since the finding was potentially risk significant due to a seismic initiating event. As a result of this screening, a Phase 3 evaluation was conducted by a regional Senior Reactor Analyst (SRA). The condition was assessed as Green, with a change in core damage frequency (CDF)calculated to be 1.29E-8. Since the finding was assessed to have a CDF of less than 1E-7,large early release frequency was not required to be assessed. The finding does not have a cross-cutting aspect since the failure to verify the adequacy of design with respect to ensuring two-over-one seismic protection for the 'C' SSW pump is not indicative of current licensee performance. In addition, current Entergy design procedures require rigorous Class ll-over-l criteria for all new modifications. (Section 1 R06)

Gornerstone: Barrier IntegritY

Green.

The inspectors identified a Green NCV of 10 CFR 50.65, paragraph (a)(1) and (a)(4, "Requirements for Monitoring the Effectiveness of Maintenance of Nuclear Power planis," because Entergy did not monitor the performance of the Primary Containment System (Drywell to Torus Vacuum Breaker Components) against license-established goals to provide reasonable assurance that these components are capable of fulfilling iheir intended functions. Specifically, Entergy did not identify a functional failure of the Drywell to Torus Vacuum Breaker Component portion of the Primary Containment Sy-stem and thereby did not recognize that the system exceeded its unavailability performance criteria, requiring a Maintenance Rule (aX1) evaluation. Entergy subsequently conducted an (aX1) evaluation and concluded that the system should be classified as (a)(1), corrective actions specified, and system monitoring completed.

The finding is more than minor because it is associated with the Barrier Performance attribute of the Barrier Integrity cornerstone, in that the issue affected the Primary Containment System reliability due to the failure to recognize the need to evaluate the system for goais, corrective actions, and monitoring. The inspectors determined the significance of the finding using IMC 0609-04, "Phase 1 - Initial Screening and Characterization of Findings." The finding was determined to be of very low safety significance (Green) because the degraded condition had been corrected by the time of the failure to accurately evaluate the maintenance rule functionalfailure. As a result, this finding did not involve a design or qualification deficiency, did not result in a loss of systeft safety function, and did not screen as potentially risk significant due to external initiating events. The finding has a cross-cutting aspect in the Human Performance cross-cutting area, Decision Making component; in that, Entergy did not use conservative assumptions when evaluating the degraded Drywell to Torus Vacuum Breakers condition to correctly conclude that a functional failure had occurred'

Specifically, Entergy did not consider that the function of these vacuum breakers would be requireb as soon as plant conditions exceeded 212F, and therefore, the procedural guidance for Technical Specification applicability not being exceeded was an incorrect basis for this decision H.1(b). (Section 1 R12)

Green.

The inspectors identified a Green NCV of 10 CFR 50.65(aX4) because Entergy did not assess and manage risk during elective maintenance for both 'A' and 'B' trains of the StandBy Gas Treatment (SBGT) system. Specifically, Entergy did not consult qualitative guidance in their risk assessment process procedures before removing both tiains of SgCt from service and, therefore, removing the Secondary Containment key safety function while online. Corrective actions planned include evaluating and revising risk assessment procedures, and communicating qualitative risk assessment guidance to Senior Reactor Operators and Work Week Managers.

A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples," identified that Section 7, Maintenance Rule, Example e, reflected a similar more than minor example. This finding was determined to be more than minor because Entergy's risk assessment failed to account for the loss or significant uncompensated impairment of a key operating safety function. In addition, the finding affected the Human performance attribute of the Barrier Integrity cornerstone's objective to ensure that physical design barriers (containment) protect the public from radionuclide releases caused by accidents or events. The inspectors performed an evaluation in accordance with IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitial Screening and Characterization of Findings," and determined that the finding was of very low safety significance (Green) because the finding only represented a degradation of the radiological barrier function provided for the SBGT system. The inspectors determined that this finding had a cross-cutting aspect in the Human Performance cross-cutting area, Work Control component, because Entergy did not plan work activities by incorporating appropriate risk insights H.3(a). (Section 1R13)

REPORT DETAILS

Summarv of Plant Status Pilgrim Nuclear Power Station (PNPS) began the inspection period operating at 100 percent reactor power. On July 21, operators reduced power to 50 percent reactor power to perform a thermal backwash on the main condenser. Pilgrim returned to 100 percent reactor power on July 22. On July 25, operators reduced power to 90 percent reactor power to perform a control rod pattern adjustment and returned to 100 percent reactor power later that same day. On Sepiember 20, operators reduced power to 50 percent reactor power to perform a thermal backwash on the main condenser. Pilgrim returned to 100 percent reactor power on September 21, and operated at or near 100 percent reactor power for the remainder of the inspection period.

1. REACTOR SAFEW

Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity

1R01 Adverse Weather Protection

.1 External Floodinq

a. Inspection Scope

During the week of August 15, the inspectors reviewed Pilgrim's plant design for coping with the design basis probable maximum flood. The inspectors reviewed the "Storm Flooding Protection" section of the Updated Final Safety Analysis Report and operating procedures for mitigating externalflooding conditions during severe weather. The inspectors also performed a walkdown of the site to determine if all susceptible flooding conditions had been considered in the plant design, and whether operating procedures could be reasonably carried out to mitigate flooding concerns. Documents reviewed for each section of this inspection report are listed in the Attachment.

b.

Findinqs No findings were identified.

.2 lmpendinq Storm

a. Inspection Scope

During the week of August 22, Hurricane lrene was tracking to impact the Pilgrim Plant over the weekend. The inspectors reviewed Entergy's preparations for the hurricane and the high winds expected to accompany the storm. The inspectors also performed a walkdown of the outside areas including the switchyard to determine if loose debris or other material could become airborne in the presence of high winds and thereby impact safety related equipment. As the hurricane moved through the region, inspectors were staffed at the site continuously. The inspectors verified the availability of systems important to safety by monitoring conditions and alarms in the control room and technical support center. The inspectors verified that operator actions defined in Entergy's adverse weather procedure maintained the readiness of essential systems. The inspectors discussed readiness and staff availability for adverse weather response with operations and work control personnel and monitored Entergy's contingency staffing of emergency response facilities. The inspectors conducted site walkdowns after winds had abated to ensure no adverse conditions arose from this storm. Documents reviewed during this inspection are listed in the Attachment.

b. Findinqs No findings were identified.

1R04 Equipment Alignment

.1 Partial Svstem Walkdowns

a. Inspection Scope

The inspectors performed three partial system walkdowns during this inspection period.

The inspectors performed a partial walkdown of each system to determine if the critical portions of the selected systems were correctly aligned in accordance with procedures, and to identify any discrepancies that may have had an effect on operability. The walkdowns included selected control switch position verifications, valve position checks, and verification of electrical power to critical components. In addition, the inspectors evaluated other elements, such as material condition, housekeeping, and component labeling. The following systems were reviewed based on their risk significance for the given plant configuration:

o 'A' Residual Heat Removal during 'B' Core Spray Header Differential Pressure Test r 'A' Emergency Diesel Generator during a maintenance window on the Station Blackout (SBO) Diesel Generator o Reactor Core lsolation Cooling during a maintenance window on the SBO Diesel Generator and Shutdown Transformer b. Findinqs No findings were identified.

.2 Complete Svstem Walkdowns (71111.04S

- 1 sample)

a. Inspection Scope

The inspectors completed a detailed review of the High Pressure Coolant Injection (HPCI) system to assess the functional capability of the system. The inspectors performed a walkdown of the system to determine whether the critical components, such as valves and breakers were aligned in accordance with operating procedures, and to assess the material condition of valves and other supporting equipment. The inspectors discussed system health with the system engineer, reviewed the system's Maintenance Rule status, and performed a review of outstanding maintenance work orders to determine whether the deficiencies significantly affected the HPCI system function. The inspectors also reviewed condition reports from the past year to determine whether HPCI equipment problems were being identified and appropriately resolved. The documents reviewed are listed in the Attachment.

b. Findinqs No findings were identified.

1R05 Fire Protection

.1 Annual Fire Drill Observation

a. Inspection Scope

The inspectors observed an announced fire drill in the'A'4160VAC Switchgear Room.

The drill was conducted in accordance with procedure EN-DC-189, Revision 1 , "Fire Drills." The inspectors observed performance of the fire brigade personnel to determine whether Entergy's fire fighting pre-plan strategies were utilized, the pre-planned drill scenario was followed, and the drill objectives were met. The inspectors confirmed that protective clothing and breathing apparatus were donned; sufficient firefighting equipment was brought to the scene; the fire brigade leader's fire fighting directions were clear; and communications with the plant operators and between fire brigade members were effective. The inspectors observed the drill critique to determine whether areas to improve fire brigade performance were identified.

b. Findinqs No findings were identified.

.2 Fire Protection - Tours

a. Inspection Scope

The inspectors performed walkdowns of five fire protection areas during the inspection period. The inspectors reviewed Entergy's fire protection program to determine the fire protection design features, fire area boundaries, and combustible loading requirements for the selected areas. The inspectors walked down these areas to assess Entergy's control of transient combustible material and ignition sources. In addition, the inspectors evaluated the material condition and operational status of fire detection and suppression capabilities and fire barriers. The inspectors then compared the existing condition of the areas to the fire protection program requirements to determine whether all program requirements were met. The documents reviewed during this inspection are listed in the

. The fire protection areas reviewed were:

o Fire Area 4.3, Fire Zone 4.3,'A' Emergency Diesel Generator Room

.

Fire Area 1.9, Fire Zone 2.3, 'A' Battery Room r Fire Area 1.10, Fire Zone 2.4, 'B' Battery Room

.

Fire Area 5.3, Fire Zone 5.6, Electric Fire Pump Area and Open Areas of the lntake Structure I

.

Fire Area 5.3, Fire Zone 5.4, Diesel Driven Fire Pump Room b. Findinqs No findings were identified.

1R06 Flood Protection Measures

.1 Internal Floodinq Inspection

Inspection Scope The inspectors walked down the intake structure including the Salt Service Water compartments, Sea Water pump rooms, Diesel Fire pump and fueltank rooms, and associated flood propagation pathways to assess the effectiveness of Entergy's internal ftood control measures. The inspectors assessed the condition of curbing and selected flood pathways. The inspectors also evaluated whether potential sources of internal flooding were analyzed.

b. Findinqs lntroduction. The inspectors identified a Green non-cited violation (NCV) of 10 CFR Part 50, Appendix B, Criterion lll, Design Control, because Entergy's design control measures did not ensure two-over-one seismic protection of the 'C' Salt Service Water (SSW) Pump. Specifically, Entergy did not ensure that a Class I to Class ll interface would not result in a failure of a Class I component ('C' SSW Pump).

Description.

The inspectors reviewed potential internalflooding sources affecting safety-related equipment in Pilgrim's Intake structure. The inspectors identified a potential vulnerability in the 'C' SSW pump cubicle in that Class ll city water piping carrying lubricating and motor bearing cooling water to the circulating water pumps is housed adjacent to the "C" SSW pump motor. The inspectors discussed this with Entergy's design engineering department to determine if there was a potential flooding scenario that tould affect the safety-related equipment. Entergy walked down the area and concluded that the condition had not been previously analyzed. Entergy generated CR-PNP-201 1-3729 and determined that the 'C' SSW motor could be susceptible to direct spray impingement from the Class ll city water piping during certain seismic event scenarios. Entergy reviewed vendor specifications and consulted with the vendor concluding that although the motor is a weather proof, drip proof design, it is not designed for direct spray impingement.

Pilgrim's Updated Final Safety Analysis Report (UFSAR) Section 12.2.3.5, "Seismic Loids," discusses design criteria for seismic loading including criteria concerning Class ll/Class I interfaces. lt states "Class I to Class ll interfaces are designed so that there will be no functional failure in the Class I structure. In order to accomplish this design objective, Class I structures have the capacity of withstanding the forces resulting from possible failures of Class ll structures which are either attached or adjacent to the Class i Structures." Pilgrim's TDBD-118, Revision E0, "Design Basis Document for Seismic Loading", clarifies design expectations further and adds that "since about 1983, rigorous Class ll-over-l criteria have been applied to all station modifications. This action, combined with the consideration and resolution of seismic interaction hazards provides reasonable assurance that the UFSAR requirement is met'"

Following the determination that the 'C' SSW pump motor would be susceptible to direct spray from Class ll piping during a seismic event, Pilgrim declared the'C' SSW inoperable per their Technical Specifications and developed a temporary modification thai installed a "shield" for protection from this flooding scenario. Pilgrim also conducted extent-of-condition walkdowns around the plant for other potential Class ll/Class I spray concerns and found none.

Analvsis. The inspectors determined that the failure to verify the adequacy of design with respect to ensuring adequate two-over-one seismic protection for the 'C' SSW pump was a performance deficiency within Entergy's ability to foresee and correct and should have been prevented. Specifically, Pilgrim's UFSAR and seismic design basis documents specify, in part, that the failure of a class ll structure will not cause a failure of a class I structure. ln addition, design control measures for verifying the adequacy such as a dynamic analysis or verification checks had not been performed pertaining to this vulneribility. This condition did not impact the regulatory process and did not contribute to any actual consequences; therefore, Traditional Enforcement did not apply. The inspectors performed a review of Inspection Manual Chapter (lMC) 0612, Appendix E, "Examples of Minor lssues," and did not find a similar more than minor example to apply.

The finding was determined to be more than minor because it was associated with the Protection Against External Events (i.e. seismic) attribute of the Mitigating Systems Cornerstone, and adversely affected the cornerstone's objective to ensure the reliability of systems that respond to initiating events to prevent undesirable consequences.

Specifically, the 'C' SSW pump motor was vulnerable to spray during a seismic event that could have rendered the pump inoperable. The inspectors used IMC 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," and determined that further evaluation was required since the finding was potentially risk significant due to a seismic initiating event. As a result of this screening, a Phase 3 evaluation was conducted by a regional Senior Reactor Analyst (SRA).

The SSW system cools the Reactor Building Closed Cooling Water system and has five motor driven pumps. The system is configured with train 'A' composed of pumps 'A'and

'B', train 'B' composed of pumps 'D'and 'E', and pump 'C' being a swing pump. The SSW system is normally cross-tied with a total of at least two pumps running. The 'C' pump can be aligned to either train 'A' or'B'. The condition was assessed as a seismically induced transient. The exposure period was assumed to be 1 year. lt was also assumed that for all measured seismic events the 'C' SSW pump would fail due to water impingement. The seismic transient frequency of 1E-2lyr was developed from the Pilgrim Individual Plant Examination for External Events (IPEEE). No recovery of the 'C' SSW pump was assumed. Based on these assumptions the condition was assessed as Green, with a change in core damage frequency calculated to be 1

.29 E-8. Since the

finding was assessed to have a CDF of less than 1E-7,large early release frequency was not required to be assessed.

The finding does not have a cross-cutting aspect since the failure to verify the adequacy of design with respect to ensuring adequate two-over-one seismic protection for the 'C' SSW pump is not indicative of current licensee performance. ln addition, current Entergy design procedures require rigorous Class ll-over-l criteria for all new modifications.

Enforcement.

10 CFR 50, Appendix B, Criterion lll, Design Control, requires, in part, that measures be provided for verifying or checking the adequacy of design, such as by the performance of design reviews, by the use of alternate or simplified calculational methods, or by the performance of a suitable testing program. Contrary to the above, since initial plant design, Entergy's design control measures had not verified that the adequacy of design with respect to ensuring adequate two-over-one seismic protection existed for the'C' SSW pump. Specifically, Entergy had not performed a design review to ensure the 'C' SSW pump would not be affected from Class ll piping during a seismic event. Corrective actions included installing a temporary modification (i.e., water shield),to protect the pump motor from potential spray effects of the Class ll piping failure and performing an extent of condition review. Because this violation was of very low safety significance and was entered into Entergy's corrective action program (CR-PNP-2O11-3729), this violation is being treated as an NCV, consistent with the NRC's Enforcement Policy. (NCV 05000293/2011004-01, Failure to Verify the Adequacy of the Design for the 'G' Salt Service Water Pump).

1R07 Heat Sink Performance

a. Inspection Scope

The inspectors reviewed one sample of Entergy's program for maintenance, testing, and monitoring of risk significant heat exchangers (HXs) to assess the capability of the HXs to perform their design functions. The inspectors assessed whether the HX program conformed to Entergy's commitments at Pilgrim related to NRC Generic Letter 89-13, "Service Water System Problems Affecting Safety-Related Equipment." ln addition, the inspectors evaluated whether potential common cause heat sink performance problems could affect multiple HXs in mitigating systems or result in an initiating event. Based on its risk significance and performance history, the 'A' Reactor Building Closed Cooling Water HX was selected for a detailed review by the inspectors.

b. Findinqs No findings were identified.

1R1 1 Licensed Operator Requalification Program (71111.11)

Resident Inspector Quarterlv Review (71111

.1 1 Q - 1 sample)

a. Inspection Scope

The inspectors observed licensed operator performance during an emergency preparedness drill on September 7. The inspectors observed crew response to a Hostile Action Based scenario which resulted in the loss of the onsite Fire Protection System and the Intake Structure. The inspectors assessed the licensed operators'performance to determine if the drill evaluators adequately addressed observed deficiencies during the post-drill critique. The inspectors also reviewed the applicable drill objectives from the scenario to determine if they had been achieved. ln addition, the inspectors performed a simulator fidelity review to determine if the arrangement of the simulator instrumentation, controls, and tagging closely paralleled that of the control room.

b. Findinqs No findings were identified.

1R12 Maintenance Effectiveness (71 1 I 1.12Q)

.1 Equipment Failure Evaluations (4 samples)

a. Inspection Scope

The inspectors reviewed the four samples listed below for items such as:

(1) appropriate work practices;
(2) identifying and addressing common cause failures;
(3) scoping in accordance with 10 CFR 50.65 paragraph
(b) of the Maintenance Rule; (4)characterizing reliability issues for performance;
(5) trending key parameters for condition monitoring;
(6) charging unavailability for performance;
(7) classification and reclassification in accordance with 10 CFR 50.65 paragraph (aX1 ) or (aX2); and (8)appropriateness of performance criteria for structures, systems, and components (SSCs)/functions classified as paragraph (a)(2) and/or appropriateness and adequacy of goals and corrective actions for SSCs/functions classified as paragraph (aX1).

.

Control Room Envelope Functional Failure Evaluation

.

Drywell to Torus Vacuum Breaker Functional Failure Evaluation

.

HPCI Drain Valves Functional Failure Evaluation

.

'B' Reactor Building Closed Cooling Water Heat Exchanger Functional Failure Evaluation b.

Findinqs lntroduction. The inspectors identified an NCV of very low safety significance (Green) of I O Cfn 50.65 paragraph (aX1) and (a)(2), "Requirements for Monitoring the Effectiveness of Maintenance of Nuclear Power Plants," because Entergy did not monitor the performance of the Primary Containment System (Drywell to Torus Vacuum Breaker Components) against license-established goals to provide reasonable assurance that these components are capable of fulfilling their intended functions.

Specifically, Entergy did not identify a functional failure of the Drywell to Torus Vacuum Breaker Component portion of the Primary Containment System and thereby did not recognize that the system exceeded its unavailability performance criteria requiring a Maintenance Rule (aX1) evaluation. The subsequent evaluation concluded that the system should be classified as (a)(1), corrective actions specified, and system monitoring completed.

Description.

On May 13, Entergy was unable to establish the required differential pressure netween the drywell and the torus (suppression chamber)during plant start-up.

Entergy performed a plant shutdown and determined that several Drywell to Torus Vacuum Breakers were leaking by, which precluded the ability to establish the differential pressure. On May 26, System Engineering evaluated the condition and concluded that the issue was not a functional failure since the plant was not operated beyond the point at which the drywell to torus differential pressure was required to be established by plant technical specifications. The inspectors subsequently reviewed the basis for this conclusion and determined that the function(s) of the Drywell to Torus Vacuum Breakers would have been required independent of this specific technical specification (i.e., when the susceptibility to a Loss of Coolant Accident above 212F was established during plant heat-up). Entergy re-evaluated the condition and concluded that a maintenance preventable functionalfailure had occurred since a maintenance activity conducted during the refueling outage had incorrectly adjusted several vacuum breakers and post work testing was not completed to identify the leaking condition prior to plant start-up. As a result of the re-classification of this degraded condition, System Engineering evaluated the status of the Primary Containment System and concluded that the system should be classified under 10 CRF50.65(a)(1), goals and corrective actions established, and system monitoring specified.

Analvsis. The inspectors determined that Entergy's failure to identify the Dry,vell to Torus Vacuum Breakers condition as a functionalfailure, and as a result, the failure to perform an evaluation of the system under 50.65(a)(1) and thereby specify goals, corrective actions, and monitoring, was a performance deficiency within Entergy's ability to foresee and correct and should have been prevented. Traditional Enforcement did not apply, as the issue did not have actual or potential safety consequence, had no willful aspects, and did not impact the NRC's ability to perform its regulatory function. A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"

revealed that no minor examples were applicable to this finding. The finding is more than minor because it is associated with the Barrier Performance attribute of the Barrier Integrity cornerstone, in that, the issue affected the Primary Containment System reliability due to the failure to recognize the need to evaluate the system for goals, corrective actions, and monitoring. The inspectors determined the significance of the finding using IMC 0609-04, "Phase 1 - lnitial Screening and Characterization of Findings." The finding was determined to be of very low safety significance (Green)because the degraded condition had been corrected by the time of the failure to accurately evaluate the maintenance rule functional failure. As a result, this finding did not involve a design or qualification deficiency, did not result in a loss of system safety function, and did not screen as potentially risk significant due to external initiating events.

The finding has a cross-cutting aspect in the Human Performance cross-cutting area, Decision Making component; in that, Entergy did not use conservative assumptions during the evaluation of the degraded Drywell to Torus Vacuum Breakers to correctly conclude that a functional failure had occurred. Specifically, Entergy did not consider that the function of these vacuum breakers would be required as soon as plant conditions exceeded 212F and therefore the procedural guidance for Technical Specification applicability not being exceeded was an incorrect basis for this decision.

lH.1(b)l

Enforcement.

10 CFR 50.65 (aX1), requires, in part, that the holders of an operating license shall monitor the performance or condition of structures, systems, or components (SSCs) within the scope of the rule as defined by 10 CFR 50.65 (b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such SSCs are capable of fulfilling their intended functions. 10 CFR 50.65 (aX2) states, in part, that monitoring as specified in 10 CFR 50.65 (aX1) is not required where it has been demonstrated that the performance or condition of an SSC is being effectively controlled through the performance of appropriate preventive maintenance, such that the SSC remains capable of performing its intended function. Contrary to the above, on May 26, Entergy incorrectly evaluated a Primary Containment System component failure which precluded System Engineering from evaluating the system for 10 CFR 50.65(aX1) monitoring requirements. Subsequently, Entergy re-evaluated the Primary Containment System for this functional failure and determined that monitoring under 10 CFR 50.65(a)(1) would be required.

Corrective actions taken for this violation included revising the Maintenance Rule functional failure evaluation for this equipment, classifying the Primary Containment System as a 10 CFR 50.65(a)(1) system, and specifying goals, corrective actions, and monitoring for the system. Because this violation was of very low safety significance and was entered into Entergy's corrective action program (CR-PNP-2011-2993 and -3210), this violation is being treated as an NCV, consistent with the NRC's Enforcement Policy. (NCV 05000293/2011004-02, Failure to ldentify a Primary Containment System Maintenance Rule Functional Failure and Thereby Establish Monitoring Requirements for the System).

.2 Maintenance Rule (aX3) Evaluation Review (1 sample)

a. Inspection Scope

The inspectors performed a review of the Entergy assessment of the Pilgrim Maintenance Rule program implementation as specified by 10 CFR 50.65(a)(3). The inspectors evaluated whether this assessment was conducted within the periodicity required by 10 CFR 50.65(aX3). The inspectors also evaluated whether Entergy reviewed 10 CFR 50.65(a)(1) goals and 10 CFR 50.65(a)(2) performance criteria.

Preventive maintenance and corrective action effectiveness associated with this program were also reviewed. In addition, the inspectors evaluated the use of lndustry Operating Experience within the program and whether adjustments to the program were made as a result of the periodic assessment. The documents reviewed are listed in the

.

b. Findinqs No findings were identified.

1R13 Maintenance Risk Assessments and Emergent Work Control (71111

.13 - 4 samples)

a. Inspection Scope

The inspectors evaluated four maintenance risk assessments for emergent and planned testing and maintenance activities. The inspectors reviewed maintenance risk evaluations, work schedules, and control room logs to determine if concurrent maintenance or surveillance activities adversely affected the plant risk already incurred with out-of-service components. The inspectors evaluated whether Entergy took the necessary steps to controlwork activities, minimized the probability of initiating events, and maintained the functional capability of mitigating systems. The inspectors assessed Entergy's risk management actions during plant walkdowns. The inspectors reviewed the conduct and adequacy of maintenance risk assessments for the following maintenance and testing activities:

.

Green Risk during Load Shed Testing of the 'A' and 'C' Residual Heat Removal and 'A'Core Spray Pumps

.

Green Risk during 'A' Emergency Diesel Generator Load Shed Testing

.

Yellow Risk during maintenance on the Station Blackout Diesel Generator and the Shutdown Transformer and an emergent issue with offsite power Line 342

.

Green Risk during maintenance on both 'A' and 'B' trains of the Standby Gas Treatment system b. Findinqs

Introduction.

The inspectors identified a Green NCV of 10 CFR 50.65(a)(4) because Entergy did not assess and manage risk during elective maintenance for both the 'A'and

'B' trains of the StandBy Gas Treatment (SBGT) system. Specifically, Entergy did not consult qualitative guidance in their risk assessment procedure before removing both trains of SBGT, thereby removing the Secondary Containment key safety function while online.

Description.

On August 3, Pilgrim elected to perform maintenance on both the 'A' and

'B' SBGT demister drain valves, rendering both trains of SBGT unavailable. Pilgrim's Secondary Containment System (SCS) is designed to be sufficiently leaktight to allow at least one train of SBGT to reduce reactor building pressure to a minimum sub-atmospheric pressure of 0.25 inches of water and for SBGT to treat assumed leakage rates and fission products entrapped in the SCS. Another function of the SCS is to limit the ground level release to the environs of airborne radioactive materials so that offsite doses from a design basis fuel accident or loss of coolant accident will be below the guideline values stated in 10 CFR Part 100, "Reactor Site Criteria."

Entergy's Equipment Out of Service (EOOS) risk assessment model does not quantitatively model SBGT nor SCS, since the absence of their function does not contribute quantifiably to core damage frequency (CDF). However, Pilgrim's Secondary Containment is a key safety function that prevents or mitigates the consequences of accidents that could result in potentially significant off-site exposures. Thus, a qualitative risk evaluation for the absence of a key safety function is warranted. As described in Entergy's procedure EN-WM-104, Revision 4, Online Risk Assessment, the definition of a Qualitative Risk Assessment, in part, is "an evaluation of the risk of maintenance based on judgment, in which a broad spectrum of potential impacts on plant safety and operation are considered. These may include, but are not limited to, Technical Specifications, defense in depth, impacts on key safety functions, and radiological/AlARA." Furthermore, Pilgrim's procedure 1.5.22, Revision 14, Risk Assessment Procedure, Section 5.4.2, Qualitative Risk Assessment Guidelines states, "Maintenance activities degrading the integrity of Primary and/or Secondary Containment can increase Large Early Release Frequency. As Primary and/or Secondary Containment is not modeled in EOOS, the risk associated with these activities will be qualitatively assessed by raising the EOOS color one level; e.9., green to yellow." lt goes on to discuss, "The PSA model does not address the radioactivity release protection afforded. lt is entirely possible that planned SBGT maintenance can degrade the radioactivity release mitigation function."

The inspectors identified that qualitative considerations were not discussed during the work planning process and that procedure 1.5.22 and EN-WM-104 were not consulted.

Thus, the qualitative aspects of removing the secondary containment key safety function were not evaluated by station personnel. Entergy entered this issue into their corrective action program as CR-PNP-2011-3791. Corrective actions planned include evaluating and revising onsite procedure 1.5.22 to better match EN-WM-104 in regard to qualitative criteria as well as to improve proficiency for Senior Reactor Operators and Work Week Managers in the use of qualitative risk assessment guidelines Analvsis. The performance deficiency associated with this finding is that Entergy did not correctly perform a risk assessment using qualitative criteria as outlined in station procedures for elective maintenance of both trains of SBGT as specified by 10 CFR 50.65(aX4). The performance deficiency was within Entergy's ability to foresee and correct and should have been prevented. Traditional Enforcement did not apply as the issue did not have actual or potential safety consequence, had no willful aspects, nor did it impact the NRC's ability to perform its regulatory function.

A review of NRC Inspection Manual Chapter (lMC) 0612, Appendix E, "Minor Examples,"

identified that Section 7, Maintenance Rule, Example e, reflected a similar more than minor example. This finding was determined to be more than minor because Entergy's risk assessment failed to account for the loss or significant uncompensated impairment of a key operating safety function. In addition, the finding affected the Human Performance attribute of the Barrier Integrity cornerstone's objective to ensure that physical design barriers (containment) protect the public from radionuclide releases caused by accidents or events. The inspectors performed an evaluation in accordance with IMC 0609, "significance Determination Process," Attachment 4, "Phase 1 -lnitial Screening and Characterization of Findings," and determined that the finding was of very low safety significance (Green) because the finding only represented a degradation of the radiological barrier function provided for the SBGT system.

The inspectors determined that this finding had a cross-cutting aspect in the Human Performance cross-cutting area, work control component, because Entergy did not plan work activities by incorporating appropriate risk insights. H.3(a)

Enforcement.

10 CFR 50.65 paragraph (aX4), "Requirements for Monitoring the Effectiveness of Maintenance at Nuclear Power Plants," States, in part, that "'..the licensee shall assess and manage the increase in risk that may result from the proposed maintenance activities." Contrary to the above, on August 3, Energy did not correctly assess the risk of removing the SCS safety function. As a result, Entergy did not recognize an increased risk condition and thus did not take risk management actions.

Corrective actions planned include evaluating and revising onsite procedure 1.5.22to better match EN-WM-104 in regard to qualitative criteria as well as improve proficiency for Senior Reactor Operators and Work Week Managers in the use of qualitative risk assessment guidelines. Because of the very low safety significance and because it has been entered into the corrective action program (CR-PNP-2011-3791), the NRC is treating this as a non-cited violation (NCV), consistent with Section 2.3.2 a of the NRC's Enforcement Policy. (NCV 05000293/2011004-03, Failure to Accurately Assess Risk of Maintenance on Standby Gas and Secondary Gontainment)

1R15 Operabilitv Evaluations

a. Inspection Scope

The inspectors reviewed four operability determinations associated with degraded or non-conforming conditions to determine if the operability determination was justified and if the mitigating systems or barriers remained available such that no unrecognized increase in risk had occurred. The inspectors also reviewed compensatory measures to determine if the compensatory measures were in place and were appropriately controlled. The inspectors reviewed Entergy's performance against related Technical Specifications and UFSAR requirements. The inspectors reviewed the following degraded or non-conforming conditions:

. CR-PNP-2011-3344, Residual Heat Removal Loop 'A' Containment Spray Header Flow Transmitter Power Supply Ripple Voltage Out of Specification

. CR-PNP-2011-3424, High Pressure Coolant Injection Turbine Exhaust Line Drain Valves Open when they are Normally Closed

. CR-PNP-2011-3733, Failure to Include Seismic Input in Channel-Control Blade lnterference Guidance

. CR-PNP-2011-4164 and CR-PNP-2011-4200, 'B'Standby Liquid Control Degraded Conditions b. Findinqs No findings were identified.

1R19 Post-Maintenance Testinq

a. Inspection Scooe The inspectors reviewed seven samples of post-maintenance tests during this inspection period. The inspectors reviewed these activities to determine whether the post-maintenance test adequately demonstrated that the safety-related function of the equipment was satisfied given the scope of the work performed, and that operability of the system was restored. ln addition, the inspectors evaluated the applicable test acceptance criteria to verify consistency with the associated design and licensing bases, as well as Technical Specification requirements. The inspectors also evaluated whether conditions adverse to quality were entered into the corrective action program for resolution. The following maintenance activities and their post-maintenance tests were evaluated:

. Replace the Recirculation Flow Converter providing input to the 'B'Average Power Range Monitor Flow-Biased Scram Setpoint

. Replace Internals on the'D' Reactor Building Component Cooling Water Discharge Check Valve

. Replace Standby Gas Treatment Demister Drain Valves

. Replace Standby Gas Treatment Damper AO-N-98

.

Replace the Drain Valve on the Automatic Depressurization pressure switch for the'B'Residual Heat Removal PumP

.

Post Installation Test on the Alternate Charger for the 'A' DC 24V Batteries

.

Preventative Maintenance and Testing on Air Cooled Breaker 103 b.

Findinqs No findings were identified.

1R22 Surveillance Testinq

a. Inspection Scope

The inspectors witnessed five surveillance activities and/or reviewed test data to determine whether the testing adequately demonstrated equipment operational readiness and the ability to perform the intended safety-related functions. The inspectors reviewed selected prerequisites and precautions to determine if they were met, and if the tests were performed in accordance with the procedural steps.

Additionally, the inspectors evaluated the applicable test acceptance criteria for consistency with associated design bases, licensing bases, and Technical Specification requirements. The inspectors also evaluated whether conditions adverse to quality were entered into the corrective action program for resolution. The following surveillance tests were evaluated:

.

'D' Reactor Building Closed Cooling Water Pump Biennial Comprehensive In-Service Test (lST)o 'B'Core Spray Pump and Valve Quarterly IST

.

High Pressure Coolant Injection Cold Quickstart Test

.

'A' Salt Service Water Loop Flow Rate Operability Test

.

'B' Salt Service Water Pump Quarterly IST b.

Findinqs No findings were identified.

Gornerstone: Emergency Preparedness 1EP2 Alert and Notification Svstem (ANS) Evaluation (71114.02 - 1 sample)

Inspection Scope An onsite review was conducted to assess the maintenance and testing of the Pilgrim Nuclear Power Station ANS. During this inspection, the inspectors interviewed EP staff responsible for implementation of the ANS testing and maintenance, and reviewed Condition Reports pertaining to the ANS for causes, trends, and corrective actions. The inspectors reviewed the ANS procedures and the ANS design report to ensure Entergy's compliance with design report commitments for system maintenance and testing. The inspection was conducted in accordance with NRC Inspection Procedure 71114, Attachment 02. Planning Standard, 10 CFR 50.47(bX5) and the related requirements of 10 CFR 50, Appendix E, were used as reference criteria.

b.

Findinos No findings were identified.

1EP3 Emerqencv Response Orqanization (ERO) Staffinq and Auqmentation Svstem

a. Inspection Scope

The inspectors performed a review of Pilgrim's ERO augmentation staffing requirements and the process for notifying and augmenting the ERO. This was conducted to ensure the readiness of key licensee staff to respond to an emergency event and to ensure Entergy's ability to activate their emergency facilities in a timely manner. The inspectors reviewed the Pilgrim ERO roster, training records, applicable procedures, drill reports for augmentation, quarterly EP drill reports, and CRs related to the ERO staffing augmentation system. The inspection was conducted in accordance with NRC Inspection Procedure 71114, Attachment 03. Planning Standard, 10 CFR 50.47(bX2)and related requirements of 10 CFR 50, Appendix E, were used as reference criteria.

b. Findinqs No findings were identified.

1EP4 EmerqencvAction Level (EAL) and Emerqencv Plan Chanoes

a. Inspection Scope

Since the last NRC inspection of this program area, in November 2010, Entergy had implemented various revisions of the different sections of the Pilgrim Nuclear Power Station Emergency Plan. Entergy had determined that, in accordance with 10 CFR 50.54(q), any change made to the Plan, and its lower-tier implementing procedures, had not resulted in any decrease in effectiveness of the Plan, and that the revised Plan continued to meet the requirements of 10 CFR 50.47(b) and Appendix E to 10 CFR 50. The inspectors reviewed all EAL changes that had been made since November 2010, and performed a sampling review of other Emergency Plan changes, including the changes to lower-tier emergency plan implementing procedures and EP-related equipment, to evaluate for any potential decreases in effectiveness of the Emergency Plan. However, this review was not documented in an NRC Safety Evaluation Report and does not constitute formal NRC approval of the changes.

Therefore, these changes remain subject to future NRC inspection in their entirety. The inspection was performed in accordance with NRC Inspection Procedure 71114, 04. The requirements in 10 CFR 50.5a(q) were used as reference criteria.

b. Findinqs No findings were identified.

1EPs Correction of Emerqencv Preparedness Weaknesses (71114.05 - 1 sample)lnspection Scope The inspectors reviewed a sampling of self-assessment procedures and reports to assess Entergy's ability to evaluate their EP performance and programs. The inspectors reviewed a sampling of condition reports from January 2010 through July 2011, initiated by Entergy at Pilgrim from drills, self-assessments and audits. Additionally, the inspectors reviewed Quality Assurance audits, including 10 CFR 50.54(t) audits, and several self-assessment reports. This inspection was performed in accordance with NRC lnspection Procedure71114, Attachment 05. Planning Standard, 10 CFR 50.47(b)

(14) and the related requirements of 10 CFR 50 Appendix E were used as reference criteria.

b. Findinqs No findings were identified.

lEPO Drill Evaluation (71114.06 - 1 sample)

a. Inspection Scope

The inspectors observed a licensed operator emergency preparedness drill on September 7. The inspectors evaluated operator performance in the simulator for a Hostile Action Based scenario which resulted in the loss of the onsite Fire Protection Systems and the Intake Structure. The scenario escalated from an unusual event to a general emergency. The inspectors assessed the implementation of Emergency Action Level classification and notification decisions for this event. The inspectors also assessed whether Pilgrim's critique of the exercise assessed all observations and findings.

b. Findinqs No findings were identified.

2. RADTATTON SAFETY (RS)

Gornerstones: Occupational and Public Radiation Safety 2RS08 Radioactive Solid Waste Processinq and Radioactive Material Handling. Storaqe and Transportation (7 1 I 24.08)

a. Inspection Scope

During the period August 8 through August 11, the inspector performed the following activities to verify that Entergy effectively implemented their programs for processing, handling, storage and transportation of radioactive material. lmplementation of these controls was reviewed against the criteria contained in 10 CFR Part20, relevant Technical Specifications, and the licensee's procedures.

lnspection Planninq The inspector reviewed the solid waste system description in Pilgrim's Updated Final Safety Analysis Report, Pilgrim's Process Control Program, and Pilgrim's 2010 Annual Effluent Release Report.

The inspector reviewed Pilgrim's 2009 audit, QA-1 4115-2009-PNP-01, of the Radiation Protection / Radwaste program.

Radioactive Material Storaqe The inspector observed the storage of containers of radioactive material in the Trash Compactor Facility (TCF) yard area and other areas of the site. The inspector verified the containers were properly labeled.

The inspector verified that the radioactive material storage areas were properly posted and controlled.

The inspector verified that Entergy has established a process for monitoring the impact of long-term storage of radioactive waste.

The inspector verified that there were no signs of swelling or leakage of the containers used to store radioactive materials.

Radioactive Waste Svstem Walkdown

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The inspector walked down the accessible portions of the liquid and solid radioactive waste systems including the reactor water clean-up system, the chemical waste clean-up system, clean waste clean-up system, and the spent resin processing system.

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The inspector verified the concentrator that was abandoned in place is isolated and will not contribute to an unmonitored release path.

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The inspector verified there have been no changes to the radioactive waste processing system since the last inspection in 2009'

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The inspector verified that the waste stream mixing, sampling procedures, and methodology for waste concentration averaging are consistent with the Process Control Plan (PCP) and provide representative sampling of the spent resin for waste classification.

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The inspector verified that the liquid waste tanks for discharge are recirculated to provide sufficient mixing.

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The inspector verified the PCP contains references to procedures that correctly describe the current methods for dewatering and waste stabilization.

Waste Characterization and Classification

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The inspector reviewed the analyses for two waste streams and verified that Entergy's radiochemical sample analysis results were sufficient to support accurate radioactive waste characterization. The inspector verified that Entergy's use of scaling factors, dose rates and dose to curie conversion factors, and calculations to account for difficult-to-measure radionuclides is technically sound and based on current 10 CFR Part 61 analyses'

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The inspector verified that Entergy's procedures take into account changing plant operational parameters, and additional samples are obtained for 10 CFR Part 61 analyses when needed to maintain the validity of the waste stream composition data between the annual and biennial sample analysis.

. The inspector verified that Entergy has established and maintains an adequate Quality Assurance program to ensure compliance with the waste classification and characterization requirements.

Shipment Preparation

. The inspector observed the loading of a spent resin liner into a transport cask and torquing of the lid for transport. The inspector observed the labeling, marking, placarding, vehicle checks, shipping papers provided to the driver, and licensee verification of shipment readiness. The inspector verified that the receiving licensee was authorized to receive the shipment packages'

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The inspector observed radiation protection technicians during the conduct of radioactive waste processing and radioactive material shipment preparation. The inspector verified that the personnel were knowledgeable of the shipping regulations and demonstrated adequate skills to accomplish the package preparation req u rements for publ ic transport.

i Shippinq Records

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The inspector reviewed three Type A shipping packages and verified the documents indicated the proper shipper name; emergency response information including a 24-hour contact telephone number; accurate curie content and volume of material; appropriate waste classification; and UN number.

Problem ldentification and Resolution

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The inspector reviewed Pilgrim's self-assessments and audits related to the solid radioactive material control program to determine if identified problems were entered into the corrective action program. The inspector verified that problems identified were put into the corrective action program and appropriate corrective actions were identified.

b. Findinos No findings were identified.

OTHER ACTIVITIES

]OAI 40A1 Performance Indicator (Pl) Verification (71 151)

.1 Cornerstone: Mitiqatinq Svstems (3 samples)

a. Inspection Scope

The inspectors reviewed Pl data to determine the accuracy and completeness of the reported data. The review was accomplished by comparing reported Pl data to confirmatory plant records and data available in plant logs, condition reports, Licensee Event Reports, and NRC inspection reports. The acceptance criteria used for the review was Nuclear Energy Institute (NEl) 99-02, Revision 6, "Regulatory Assessment Performance lndicator Guidelines." The following performance indicators were reviewed:

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High Pressure Coolant Injection System from the third quarter of 2Q10 through the second quarter of 2011 [MS07]

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Heat Removal System from the third quarter of 2Q10 through the second quarter of 2011 [MS08]

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Residual Heat Removal System from the third quarter 2010 through the second quarter of 2011 [MS09]

b. Findinqs No findings were identified.

.2 Cornerstone: Emerqencv Preparedness (EP) (3 samples)

a. Inspection Scope

The inspectors reviewed data for the Pilgrim EP Pls, which are:

(1) Drill and Exercise Performance (DEP);
(2) Emergency Response Organization (ERO) Drill Participation; and,
(3) Alert and Notification System (ANS) Reliability. The last NRC EP inspection at Pilgrim was performed in the fourth quarter of 2010, so the inspectors reviewed supporting documentation from EP drills, training records, and equipment tests from the fourth calendar quarter of 2010 through the second quarter of 2011, to verify the accuracy of the reported Pl data. The review of these Pls was conducted in accordance with NRC lnspection Procedure 71151, using the acceptance criteria documented in NEI gg-02, "Regulatory Assessment Performance Indicator Guidelines," Revision 6.

b. Findinqs No findings were identified.

4c.42 ldentification and Resolution of Problems (71152)

.1 Review of ltems Entered into the Corrective Action Prooram (CAP)

a. Inspection Scope

The inspectors performed a screening of each item entered into Entergy's corrective action program. This review was accomplished by reviewing printouts of each condition report, attending daily screening meetings and/or accessing Entergy's database. The purpose of this review was to identify conditions such as repetitive equipment failures or human performance issues that might warrant additional follow-up.

b. Findinqs No findings were identified.

Annual Sample: Operator Workarounds Inspection Scope The inspectors performed the annual review of operator workarounds to verify Entergy was identifying operator workaround problems at an appropriate threshold and entering them into the corrective action program. The inspectors reviewed identified workarounds to determine whether the mitigating system function was affected, whether the operator's ability to implement abnormal and emergency operating procedures was affected, and whether appropriate procedures had been updated to reflect actual plant conditions. The inspection was accomplished through personnel interviews, plant tours, and review of station documents.

Findinqs No findings were identified. Operator workarounds have been identified and entered into the corrective action program for resolution. No unrecognized impacts to operator or system performance were identified, and corrective actions have been implemented or are planned to restore the affected systems.

Event Follow-up (71 153)

.1 (2 samples)

Inspection Scope The inspectors observed operators perform a condenser backwash and control rod testing on July 21 and September 20. Specifically, the inspectors observed planned plant downpowers to approximately 50 percent reactor power to support backwashes of the main condenser on these dates. The inspectors reviewed procedural guidance for station power changes and the power maneuver plan, and observed the lnfrequently Performed Test or Evolution briefs. The inspectors also observed control room operator performance during the power maneuvers and in response to unexpected plant conditions.

b. Findinqs No findings were identified.

.2 'A'and 'B'Trains of Salt Service Water (SSW) Svstem Declared Inoperable (1 sample)

a. Inspection Scope

On September 22, Entergy identified that all five SSW pumps were susceptible to failure during certain degraded voltage scenarios. Entergy evaluated plant risk and entered the appropriate Technical Specification (TS) which was to place the reactor in cold shutdown within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> with both trains of SSW inoperable. Entergy performed a modification that removed the design vulnerability and exited TS before having to shutdown. The inspectors responded to the control room, reviewed Entergy's actions, plant risk, and TS administration.

b. Findinqs No findings were identified.

.3 (Closed) Licensee Event Report (LER 05000293/201 1-001-00). Technical Specification

(TS) Required Shutdown - Reactor Buildinq Closed Coolinq Water (RBCCW)'B' Declared Inoperable The inspectors reviewed Entergy's actions and reportability criteria associated with LER 05000293/2011-001-00, which is addressed in CR-PNP-2011-0721. On February 20, Pilgrim commenced a shutdown of the reactor due to the 'B' RBCCW system being declared inoperable and expected to exceed its 72-hour TS Limiting Condition for Operability. NRC Inspection Report 05000293/2011002, Section 4OA3 documents the event and the inspectors' response. Following the event, repair activities identified a single tube leak in the 'B' RBCCW heat exchanger related to a shortened inlet end sleeve. No findings or violations of NRC requirements occurred. This LER is closed.

.4 (Closed) Licensee Event Report (LER 05000293/2011-002-00). Reactor Scram Durinq a

Planned Reactor Cool-Down with All Control Rods Fullv lnserted The inspectors reviewed Entergy's actions associated with LER 05000293/2011-002-00, which is addressed in CR-PNP-2011-0733. On February 20, with the reactor shutdown and all control rods fully inserted, a valid Reactor Protection System low reactor water level scram initiation signal was received. At the time of the event, a reactor cooldown was in progress and the Reactor Mode Selector Switch was in "Startup". Entergy performed a causal analysis and determined that the scram actuation signal was the result of reactor water level control difficulties during the cooldown using the Mechanical Pressure Regulator. Reactor Water level was immediately restored and the scram signal was reset. No findings or violations of NRC requirements occurred. This LER is closed.

.5 (Closed) Licensee Event Report (LER 05000293/2011-003-00). Reactor Scram on

lntermediate Ranqe Monitor Hiqh-Hioh Flux The inspectors reviewed Entergy's actions and reportability criteria associated with LER 05000293/2011-003-00, which is addressed in CR-PNP-2011-2475. On May 10, a reactor scram event occurred at Pilgrim during a reactor plant start-up. A Special Inspection Team (SlT) was chartered and arrived on-site on May 16. The SIT reviewed the event, interviewed personnel, and reviewed Entergy's root cause analysis. NRC Inspection Report 05000293/2011012 was issued on September 1, and documents the results of the SIT inspection. This LER is closed.

.6 (Closed) Licensee Event Report (LER 05000293/2011-004-00). Technical Specification

(TS) Required Shutdown Drwell to Torus DP The inspectors reviewed Entergy's actions associated with LER 05000293/2011-004-00, which is addressed in CR-PNP-2011-2538. On May 14, plant operators were unable to establish a drywell to torus differential pressure as specified by TS. The plant was shutdown, the problem investigated, and several drywell to Torus Vacuum Breakers were found leaking due to an improper magnet to striker plate clearance. Entergy performed a causal analysis and determined that the vacuum breakers had been incorrectly adjusted during refueling outage maintenance activities due to insufficient procedural guidance. The vacuum breakers were re-adjusted and a plant startup was commended. No findings or violations of NRC requirements occurred. This LER is closed.

4OAO Meetinqs. Includinq Exit On July 28, an Emergency Preparedness exit meeting was conducted with Mr. Stephen Bethay, Director of Nuclear Safety Assurance, and other members of the Entergy staff.

The inspector confirmed that proprietary information was not provided or examined during the inspection.

On August 11, a Radiation Safety exit meeting was conducted with Mr. Vincent Fallacara, Director of Engineering (and Acting Site Vice President). The inspector confirmed that no proprietary information was provided to the inspector for the inspection.

On October 13, the resident inspectors conducted an exit meeting and presented the preliminary inspection results to Mr. Robert Smith, and other members of the Pilgrim staff. The inspectors confirmed that proprietary information provided or examined during the inspection was controlled and/or returned to Entergy, and the content of this report includes no proprietary information.

ATTACHMENT:

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Entergy personnel:

S. Brewer Radiation Protection Supervisor

D. Brugman Radiation Protection Supervisor

B. Chenard System Engineering Manager

J. Dreyfuss Plant General Manager

V. Fallacara Engineering Director

E. Herbert l&C Supervisor

W. Lobo Licensing Engineer

J. Lynch Director, Nuclear Safety Assurance and Licensing Manager

J. Macdonald Assistant Operations Manager-Shift

T. McElhinney Training Manager

D. Noyes Operations Manager

M. O'Meara System Engineer

R. Pace Design Engineering Supervisor

J. Priest Radiation Protection Manager

M. Santos Chemistry Technician

J. Scheffer Chemistry Supervisor

K. Sejkora Senior Chemistry Specialist

R. Smith Site Vice President

J. Taormina Maintenance Manager

J. Whalley Operations Shift Manager

T. White Emergency Planning Manager

LIST OF ITEMS

OPENED, CLOSED AND DISCUSSED

Opened and Closed

05000293/2011-004-01 NCV Failure to Verify the Adequacy of the Design for the 'C' Salt Service Water PumP
05000293/2011-004-02 NCV Failure to ldentify a Primary Containment System Maintenance Rule Functional Failure and Thereby Establish Monitoring Requirements for the System
05000293/2011-004-03 NCV Failure to Accurately Assess Risk of Maintenance on Standby Gas and Secondary Containment

Closed

05000293/2011-001-00 LER Technical Specification (TS) Required Shutdown -

Reactor Building Closed Cooling Water (RBCCW)

'B' Declared Inoperable

05000293/2011-002-00 LER Reactor Scram During a Planned Reactor Cool-Down with All Control Rods Fully Inserted
05000293/2011-003-00 LER Reactor Scram on Intermediate Ranger Monitor High-High Flux
05000293/2011-004-00 LER Technical Specifications (TS) Required Shutdown Drywell to Torus DP

LIST OF DOCUMENTS REVIEWED