IR 05000237/2007003: Difference between revisions
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
||
(2 intermediate revisions by the same user not shown) | |||
Line 3: | Line 3: | ||
| issue date = 07/30/2007 | | issue date = 07/30/2007 | ||
| title = IR 05000237-07-003; 05000249-07-003; 07200037-07-001; 04/01/2007 - 06/30/2007; Exelon Generation Company, Dresden Nuclear Power Station, Units 2 and 3, Evaluations of Changes, Tests, or Experiments, Fire Protection, Corrective Action, and E | | title = IR 05000237-07-003; 05000249-07-003; 07200037-07-001; 04/01/2007 - 06/30/2007; Exelon Generation Company, Dresden Nuclear Power Station, Units 2 and 3, Evaluations of Changes, Tests, or Experiments, Fire Protection, Corrective Action, and E | ||
| author name = Ring M | | author name = Ring M | ||
| author affiliation = NRC/RGN-III/DRP/RPB1 | | author affiliation = NRC/RGN-III/DRP/RPB1 | ||
| addressee name = Crane C | | addressee name = Crane C | ||
| addressee affiliation = Exelon Generation Co, LLC, Exelon Nuclear | | addressee affiliation = Exelon Generation Co, LLC, Exelon Nuclear | ||
| docket = 05000237, 05000249, 07200037 | | docket = 05000237, 05000249, 07200037 | ||
Line 18: | Line 18: | ||
=Text= | =Text= | ||
{{#Wiki_filter: | {{#Wiki_filter:uly 30, 2007 | ||
==SUBJECT:== | |||
DRESDEN NUCLEAR POWER STATION, UNITS 2 AND 3 NRC INTEGRATED INSPECTION REPORT 05000237/2007003; 05000249/2007003; 07200037/2007-001 | |||
SUBJECT: DRESDEN NUCLEAR POWER STATION, UNITS 2 AND | |||
==Dear Mr. Crane:== | ==Dear Mr. Crane:== | ||
On June 30, 2007, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection | On June 30, 2007, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Dresden Nuclear Power Station, Units 2 and 3. The enclosed integrated inspection report documents the inspection findings, which were discussed on July 17, 2007, with Mr. D. Bost and other members of your staff. | ||
The | The inspection examined activities conducted under your license as they relate to safety and compliance with the Commissions rules and regulations and with the conditions of your license. | ||
The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel. | |||
Based on the results of this inspection, four NRC identified findings of very low safety significance (Green) were identified. All of these issues involved violations of NRC requirements. However, because of the very low safety significance and because they were entered into your corrective action program, the NRC is treating these violations as Non-Cited Violations consistent with Section VI.A.1. of the NRC Enforcement Policy. | |||
If you contest the subject or severity of a Non-Cited Violation, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, D.C. | |||
20555-0001; with copies to the Regional Administrator, Region III, 2443 Warrenville Road, Suite 210, Lisle, IL 60532-4352; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, D.C. 20555-0001; and the NRC Resident Inspector at the Dresden Nuclear Power Station. In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRC's document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room). | |||
Sincerely, | |||
Supplemental | /RA/ | ||
Mark A. Ring, Chief Branch 1 Division of Reactor Projects Docket Nos. 50-237; 50-249; 72-037 License Nos. DPR-19; DPR-25 Enclosure: | |||
Inspection Report 05000237/2007003; 05000249/2007003 and 07200037/2007-001 w/Attachment: Supplemental Information cc w/encl: Site Vice President - Dresden Nuclear Power Station Dresden Nuclear Power Station Plant Manager Regulatory Assurance Manager - Dresden Chief Operating Officer Senior Vice President - Nuclear Services Senior Vice President - Mid-West Regional Operating Group Vice President - Mid-West Operations Support Vice President - Licensing and Regulatory Affairs Director Licensing - Mid-West Regional Operating Group Manager Licensing - Dresden and Quad Cities Senior Counsel, Nuclear, Mid-West Regional Operating Group Document Control Desk - Licensing Assistant Attorney General Illinois Emergency Management Agency State Liaison Officer Chairman, Illinois Commerce Commission | |||
=SUMMARY OF FINDINGS= | =SUMMARY OF FINDINGS= | ||
IR 05000237/2007003; 05000249/2007003; 07200037/2007-001; 04/01/2007 - 06/30/2007; | IR 05000237/2007003; 05000249/2007003; 07200037/2007-001; 04/01/2007 - 06/30/2007; | ||
Changes, Tests, or Experiments, Fire Protection, Corrective Action, and Event Followup | Exelon Generation Company, Dresden Nuclear Power Station, Units 2 and 3, Evaluations of Changes, Tests, or Experiments, Fire Protection, Corrective Action, and Event Followup. | ||
Findings for which the SDP does not apply may be Green or be assigned a severity level after NRC management review. The | This report covers a 3-month period of baseline resident inspection, routine inspections by regional inspectors, and a routine inspection by regional and headquarters inspectors of pre-operational and operational activities associated with an Independent Spent Fuel Storage Installation. The inspection was conducted by Region III inspectors, headquarters inspectors, and the resident inspectors. Four Green findings, involving Non-Cited Violations, were identified. The significance of most findings is indicated by their color (Green, White, Yellow, | ||
Red) using Inspection Manual Chapter 0609, Significance Determination Process (SDP). | |||
Findings for which the SDP does not apply may be Green or be assigned a severity level after NRC management review. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, | |||
Revision 3, dated July 2000. | |||
===NRC-Identified and Self-Revealing Findings=== | ===NRC-Identified and Self-Revealing Findings=== | ||
Line 54: | Line 56: | ||
===Cornerstone: Initiating Events=== | ===Cornerstone: Initiating Events=== | ||
: '''Green.''' | : '''Green.''' | ||
A performance deficiency involving a Non-Cited Violation of 10 CFR 50.65(a)(4)was self-revealed after the Unit 2 reactor scram on May 4, 2007. The licensee failed to adequately assess and manage the risk associated with emergent work. The | A performance deficiency involving a Non-Cited Violation of 10 CFR 50.65(a)(4)was self-revealed after the Unit 2 reactor scram on May 4, 2007. The licensee failed to adequately assess and manage the risk associated with emergent work. The licensees root cause report determined that the cause of the scram was a loss of feedwater due to closure of the condensate pre-filter isolation and bypass valves. The condensate pre-filter programmable logic controller central processing unit (CPU) had failed and work was in-progress to replace the CPU. The performance of this work caused the valve closure. Corrective actions included: 1) the CPU card was replaced with vendor support and the programmable logic controller (PLC) was restarted; 2) a standing order on risk management treatment of condensate pre-filter PLC hardware activities was initiated; 3) actions for design engineering to develop a design specification for the condensate pre-filter valve CPU software were assigned; and 4) actions to proceduralize the requirements associated with performing condensate pre-filter troubleshooting, maintenance activities and system restoration were initiated. | ||
The finding was greater than minor because the maintenance that was performed resulted in an initiating event. The finding was of very low safety significance because all the equipment necessary to mitigate the transient worked as expected. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the human performance prevention techniques provided to the staff were not adequately followed. Personnel proceeded in the face of uncertainty and unexpected circumstances by not following a conservative decision making process (H.4.(a)). (Section 4OA3.2) | |||
===Cornerstone: Mitigation Systems=== | ===Cornerstone: Mitigation Systems=== | ||
: '''Green.''' | : '''Green.''' | ||
The inspectors identified a finding having very low safety significance and | The inspectors identified a finding having very low safety significance and an associated Severity Level IV Non-Cited Violation (NCV) of 10 CFR 50.59 for the licensees failure to perform an adequate safety evaluation review for changes made to the facility per safety evaluation 2005-02-001. Specifically, the licensee failed to provide an adequate basis as to why changes that credited the isolation condenser for decay heat removal in lieu of the automatic depressurization system and low pressure coolant injection (LPCI)/containment cooling service water and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI during a postulated high pressure coolant injection (HPCI) room high energy line break (HELB) did not require a license amendment. The licensee entered this issue into its corrective action program. | ||
Appendix F, | |||
Because the issue potentially impacted the NRCs ability to perform its regulatory function, this finding was evaluated using the traditional enforcement process. The finding was determined to be more than minor because the inspectors could not reasonably determine that the activity implemented per 10 CFR 50.59 safety evaluation 2005-02-001, which adversely affected systems important to safety, would not have ultimately required NRC approval. The inspectors completed a significance determination of the underlying technical issue using NRCs Inspection Manual Chapter (IMC) 0609, Appendix A, Significance Determination of Reactor Inspection Findings for At-Power Situations, and answered no to all of the questions under the Mitigating Systems cornerstone. Based upon this Phase 1 screening, specifically this issue did not represent a loss of function, did not result in exceeding a Technical Specification (TS)allowed outage time, and did not affect external event mitigation, the inspectors concluded that the issue was of very low safety significance (Green). The inspectors determined there was not a cross-cutting aspect to this finding. In accordance with the Enforcement Policy, the violation was therefore classified as a Severity Level IV violation. (Section 1R02) | |||
: '''Green.''' | |||
The inspectors identified a Non-Cited Violation (NCV) of the Dresden Nuclear Power Station Renewed Facility Operating License having very low safety significance (Green) for the licensees failure to restore fire brigade equipment to a ready status in a timely manner after the performance of a fire drill on June 12, 2007. Corrective actions by the licensee included the restoration of the fire brigade equipment to a ready status at 8:22 p.m. on June 13, 2007. | |||
The inspectors determined that this finding was more than minor because the failure to restore the fire brigade equipment to a ready status, if left uncorrected, would become a more significant safety concern. The inspectors completed a Phase 1 significance determination of this issue using IMC 0609, Significance Determination Process, | |||
Appendix A, Attachment 1, dated March 23, 2007. The inspectors determined that the finding affected the Mitigating Systems cornerstone and the fire protection defense-in-depth strategies. However, as discussed by IMC 0609, Appendix A, Attachment 1, issues related to performance of the fire brigade are not included in IMC 0609, | |||
Appendix F, Fire Protection Significance Determination Process, and require management review. Therefore, the finding was reviewed by NRC management, and was determined to be a finding of very low safety significance (Green) because the condition existed for slightly more than 24 hours, the delay in getting additional self-contained breathing apparatus would be a maximum of about 10 minutes, and the majority of the safety significant equipment in the turbine building is protected by an automatic fire suppression system. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the licensee failed to ensure adequate supervisory and management oversight of work activities (restoration of the fire brigade equipment), such that nuclear safety was supported (H.4(c)). (Section 1R05) | |||
: '''Green.''' | |||
On September 7, 2006, the inspectors identified a performance deficiency involving a Non-Cited Violation of 10 CFR Part 50, Appendix B, Criterion XVI, | |||
Corrective Action, for the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump until prompted by the inspectors. The pump is designed to ensure an adequate supply of make-up water to the isolation condenser during flood conditions to prevent core damage. Specifically, the licensee failed to ensure adequate corrective actions were taken to test the pump to its design limits, and failed to identify deficiencies with the suction hose to eliminate friction losses in the suction line. The licensee missed an opportunity to re-evaluate the losses in the suction line when the required flowrate was increased to 350 gpm in 2003 as a result of extended power uprate and consequently, failed to ensure that equipment associated with the pump was sized adequately for execution of the pumps safety function. The licensees corrective action for this issue included increasing the margin in net positive suction head (NPSH) by increasing the size of the pump suction line to a 30-foot length of 4-inch diameter hose, eliminating restrictions in the flowpath to the isolation condenser, and planning to review DOA 0010-04 and revise the procedure as appropriate to address the height above the water to which the pump could be elevated to maintain NPSH. | |||
This finding was more than minor because it affected the equipment performance and procedure quality attributes of the Mitigating Systems cornerstone, and affected the cornerstone objective of ensuring the reliability and capability of systems that respond to initiating events to prevent undesirable consequences. The issue was of very low safety significance based on the low initiating event probability and, because of the slow onset of the flooding and the reduced decay heat in the reactor core at the time recovery actions would be necessary, the licensee would be able to reasonably perform recovery actions that would prevent core damage. The primary cause of this finding was related to the cross-cutting issue of problem identification and resolution (corrective action program) because the licensee failed to take appropriate corrective actions to address safety issues and adverse trends in a timely manner, commensurate with their safety significance and complexity (P.1(d)). (Section 4OA3.3) | |||
===Licensee-Identified Violations=== | |||
No findings of significance were identified. | No findings of significance were identified. | ||
=REPORT DETAILS= | |||
= | ===Summary of Plant Status=== | ||
Summary of Plant | |||
Unit 2 began the inspection period at 912 MWe (95 percent thermal power and 100 percent of rated electrical capacity). | |||
* On May 4, 2007, the unit was manually scrammed following a loss of feedwater flow event due to condensate demineralizer pre-filter bypass valves going closed. The unit returned to full power on May 10, 2007. | |||
* On May 19, 2007, power was reduced to approximately 87 percent to perform a control rod pattern adjustment and turbine valve testing, and returned to full power the same day. | |||
* On June 16, 2007, power was reduced to approximately 87 percent to maintain the unit within main condenser vacuum limits due to operating with two circulating water pumps. | |||
A circulating water pump had to be secured due to a trip of the 2/3 A lift pump on low lube water flowrate. The unit returned to full power on the same day. | |||
* On June 30, 2007, power was reduced to approximately 87 percent to perform a control rod pattern adjustment, and returned to full power on the same day. | |||
Unit 3 began the inspection period at 912 MWe (95 percent thermal power and 100 percent of rated electrical capacity). | |||
* On April 9, 2007, power was reduced to approximately 97 percent to perform control rod drive time testing, and returned to full power on the same day. | |||
* On May 17, 2007, power was reduced to approximately 97 percent to perform control rod drive time testing, and returned to full power on the same day. | |||
* On May 18, 2007, power was reduced to approximately 97 percent due to an unplanned scram of control rod drive F-2. The unit returned to full power on the same day. | |||
* On May 27, 2007, power was reduced to approximately 72 percent to perform turbine valve testing, control rod drive testing, a control rod pattern adjustment, and various other activities. The unit returned to full power on the same day. | |||
==REACTOR SAFETY== | |||
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity {{a|1R01}} | |||
==1R01 Adverse Weather== | |||
{{IP sample|IP=IP 71111.01}} | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors conducted inspections on the following equipment and systems: | The inspectors conducted inspections on the following equipment and systems: | ||
*Unit 2 and 3 Station Blackout Diesels*Unit 2 125/250 Volts-Direct Current | * Unit 2 and 3 Station Blackout Diesels | ||
* Unit 2 125/250 Volts-Direct Current Batteries The inspectors selected the inspection samples listed above to ensure the equipment could perform design functions during summer conditions. The inspection reviewed the licensees operating experience, corrective action program, projected work schedule, summer readiness procedures, and Updated Final Safety Analysis Report (UFSAR) to verify facility readiness for summer high temperatures and high winds generated by summer storms. In addition to system walkdowns, a site walkdown was performed to evaluate potential vulnerabilities for missile generation during high winds or tornados. | |||
Communications protocol between the control room and the transmission system operator was also reviewed during the inspection and examples of the quality of communication were observed due to switchyard voltage issues that occurred during the inspection. Weather related conditions identified during the hot months of 2006 were verified to have been appropriately addressed through the corrective action program.This review represented one inspection sample. | Communications protocol between the control room and the transmission system operator was also reviewed during the inspection and examples of the quality of communication were observed due to switchyard voltage issues that occurred during the inspection. Weather related conditions identified during the hot months of 2006 were verified to have been appropriately addressed through the corrective action program. | ||
This review represented one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R02}} | ||
{{a|1R02}} | ==1R02 Evaluations of Changes, Tests, or Experiments== | ||
==1R02 Evaluations of Changes, Tests, or Experiments | {{IP sample|IP=IP 71111.02}} | ||
===.1 Review of 10 CFR 50.59 Evaluations and Screenings=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
This inspection was performed to follow-up URI 05000237/2006012-02;05000249/2006012-02 that was opened in the Modifications/50.59 inspection report (ML063200532) in 2006 and was related to a UFSAR change that credited non-safety systems to mitigate a high pressure coolant injection pump high energy line break when the licensee discovered credited safety systems (ADS/LPCI) would not be available. | This inspection was performed to follow-up URI 05000237/2006012-02; 05000249/2006012-02 that was opened in the Modifications/50.59 inspection report (ML063200532) in 2006 and was related to a UFSAR change that credited non-safety systems to mitigate a high pressure coolant injection pump high energy line break when the licensee discovered credited safety systems (ADS/LPCI) would not be available. | ||
====b. Findings==== | ====b. Findings==== | ||
Change of Systems Credited to Mitigate a High Pressure Coolant Injection (HPCI) | Change of Systems Credited to Mitigate a High Pressure Coolant Injection (HPCI) Pump Room High Energy Line Break (HELB) | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a Severity Level IV Non-Cited Violation (NCV)of 10 CFR 50.59 | The inspectors identified a Severity Level IV Non-Cited Violation (NCV)of 10 CFR 50.59 Changes, Tests, and Experiments, having very low safety significance (Green) involving the adequacy of a 10 CFR 50.59 safety evaluation for UFSAR changes that the licensee had implemented. Specifically, the inspectors questioned the adequacy of the licensees basis for determining that changes to UFSAR Section 3.6.1.5, Use of Isolation Condenser and Control Rod Drive System for Safe Shutdown Following a HELB, did not require a license amendment. | ||
=====Description:===== | |||
Unresolved Item (URI 05000237/2006012-02; 05000249/2006012-02) was opened during the 2006 NRC inspection for Evaluation of Changes, Tests, or Experiments and Permanent Plant Modifications, concerning the adequacy of the licensees basis, described in the 10 CFR 50.59 safety evaluation, for determining that changes to UFSAR Section 3.6.1.5 did not require a license amendment. | |||
On August 10, 2005, the licensee had completed 10 CFR 50.59 safety evaluation 2005-02-001 to support a UFSAR change to the systems credited with safe shutdown following a HPCI pump room HELB from strictly safety-related systems to a combination of safety-related and non-safety-related systems. Specifically, the licensee credited the isolation condenser for decay heat removal in lieu of the Automatic Depressurization System (ADS) and Low Pressure Coolant Injection (LPCI)/Containment Cooling Service Water (CCSW); and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI. The reason for this change as stated by the licensee, was that the original HELB analysis did not evaluate the affects of a HPCI steam line break in the HPCI room on plant equipment in other areas and that the Equipment Qualification (EQ)program only evaluated the equipment in the HPCI room that was needed to isolate the break. The licensee determined that the use of non-safety-related equipment for safe shutdown was made necessary because the postulated break in the HPCI room resulted in a harsh environment in the Unit 2/3 Emergency Diesel Generator (EDG) Room. | |||
Since the 2/3 EDG was not environmentally qualified for this environment, it was assumed to fail as a consequence of the HELB. To meet single failure requirements, the Unit 2 EDG was assumed to also fail. This scenario resulted in loss of all AC power required to power the LPCI or CCSW systems. Therefore, the original HELB analysis did not reflect the possibility that the ADS and LPCI would not be available to mitigate the HPCI room HELB. | |||
However, if possible, the underlying technical issue is evaluated under the SDP to determine the severity of the violation. In this case, the inspectors completed a significance determination of the underlying technical issue using | Rationale given in the safety evaluation for why a license amendment was not required was that the NRC addressed the issue of using the isolation condenser and control rod drive systems in lieu of safety-related systems for safe shutdown following a HELB for other areas during the Systematic Evaluation Program (SEP). Specifically, the licensee took credit for a safety evaluation generated by the NRC as part of the SEP which approved use of the isolation condenser for decay heat removal and control rod drive for reactor coolant inventory control in response to a feedwater system HELB and concluded that NRC acceptance implied that the HPCI room HELB change did not result in more than a minimal increase in the likelihood of a malfunction of an SSC important to safety. There was not rationale or explanation provided to support the jump to this conclusion. | ||
The inspectors noted that although similar non-safety equipment was relied upon for mitigating the two scenarios, the licensee had not evaluated whether the HPCI room HELB scenario was bounded by the feedwater system HELB scenario with respect to challenges to this equipment and the ability to mitigate. Specifically, the licensees basis for concluding a license amendment was not required did not compare the two scenarios with respect to any of the criteria in 10 CFR 50.59(c)(2). In particular, the feedwater HELB is a different accident scenario when compared to the HPCI HELB in that it involves a loss of inventory. | |||
After discussions with Office of Nuclear Reactor Regulation staff, the inspectors concluded that accepting the use of the isolation condenser and control rod drive system to respond to the event was a possible viable approach assuming that the licensee provided an adequate basis in the safety evaluation and application was restricted to within the confines of HELB evaluations. However, in this case, the licensee had failed to provide an adequate basis. | |||
=====Analysis:===== | |||
The inspectors determined that the failure to provide an adequate basis for changes made to the facility in accordance with 10 CFR 50.59 safety evaluation was a performance deficiency. The finding was determined to be more than minor because the inspectors could not reasonably determine that the activity to change the systems credited with safe shutdown following a HPCI pump room HELB from strictly safety-related systems to a combination of safety-related and non-safety-related systems would not have ultimately required NRC prior approval. The licensee needed to address each of the criteria in 10 CFR 50.59(c)(2) to ensure the HPCI HELB event was entirely bounded by the feedwater system HELB, and the end result was not obvious to the inspectors without this more in-depth evaluation. | |||
Because violations of 10 CFR 50.59 are considered to be violations that potentially impede or impact the regulatory process, they are dispositioned using the traditional enforcement process instead of the Significance Determination Process (SDP). | |||
However, if possible, the underlying technical issue is evaluated under the SDP to determine the severity of the violation. In this case, the inspectors completed a significance determination of the underlying technical issue using NRCs IMC 0609, Appendix A, Significance Determination of Reactor Inspection Findings for At-Power Situations. The inspectors determined that the finding should be evaluated under the Mitigating Systems cornerstone as it affected the availability and reliability of mitigating equipment (LPCI and ADS). Based upon this Phase 1 screening, and the fact that this issue did not represent a loss of function, did not result in exceeding a Technical Specification allowed outage time, and did not affect external event mitigation, the inspectors concluded that the issue was of very low safety significance (Green). In accordance with the Enforcement Policy, the violation was therefore classified as a Severity Level IV violation. | |||
The inspectors determined there was not a cross-cutting aspect to this finding. | |||
=====Enforcement:===== | =====Enforcement:===== | ||
Title 10 CFR 50.59(d)(1) states, in part, that the licensee shall | Title 10 CFR 50.59(d)(1) states, in part, that the licensee shall maintain records of changes in the facility, of changes in procedures, and of tests and experiments as described in the UFSAR. These records must include a written evaluation which provides a basis for the determination that the change, test, or experiment does not require a license amendment. | ||
Contrary to the above, the licensee, in August 2005, in safety evaluation 2005-02-001, failed to provide an adequate basis for why changes that credited the isolation condenser for decay heat removal in lieu of ADS and LPCI/CCSW and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI during a postulated HPCI room HELB did not require a license amendment. In accordance with the Enforcement Policy, this violation of the requirements of 10 CFR 50.59 was classified as a Severity Level IV Violation because the underlying technical issue was of very low safety significance. Because this non-willful violation was non-repetitive, and was captured in the licensees corrective action program (CAP 00534275), it is considered an NCV consistent with VI.A.1 of the NRC Enforcement Policy. | |||
(NCV 05000237/2007003-01; 05000249/2007003-01) | |||
{{a|1R04}} | |||
==1R04 Equipment Alignment== | |||
{{IP sample|IP=IP 71111.04Q}} | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors selected a redundant or backup system to an out-of-service | The inspectors selected a redundant or backup system to an out-of-service or degraded train to determine that the system met the design of the UFSAR. Piping and instrumentation diagrams were used to determine correct system lineup and critical portions of the system configuration were verified. Instrumentation, valve configurations, and appropriate meter indications were also observed. The inspectors observed various support system parameters to determine the operational status of systems. Control room switch positions for the systems were observed. Other conditions, such as adequacy of housekeeping, the absence of ignition sources, and proper labeling were also evaluated. | ||
The inspectors performed partial equipment alignment walkdowns of the following systems: | |||
* Unit 2 and Unit 3 reactor building containment cooling water piping following the failure of the 2/3 reactor building containment cooling water pump. | |||
This represented one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R05}} | ||
{{a|1R05}} | ==1R05 Fire Protection (71111.05Q and A)== | ||
==1R05 Fire Protection (71111.05Q and A). | |||
===.1 Routine Quarterly Inspections=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspector conducted a tour of the areas listed below to assess the | The inspector conducted a tour of the areas listed below to assess the material condition and operational status of fire protection features. The inspectors verified that combustibles and ignition sources were controlled in accordance with the licensees administrative procedures; that fire detection and suppression equipment was available for use and access was not obstructed; that passive fire barriers were maintained in good material condition; that procedures were maintained and adequate to support fire fighting activities; and that compensatory measures for out-of-service, degraded, or inoperable fire protection equipment were implemented in accordance with the licensees fire plan. Minor deficiencies noted during this inspection were verified to be included in the licensees corrective action program. Documents reviewed are listed in the Attachment. The following areas were walked down: | ||
* Unit 3 turbine building, 517' elevation, reactor feed pumps, Fire Zone 8.2.5.E; | |||
* Station blackout diesel generator building, North and South Ends, Non-Power Block, Fire Zones: N/A; | |||
* Unit 2 battery and charger turbine building, 549' elevation, Fire Zones 7.0.A.1, 7.0.A.2, 7.0.A.3 and 8.2.7; | |||
* Unit 2 reactor building, 476' 6" elevation, high pressure coolant injection room, Fire Zone 11.2.3; | |||
* Unit 2 turbine building, 517' elevation, reactor feed pumps, Fire Zone 8.2.5.A; and | |||
* Unit 3 turbine building, 517' elevation, diesel generator, Fire Zone 9.0B. | |||
This represented six inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified.. | No findings of significance were identified. | ||
===.2 Drill Evaluation=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors observed a fire drill conducted on June 12, 2007, to assess the | The inspectors observed a fire drill conducted on June 12, 2007, to assess the material condition and operational status of fire brigade equipment, and to assess the readiness and ability of the on-shift fire brigade to combat a simulated fire. The inspectors verified that the correct number of fire brigade members participated in the drill; that they were qualified in accordance with the licensees administrative procedures; that the fire brigade members arrived at the scene of the simulated fire in a timely manner; that each member of the fire brigade correctly donned protective clothing and self-contained breathing apparatus; that the fire brigade leader demonstrated adequate control, communications, and utilized a copy of the licensees pre-fire plan for the drill area; that the fire hose lines and other equipment were adequate for the situation; that the licensee conducted a post-drill critique; and that at the conclusion of the drill the fire fighting equipment was returned to a condition of readiness. Minor deficiencies noted during this inspection were verified to be included in the licensees corrective action program. This represented one inspection sample. | ||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a Non-Cited Violation (NCV) of the | The inspectors identified a Non-Cited Violation (NCV) of the Dresden Nuclear Power Station Renewed Facility Operating License having very low safety significance (Green) for the licensees failure to restore fire brigade equipment to a ready status in a timely manner after the performance of a fire drill. | ||
=====Description:===== | |||
The inspectors observed a fire drill conducted between 4:00 p.m. and 5:18 p.m. on June 12, 2007. During the course of the drill the fire brigade members donned and used the four of the six available Scott Air Packs (self-contained breathing apparatus) during the course of the drill. Inspection Procedure 71111.05, Section 02.02.r, has the inspectors check that, at the conclusion of the drill, all fire fighting equipment is returned to a condition of readiness to respond to an actual fire. | |||
The inspectors checked the fire brigade equipment storage location in the turbine building at about 2:15 p.m. on June 13, 2007, with the fire marshal present, and observed that the four Scott Air Packs used during the drill had not been cleaned, recharged with air, and returned to the fire brigade equipment storage area. | The inspectors checked the fire brigade equipment storage location in the turbine building at about 2:15 p.m. on June 13, 2007, with the fire marshal present, and observed that the four Scott Air Packs used during the drill had not been cleaned, recharged with air, and returned to the fire brigade equipment storage area. | ||
The fire marshal wrote an issue report and prompted radiation protection department management who had been tasked with performing the above activity. The shift logs documented that the fire brigade equipment was returned to a ready status at 8:22 p.m. | |||
on June 13, 2007.Analysis: | on June 13, 2007. | ||
issued on November 2, 2006, the inspectors determined that this finding was more than minor because the failure to restore the fire brigade equipment to a ready status, if left uncorrected, would become a more significant safety concern. The inspectors completed a Phase 1 significance determination of this issue | |||
=====Analysis:===== | |||
The inspectors determined that the failure to restore fire brigade equipment to a ready status after the performance of a fire drill, was a performance deficiency warranting a significance evaluation. Using IMC 0612, Appendix B, Issue Screening, issued on November 2, 2006, the inspectors determined that this finding was more than minor because the failure to restore the fire brigade equipment to a ready status, if left uncorrected, would become a more significant safety concern. | |||
The inspectors completed a Phase 1 significance determination of this issue using IMC 0609, Significance Determination Process, Appendix A, Attachment 1, dated March 23, 2007. The inspectors determined that the finding affected the Mitigating Systems cornerstone and the fire protection defense-in-depth strategies. However, as discussed by IMC 0609, Appendix A, Attachment 1, issues related to performance of the fire brigade are not included in IMC 0609, Appendix F, Fire Protection Significance Determination Process, and require management review. Therefore, the finding was reviewed by NRC management, and was determined to be a finding of very low safety significance (Green) because the condition existed for slightly more than 24 hours, the delay in getting additional self-contained breathing apparatus would be a maximum of about 10 minutes, and the majority of the safety significant equipment in the turbine building is protected by an automatic fire suppression system. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices)because the licensee failed to ensure adequate supervisory and management oversight of work activities (restoration of the fire brigade equipment), such that nuclear safety was supported (H.4(c)). | |||
=====Enforcement:===== | =====Enforcement:===== | ||
The inspectors determined that the | The inspectors determined that the licensees failure to restore fire brigade equipment to a ready status after the drill performance, was a violation of the Dresden Nuclear Power Station Renewed Operating License. License conditions 2.E 23 and 3.G of the Dresden Nuclear Power Station Renewed Facility Operating Licenses for Unit 2 and Unit 3, respectively, state, in part, that The licensee shall implement and maintain in effect all provisions of the approved fire protection program as described in the Updated Final Safety Analysis Report for the facility.... Section 9.5.1, Fire Protection System, of the Dresden UFSAR states that The design bases, system descriptions, safety evaluations, inspection and testing requirements, NFPA conformance reviews, personnel qualifications, and training are described in Reference 1. | ||
.... | |||
Section 9.5.10, References, of Dresden UFSAR, reference 1, lists Dresden Units 2 and 3 Fire Protection Reports, Volumes 1 through 5, and Fire Protection Program Documentation Package, Volumes 1 through 13, as the documents to follow for compliance with the fire protection program. | |||
Section 2.5.3, Equipment, of Dresden Station Units 2 and 3 Fire Protection Reports, Volume 1, Updated Fire Hazards Analysis, specifies that The fire brigade is provided with sufficient equipment to perform manual fire suppression operations as required. | |||
Full personnel protective gear, including self-contained breathing apparatus with reserve breathing air is provided. | |||
Procedure OP-AA-201-003, Revision 8, Fire Drill Performance, Paragraph 4.4.5, stated, (at the completion of the drill), Return all Fire Brigade equipment back to a ready condition. | |||
Contrary to the above, from about 5:18 p.m. on June 12, 2007, until about 8:22 p.m. on June 13, 2007, the fire brigade equipment had not been returned to a ready status at the completion of a drill which ended at about 5:18 p.m. on June 12, 2007, because the four Scott Air-Packs (self-contained breathing apparatus) for the four fire brigade members had been discharged and were not returned to the designated fire brigade equipment storage location. This failure could have adversely impacted the fire brigades ability to fight a fire in a timely manner. This issue was entered in the licensees corrective action program as IR 639984. Corrective actions by the licensee included the restoration of the fire brigade equipment to a ready status at 8:22 p.m. on June 13, 2007. Because this violation was of very low safety significance and it was entered into the licensees corrective action program, this violation is being treated as a Non-Cited Violation, consistent with Section VI.A.1 or the NRC Enforcement Policy. | |||
(NCV 05000237/2007003-02; 05000249/2007003-02) | |||
{{a|1R06}} | {{a|1R06}} | ||
==1R06 Flood Protection Measures== | ==1R06 Flood Protection Measures== | ||
Line 144: | Line 231: | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
Unit 2 and Unit 3 containment cooling service water system vaults were inspected. | Unit 2 and Unit 3 containment cooling service water system vaults were inspected. The inspectors verified that flooding mitigation plans and equipment were consistent with the design requirements and risk analysis assumptions. The inspectors reviewed UFSAR Section 3.4.1.2 for internal flooding protection measures, reviewed the licensees flooding mitigation procedures, and reviewed issue reports related to possible flood protection issues. Additionally, plant walkdowns were performed to verify design barriers were properly maintained. Penetrations between rooms, watertight doors, electrical conduit seals and covers, and room drains were inspected to verify material condition met design assumptions. The inspectors performed a review of the stations maintenance data base to verify preventative maintenance was current and equipment deficiencies were being appropriately reported and resolved. Additionally, the inspectors reviewed the maintenance rule scoping and performance criteria and determined that the function was being tracked appropriately. The corrective action program was also reviewed for the past 12 months for issues related to internal flood protection. The inspectors completed one inspection sample by completing the internal flooding review. | ||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R11}} | ||
==1R11 Licensed Operator Requalification (71111.11Q & B)== | |||
===.1 Quarterly Evaluation=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors observed a training crew during two evaluated simulator scenarios | The inspectors observed a training crew during two evaluated simulator scenarios and reviewed licensed operator performance in mitigating the consequences of events. The scenarios included multiple equipment and instrumentation failures, and the transients resulted in complex accidents that yielded the declaration of several emergency classifications. Areas observed by the inspectors included: clarity and formality of communications, timeliness of actions, prioritization of activities, procedural adequacy and implementation, control board manipulations, managerial oversight, emergency plan execution, and group dynamics. | ||
This represented one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified.. | No findings of significance were identified. | ||
===.2 Annual Operating Test Results and Biennial Written Examination Results=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed the overall pass/fail results of Job Performance Measure (JPM)operating tests, simulator operating tests, and the biennial written examination ( | The inspectors reviewed the overall pass/fail results of Job Performance Measure (JPM)operating tests, simulator operating tests, and the biennial written examination (required to be given per 10 CFR 55.59(a)(2)) administered by the licensee from May through June 2007. The overall results were compared with the significance determination process in accordance with NRC Manual Chapter 0609, Appendix I, Operator Requalification Human Performance Significance Determination Process (SDP). | ||
This represented one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R12}} | ||
{{a|1R12}} | ==1R12 Maintenance Effectiveness== | ||
==1R12 Maintenance Effectiveness | {{IP sample|IP=IP 71111.12Q}} | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors assessed the implementation of the | The inspectors assessed the implementation of the licensees maintenance rule program to evaluate maintenance effectiveness for the selected systems in accordance with 10 CFR 50.65, Maintenance Rule. The following systems were selected based on being designated as risk significant under the Maintenance Rule, being in increased monitoring (Maintenance Rule Category a(1) group), or due to an inspectors identified issue or problem that potentially impacted system work practices, reliability, or common cause failures: | ||
* Unit 2 station blackout diesel generator; and | |||
* Unit 2 isolation condenser. | |||
The inspectors verified the licensee's categorization of specific issues, including evaluation of the performance criteria, appropriate work practices, identification of common cause errors, extent of condition, and trending of key parameters. Additionally, the inspectors reviewed the licensee's implementation of the Maintenance Rule requirements, including a review of scoping, goal-setting, performance monitoring, short-term and long-term corrective actions, functional failure determinations associated with the condition and issue report reviews, and current equipment performance status. | |||
This represented two inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R13}} | ||
{{a|1R13}} | ==1R13 Maintenance Risk Assessments and Emergent Work Control== | ||
==1R13 Maintenance Risk Assessments and Emergent Work Control | {{IP sample|IP=IP 71111.13}} | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors evaluated the implementation of the | The inspectors evaluated the implementation of the licensees maintenance risk program with respect to the effectiveness of the risk assessments performed before maintenance activities were conducted on structures, systems, and components and verified that the licensee managed the risk in accordance with 10 CFR 50.65, Maintenance Rule. The inspectors evaluated whether the licensee had taken the necessary steps to plan and control emergent work activities. The inspectors also verified that equipment necessary to complete planned contingency actions was staged and available. The inspectors completed evaluations of maintenance activities on the: | ||
*Failure of central processing unit card caused the Unit 2 scram; | * 3B reactor protection system motor generator preventative maintenance; | ||
*Unit 3 high pressure coolant injection system out of service due to | * 2A core spray pump; | ||
* Failure of central processing unit card caused the Unit 2 scram; | |||
* Unit 3 high pressure coolant injection system out of service due to emergent work on the #3 steam supply valve due to leak; and | |||
* Unit 2 isolation condenser unavailable due to surveillance testing. | |||
This represented five inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R15}} | ||
==1R15 Operability Evaluations== | |||
{{IP sample|IP=IP 71111.15}} | |||
====a. Inspection Scope==== | |||
The inspectors reviewed operability evaluations and issue reports (IR) to ensure that operability was properly justified and the component or system remained available, such that any non-conforming conditions were in compliance with Generic Letter 91-18, Information to Licensees Regarding Two NRC Inspection Manual Sections on Resolution of Degraded and Nonconforming Conditions and on Operability. The review included issues involving the operability of: | |||
* Issue Report 555432, Root Cause Investigation Report for 3B ERV Pilot Valve; | |||
* Issue Report 198817, Unit 3 battery room cold; | |||
* Issue Report 301184, Wires in U2 EDG Local Control Panel with Defective Insulation | |||
* Issue Report 638430, Unit 2 and 3 Emergency Diesel Generator Circuit Breaker Closing Coil; | |||
* Issue Report 555410, MS Snubber Fails Test; and | |||
* Issue Report 637041, Abnormal Sump Pumping U2 DWEDS at 20:00. | |||
This represented six inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R17}} | ||
{{a|1R17}} | ==1R17 Permanent Plant Modifications== | ||
==1R17 Permanent Plant Modifications | {{IP sample|IP=IP 71111.17A}} | ||
Unit 3 125 volt main station battery replacement | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed a permanent plant modification associated with the Unit | The inspectors reviewed a permanent plant modification associated with the Unit 3 125 VDC replacement. The inspectors reviewed Work Order 99053808-01, Unit 3 17 year PM Replace 125 Volt Station Main Battery, to verify that the completed activity was in accordance with the specified design requirements, and the licensing bases, and to confirm that the changes did not adversely affect any systems safety function. | ||
Design and post-modification testing aspects were verified to ensure the functionality of the modification, its associated system, and any support systems. The inspectors also verified that the modifications performed did not place the plant in an increased risk configuration. | |||
The inspectors also used applicable industry standards to evaluate acceptability of the modifications. This represented one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R19}} | ||
==1R19 Post Maintenance Testing== | |||
{{IP sample|IP=IP 71111.19}} | |||
====a. Inspection Scope==== | |||
The inspectors reviewed post-maintenance tests associated with the activities listed below to verify that procedures and test activities ensured system operability and functional capability. The inspectors reviewed the licensees procedures to verify that the procedure adequately tested the safety function(s) that may have been affected by the maintenance activity, that the acceptance criteria in the procedure were consistent with information in the applicable licensing basis and/or design basis documents, and that the procedure had been properly reviewed and approved. The inspectors reviewed the work packages, monitored the test performance, and reviewed the test data to verify that test results adequately demonstrated restoration of the affected safety function(s). | |||
* Unit 3 125vdc load test after battery replacement; | |||
* Work order 9906879-01, Perform Preventive Maintenance Inspection on 480v Breaker MCC 28-1, Cubicle H2, 2A Core Spray Pump Downstream Inspection Valve 2-1402-25A; and WO 99086879-03, Unit 2, 6 Year Preventive Maintenance Inspection 480V Motor Control Center Motor Operator Valve 2-1402-25A; | |||
* Work order 689909, D3 40M EQ REPL ASCO SOL VALVE 3-1601-20A [Replace the U3 ASCO solenoid valve on 3-1601-20A]; | |||
* 2A core spray pump post maintenance testing; and | |||
* Work order 99053796-01, 12 Year Preventive Maintenance Inspection, 480V MCC Breaker Reactor Water Cleanup Reject to Condenser 3-1201-11. | |||
This represented five inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1R20}} | ||
{{a|1R20}} | ==1R20 Refueling and Other Outage Activities== | ||
==1R20 Refueling and Other Outage Activities | {{IP sample|IP=IP 71111.20}} | ||
===.1 Unit 2 manual scram resulting from loss of feedwater=== | |||
====a. Inspection scope==== | ====a. Inspection scope==== | ||
On May 4, 2007, Unit 2 was manually scrammed following a loss of feedwater | On May 4, 2007, Unit 2 was manually scrammed following a loss of feedwater flow event due to condensate pre-filter bypass valves going closed. High Pressure Coolant Injection was used to restore water level. Minimum water level was -67 inches medium range indication. Main steam isolation valves closed and the Unit 2 and Unit 2/3 emergency diesel generators auto started on low low level. The isolation condenser was used to control decay heat following the event. The inspectors responded to the site, verified that equipment expected to mitigate the event worked properly, interviewed members of the operations crew, and reviewed emergency and abnormal operating procedures. | ||
====b. Findings==== | ====b. Findings==== | ||
The findings associated with this inspection are found in Section | The findings associated with this inspection are found in Section 4OA3.3 of this report. {{a|1R22}} | ||
{{a|1R22}} | |||
==1R22 Surveillance Testing== | ==1R22 Surveillance Testing== | ||
{{IP sample|IP=IP 71111.22}} | {{IP sample|IP=IP 71111.22}} | ||
. | ===.1 Routine Inspections=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors observed surveillance testing on risk-significant equipment and | The inspectors observed surveillance testing on risk-significant equipment and reviewed test results. The inspectors assessed whether the selected plant equipment could perform its intended safety function and satisfy the requirements contained in TSs. | ||
Following the completion of each test, the inspectors determined that the test equipment was removed and the equipment returned to a condition in which it could perform its intended safety function.The inspectors witnessed one reactor coolant system (RCS) leakage | Following the completion of each test, the inspectors determined that the test equipment was removed and the equipment returned to a condition in which it could perform its intended safety function. | ||
Revision 4;*Issue Report 598179, | |||
The inspectors witnessed one reactor coolant system (RCS) leakage detection surveillance test to assess whether the structures, systems, and components met the requirements of the TSs, and the Updated Final Safety Analysis Report. The inspectors also evaluated whether the testing effectively quantified RCS leakage and demonstrated that the structures, systems, and components were operationally ready and capable of performing their intended safety functions. | |||
The inspectors observed surveillance testing activities and/or reviewed completed packages for the tests listed below, related to systems in the Initiating Events, Mitigating Systems, and Barrier Integrity cornerstones: | |||
* DOS 1500-17, Containment Cooling Service Water IST [in-service test] | |||
Comprehensive/Preservice Pump Test, Revision 02; | |||
* DIS 1500-31, Division II Low Pressure Coolant Injection/Containment Spray, Torus Cooling, and 2/3 Core Coverage Logic System Functional Test, Revision 4; | |||
* Issue Report 598179, ASME Code Test Interval For Class 1 Safety Relief Valves; and | |||
* DOP 2000-24, Drywell Sump Operations, Revision 13. | |||
This represented a total of four inspection samples, of which one was in-service testing, one was reactor coolant system leakage detection, and two were routine surveillance tests. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|1EP6}} | ||
==1EP6 Drill Evaluation== | |||
{{IP sample|IP=IP 71114.06}} | |||
====a. Inspection Scope==== | |||
The resident inspectors reviewed a simulator-based training evolution to evaluate drill conduct and the adequacy of the licensees critique of performance to identify weaknesses and deficiencies. The inspectors selected a simulator scenario that the licensee had scheduled as providing input to the Drill/Exercise Performance Indicator. | |||
The inspectors observed the classification of events, notifications to off-site agencies, protective action recommendation development, and drill critiques. Observations were compared to the licensees observations and corrective action program entries. The inspectors verified that there were no discrepancies between observed performance and performance indicator reported statistics. The simulator scenario observed resulted in a site area emergency classification and declaration. | |||
The | |||
This simulator emergency preparedness drill observation constituted a single inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. | ||
==OTHER ACTIVITIES== | |||
{{a|4OA1}} | |||
==4OA1 Performance Indicator Verification== | |||
{{IP sample|IP=IP 71151}} | |||
===.1 Initiating Events, Mitigating Systems, and Barrier Integrity Performance Indicator=== | |||
Verification | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed, at a minimum, the most recent 24 months of licensee | The inspectors reviewed, at a minimum, the most recent 24 months of licensee event reports, licensee data reported to the NRC, plant logs, issue reports, and NRC inspection reports to verify the following performance indicators reported by the licensee for the 1st Quarter of 2007: | ||
*Unplanned power changes per 7000 critical hours, Units 2 and 3.The inspectors verified that the licensee accurately reported performance as defined | * Unplanned scrams per 7000 critical hours, Units 2 and 3; | ||
* Scrams with loss of normal heat removal, Unit 3; and | |||
* Unplanned power changes per 7000 critical hours, Units 2 and 3. | |||
The inspectors verified that the licensee accurately reported performance as defined by the applicable revision of Nuclear Energy Institute Document 99-02, Regulatory Assessment Performance Indicator Guideline. | |||
These performance indicator reviews constituted five inspection samples. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. | ||
===.2 Data Submission=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors performed a review of the data submitted by the licensee for the | The inspectors performed a review of the data submitted by the licensee for the 1st Quarter 2007 performance indicators for any obvious inconsistencies prior to its public release in accordance with IMC 0608, Performance Indicator Program. | ||
This review was performed as part of the inspectors normal plant status activities and, as such, did not constitute a separate inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified. | No findings of significance were identified. {{a|4OA2}} | ||
==4OA2 Identification and Resolution of Problems== | |||
{{IP sample|IP=IP 71152}} | |||
===.1 Routine Quarterly Review=== | |||
As discussed in previous sections of this report, the inspectors routinely reviewed issues during baseline inspection activities and plant status reviews to verify that they were being entered into the licensees corrective action system at an appropriate threshold, that adequate attention was being given to timely corrective actions, and that adverse trends were identified and addressed. In addition, in order to help identify repetitive equipment failures or specific human performance issues for follow-up, the inspectors performed a daily screening of items entered into the licensees corrective action program. This review was accomplished by reviewing daily issue reports and attending daily issue report review meetings. | |||
This represents one routine quarterly review. | |||
===.2 In-depth Review (Operator Workaround)=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
As required by Inspection Procedure (IP) 71152, Identification and Resolution | As required by Inspection Procedure (IP) 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees corrective action program (CAP) and associated documents to evaluate operator workarounds for mitigating systems. This review was to determine if the mitigating system function was affected or if the operators ability to implement abnormal and emergency operating procedures was affected. | ||
====b. Findings==== | ====b. Findings==== | ||
There were no findings of significance identified. The inspectors reviewed | There were no findings of significance identified. The inspectors reviewed procedure OP-AA-102-103, Operator Work-Around Program, and the issues being tracked for program resolution. As of June 18, 2007, there were three operator challenges that were being tracked for resolution. The inspectors review determined that the issues were appropriately characterized as operator challenges. | ||
The inspectors also reviewed selected operations department concerns, out of tolerance items that were identified in operations narrative logs and performed control room walkdowns to identify potential operator workarounds that were not in the program. In addition, annunciator procedures DAN 902(3)-4 G-2 and G-6 were reviewed for a potential workaround that may have been formalized as corrective action for a degraded condition. The potential workaround review applied to a caution in the annunciator procedures. The caution stated that the reactor recirculation motor generator set lube oil pumps should not operate concurrently for more than a few minutes (5-10 minutes)as the oil will overheat if both pumps simultaneously run. The inspectors concluded that there were no additional workarounds identified from the sources reviewed, and that the caution was due to system design, positive displacement pumps with discharge relief valves that on actuation, return flow to the pump suction. | |||
===.3 Semi-annual Trending=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
As required by IP 71152, | As required by IP 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees CAP and associated documents to identify trends that could indicate the existence of a more significant safety issue. The inspectors review was focused on AC electrical and air systems, and consisted of a six month period from January 2007 through June 2007. The inspectors reviewed multiple issue reports (IRs) generated during the time period, in an attempt to identify potential trends. | ||
The screening was accomplished as follows:*IRs dealing with company policies, administrative issues, and other minor | The screening was accomplished as follows: | ||
* IRs dealing with company policies, administrative issues, and other minor issues were eliminated as being outside the scope of this inspection; | |||
* The IRs were sorted into categories involving same equipment problems, repetitive issues, reoccurring departmental problem/challenges and repeated entries into TSs. The IRs were then screened for potential common cause issues and considered for potential trends; | |||
* The inspectors removed a group of IRs that discussed strictly programmatic problems because the inspection requirement was primarily for equipment problems and human performance issues; | |||
* The inspectors also removed a group of IRs where their review indicated that duplicate IRs had been written for the same event or failure; | |||
* The remaining groups, considered potential unidentified trends, were provided to the licensee for discussion in case there was extenuating information that the inspectors were not aware of; and | |||
* Groups of IRs remaining after all of the above screening were considered trends which the licensee had failed to identify. | |||
The inspectors then were able to make an assessment by comparing the trends identified by the licensee to those trends identified by the NRC. In addition, the inspectors reviewed a CAP nuclear oversight assessment and audit conducted during January 2007 to June 2007. | |||
This represented one inspection sample as a semiannual review for trends. | |||
====b. Findings==== | ====b. Findings==== | ||
There were no findings of significance identified. The inspectors determined that, | There were no findings of significance identified. The inspectors determined that, within the areas reviewed, the licensee staff initiated IRs at an appropriate threshold. The IRs reviewed also identified if any repeat or similar conditions were known to have occurred. | ||
IR 594373, dated February 21, 2007, documented that transformer 22 east bank of cooling fans were not running, and that IR 538828, dated October 2, 2006, was initiated on a similar condition. The assigned action for IR 594373 was for plant engineering to determine how many fans may be degraded and evaluate the issue for impact on summer readiness. The disposition of IR 594373 documented that in the spring of 2005, several auxiliary transformer cooling fan motors failed. Because of these failures, system engineering initiated three work orders to replace all fan motors on TR 21, TR 31 and TR 22. Only the east bank of TR 22 remained to be completed.The inspectors also identified that IR 620611 was initiated on the determination that | IR 594373, dated February 21, 2007, documented that transformer 22 east bank of cooling fans were not running, and that IR 538828, dated October 2, 2006, was initiated on a similar condition. The assigned action for IR 594373 was for plant engineering to determine how many fans may be degraded and evaluate the issue for impact on summer readiness. The disposition of IR 594373 documented that in the spring of 2005, several auxiliary transformer cooling fan motors failed. Because of these failures, system engineering initiated three work orders to replace all fan motors on TR 21, TR 31 and TR 22. Only the east bank of TR 22 remained to be completed. | ||
The inspectors also identified that IR 620611 was initiated on the determination that a trip of the 3A instrument air compressor was a maintenance rule functional failure. This IR directed the appropriate evaluations and communication of information, such as, an EPIX (Equipment Performance and Information System) report to be completed. The EPIX report will result in data available for industry trends. In addition, IRs were generated by the CAP manager on increased maintenance and decreased reliability of station equipment. These IRs identified equipment trends through the use of the CAP. | |||
===.4 Assessment of the Corrective Action Program Effectiveness=== | ===.4 Assessment of the Corrective Action Program Effectiveness=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
As required by Inspection Procedure 71152, | As required by Inspection Procedure 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees CAP and associated documents to evaluate licensee corrective action in response to NCV 05000237/2006007-06; 05000249/2006007-06. This violation of 10 CFR 50.62 was associated with a licensee-identified material condition. The review of licensee corrective action will specifically consider the extent of condition and any generic implications. | ||
b. Assessment Prioritization and Evaluation of Issues There were no findings of significance identified. | |||
The licensee identified that the inputs to a design analysis, titled, DRE01-0066, Dresden Unit 2 & 3 Standby Liquid Control System Discharge Piping Pressure Drop, Revision 1 were non-conservative. Some of the valves actually installed in the plant were not the same type of valves assumed to be installed in the design analysis. This ultimately resulted in a change in a design calculation that demonstrated that standby liquid control system relief valves could lift upon system initiation during an anticipated transient without scram (ATWS) event. | |||
The impact of having some of the valves actually installed in the plant that were not the same type of valves assumed to be installed in the ATWS Analysis was that it resulted in a higher pressure drop between the pump discharge and the reactor than calculated in DRE01-0066, Revision 1. This higher pressure drop meant that pump discharge pressure had to be higher to get flow to the reactor and the SBLC system relief valves could lift during an ATWS event. The lifting of the relief valves would cause SBLC system flow to be recirculated to the system storage tank rather than injected into the reactor vessel. Due to the inability to provide continuous SBLC system design flow into the reactor vessel as required by 10 CFR 50.62.c.(4), the licensee would fail to comply with 10 CFR 50.62.c.(4) if the relief valve lifted. | |||
The | The inspectors reviewed IR 487350 that linked the incorrect modeling of the check valves in the SBLC system to calculation 097/098-M-001, which was originally prepared in December 1985, by an engineering contractor. The SBLC lift check valves were incorrectly modeled as swing check valves. The cause of the incorrect modeling could not be conclusively determined by the licensee due to the length of time, and the personnel involved were not available for interview. The IR continued, by stating, several process improvements have occurred since the error that would reduce the probability of a similar error, such as, implementation of pressure drop standard NES-MS-01.1, Fluid Piping Pressure Loss. Also, all calculations completed by engineering contractors undergo an owners acceptance review in accordance with CC-AA-309, Control of Design Analyses. | ||
The extent of condition, documented by IR 487350, was to review other pressure drop calculations performed by the same engineering contractor in the same time frame. | |||
This corrective action resulted in two additional pressure drop calculations being identified and reviewed. There were no errors identified for these additional calculations. The inspectors reviewed IR 527285 that documented results from a self-assessment | This corrective action resulted in two additional pressure drop calculations being identified and reviewed. There were no errors identified for these additional calculations. | ||
1) calculations were not properly updated and/or superseded when plant changes were implemented, 2) assumptions in existing calculations have not always been verified, 3) there have been discoveries where the physical plant configuration did not match the design input used in calculations and 4) no programmatic effort made to reconcile current vs. historical calculations. The action plan for this project is to fix known | |||
The inspectors reviewed IR 527285 that documented results from a self-assessment in the area of design configuration, and was initiated approximately four months after IR 487350. IR 527285 identified that there have been recent discoveries where the physical plant configuration for some systems important to safety did not match the design input used in design analyses. The assigned action for IR 527285 was to establish a cross-functional team to develop a plan to address the issues identified by the self-assessment. | |||
A current design engineering initiative titled, Calculation Improvement Project, is defined by the problem statement that some calculations prepared by multiple architect engineering firms in the 1980s and 1990s lack sufficient quality. Technical and administrative issues have been identified during self-assessments, audits and NRC inspections. Factors identified by the project that support the problem statement are: | |||
1) calculations were not properly updated and/or superseded when plant changes were implemented, 2) assumptions in existing calculations have not always been verified, 3) there have been discoveries where the physical plant configuration did not match the design input used in calculations and 4) no programmatic effort made to reconcile current vs. historical calculations. The action plan for this project is to fix known calculation issues, such as, control room and auxiliary electrical equipment room HVAC calculations, by September 2007. The project will review existing calculations to define the project scope scheduled for August 2007. | |||
{{a|4OA3}} | |||
==4OA3 Event Followup== | |||
{{IP sample|IP=IP 71153}} | |||
===.1 (Closed) Licensee Event Report (LER) 237; 249/2006-005-00: Units 2 and 3 Control=== | |||
Room Emergency Ventilation Air Conditioning System Inoperable Due To Leaking Fittings | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
Inspectors reviewed one licensee event report (LER) to ensure that the | Inspectors reviewed one licensee event report (LER) to ensure that the issue documented in the report was adequately addressed in the licensees corrective actions program. The inspectors reviewed plant Technical Specifications, Action Requests (IR 00555484), operating logs, and interviewed plant personnel to verify the statements contained in the LER. | ||
====b. Findings==== | ====b. Findings==== | ||
On November 8, 2006, the Control Room Emergency Air Conditioning System (CREVS)was unable to maintain the control room temperature within the required Technical Specification range of 70 to 80 degrees F. Following investigation, the licensee determine that CREVS was inoperable due to a loose fitting on the Refrigeration and Condensing Unit (RCU) that resulted in refrigerant leaking from the unit. The fitting was determined to be loose due to vibrations caused by the | On November 8, 2006, the Control Room Emergency Air Conditioning System (CREVS)was unable to maintain the control room temperature within the required Technical Specification range of 70 to 80 degrees F. Following investigation, the licensee determine that CREVS was inoperable due to a loose fitting on the Refrigeration and Condensing Unit (RCU) that resulted in refrigerant leaking from the unit. The fitting was determined to be loose due to vibrations caused by the units operation. The licensee entered the appropriate Technical Specification action statements and made the correct notifications required by 10 CFR 50.72 and 10 CFR 50.73. The RCU failure was corrected on November 9, 2006, and CREVS was returned to service. The licensees apparent cause evaluation determined that the event was maintenance preventable and developed corrective action to implement a new annual maintenance activity to monitor for refrigerant leaks. | ||
This represents one inspection sample..2(Closed) Licensee Event Report (LER) 237/2007-002-00, | This LER is closed with no associated violation. | ||
This represents one inspection sample. | |||
===.2 (Closed) Licensee Event Report (LER) 237/2007-002-00, Unit 2 Reactor Scram Due to=== | |||
Loss of Feedwater | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors responded to the site after being notified of the above event. | The inspectors responded to the site after being notified of the above event. The inspectors interviewed operators and licensee management after the event. The inspectors reviewed the licensees root cause report of the event associated with issue report 625692. | ||
This LER is closed with the associated violation. | |||
This represents one inspection sample. | |||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
A Green finding involving a Non-Cited Violation of 10 | A Green finding involving a Non-Cited Violation of 10 CFR Part 50.65(a)(4), was self revealed after the Unit 2 reactor scram on May 4, 2007. The licensee performed an inadequate risk assessment of emergent maintenance on the condensate pre-filter flow controller central processing unit on May 4, 2007. The maintenance performed resulted in a complete loss of feedwater and a reactor scram. | ||
The | =====Description:===== | ||
On May 4, 2007, Unit 2 was manually scrammed following a loss of feedwater flow. High pressure coolant injection was used to restore water level. Main steam isolation valves closed and the Unit 2 and Unit 2/3 emergency diesel generators auto started on low low level signal. The isolation condenser was used to control decay heat and no relief valves lifted. All control rods inserted and all automatic actions took place as expected. | |||
Personnel failed to adequately apply the work control process. The emergent work was not screened as a production risk evolution. The electrical maintenance planner and operations staff failed to associate the condensate pre-filter flow controller with the condensate system, which was on the station production risk system matrix in WC-AA-108, | The licensees initial investigation identified that at the time of the scram, work was in-progress to replace the condensate pre-filter flow controller central processing unit (CPU). The CPU had failed earlier in the day leaving the pre-filter inlet and outlet valves closed and the bypass valves open. A work activity was initiated to replace the CPU to restore operation of the pre-filter flow controller. The CPU was replaced and, after re-initiation of the CPU, the pre-filter inlet, outlet, and bypass valves all closed, shutting off flow to the feedwater system by dead heading the condensate pumps and removing suction from the condensate booster pumps. | ||
The inspectors reviewed the root cause report and noted that the licensee identified that the staff lacked understanding regarding the risk associated with the CPU replacement. | |||
Personnel failed to adequately apply the work control process. The emergent work was not screened as a production risk evolution. The electrical maintenance planner and operations staff failed to associate the condensate pre-filter flow controller with the condensate system, which was on the station production risk system matrix in WC-AA-108, Review and Screening for Reactivity Risk, Attachment 2, Revision 1, as a procedurally directed risk significant system. As a result, contingencies were not established. | |||
The root cause report stated that the licensees staff failed to require air isolation to the condensate pre-filter bypass valves. The condensate pre-filter bypass valves fail in the open position on a loss of air. Work planning personnel assumed the pre-filter programmable logic controller (PLC) software was fail-safe and did not perceive the CPU replacement as a production risk. This assumption was based on previous experience associated with PLC work activities. The station black-out (SBO) diesel PLC CPU, which was a similar model, had been previously replaced without incident. | |||
However, the staff failed to recognize that the condensate pre-filter system CPU replacement was a first-time evolution. This was the first PLC CPU replacement on the condensate pre-filter flow controller during power operation; unlike the SBO diesel PLC CPU replacement which was performed while the system was in stand-by operation. | However, the staff failed to recognize that the condensate pre-filter system CPU replacement was a first-time evolution. This was the first PLC CPU replacement on the condensate pre-filter flow controller during power operation; unlike the SBO diesel PLC CPU replacement which was performed while the system was in stand-by operation. | ||
The licensees root cause report concluded that the overconfidence of the involved individuals in the previous performance of PLC CPU maintenance, combined with the belief that the software was fail safe, resulted in not implementing the precautionary action to fail open the pre-filter bypass valves. | |||
Procedure WC-AA-104, Review and screening of production risk, step 2.4, stated, in part, that a production risk activity is any activity that has the potential to derate the plant. The staffs failure to screen this work as a production risk activity resulted in the lack of additional review requirements for production risk significant systems. Had the staff exercised a more rigorous challenge the transient may have been prevented. | |||
Specifically, the | The inspectors determined that although the licensees risk assessment was not adequate during this event, mitigating systems operated as designed and the reactor was successfully shut down. | ||
=====Analysis:===== | |||
The inspectors concluded that the failure to adequately perform risk assessment and management of emergent work was a performance deficiency that effected the Initiating Events cornerstone. Using IMC 0612, Appendix B, Issue Screening, dated November 2, 2006, the inspectors determined that this finding was greater than minor because the maintenance that was performed resulted in an initiating event. Using IMC 0609, Appendix K, Maintenance Risk Assessment and Risk Management Significance Determination Process, dated May 19, 2005, the finding was determined to be of very low safety significance (Green) since the change in incremental core damage probability (ICDP) and incremental large early release probability (ILERP)were less then 1E-6 and 1E-7, respectively. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the human performance prevention techniques provided to the staff (the station production risk system matrix) were not adequately followed. Personnel proceeded in the face of uncertainty and unexpected circumstances by not implementing a conservative decision making process (H.4.(a)). | |||
=====Enforcement:===== | |||
10 CFR 50.65(a)(4) states, in part, that before performing maintenance activities, the licensee shall assess and manage the risk that may result from the proposed maintenance activities. Contrary to the above, on May 4, 2007, the licensee failed to adequately assess the risk associated with emergent maintenance activity related to the Unit 2 condensate pre-filter PLC CPU failure and replacement. | |||
Specifically, the licensees overconfidence in the historic performance, combined with the assumption that the PLC software was fail safe, resulted in not implementing the precautionary action to fail open the pre-filter bypass valves. The licensee underestimated the risk associated with this work and failed to screen the work as a production risk activity which resulted in the lack of additional review requirements for work on production risk significant systems. | |||
Corrective actions included, 1) the CPU card was replaced with the vendor support and the PLC was restarted; 2) a standing order on risk management treatment of condensate pre-filter PLC hardware activities was initiated; 3) actions for design engineering to develop a design specification for the condensate pre-filter valve CPU software were assigned; and 4) actions to proceduralize the requirements associated with performing condensate pre-filter troubleshooting, maintenance activities and system restoration were initiated. Because this violation was of very low safety significance and it was entered into the licensees corrective action program as IR 625692, this violation is being treated as a Non-Cited Violation (NCV), consistent with Section VI.A of the NRC Enforcement Policy. (NCV 0500237/2007003-03). | |||
===.3 (Closed) Unresolved Item (URI) 05000237/2006010-04; 05000249/2006010-04, Full=== | |||
Flow Testing of the Diesel Driven Flood Pump at Design Conditions | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed this URI to ensure that the issues documented in the | The inspectors reviewed this URI to ensure that the issues documented in the report were adequately addressed in the licensees corrective action program. The inspectors interviewed plant personnel and reviewed test data, calculation results, and other documents. | ||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a performance deficiency involving a Non- | The inspectors identified a performance deficiency involving a Non-Cited Violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump. | ||
=====Description:===== | |||
On June 5, 2004, the inspectors identified that the licensees abnormal operating procedure for response to external flooding, and the surveillance test procedure for the diesel driven pump necessary to provide make-up to the isolation condenser for response to external flooding, were not adequate for the circumstances (NCV 05000237/2004010-02; 05000249/2004010-02). As a corrective action the licensee planned to change the surveillance test procedure and perform a full flow test of the pump. This was documented in IR 246038. Subsequently, the inspectors performed a detailed review of IR 246038 to determine if the corrective actions were appropriate and were adequately completed. | |||
The inspectors noted that the isolation condenser emergency make-up pump was full flow tested on November 21, 2005. On September 7, 2006, the inspectors reviewed the details of the pump test and the licensees conclusions. The inspectors noted that the pump capacity at the maximum pump speed was measured at 298 gpm at a discharge head of 114 psig. This was only 80.5 percent of the expected capacity of 370 gpm based on the manufacturers pump curve. The inspectors were concerned that the lower than expected flowrate may be an indication of pump degradation. The licensee tested the pump at only one point and assumed that the actual pump curve would follow the generic pump curve established by the manufacturer. The inspectors questioned the method of testing and the method used to extrapolate the flowrate to generate a pump curve. | |||
The inspectors questioned licensee personnel to determine if any actions had been taken to address the cause of the 19.5 percent degraded pump test results, and to ensure the pump would not degrade further over time. The inspectors learned that no actions had been taken. The inspectors concluded that the lack of additional points tested on the pump curve did not ensure the pump would provide adequate flow at design conditions. | |||
The inspectors were concerned that the licensee did not perform an adequate test to validate the performance of the emergency flood pump. An unresolved item was created to track the issue while further review was conducted by the inspectors (URI 05000237/2006010-04; 05000249/2006010-04). To address the inspectors concerns about this issue, the licensee sent the pump to an offsite facility for additional testing. | |||
Assuming the procedure is executed as written, the reactor could have been shut down as much as 72 hours prior to the flood water reaching elevation 509 feet.Analysis: | Subsequently, in January, 2007, the inspectors reviewed the test results. The inspectors noted that the test results indicated that the emergency flood pump could not achieve the flowrate and discharge head as calculated in calculation DRE99-0035, Rev. 03 Capacity and Discharge Head For Portable Isolation Condenser Make-up Pump To Be Used During Flood Conditions, due to inadequate Net Positive Suction Head (NPSH). The licensee stated that this was caused by friction losses in the suction hose combined with how high the pump was elevated above the flood water. Also, the licensees procedure did not clearly state how high the pump could be lifted above the flood water before it would start to lose NPSH. | ||
The licensee concluded that the cause of this deficiency was attributed to original sizing of the pumps suction hose. The size of the suction hose was originally based on a manufacturer recommendation when the pump was purchased in 2000. The required flowrate and discharge head at that time was 336 gpm and 247.2 feet of water. A 3-inch diameter suction line was used for this flow. However, the losses in the suction line were not re-evaluated when the required flowrate was increased to 350 gpm in 2003 as a result of Extended Power Uprate (EPU). Contributing to this error was the lack of vendor information on NPSH requirements for the pump and size of the suction line used to generate the published pump curve. | |||
The inspectors then questioned what the impact of a higher elevation lift or longer suction hose length would have been on the ability to remove reactor decay heat, and what would have happened using Dresden Operating Abnormal Procedure DOA 0010-04, Revision 24, which was not precise regarding the elevation lift and suction hose length. To address the inspectors concerns, the licensee performed an Engineering Change (EC) 364149, Revision 00. The licensee determined that in a worst case scenario which would be the effect of combined worst case elevation and worst case hose length of 3-inch diameter suction hose, the maximum flowrate would have been 269 gpm. This flowrate was determined to be sufficient to balance reactor decay heat and provide make-up to the spent fuel pools at 30.6 hours following reactor shutdown. | |||
Page 9 of Calculation DRE 99-0035 stated that the timetable for the licensing basis flood was given in Technical Evaluation Report (TER) C5257-421, Hydrological Considerations, dated May 7, 1982. The report concludes that the flood waters will rise from 509 feet to 517 feet in 7 hours assuming dam gates open to 16 feet. The Technical Requirements Manual and Procedure DOA 0010-04, Floods, both require that both units be shutdown when the river elevation reaches 509 feet. Therefore, the amount of water needed for the isolation condensers is based on decay heat 6 hours after shutdown. | |||
It was determined that the increase in time to balance reactor decay heat from 6 hours to 30.6 hours would not have significantly impacted plant safety. DOA 0010-04 requires a unit shutdown if river levels are predicted to exceed elevation 509 feet withing 3 days. | |||
Assuming the procedure is executed as written, the reactor could have been shut down as much as 72 hours prior to the flood water reaching elevation 509 feet. | |||
=====Analysis:===== | |||
The inspectors determined that the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump, until prompted by the inspectors, to ensure an adequate supply of make-up water to the isolation condenser during flood conditions to prevent core damage was a performance deficiency warranting a significance evaluation in accordance with IMC 0612, Power Reactor Inspection Reports, Appendix B, Issue Screening, issued on November 2, 2006. The inspectors determined that the finding was more than minor because it | |||
: (1) involved the equipment performance and procedure quality attributes of the Mitigating Systems cornerstone and | : (1) involved the equipment performance and procedure quality attributes of the Mitigating Systems cornerstone and | ||
: (2) affected the cornerstone objective of ensuring the reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. The inspectors determined that the finding could be evaluated using the SDP | : (2) affected the cornerstone objective of ensuring the reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. | ||
The inspectors determined that the finding could be evaluated using the SDP in accordance with IMC 0609, Significance Determination Process, Appendix A, dated March 23, 2007, because the finding was associated with the reliability of a mitigating system. The inspectors concluded that the diesel driven make-up pump would be a mitigating system in the case of the probable maximum flood (PMF). For the Phase 1 screening, the inspectors answered No to the first four questions under the mitigating systems column. The inspectors then went to the Phase 1 worksheet for Seismic, Fire, Flooding, and Severe Weather Criteria. Question 1 was answered Yes. Question 2.c was answered No. As a result, the issue was screened to be of very low safety significance, Green. The primary cause of this finding was related to the cross-cutting issue of problem identification and resolution (corrective action program) because the licensee failed to take appropriate corrective actions to address safety issues and adverse trends in a timely manner, commensurate with their safety significance and complexity (P.1(d)). | |||
=====Enforcement:===== | |||
Title 10 CFR Part 50, Appendix B, Introduction, requires, in part that nuclear power plants and fuel reprocessing plants include structures, systems, and components that prevent or mitigate the consequences of postulated accidents that could cause undue risk to the health and safety of the public. | |||
Title 10 CFR Part 50, Appendix B, Criterion II, Quality Assurance Program, requires, in part, that the applicant shall identify the structures, systems, and components to be covered by the quality assurance program. | |||
The licensees Quality Assurance Topical Report (QATR), Revision 79, Appendix F, Section 2.2, Quality Classification, stated, in part, that the scope of the Companys QATR includes, but is not limited to, items and activities related to safe nuclear plant operation,...this process relies on the use of the terms Safety Related, Augmented Quality, and QATR Scope. Section 2.2.1.1 of Appendix F, stated, in part, that items within the scope of the QATR are designated as Nuclear Safety Related or Augmented Quality. | |||
The isolation condenser emergency make up pump is designated Augmented Quality, and is a mitigating system in the PMF postulated scenario in the UFSAR. | |||
Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that measures be established to assure that conditions adverse to quality, such as deficiencies, defective material and equipment, and nonconformances, are promptly identified and corrected. | |||
Contrary to this requirement, from June 5, 2004, to January 3, 2007, the licensee failed to ensure that measures be established to assure that conditions adverse to quality, such as inadequate testing, insufficiently sized suction hoses, and inadequate operational procedures, were promptly identified and adequately corrected after they were previously identified by the inspectors. Specifically, the licensee failed to ensure adequate corrective actions were taken to: | |||
* test the isolation condenser make-up pump to its design limits; | |||
* identify operational deficiencies such as the size and length of the suction hose to eliminate friction losses in the suction line; and | |||
* identify and correct operational issues regarding the height to which the pump could be raised to maintain NPSH. | |||
The licensees corrective actions for this issue included increasing the margin in NPSH by increasing the size of the pump suction line to a 30-foot length of 4-inch diameter hose, eliminating restrictions in the flowpath to the isolation condenser, and planning to review DOA 0010-04 and revise the procedure as appropriate to address the height above the water to which the pump could be elevated to maintain NPSH. Because this issue is of very low safety significance and has been entered into the licensees corrective action program (Issue Report 574887), this violation is being treated as a Non-Cited Violation, consistent with Section VI.A., of the NRC Enforcement Policy (NCV 05000237/2007003-04; 05000249/2007003-04). Unresolved Item (URI 05000237;249/2006010-04) is considered closed. | |||
This represents one inspection sample. | |||
{{a|4OA5}} | |||
==4OA5 Other Activities== | |||
===.1 Preoperational Testing of an Independent Spent Fuel Storage Installation (ISFSI)=== | ===.1 Preoperational Testing of an Independent Spent Fuel Storage Installation (ISFSI)=== | ||
(60854) | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
Training The inspectors reviewed the licensees Systematic Approach to Training program which consisted of classroom and on-the-job training to ensure all staff involved in the use of the HI-STORM cask were trained. The inspectors reviewed the training material, including the content of the manuals, visual aids, and techniques used to perform on-the-job training. The inspectors independently verified satisfactory completion of training by applicable staff by comparing training documentation to the licensees Personnel Qualification Database. The inspectors interviewed training instructors and select individuals who were responsible for performance of specific tasks during loading to evaluate their knowledge regarding the campaign activities, the cask loading process, and use of the equipment. The inspectors reviewed training records of welders and other personnel who the licensee authorized to perform the non-destructive examination inspections to ensure that these individuals training was current. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified.. | No findings of significance were identified. | ||
===.2 Preoperational Testing of an Independent Spent Fuel Storage Installation at Operating=== | |||
Plants (60854.1) | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
10 CFR 72.212 Evaluation The inspectors reviewed the | 10 CFR 72.212 Evaluation The inspectors reviewed the licensees 10 CFR Part 72.212 evaluation to determine its acceptability and compliance with conditions set forth in the Certificate of Compliance (CoC), the Final Safety Analysis Report (FSAR) and 10 CFR Part 72 requirements in regard to the Holtec MPC-68 cask system. The inspectors interviewed personnel to ensure the Dresden Nuclear Power Station (DNPS) West ISFSI 72.212 Evaluation adequately addressed the requirements for 72.212(b)(8)(iii) for cask sales, lease or loan. The inspectors discussed with the licensee staff the need to clearly identify the two 72.212 evaluations for the West and East ISFSI pads to eliminate the possibility of confusion between the two documents. | ||
The inspectors reviewed select documents referenced in the DNPS West ISFSI 72.212 Evaluation. The documents reviewed included a sample of operational procedures, evaluations and design of the west pad, modifications to the reactor building and the transfer route, evaluation of the dose rate limits, the quality assurance program, procurement and fabrication packages, and the emergency plan. | |||
The inspectors reviewed records to determine that a graded approach was being applied at DNPS under the application of the Exelon Generating Company Quality Assurance Program Topical Report NO-AA-10, Revision 77. The inspectors also verified that the licensee maintained a records management system and adequately controlled a copy of the CoC and the FSAR as specified in the 72.212 Evaluation. | |||
Demonstrations The inspectors reviewed the loading and unloading procedures to determine if they contained commitments and requirements specified in the license, the Technical Specifications, the FSAR, and Title 10 Code of Federal Regulations, Part 72. The inspectors also reviewed the licensees contingency procedures to examine if the necessary failure scenarios were addressed and adequate initial recovery actions were proposed to place equipment in a safe configuration. | |||
The inspectors observed licensee personnel perform select activities associated with dry fuel storage to demonstrate their readiness to safely load fuel from the spent fuel pool into the dry cask storage system. The inspectors attended a High Level Awareness meeting and various pre-job briefs to assess the licensees ability to identify critical steps of the evolution, potential failure scenarios and tools to prevent errors. The inspectors observed the licensee perform a number of critical activities including the transfer of the Multi-Purpose Canister (MPC) from the transfer cask (TC) to the storage cask, the installation of the storage cask lid, and transfer of the storage cask to the pad. | |||
The inspectors observed the licensee respond to an unplanned condition where the TC pool lid became bound inside the mating device, thus preventing the mating device to open fully. This condition prevented the pool lid from being removed, resulting in inability to insert the MPC into the storage cask. The inspectors evaluated the adequacy of the licensees proposed actions to recover from the condition by first securing the heavy load, the suspended MPC, and then disassembly of the mating device, evaluation of the mating device and the lid, engineering evaluation to repair, and finally repair activities. During the demonstrations, inspectors evaluated the adequacy of the operational procedures and verified the staffs familiarity with procedures and the equipment. During the observations, the inspectors verified that adequate supervisory oversight was provided, good communication and coordination between the groups was established, and the procedures were adhered to. | |||
Fuel Selection The inspectors reviewed the licensees procedure describing the process to verify that the selected fuel was appropriately characterized and selected. The inspectors reviewed a completed fuel selection package for MPC No. 83 which was to be loaded first during the campaign to verify that the licensee used criteria specified in the CoC, the Technical Specifications, and the FSAR to verify the acceptability of assemblies. | |||
The inspectors | The inspectors reviewed the certification guides for an individual and the associated training material used for the training to ensure that the individual was adequately trained to perform fuel selection and its verification. | ||
The | Heavy Loads The inspectors reviewed 26 Condition Reports associated with the Unit 2/3 reactor building crane generated since July 2006. The inspectors interviewed personnel and reviewed work requests to ensure the crane main hoist upper travel limit switch will not adversely impact the loading of fuel and that the licensee has taken measures to repair the switch. The inspectors also reviewed documentation for the 110 ton single failure proof crane to ensure the loads to be handled are within the crane and the transfer cask trunnion load capacity limits. The inspectors performed a detailed review of the licensees heavy load program including maintenance, surveillance, and testing of the crane, the special lifting device and the slings. | ||
Radiation Protection The inspectors evaluated the licensees radiation protection program as it related to the operation of the ISFSI including a review of the licensees As-Low-As-Reasonably-Achievable (ALARA) Plan. The inspectors compared estimated exposure to the actual doses (in person-rem) received during the past several campaigns and the licensees plan to ensure the doses remain ALARA during the upcoming campaign. The inspectors also reviewed the licensees effluent control program which included review of the annual ISFSI report. The inspectors reviewed the procedures associated with radiation protection safety to verify that all dose rate limits and surveillance requirements contained in the Technical Specifications were incorporated into procedures. The inspectors also reviewed the analyses for establishing administrative dose limits for the transfer and storage cask radiation surveys, the ISFSI pad radiation surveys, and storage cask inspection. The inspectors reviewed methods of personnel monitoring. | |||
The inspectors interviewed the | The inspectors interviewed the licensees personnel to verify their knowledge regarding the scope of the work and the radiological hazards associated with transfer and storage of dry fuel. | ||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified.. | No findings of significance were identified. | ||
===.3 Operation of an Independent Spent Fuel Storage Installation (60855.1)=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors observed and evaluated the | The inspectors observed and evaluated the licensees loading of the first canister during the campaign and the transfer of the first storage cask to the west ISFSI pad to verify compliance with the applicable CoC conditions, the associated Technical Specifications, and procedures. Specifically, the inspectors observed independent verification of the fuel assemblies, lifting of the transfer cask from the spent fuel pool, decontamination and surveying, welding of the lid, draining of water, vacuum drying, down loading of the transfer cask and transfer of the MPC to the storage cask and transfer of the storage cask to the ISFSI pad. The inspectors reviewed daily radiation dose records for the staff who performed work to verify that the radiation doses received were below the licensees administrative limits. The inspectors also verified that the contamination and radiation levels from the transfer cask and the loaded MPC as well as the storage cask were well below the regulatory limits and the licensees administrative limits. The inspectors reviewed select documents, in part, after the licensee completed certain loading activities. Specifically, the inspectors reviewed the welding travelers and the visual and dye penetrant testing records for MPC No. 84 to ensure that acceptance criteria were followed in accordance with codes and that the documents were complete. | ||
In addition, the inspectors reviewed a number of condition reports and the associated follow up actions that were generated in response to some unexpected conditions encountered during the loading campaign. The inspectors verified that the licensee took adequate corrective actions to correct an issue associated with loading MPC No. 84 with fuel which was designated to be initially loaded into MPC No. 83. The inspectors verified that this event did not adversely affect the MPC design or its capability to safely store fuel. | In addition, the inspectors reviewed a number of condition reports and the associated follow up actions that were generated in response to some unexpected conditions encountered during the loading campaign. The inspectors verified that the licensee took adequate corrective actions to correct an issue associated with loading MPC No. 84 with fuel which was designated to be initially loaded into MPC No. 83. The inspectors verified that this event did not adversely affect the MPC design or its capability to safely store fuel. | ||
====b. Findings==== | ====b. Findings==== | ||
No findings of significance were identified..4(Closed) Unresolved Item (URI) 05000237/2006012-02; 05000249/2006012-02 | No findings of significance were identified. | ||
Pump Room High Energy Line Break (HELB)An URI was opened during the 2006 NRC Evaluation of Changes, Tests, | ===.4 (Closed) Unresolved Item (URI) 05000237/2006012-02; 05000249/2006012-02:=== | ||
Change of Systems Credited to Mitigate a High Pressure Coolant Injection (HPCI) | |||
Pump Room High Energy Line Break (HELB) | |||
An URI was opened during the 2006 NRC Evaluation of Changes, Tests, or Experiments and Permanent Plant modification Baseline Inspection concerning the adequacy of the licensees basis, described in the 10 CFR 50.59 safety evaluation, for determining that changes to UFSAR Section 3.6.1.5 did not require a license amendment. Based on the information discussed in Section 1R02.1.b.1 of this report, an NCV of 10 CFR 50.59 was identified. Therefore, this URI is closed. | |||
{{a|4OA6}} | |||
==4OA6 Meetings== | |||
===.1 Exit Meeting=== | |||
The inspectors presented the inspection results to the Site Vice President, Mr. D. Bost, and other members of licensee management on July 17, 2007. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was discussed. | |||
===.2 Interim Exit Meetings=== | |||
*** | An interim exit meeting was conducted for the Licensed Operator Requalification Inspection 71111.11B with Mr. P. OConnor, Licensed Operator Requalification Training Lead, on June 26, 2007, via telephone. | ||
Closure of URI 05000237/2006012-02; 05000249/2006012-02 as an NCV with Mr. James Ellis and other members of licensee management on July 5, 2007, via telephone. | |||
===.3 Interim Exit Meetings=== | |||
An interim exit meeting was conducted on April 23, 2007, at the completion of the pre-operational inspection of the dry fuel storage activities. A second interim exit meeting was held on May 11, 2007, which concluded the inspection of the loading activities and transfer of the first storage cask to the west ISFSI pad. The individuals present included: | |||
**J. Ellis, Regulatory Assurance Manager | |||
***J. Griffin, NRC Coordinator | |||
*K. Hunter, Reactor Services | |||
***D. Legget, Nuclear Oversight Manager | |||
***M. Mikota, Reactor Services | |||
*B. Rybak, Regulatory Assurance | |||
*P. Salgado, Operations | |||
**J. Sipek, Assistant Engineering Director | |||
*C. Symonds, Training Director | |||
***D. Wozniak, Plant Manager | |||
* indicates individuals present at the April 23, 2007 meeting. | |||
** indicates individuals present at the May 11, 2007 meeting. | |||
*** indicates individuals present at the April 23 and May 11, 2007 meetings. | |||
ATTACHMENT: | |||
=SUPPLEMENTAL INFORMATION= | =SUPPLEMENTAL INFORMATION= | ||
Line 381: | Line 689: | ||
: [[contact::D. Wozniak]], Plant Manager | : [[contact::D. Wozniak]], Plant Manager | ||
: [[contact::C. Barajas]], Senior Operations Supervisor | : [[contact::C. Barajas]], Senior Operations Supervisor | ||
: [[contact::H. Bush]], Radiation Protection Manager | : [[contact::H. Bush]], Radiation Protection Manager | ||
: [[contact::J. Ellis]], Regulatory Assurance Manager | : [[contact::J. Ellis]], Regulatory Assurance Manager | ||
: [[contact::R. Gadbois]], Operations Director | : [[contact::R. Gadbois]], Operations Director | ||
Line 389: | Line 697: | ||
: [[contact::J. Griffin]], Regulatory Assurance - NRC Coordinator | : [[contact::J. Griffin]], Regulatory Assurance - NRC Coordinator | ||
: [[contact::T. Hanley]], Engineering Director | : [[contact::T. Hanley]], Engineering Director | ||
: [[contact::D. Hartung]], Test Engineer | : [[contact::D. Hartung]], Test Engineer | ||
: [[contact::K. Hunter]], Dry Fuel Storage Engineer | : [[contact::K. Hunter]], Dry Fuel Storage Engineer | ||
: [[contact::M. Kluge]], Senior Staff Engineer | : [[contact::M. Kluge]], Senior Staff Engineer | ||
: [[contact::D. Leggett]], Nuclear Oversight Manager | : [[contact::D. Leggett]], Nuclear Oversight Manager | ||
: [[contact::M. Mikota]], Project Manager | : [[contact::M. Mikota]], Project Manager | ||
: [[contact::P. | : [[contact::P. OConnor]], Licensed Operator Requalification Training Lead | ||
: [[contact::M. Overstreet]], Radiation Protection | : [[contact::M. Overstreet]], Radiation Protection | ||
: [[contact::C. Podczerwinski]], Maintenance Rule Coordinator | : [[contact::C. Podczerwinski]], Maintenance Rule Coordinator | ||
Line 400: | Line 708: | ||
: [[contact::E. Rowley]], Chemistry | : [[contact::E. Rowley]], Chemistry | ||
: [[contact::R. Rybak]], Regulatory Assurance | : [[contact::R. Rybak]], Regulatory Assurance | ||
: [[contact::J. Schrage]], Licensing Engineer | : [[contact::J. Schrage]], Licensing Engineer | ||
: [[contact::P. Simpson]], Manager of Licensing (Cantera) | : [[contact::P. Simpson]], Manager of Licensing (Cantera) | ||
: [[contact::J. Sipek]], Assistant Engineering Director | : [[contact::J. Sipek]], Assistant Engineering Director | ||
: [[contact::D. Smith]], Projects | : [[contact::D. Smith]], Projects | ||
: [[contact::J. Strmec]], Chemistry Manager | : [[contact::J. Strmec]], Chemistry Manager | ||
Line 409: | Line 717: | ||
===NRC personnel=== | ===NRC personnel=== | ||
: [[contact::M. Ring]], Chief, Division of Reactor Projects, Branch 1 | : [[contact::M. Ring]], Chief, Division of Reactor Projects, Branch 1 | ||
: [[contact::D. Hills]], Chief, Engineering Branch | : [[contact::D. Hills]], Chief, Engineering Branch 1 | ||
IEMA personnel | |||
: [[contact::R. Schulz]], Illinois Emergency Management Agency | : [[contact::R. Schulz]], Illinois Emergency Management Agency | ||
Attachment | |||
==LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED== | ==LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED== | ||
===Opened=== | |||
: 05000237/2007003-01 NCV Change of Systems Credited to Mitigate a High Pressure | |||
: 05000249/2007003-01 Coolant Injection Pump Room High Energy Line Break (1R02) | |||
: 05000237/2007003-02 NCV Failure to Restore Fire Brigade Equipment to a Ready | |||
: 05000249/2007003-02 Status in a Timely Manner after the Performance of a Fire Drill (1R05) | |||
: 05000237/2007003-03 NCV Inadequate Risk Assessment That Led to Reactor Scram (4OA3.2) | |||
: 05000237/2007003-04 NCV Failure To Identify And Correct Issues With The Operation | |||
: 05000249/2007003-04 And Testing Of The Diesel Driven Pump Used To Respond To External Flooding (4OA3.3) | |||
===Closed=== | ===Closed=== | ||
: 05000237/2007003-01 NCV Change of Systems Credited to Mitigate a High Pressure | |||
: 05000249/2007003-01 Coolant Injection Pump Room High Energy Line Break (1R02) | |||
: 05000237/2007003-02 NCV Failure to Restore Fire Brigade Equipment to a Ready | |||
: 05000249/2007003-02 Status in a Timely Manner after the Performance of a Fire Drill (1R05) | |||
: 05000237/2007003-03 NCV Inadequate Risk Assessment That Led to Reactor Scram (4OA3.2) | |||
: 05000237/2007003-04 NCV Failure To Identify And Correct Issues With The Operation | |||
: 05000249/2007003-04 And Testing Of The Diesel Driven Pump Used To Respond To External Flooding (4OA3.3) | |||
(4OA3.1) | : 05000237/2006010-04 URI Full Flow Testing of the Diesel Driven Flood Pump at | ||
: 05000249/2006010-04 Design Conditions (4OA3.3) | |||
: 05000237/2006012-02 URI Change of Systems Credited to Mitigate a High Pressure | |||
: 05000249/2006012-02 Coolant Injection Pump (4OA5.4) | |||
: 05000237;249/2006-005-00 LER Units 2 and 3 Control Room Emergency Ventilation Air Conditioning System Inoperable Due To Leaking Fittings (4OA3.1) | |||
: 05000237/2007-002-00 LER Unit 2 Reactor Scram Due to Loss of Feedwater (4OA3.2) | |||
Attachment | |||
===Discussed=== | ===Discussed=== | ||
05000237/2004010-02 | : 05000237/2004010-02 NCV Source of Make-up Water (4OA3.3) | ||
: 05000237/2006007- | : 05000249/2004010-02 | ||
: 05000237/2006007-06 NCV Standby Liquid Control Valves Installed in the Plant | |||
: 05000249/2006007-06 Different than Those Assumed in Design Calculation (4OA2.4) | |||
Attachment | |||
==LIST OF DOCUMENTS REVIEWED== | ==LIST OF DOCUMENTS REVIEWED== | ||
}} | }} |
Latest revision as of 07:46, 22 December 2019
ML072110408 | |
Person / Time | |
---|---|
Site: | Dresden |
Issue date: | 07/30/2007 |
From: | Ring M NRC/RGN-III/DRP/RPB1 |
To: | Crane C Exelon Generation Co, Exelon Nuclear |
References | |
IR-07-001, IR-07-003 | |
Download: ML072110408 (51) | |
Text
uly 30, 2007
SUBJECT:
DRESDEN NUCLEAR POWER STATION, UNITS 2 AND 3 NRC INTEGRATED INSPECTION REPORT 05000237/2007003; 05000249/2007003; 07200037/2007-001
Dear Mr. Crane:
On June 30, 2007, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Dresden Nuclear Power Station, Units 2 and 3. The enclosed integrated inspection report documents the inspection findings, which were discussed on July 17, 2007, with Mr. D. Bost and other members of your staff.
The inspection examined activities conducted under your license as they relate to safety and compliance with the Commissions rules and regulations and with the conditions of your license.
The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel.
Based on the results of this inspection, four NRC identified findings of very low safety significance (Green) were identified. All of these issues involved violations of NRC requirements. However, because of the very low safety significance and because they were entered into your corrective action program, the NRC is treating these violations as Non-Cited Violations consistent with Section VI.A.1. of the NRC Enforcement Policy.
If you contest the subject or severity of a Non-Cited Violation, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, D.C.
20555-0001; with copies to the Regional Administrator, Region III, 2443 Warrenville Road, Suite 210, Lisle, IL 60532-4352; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, D.C. 20555-0001; and the NRC Resident Inspector at the Dresden Nuclear Power Station. In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRC's document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
Sincerely,
/RA/
Mark A. Ring, Chief Branch 1 Division of Reactor Projects Docket Nos. 50-237; 50-249;72-037 License Nos. DPR-19; DPR-25 Enclosure:
Inspection Report 05000237/2007003; 05000249/2007003 and 07200037/2007-001 w/Attachment: Supplemental Information cc w/encl: Site Vice President - Dresden Nuclear Power Station Dresden Nuclear Power Station Plant Manager Regulatory Assurance Manager - Dresden Chief Operating Officer Senior Vice President - Nuclear Services Senior Vice President - Mid-West Regional Operating Group Vice President - Mid-West Operations Support Vice President - Licensing and Regulatory Affairs Director Licensing - Mid-West Regional Operating Group Manager Licensing - Dresden and Quad Cities Senior Counsel, Nuclear, Mid-West Regional Operating Group Document Control Desk - Licensing Assistant Attorney General Illinois Emergency Management Agency State Liaison Officer Chairman, Illinois Commerce Commission
SUMMARY OF FINDINGS
IR 05000237/2007003; 05000249/2007003; 07200037/2007-001; 04/01/2007 - 06/30/2007;
Exelon Generation Company, Dresden Nuclear Power Station, Units 2 and 3, Evaluations of Changes, Tests, or Experiments, Fire Protection, Corrective Action, and Event Followup.
This report covers a 3-month period of baseline resident inspection, routine inspections by regional inspectors, and a routine inspection by regional and headquarters inspectors of pre-operational and operational activities associated with an Independent Spent Fuel Storage Installation. The inspection was conducted by Region III inspectors, headquarters inspectors, and the resident inspectors. Four Green findings, involving Non-Cited Violations, were identified. The significance of most findings is indicated by their color (Green, White, Yellow,
Red) using Inspection Manual Chapter 0609, Significance Determination Process (SDP).
Findings for which the SDP does not apply may be Green or be assigned a severity level after NRC management review. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process,
Revision 3, dated July 2000.
NRC-Identified and Self-Revealing Findings
Cornerstone: Initiating Events
- Green.
A performance deficiency involving a Non-Cited Violation of 10 CFR 50.65(a)(4)was self-revealed after the Unit 2 reactor scram on May 4, 2007. The licensee failed to adequately assess and manage the risk associated with emergent work. The licensees root cause report determined that the cause of the scram was a loss of feedwater due to closure of the condensate pre-filter isolation and bypass valves. The condensate pre-filter programmable logic controller central processing unit (CPU) had failed and work was in-progress to replace the CPU. The performance of this work caused the valve closure. Corrective actions included: 1) the CPU card was replaced with vendor support and the programmable logic controller (PLC) was restarted; 2) a standing order on risk management treatment of condensate pre-filter PLC hardware activities was initiated; 3) actions for design engineering to develop a design specification for the condensate pre-filter valve CPU software were assigned; and 4) actions to proceduralize the requirements associated with performing condensate pre-filter troubleshooting, maintenance activities and system restoration were initiated.
The finding was greater than minor because the maintenance that was performed resulted in an initiating event. The finding was of very low safety significance because all the equipment necessary to mitigate the transient worked as expected. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the human performance prevention techniques provided to the staff were not adequately followed. Personnel proceeded in the face of uncertainty and unexpected circumstances by not following a conservative decision making process (H.4.(a)). (Section 4OA3.2)
Cornerstone: Mitigation Systems
- Green.
The inspectors identified a finding having very low safety significance and an associated Severity Level IV Non-Cited Violation (NCV) of 10 CFR 50.59 for the licensees failure to perform an adequate safety evaluation review for changes made to the facility per safety evaluation 2005-02-001. Specifically, the licensee failed to provide an adequate basis as to why changes that credited the isolation condenser for decay heat removal in lieu of the automatic depressurization system and low pressure coolant injection (LPCI)/containment cooling service water and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI during a postulated high pressure coolant injection (HPCI) room high energy line break (HELB) did not require a license amendment. The licensee entered this issue into its corrective action program.
Because the issue potentially impacted the NRCs ability to perform its regulatory function, this finding was evaluated using the traditional enforcement process. The finding was determined to be more than minor because the inspectors could not reasonably determine that the activity implemented per 10 CFR 50.59 safety evaluation 2005-02-001, which adversely affected systems important to safety, would not have ultimately required NRC approval. The inspectors completed a significance determination of the underlying technical issue using NRCs Inspection Manual Chapter (IMC) 0609, Appendix A, Significance Determination of Reactor Inspection Findings for At-Power Situations, and answered no to all of the questions under the Mitigating Systems cornerstone. Based upon this Phase 1 screening, specifically this issue did not represent a loss of function, did not result in exceeding a Technical Specification (TS)allowed outage time, and did not affect external event mitigation, the inspectors concluded that the issue was of very low safety significance (Green). The inspectors determined there was not a cross-cutting aspect to this finding. In accordance with the Enforcement Policy, the violation was therefore classified as a Severity Level IV violation. (Section 1R02)
- Green.
The inspectors identified a Non-Cited Violation (NCV) of the Dresden Nuclear Power Station Renewed Facility Operating License having very low safety significance (Green) for the licensees failure to restore fire brigade equipment to a ready status in a timely manner after the performance of a fire drill on June 12, 2007. Corrective actions by the licensee included the restoration of the fire brigade equipment to a ready status at 8:22 p.m. on June 13, 2007.
The inspectors determined that this finding was more than minor because the failure to restore the fire brigade equipment to a ready status, if left uncorrected, would become a more significant safety concern. The inspectors completed a Phase 1 significance determination of this issue using IMC 0609, Significance Determination Process,
Appendix A, Attachment 1, dated March 23, 2007. The inspectors determined that the finding affected the Mitigating Systems cornerstone and the fire protection defense-in-depth strategies. However, as discussed by IMC 0609, Appendix A, Attachment 1, issues related to performance of the fire brigade are not included in IMC 0609,
Appendix F, Fire Protection Significance Determination Process, and require management review. Therefore, the finding was reviewed by NRC management, and was determined to be a finding of very low safety significance (Green) because the condition existed for slightly more than 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />, the delay in getting additional self-contained breathing apparatus would be a maximum of about 10 minutes, and the majority of the safety significant equipment in the turbine building is protected by an automatic fire suppression system. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the licensee failed to ensure adequate supervisory and management oversight of work activities (restoration of the fire brigade equipment), such that nuclear safety was supported (H.4(c)). (Section 1R05)
- Green.
On September 7, 2006, the inspectors identified a performance deficiency involving a Non-Cited Violation of 10 CFR Part 50, Appendix B, Criterion XVI,
Corrective Action, for the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump until prompted by the inspectors. The pump is designed to ensure an adequate supply of make-up water to the isolation condenser during flood conditions to prevent core damage. Specifically, the licensee failed to ensure adequate corrective actions were taken to test the pump to its design limits, and failed to identify deficiencies with the suction hose to eliminate friction losses in the suction line. The licensee missed an opportunity to re-evaluate the losses in the suction line when the required flowrate was increased to 350 gpm in 2003 as a result of extended power uprate and consequently, failed to ensure that equipment associated with the pump was sized adequately for execution of the pumps safety function. The licensees corrective action for this issue included increasing the margin in net positive suction head (NPSH) by increasing the size of the pump suction line to a 30-foot length of 4-inch diameter hose, eliminating restrictions in the flowpath to the isolation condenser, and planning to review DOA 0010-04 and revise the procedure as appropriate to address the height above the water to which the pump could be elevated to maintain NPSH.
This finding was more than minor because it affected the equipment performance and procedure quality attributes of the Mitigating Systems cornerstone, and affected the cornerstone objective of ensuring the reliability and capability of systems that respond to initiating events to prevent undesirable consequences. The issue was of very low safety significance based on the low initiating event probability and, because of the slow onset of the flooding and the reduced decay heat in the reactor core at the time recovery actions would be necessary, the licensee would be able to reasonably perform recovery actions that would prevent core damage. The primary cause of this finding was related to the cross-cutting issue of problem identification and resolution (corrective action program) because the licensee failed to take appropriate corrective actions to address safety issues and adverse trends in a timely manner, commensurate with their safety significance and complexity (P.1(d)). (Section 4OA3.3)
Licensee-Identified Violations
No findings of significance were identified.
REPORT DETAILS
Summary of Plant Status
Unit 2 began the inspection period at 912 MWe (95 percent thermal power and 100 percent of rated electrical capacity).
- On May 4, 2007, the unit was manually scrammed following a loss of feedwater flow event due to condensate demineralizer pre-filter bypass valves going closed. The unit returned to full power on May 10, 2007.
- On May 19, 2007, power was reduced to approximately 87 percent to perform a control rod pattern adjustment and turbine valve testing, and returned to full power the same day.
- On June 16, 2007, power was reduced to approximately 87 percent to maintain the unit within main condenser vacuum limits due to operating with two circulating water pumps.
A circulating water pump had to be secured due to a trip of the 2/3 A lift pump on low lube water flowrate. The unit returned to full power on the same day.
- On June 30, 2007, power was reduced to approximately 87 percent to perform a control rod pattern adjustment, and returned to full power on the same day.
Unit 3 began the inspection period at 912 MWe (95 percent thermal power and 100 percent of rated electrical capacity).
- On April 9, 2007, power was reduced to approximately 97 percent to perform control rod drive time testing, and returned to full power on the same day.
- On May 17, 2007, power was reduced to approximately 97 percent to perform control rod drive time testing, and returned to full power on the same day.
- On May 18, 2007, power was reduced to approximately 97 percent due to an unplanned scram of control rod drive F-2. The unit returned to full power on the same day.
- On May 27, 2007, power was reduced to approximately 72 percent to perform turbine valve testing, control rod drive testing, a control rod pattern adjustment, and various other activities. The unit returned to full power on the same day.
REACTOR SAFETY
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
1R01 Adverse Weather
a. Inspection Scope
The inspectors conducted inspections on the following equipment and systems:
- Unit 2 and 3 Station Blackout Diesels
- Unit 2 125/250 Volts-Direct Current Batteries The inspectors selected the inspection samples listed above to ensure the equipment could perform design functions during summer conditions. The inspection reviewed the licensees operating experience, corrective action program, projected work schedule, summer readiness procedures, and Updated Final Safety Analysis Report (UFSAR) to verify facility readiness for summer high temperatures and high winds generated by summer storms. In addition to system walkdowns, a site walkdown was performed to evaluate potential vulnerabilities for missile generation during high winds or tornados.
Communications protocol between the control room and the transmission system operator was also reviewed during the inspection and examples of the quality of communication were observed due to switchyard voltage issues that occurred during the inspection. Weather related conditions identified during the hot months of 2006 were verified to have been appropriately addressed through the corrective action program.
This review represented one inspection sample.
b. Findings
No findings of significance were identified.
1R02 Evaluations of Changes, Tests, or Experiments
.1 Review of 10 CFR 50.59 Evaluations and Screenings
a. Inspection Scope
This inspection was performed to follow-up URI 05000237/2006012-02; 05000249/2006012-02 that was opened in the Modifications/50.59 inspection report (ML063200532) in 2006 and was related to a UFSAR change that credited non-safety systems to mitigate a high pressure coolant injection pump high energy line break when the licensee discovered credited safety systems (ADS/LPCI) would not be available.
b. Findings
Change of Systems Credited to Mitigate a High Pressure Coolant Injection (HPCI) Pump Room High Energy Line Break (HELB)
Introduction:
The inspectors identified a Severity Level IV Non-Cited Violation (NCV)of 10 CFR 50.59 Changes, Tests, and Experiments, having very low safety significance (Green) involving the adequacy of a 10 CFR 50.59 safety evaluation for UFSAR changes that the licensee had implemented. Specifically, the inspectors questioned the adequacy of the licensees basis for determining that changes to UFSAR Section 3.6.1.5, Use of Isolation Condenser and Control Rod Drive System for Safe Shutdown Following a HELB, did not require a license amendment.
Description:
Unresolved Item (URI 05000237/2006012-02; 05000249/2006012-02) was opened during the 2006 NRC inspection for Evaluation of Changes, Tests, or Experiments and Permanent Plant Modifications, concerning the adequacy of the licensees basis, described in the 10 CFR 50.59 safety evaluation, for determining that changes to UFSAR Section 3.6.1.5 did not require a license amendment.
On August 10, 2005, the licensee had completed 10 CFR 50.59 safety evaluation 2005-02-001 to support a UFSAR change to the systems credited with safe shutdown following a HPCI pump room HELB from strictly safety-related systems to a combination of safety-related and non-safety-related systems. Specifically, the licensee credited the isolation condenser for decay heat removal in lieu of the Automatic Depressurization System (ADS) and Low Pressure Coolant Injection (LPCI)/Containment Cooling Service Water (CCSW); and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI. The reason for this change as stated by the licensee, was that the original HELB analysis did not evaluate the affects of a HPCI steam line break in the HPCI room on plant equipment in other areas and that the Equipment Qualification (EQ)program only evaluated the equipment in the HPCI room that was needed to isolate the break. The licensee determined that the use of non-safety-related equipment for safe shutdown was made necessary because the postulated break in the HPCI room resulted in a harsh environment in the Unit 2/3 Emergency Diesel Generator (EDG) Room.
Since the 2/3 EDG was not environmentally qualified for this environment, it was assumed to fail as a consequence of the HELB. To meet single failure requirements, the Unit 2 EDG was assumed to also fail. This scenario resulted in loss of all AC power required to power the LPCI or CCSW systems. Therefore, the original HELB analysis did not reflect the possibility that the ADS and LPCI would not be available to mitigate the HPCI room HELB.
Rationale given in the safety evaluation for why a license amendment was not required was that the NRC addressed the issue of using the isolation condenser and control rod drive systems in lieu of safety-related systems for safe shutdown following a HELB for other areas during the Systematic Evaluation Program (SEP). Specifically, the licensee took credit for a safety evaluation generated by the NRC as part of the SEP which approved use of the isolation condenser for decay heat removal and control rod drive for reactor coolant inventory control in response to a feedwater system HELB and concluded that NRC acceptance implied that the HPCI room HELB change did not result in more than a minimal increase in the likelihood of a malfunction of an SSC important to safety. There was not rationale or explanation provided to support the jump to this conclusion.
The inspectors noted that although similar non-safety equipment was relied upon for mitigating the two scenarios, the licensee had not evaluated whether the HPCI room HELB scenario was bounded by the feedwater system HELB scenario with respect to challenges to this equipment and the ability to mitigate. Specifically, the licensees basis for concluding a license amendment was not required did not compare the two scenarios with respect to any of the criteria in 10 CFR 50.59(c)(2). In particular, the feedwater HELB is a different accident scenario when compared to the HPCI HELB in that it involves a loss of inventory.
After discussions with Office of Nuclear Reactor Regulation staff, the inspectors concluded that accepting the use of the isolation condenser and control rod drive system to respond to the event was a possible viable approach assuming that the licensee provided an adequate basis in the safety evaluation and application was restricted to within the confines of HELB evaluations. However, in this case, the licensee had failed to provide an adequate basis.
Analysis:
The inspectors determined that the failure to provide an adequate basis for changes made to the facility in accordance with 10 CFR 50.59 safety evaluation was a performance deficiency. The finding was determined to be more than minor because the inspectors could not reasonably determine that the activity to change the systems credited with safe shutdown following a HPCI pump room HELB from strictly safety-related systems to a combination of safety-related and non-safety-related systems would not have ultimately required NRC prior approval. The licensee needed to address each of the criteria in 10 CFR 50.59(c)(2) to ensure the HPCI HELB event was entirely bounded by the feedwater system HELB, and the end result was not obvious to the inspectors without this more in-depth evaluation.
Because violations of 10 CFR 50.59 are considered to be violations that potentially impede or impact the regulatory process, they are dispositioned using the traditional enforcement process instead of the Significance Determination Process (SDP).
However, if possible, the underlying technical issue is evaluated under the SDP to determine the severity of the violation. In this case, the inspectors completed a significance determination of the underlying technical issue using NRCs IMC 0609, Appendix A, Significance Determination of Reactor Inspection Findings for At-Power Situations. The inspectors determined that the finding should be evaluated under the Mitigating Systems cornerstone as it affected the availability and reliability of mitigating equipment (LPCI and ADS). Based upon this Phase 1 screening, and the fact that this issue did not represent a loss of function, did not result in exceeding a Technical Specification allowed outage time, and did not affect external event mitigation, the inspectors concluded that the issue was of very low safety significance (Green). In accordance with the Enforcement Policy, the violation was therefore classified as a Severity Level IV violation.
The inspectors determined there was not a cross-cutting aspect to this finding.
Enforcement:
Title 10 CFR 50.59(d)(1) states, in part, that the licensee shall maintain records of changes in the facility, of changes in procedures, and of tests and experiments as described in the UFSAR. These records must include a written evaluation which provides a basis for the determination that the change, test, or experiment does not require a license amendment.
Contrary to the above, the licensee, in August 2005, in safety evaluation 2005-02-001, failed to provide an adequate basis for why changes that credited the isolation condenser for decay heat removal in lieu of ADS and LPCI/CCSW and credited the control rod drive system for control of reactor coolant inventory in lieu of LPCI during a postulated HPCI room HELB did not require a license amendment. In accordance with the Enforcement Policy, this violation of the requirements of 10 CFR 50.59 was classified as a Severity Level IV Violation because the underlying technical issue was of very low safety significance. Because this non-willful violation was non-repetitive, and was captured in the licensees corrective action program (CAP 00534275), it is considered an NCV consistent with VI.A.1 of the NRC Enforcement Policy.
(NCV 05000237/2007003-01; 05000249/2007003-01)
1R04 Equipment Alignment
a. Inspection Scope
The inspectors selected a redundant or backup system to an out-of-service or degraded train to determine that the system met the design of the UFSAR. Piping and instrumentation diagrams were used to determine correct system lineup and critical portions of the system configuration were verified. Instrumentation, valve configurations, and appropriate meter indications were also observed. The inspectors observed various support system parameters to determine the operational status of systems. Control room switch positions for the systems were observed. Other conditions, such as adequacy of housekeeping, the absence of ignition sources, and proper labeling were also evaluated.
The inspectors performed partial equipment alignment walkdowns of the following systems:
- Unit 2 and Unit 3 reactor building containment cooling water piping following the failure of the 2/3 reactor building containment cooling water pump.
This represented one inspection sample.
b. Findings
No findings of significance were identified.
1R05 Fire Protection (71111.05Q and A)
.1 Routine Quarterly Inspections
a. Inspection Scope
The inspector conducted a tour of the areas listed below to assess the material condition and operational status of fire protection features. The inspectors verified that combustibles and ignition sources were controlled in accordance with the licensees administrative procedures; that fire detection and suppression equipment was available for use and access was not obstructed; that passive fire barriers were maintained in good material condition; that procedures were maintained and adequate to support fire fighting activities; and that compensatory measures for out-of-service, degraded, or inoperable fire protection equipment were implemented in accordance with the licensees fire plan. Minor deficiencies noted during this inspection were verified to be included in the licensees corrective action program. Documents reviewed are listed in the Attachment. The following areas were walked down:
- Unit 3 turbine building, 517' elevation, reactor feed pumps, Fire Zone 8.2.5.E;
- Station blackout diesel generator building, North and South Ends, Non-Power Block, Fire Zones: N/A;
- Unit 2 battery and charger turbine building, 549' elevation, Fire Zones 7.0.A.1, 7.0.A.2, 7.0.A.3 and 8.2.7;
- Unit 2 reactor building, 476' 6" elevation, high pressure coolant injection room, Fire Zone 11.2.3;
- Unit 2 turbine building, 517' elevation, reactor feed pumps, Fire Zone 8.2.5.A; and
- Unit 3 turbine building, 517' elevation, diesel generator, Fire Zone 9.0B.
This represented six inspection samples.
b. Findings
No findings of significance were identified.
.2 Drill Evaluation
a. Inspection Scope
The inspectors observed a fire drill conducted on June 12, 2007, to assess the material condition and operational status of fire brigade equipment, and to assess the readiness and ability of the on-shift fire brigade to combat a simulated fire. The inspectors verified that the correct number of fire brigade members participated in the drill; that they were qualified in accordance with the licensees administrative procedures; that the fire brigade members arrived at the scene of the simulated fire in a timely manner; that each member of the fire brigade correctly donned protective clothing and self-contained breathing apparatus; that the fire brigade leader demonstrated adequate control, communications, and utilized a copy of the licensees pre-fire plan for the drill area; that the fire hose lines and other equipment were adequate for the situation; that the licensee conducted a post-drill critique; and that at the conclusion of the drill the fire fighting equipment was returned to a condition of readiness. Minor deficiencies noted during this inspection were verified to be included in the licensees corrective action program. This represented one inspection sample.
b. Findings
Introduction:
The inspectors identified a Non-Cited Violation (NCV) of the Dresden Nuclear Power Station Renewed Facility Operating License having very low safety significance (Green) for the licensees failure to restore fire brigade equipment to a ready status in a timely manner after the performance of a fire drill.
Description:
The inspectors observed a fire drill conducted between 4:00 p.m. and 5:18 p.m. on June 12, 2007. During the course of the drill the fire brigade members donned and used the four of the six available Scott Air Packs (self-contained breathing apparatus) during the course of the drill. Inspection Procedure 71111.05, Section 02.02.r, has the inspectors check that, at the conclusion of the drill, all fire fighting equipment is returned to a condition of readiness to respond to an actual fire.
The inspectors checked the fire brigade equipment storage location in the turbine building at about 2:15 p.m. on June 13, 2007, with the fire marshal present, and observed that the four Scott Air Packs used during the drill had not been cleaned, recharged with air, and returned to the fire brigade equipment storage area.
The fire marshal wrote an issue report and prompted radiation protection department management who had been tasked with performing the above activity. The shift logs documented that the fire brigade equipment was returned to a ready status at 8:22 p.m.
on June 13, 2007.
Analysis:
The inspectors determined that the failure to restore fire brigade equipment to a ready status after the performance of a fire drill, was a performance deficiency warranting a significance evaluation. Using IMC 0612, Appendix B, Issue Screening, issued on November 2, 2006, the inspectors determined that this finding was more than minor because the failure to restore the fire brigade equipment to a ready status, if left uncorrected, would become a more significant safety concern.
The inspectors completed a Phase 1 significance determination of this issue using IMC 0609, Significance Determination Process, Appendix A, Attachment 1, dated March 23, 2007. The inspectors determined that the finding affected the Mitigating Systems cornerstone and the fire protection defense-in-depth strategies. However, as discussed by IMC 0609, Appendix A, Attachment 1, issues related to performance of the fire brigade are not included in IMC 0609, Appendix F, Fire Protection Significance Determination Process, and require management review. Therefore, the finding was reviewed by NRC management, and was determined to be a finding of very low safety significance (Green) because the condition existed for slightly more than 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />, the delay in getting additional self-contained breathing apparatus would be a maximum of about 10 minutes, and the majority of the safety significant equipment in the turbine building is protected by an automatic fire suppression system. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices)because the licensee failed to ensure adequate supervisory and management oversight of work activities (restoration of the fire brigade equipment), such that nuclear safety was supported (H.4(c)).
Enforcement:
The inspectors determined that the licensees failure to restore fire brigade equipment to a ready status after the drill performance, was a violation of the Dresden Nuclear Power Station Renewed Operating License. License conditions 2.E 23 and 3.G of the Dresden Nuclear Power Station Renewed Facility Operating Licenses for Unit 2 and Unit 3, respectively, state, in part, that The licensee shall implement and maintain in effect all provisions of the approved fire protection program as described in the Updated Final Safety Analysis Report for the facility.... Section 9.5.1, Fire Protection System, of the Dresden UFSAR states that The design bases, system descriptions, safety evaluations, inspection and testing requirements, NFPA conformance reviews, personnel qualifications, and training are described in Reference 1.
Section 9.5.10, References, of Dresden UFSAR, reference 1, lists Dresden Units 2 and 3 Fire Protection Reports, Volumes 1 through 5, and Fire Protection Program Documentation Package, Volumes 1 through 13, as the documents to follow for compliance with the fire protection program.
Section 2.5.3, Equipment, of Dresden Station Units 2 and 3 Fire Protection Reports, Volume 1, Updated Fire Hazards Analysis, specifies that The fire brigade is provided with sufficient equipment to perform manual fire suppression operations as required.
Full personnel protective gear, including self-contained breathing apparatus with reserve breathing air is provided.
Procedure OP-AA-201-003, Revision 8, Fire Drill Performance, Paragraph 4.4.5, stated, (at the completion of the drill), Return all Fire Brigade equipment back to a ready condition.
Contrary to the above, from about 5:18 p.m. on June 12, 2007, until about 8:22 p.m. on June 13, 2007, the fire brigade equipment had not been returned to a ready status at the completion of a drill which ended at about 5:18 p.m. on June 12, 2007, because the four Scott Air-Packs (self-contained breathing apparatus) for the four fire brigade members had been discharged and were not returned to the designated fire brigade equipment storage location. This failure could have adversely impacted the fire brigades ability to fight a fire in a timely manner. This issue was entered in the licensees corrective action program as IR 639984. Corrective actions by the licensee included the restoration of the fire brigade equipment to a ready status at 8:22 p.m. on June 13, 2007. Because this violation was of very low safety significance and it was entered into the licensees corrective action program, this violation is being treated as a Non-Cited Violation, consistent with Section VI.A.1 or the NRC Enforcement Policy.
(NCV 05000237/2007003-02; 05000249/2007003-02)
1R06 Flood Protection Measures
a. Inspection Scope
Unit 2 and Unit 3 containment cooling service water system vaults were inspected. The inspectors verified that flooding mitigation plans and equipment were consistent with the design requirements and risk analysis assumptions. The inspectors reviewed UFSAR Section 3.4.1.2 for internal flooding protection measures, reviewed the licensees flooding mitigation procedures, and reviewed issue reports related to possible flood protection issues. Additionally, plant walkdowns were performed to verify design barriers were properly maintained. Penetrations between rooms, watertight doors, electrical conduit seals and covers, and room drains were inspected to verify material condition met design assumptions. The inspectors performed a review of the stations maintenance data base to verify preventative maintenance was current and equipment deficiencies were being appropriately reported and resolved. Additionally, the inspectors reviewed the maintenance rule scoping and performance criteria and determined that the function was being tracked appropriately. The corrective action program was also reviewed for the past 12 months for issues related to internal flood protection. The inspectors completed one inspection sample by completing the internal flooding review.
b. Findings
No findings of significance were identified.
1R11 Licensed Operator Requalification (71111.11Q & B)
.1 Quarterly Evaluation
a. Inspection Scope
The inspectors observed a training crew during two evaluated simulator scenarios and reviewed licensed operator performance in mitigating the consequences of events. The scenarios included multiple equipment and instrumentation failures, and the transients resulted in complex accidents that yielded the declaration of several emergency classifications. Areas observed by the inspectors included: clarity and formality of communications, timeliness of actions, prioritization of activities, procedural adequacy and implementation, control board manipulations, managerial oversight, emergency plan execution, and group dynamics.
This represented one inspection sample.
b. Findings
No findings of significance were identified.
.2 Annual Operating Test Results and Biennial Written Examination Results
a. Inspection Scope
The inspectors reviewed the overall pass/fail results of Job Performance Measure (JPM)operating tests, simulator operating tests, and the biennial written examination (required to be given per 10 CFR 55.59(a)(2)) administered by the licensee from May through June 2007. The overall results were compared with the significance determination process in accordance with NRC Manual Chapter 0609, Appendix I, Operator Requalification Human Performance Significance Determination Process (SDP).
This represented one inspection sample.
b. Findings
No findings of significance were identified.
1R12 Maintenance Effectiveness
a. Inspection Scope
The inspectors assessed the implementation of the licensees maintenance rule program to evaluate maintenance effectiveness for the selected systems in accordance with 10 CFR 50.65, Maintenance Rule. The following systems were selected based on being designated as risk significant under the Maintenance Rule, being in increased monitoring (Maintenance Rule Category a(1) group), or due to an inspectors identified issue or problem that potentially impacted system work practices, reliability, or common cause failures:
- Unit 2 station blackout diesel generator; and
- Unit 2 isolation condenser.
The inspectors verified the licensee's categorization of specific issues, including evaluation of the performance criteria, appropriate work practices, identification of common cause errors, extent of condition, and trending of key parameters. Additionally, the inspectors reviewed the licensee's implementation of the Maintenance Rule requirements, including a review of scoping, goal-setting, performance monitoring, short-term and long-term corrective actions, functional failure determinations associated with the condition and issue report reviews, and current equipment performance status.
This represented two inspection samples.
b. Findings
No findings of significance were identified.
1R13 Maintenance Risk Assessments and Emergent Work Control
a. Inspection Scope
The inspectors evaluated the implementation of the licensees maintenance risk program with respect to the effectiveness of the risk assessments performed before maintenance activities were conducted on structures, systems, and components and verified that the licensee managed the risk in accordance with 10 CFR 50.65, Maintenance Rule. The inspectors evaluated whether the licensee had taken the necessary steps to plan and control emergent work activities. The inspectors also verified that equipment necessary to complete planned contingency actions was staged and available. The inspectors completed evaluations of maintenance activities on the:
- 3B reactor protection system motor generator preventative maintenance;
- 2A core spray pump;
- Failure of central processing unit card caused the Unit 2 scram;
- Unit 3 high pressure coolant injection system out of service due to emergent work on the #3 steam supply valve due to leak; and
- Unit 2 isolation condenser unavailable due to surveillance testing.
This represented five inspection samples.
b. Findings
No findings of significance were identified.
1R15 Operability Evaluations
a. Inspection Scope
The inspectors reviewed operability evaluations and issue reports (IR) to ensure that operability was properly justified and the component or system remained available, such that any non-conforming conditions were in compliance with Generic Letter 91-18, Information to Licensees Regarding Two NRC Inspection Manual Sections on Resolution of Degraded and Nonconforming Conditions and on Operability. The review included issues involving the operability of:
- Issue Report 555432, Root Cause Investigation Report for 3B ERV Pilot Valve;
- Issue Report 198817, Unit 3 battery room cold;
- Issue Report 301184, Wires in U2 EDG Local Control Panel with Defective Insulation
- Issue Report 638430, Unit 2 and 3 Emergency Diesel Generator Circuit Breaker Closing Coil;
- Issue Report 555410, MS Snubber Fails Test; and
This represented six inspection samples.
b. Findings
No findings of significance were identified.
1R17 Permanent Plant Modifications
Unit 3 125 volt main station battery replacement
a. Inspection Scope
The inspectors reviewed a permanent plant modification associated with the Unit 3 125 VDC replacement. The inspectors reviewed Work Order 99053808-01, Unit 3 17 year PM Replace 125 Volt Station Main Battery, to verify that the completed activity was in accordance with the specified design requirements, and the licensing bases, and to confirm that the changes did not adversely affect any systems safety function.
Design and post-modification testing aspects were verified to ensure the functionality of the modification, its associated system, and any support systems. The inspectors also verified that the modifications performed did not place the plant in an increased risk configuration.
The inspectors also used applicable industry standards to evaluate acceptability of the modifications. This represented one inspection sample.
b. Findings
No findings of significance were identified.
1R19 Post Maintenance Testing
a. Inspection Scope
The inspectors reviewed post-maintenance tests associated with the activities listed below to verify that procedures and test activities ensured system operability and functional capability. The inspectors reviewed the licensees procedures to verify that the procedure adequately tested the safety function(s) that may have been affected by the maintenance activity, that the acceptance criteria in the procedure were consistent with information in the applicable licensing basis and/or design basis documents, and that the procedure had been properly reviewed and approved. The inspectors reviewed the work packages, monitored the test performance, and reviewed the test data to verify that test results adequately demonstrated restoration of the affected safety function(s).
- Unit 3 125vdc load test after battery replacement;
- Work order 9906879-01, Perform Preventive Maintenance Inspection on 480v Breaker MCC 28-1, Cubicle H2, 2A Core Spray Pump Downstream Inspection Valve 2-1402-25A; and WO 99086879-03, Unit 2, 6 Year Preventive Maintenance Inspection 480V Motor Control Center Motor Operator Valve 2-1402-25A;
- Work order 689909, D3 40M EQ REPL ASCO SOL VALVE 3-1601-20A [Replace the U3 ASCO solenoid valve on 3-1601-20A];
- 2A core spray pump post maintenance testing; and
- Work order 99053796-01, 12 Year Preventive Maintenance Inspection, 480V MCC Breaker Reactor Water Cleanup Reject to Condenser 3-1201-11.
This represented five inspection samples.
b. Findings
No findings of significance were identified.
1R20 Refueling and Other Outage Activities
.1 Unit 2 manual scram resulting from loss of feedwater
a. Inspection scope
On May 4, 2007, Unit 2 was manually scrammed following a loss of feedwater flow event due to condensate pre-filter bypass valves going closed. High Pressure Coolant Injection was used to restore water level. Minimum water level was -67 inches medium range indication. Main steam isolation valves closed and the Unit 2 and Unit 2/3 emergency diesel generators auto started on low low level. The isolation condenser was used to control decay heat following the event. The inspectors responded to the site, verified that equipment expected to mitigate the event worked properly, interviewed members of the operations crew, and reviewed emergency and abnormal operating procedures.
b. Findings
The findings associated with this inspection are found in Section 4OA3.3 of this report.
1R22 Surveillance Testing
.1 Routine Inspections
a. Inspection Scope
The inspectors observed surveillance testing on risk-significant equipment and reviewed test results. The inspectors assessed whether the selected plant equipment could perform its intended safety function and satisfy the requirements contained in TSs.
Following the completion of each test, the inspectors determined that the test equipment was removed and the equipment returned to a condition in which it could perform its intended safety function.
The inspectors witnessed one reactor coolant system (RCS) leakage detection surveillance test to assess whether the structures, systems, and components met the requirements of the TSs, and the Updated Final Safety Analysis Report. The inspectors also evaluated whether the testing effectively quantified RCS leakage and demonstrated that the structures, systems, and components were operationally ready and capable of performing their intended safety functions.
The inspectors observed surveillance testing activities and/or reviewed completed packages for the tests listed below, related to systems in the Initiating Events, Mitigating Systems, and Barrier Integrity cornerstones:
- DOS 1500-17, Containment Cooling Service Water IST [in-service test]
Comprehensive/Preservice Pump Test, Revision 02;
- DIS 1500-31, Division II Low Pressure Coolant Injection/Containment Spray, Torus Cooling, and 2/3 Core Coverage Logic System Functional Test, Revision 4;
- Issue Report 598179, ASME Code Test Interval For Class 1 Safety Relief Valves; and
This represented a total of four inspection samples, of which one was in-service testing, one was reactor coolant system leakage detection, and two were routine surveillance tests.
b. Findings
No findings of significance were identified.
1EP6 Drill Evaluation
a. Inspection Scope
The resident inspectors reviewed a simulator-based training evolution to evaluate drill conduct and the adequacy of the licensees critique of performance to identify weaknesses and deficiencies. The inspectors selected a simulator scenario that the licensee had scheduled as providing input to the Drill/Exercise Performance Indicator.
The inspectors observed the classification of events, notifications to off-site agencies, protective action recommendation development, and drill critiques. Observations were compared to the licensees observations and corrective action program entries. The inspectors verified that there were no discrepancies between observed performance and performance indicator reported statistics. The simulator scenario observed resulted in a site area emergency classification and declaration.
This simulator emergency preparedness drill observation constituted a single inspection sample.
b. Findings
No findings of significance were identified.
OTHER ACTIVITIES
4OA1 Performance Indicator Verification
.1 Initiating Events, Mitigating Systems, and Barrier Integrity Performance Indicator
Verification
a. Inspection Scope
The inspectors reviewed, at a minimum, the most recent 24 months of licensee event reports, licensee data reported to the NRC, plant logs, issue reports, and NRC inspection reports to verify the following performance indicators reported by the licensee for the 1st Quarter of 2007:
- Unplanned scrams per 7000 critical hours, Units 2 and 3;
- Scrams with loss of normal heat removal, Unit 3; and
- Unplanned power changes per 7000 critical hours, Units 2 and 3.
The inspectors verified that the licensee accurately reported performance as defined by the applicable revision of Nuclear Energy Institute Document 99-02, Regulatory Assessment Performance Indicator Guideline.
These performance indicator reviews constituted five inspection samples.
b. Findings
No findings of significance were identified.
.2 Data Submission
a. Inspection Scope
The inspectors performed a review of the data submitted by the licensee for the 1st Quarter 2007 performance indicators for any obvious inconsistencies prior to its public release in accordance with IMC 0608, Performance Indicator Program.
This review was performed as part of the inspectors normal plant status activities and, as such, did not constitute a separate inspection sample.
b. Findings
No findings of significance were identified.
4OA2 Identification and Resolution of Problems
.1 Routine Quarterly Review
As discussed in previous sections of this report, the inspectors routinely reviewed issues during baseline inspection activities and plant status reviews to verify that they were being entered into the licensees corrective action system at an appropriate threshold, that adequate attention was being given to timely corrective actions, and that adverse trends were identified and addressed. In addition, in order to help identify repetitive equipment failures or specific human performance issues for follow-up, the inspectors performed a daily screening of items entered into the licensees corrective action program. This review was accomplished by reviewing daily issue reports and attending daily issue report review meetings.
This represents one routine quarterly review.
.2 In-depth Review (Operator Workaround)
a. Inspection Scope
As required by Inspection Procedure (IP) 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees corrective action program (CAP) and associated documents to evaluate operator workarounds for mitigating systems. This review was to determine if the mitigating system function was affected or if the operators ability to implement abnormal and emergency operating procedures was affected.
b. Findings
There were no findings of significance identified. The inspectors reviewed procedure OP-AA-102-103, Operator Work-Around Program, and the issues being tracked for program resolution. As of June 18, 2007, there were three operator challenges that were being tracked for resolution. The inspectors review determined that the issues were appropriately characterized as operator challenges.
The inspectors also reviewed selected operations department concerns, out of tolerance items that were identified in operations narrative logs and performed control room walkdowns to identify potential operator workarounds that were not in the program. In addition, annunciator procedures DAN 902(3)-4 G-2 and G-6 were reviewed for a potential workaround that may have been formalized as corrective action for a degraded condition. The potential workaround review applied to a caution in the annunciator procedures. The caution stated that the reactor recirculation motor generator set lube oil pumps should not operate concurrently for more than a few minutes (5-10 minutes)as the oil will overheat if both pumps simultaneously run. The inspectors concluded that there were no additional workarounds identified from the sources reviewed, and that the caution was due to system design, positive displacement pumps with discharge relief valves that on actuation, return flow to the pump suction.
.3 Semi-annual Trending
a. Inspection Scope
As required by IP 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees CAP and associated documents to identify trends that could indicate the existence of a more significant safety issue. The inspectors review was focused on AC electrical and air systems, and consisted of a six month period from January 2007 through June 2007. The inspectors reviewed multiple issue reports (IRs) generated during the time period, in an attempt to identify potential trends.
The screening was accomplished as follows:
- IRs dealing with company policies, administrative issues, and other minor issues were eliminated as being outside the scope of this inspection;
- The IRs were sorted into categories involving same equipment problems, repetitive issues, reoccurring departmental problem/challenges and repeated entries into TSs. The IRs were then screened for potential common cause issues and considered for potential trends;
- The inspectors removed a group of IRs that discussed strictly programmatic problems because the inspection requirement was primarily for equipment problems and human performance issues;
- The inspectors also removed a group of IRs where their review indicated that duplicate IRs had been written for the same event or failure;
- The remaining groups, considered potential unidentified trends, were provided to the licensee for discussion in case there was extenuating information that the inspectors were not aware of; and
- Groups of IRs remaining after all of the above screening were considered trends which the licensee had failed to identify.
The inspectors then were able to make an assessment by comparing the trends identified by the licensee to those trends identified by the NRC. In addition, the inspectors reviewed a CAP nuclear oversight assessment and audit conducted during January 2007 to June 2007.
This represented one inspection sample as a semiannual review for trends.
b. Findings
There were no findings of significance identified. The inspectors determined that, within the areas reviewed, the licensee staff initiated IRs at an appropriate threshold. The IRs reviewed also identified if any repeat or similar conditions were known to have occurred.
IR 594373, dated February 21, 2007, documented that transformer 22 east bank of cooling fans were not running, and that IR 538828, dated October 2, 2006, was initiated on a similar condition. The assigned action for IR 594373 was for plant engineering to determine how many fans may be degraded and evaluate the issue for impact on summer readiness. The disposition of IR 594373 documented that in the spring of 2005, several auxiliary transformer cooling fan motors failed. Because of these failures, system engineering initiated three work orders to replace all fan motors on TR 21, TR 31 and TR 22. Only the east bank of TR 22 remained to be completed.
The inspectors also identified that IR 620611 was initiated on the determination that a trip of the 3A instrument air compressor was a maintenance rule functional failure. This IR directed the appropriate evaluations and communication of information, such as, an EPIX (Equipment Performance and Information System) report to be completed. The EPIX report will result in data available for industry trends. In addition, IRs were generated by the CAP manager on increased maintenance and decreased reliability of station equipment. These IRs identified equipment trends through the use of the CAP.
.4 Assessment of the Corrective Action Program Effectiveness
a. Inspection Scope
As required by Inspection Procedure 71152, Identification and Resolution of Problems, the inspectors performed a review of the licensees CAP and associated documents to evaluate licensee corrective action in response to NCV 05000237/2006007-06; 05000249/2006007-06. This violation of 10 CFR 50.62 was associated with a licensee-identified material condition. The review of licensee corrective action will specifically consider the extent of condition and any generic implications.
b. Assessment Prioritization and Evaluation of Issues There were no findings of significance identified.
The licensee identified that the inputs to a design analysis, titled, DRE01-0066, Dresden Unit 2 & 3 Standby Liquid Control System Discharge Piping Pressure Drop, Revision 1 were non-conservative. Some of the valves actually installed in the plant were not the same type of valves assumed to be installed in the design analysis. This ultimately resulted in a change in a design calculation that demonstrated that standby liquid control system relief valves could lift upon system initiation during an anticipated transient without scram (ATWS) event.
The impact of having some of the valves actually installed in the plant that were not the same type of valves assumed to be installed in the ATWS Analysis was that it resulted in a higher pressure drop between the pump discharge and the reactor than calculated in DRE01-0066, Revision 1. This higher pressure drop meant that pump discharge pressure had to be higher to get flow to the reactor and the SBLC system relief valves could lift during an ATWS event. The lifting of the relief valves would cause SBLC system flow to be recirculated to the system storage tank rather than injected into the reactor vessel. Due to the inability to provide continuous SBLC system design flow into the reactor vessel as required by 10 CFR 50.62.c.(4), the licensee would fail to comply with 10 CFR 50.62.c.(4) if the relief valve lifted.
The inspectors reviewed IR 487350 that linked the incorrect modeling of the check valves in the SBLC system to calculation 097/098-M-001, which was originally prepared in December 1985, by an engineering contractor. The SBLC lift check valves were incorrectly modeled as swing check valves. The cause of the incorrect modeling could not be conclusively determined by the licensee due to the length of time, and the personnel involved were not available for interview. The IR continued, by stating, several process improvements have occurred since the error that would reduce the probability of a similar error, such as, implementation of pressure drop standard NES-MS-01.1, Fluid Piping Pressure Loss. Also, all calculations completed by engineering contractors undergo an owners acceptance review in accordance with CC-AA-309, Control of Design Analyses.
The extent of condition, documented by IR 487350, was to review other pressure drop calculations performed by the same engineering contractor in the same time frame.
This corrective action resulted in two additional pressure drop calculations being identified and reviewed. There were no errors identified for these additional calculations.
The inspectors reviewed IR 527285 that documented results from a self-assessment in the area of design configuration, and was initiated approximately four months after IR 487350. IR 527285 identified that there have been recent discoveries where the physical plant configuration for some systems important to safety did not match the design input used in design analyses. The assigned action for IR 527285 was to establish a cross-functional team to develop a plan to address the issues identified by the self-assessment.
A current design engineering initiative titled, Calculation Improvement Project, is defined by the problem statement that some calculations prepared by multiple architect engineering firms in the 1980s and 1990s lack sufficient quality. Technical and administrative issues have been identified during self-assessments, audits and NRC inspections. Factors identified by the project that support the problem statement are:
1) calculations were not properly updated and/or superseded when plant changes were implemented, 2) assumptions in existing calculations have not always been verified, 3) there have been discoveries where the physical plant configuration did not match the design input used in calculations and 4) no programmatic effort made to reconcile current vs. historical calculations. The action plan for this project is to fix known calculation issues, such as, control room and auxiliary electrical equipment room HVAC calculations, by September 2007. The project will review existing calculations to define the project scope scheduled for August 2007.
4OA3 Event Followup
.1 (Closed) Licensee Event Report (LER) 237; 249/2006-005-00: Units 2 and 3 Control
Room Emergency Ventilation Air Conditioning System Inoperable Due To Leaking Fittings
a. Inspection Scope
Inspectors reviewed one licensee event report (LER) to ensure that the issue documented in the report was adequately addressed in the licensees corrective actions program. The inspectors reviewed plant Technical Specifications, Action Requests (IR 00555484), operating logs, and interviewed plant personnel to verify the statements contained in the LER.
b. Findings
On November 8, 2006, the Control Room Emergency Air Conditioning System (CREVS)was unable to maintain the control room temperature within the required Technical Specification range of 70 to 80 degrees F. Following investigation, the licensee determine that CREVS was inoperable due to a loose fitting on the Refrigeration and Condensing Unit (RCU) that resulted in refrigerant leaking from the unit. The fitting was determined to be loose due to vibrations caused by the units operation. The licensee entered the appropriate Technical Specification action statements and made the correct notifications required by 10 CFR 50.72 and 10 CFR 50.73. The RCU failure was corrected on November 9, 2006, and CREVS was returned to service. The licensees apparent cause evaluation determined that the event was maintenance preventable and developed corrective action to implement a new annual maintenance activity to monitor for refrigerant leaks.
This LER is closed with no associated violation.
This represents one inspection sample.
.2 (Closed) Licensee Event Report (LER) 237/2007-002-00, Unit 2 Reactor Scram Due to
Loss of Feedwater
a. Inspection Scope
The inspectors responded to the site after being notified of the above event. The inspectors interviewed operators and licensee management after the event. The inspectors reviewed the licensees root cause report of the event associated with issue report 625692.
This LER is closed with the associated violation.
This represents one inspection sample.
b. Findings
Introduction:
A Green finding involving a Non-Cited Violation of 10 CFR Part 50.65(a)(4), was self revealed after the Unit 2 reactor scram on May 4, 2007. The licensee performed an inadequate risk assessment of emergent maintenance on the condensate pre-filter flow controller central processing unit on May 4, 2007. The maintenance performed resulted in a complete loss of feedwater and a reactor scram.
Description:
On May 4, 2007, Unit 2 was manually scrammed following a loss of feedwater flow. High pressure coolant injection was used to restore water level. Main steam isolation valves closed and the Unit 2 and Unit 2/3 emergency diesel generators auto started on low low level signal. The isolation condenser was used to control decay heat and no relief valves lifted. All control rods inserted and all automatic actions took place as expected.
The licensees initial investigation identified that at the time of the scram, work was in-progress to replace the condensate pre-filter flow controller central processing unit (CPU). The CPU had failed earlier in the day leaving the pre-filter inlet and outlet valves closed and the bypass valves open. A work activity was initiated to replace the CPU to restore operation of the pre-filter flow controller. The CPU was replaced and, after re-initiation of the CPU, the pre-filter inlet, outlet, and bypass valves all closed, shutting off flow to the feedwater system by dead heading the condensate pumps and removing suction from the condensate booster pumps.
The inspectors reviewed the root cause report and noted that the licensee identified that the staff lacked understanding regarding the risk associated with the CPU replacement.
Personnel failed to adequately apply the work control process. The emergent work was not screened as a production risk evolution. The electrical maintenance planner and operations staff failed to associate the condensate pre-filter flow controller with the condensate system, which was on the station production risk system matrix in WC-AA-108, Review and Screening for Reactivity Risk, Attachment 2, Revision 1, as a procedurally directed risk significant system. As a result, contingencies were not established.
The root cause report stated that the licensees staff failed to require air isolation to the condensate pre-filter bypass valves. The condensate pre-filter bypass valves fail in the open position on a loss of air. Work planning personnel assumed the pre-filter programmable logic controller (PLC) software was fail-safe and did not perceive the CPU replacement as a production risk. This assumption was based on previous experience associated with PLC work activities. The station black-out (SBO) diesel PLC CPU, which was a similar model, had been previously replaced without incident.
However, the staff failed to recognize that the condensate pre-filter system CPU replacement was a first-time evolution. This was the first PLC CPU replacement on the condensate pre-filter flow controller during power operation; unlike the SBO diesel PLC CPU replacement which was performed while the system was in stand-by operation.
The licensees root cause report concluded that the overconfidence of the involved individuals in the previous performance of PLC CPU maintenance, combined with the belief that the software was fail safe, resulted in not implementing the precautionary action to fail open the pre-filter bypass valves.
Procedure WC-AA-104, Review and screening of production risk, step 2.4, stated, in part, that a production risk activity is any activity that has the potential to derate the plant. The staffs failure to screen this work as a production risk activity resulted in the lack of additional review requirements for production risk significant systems. Had the staff exercised a more rigorous challenge the transient may have been prevented.
The inspectors determined that although the licensees risk assessment was not adequate during this event, mitigating systems operated as designed and the reactor was successfully shut down.
Analysis:
The inspectors concluded that the failure to adequately perform risk assessment and management of emergent work was a performance deficiency that effected the Initiating Events cornerstone. Using IMC 0612, Appendix B, Issue Screening, dated November 2, 2006, the inspectors determined that this finding was greater than minor because the maintenance that was performed resulted in an initiating event. Using IMC 0609, Appendix K, Maintenance Risk Assessment and Risk Management Significance Determination Process, dated May 19, 2005, the finding was determined to be of very low safety significance (Green) since the change in incremental core damage probability (ICDP) and incremental large early release probability (ILERP)were less then 1E-6 and 1E-7, respectively. The primary cause of this finding was related to the cross-cutting issue of human performance (work practices) because the human performance prevention techniques provided to the staff (the station production risk system matrix) were not adequately followed. Personnel proceeded in the face of uncertainty and unexpected circumstances by not implementing a conservative decision making process (H.4.(a)).
Enforcement:
10 CFR 50.65(a)(4) states, in part, that before performing maintenance activities, the licensee shall assess and manage the risk that may result from the proposed maintenance activities. Contrary to the above, on May 4, 2007, the licensee failed to adequately assess the risk associated with emergent maintenance activity related to the Unit 2 condensate pre-filter PLC CPU failure and replacement.
Specifically, the licensees overconfidence in the historic performance, combined with the assumption that the PLC software was fail safe, resulted in not implementing the precautionary action to fail open the pre-filter bypass valves. The licensee underestimated the risk associated with this work and failed to screen the work as a production risk activity which resulted in the lack of additional review requirements for work on production risk significant systems.
Corrective actions included, 1) the CPU card was replaced with the vendor support and the PLC was restarted; 2) a standing order on risk management treatment of condensate pre-filter PLC hardware activities was initiated; 3) actions for design engineering to develop a design specification for the condensate pre-filter valve CPU software were assigned; and 4) actions to proceduralize the requirements associated with performing condensate pre-filter troubleshooting, maintenance activities and system restoration were initiated. Because this violation was of very low safety significance and it was entered into the licensees corrective action program as IR 625692, this violation is being treated as a Non-Cited Violation (NCV), consistent with Section VI.A of the NRC Enforcement Policy. (NCV 0500237/2007003-03).
.3 (Closed) Unresolved Item (URI)05000237/2006010-04; 05000249/2006010-04, Full
Flow Testing of the Diesel Driven Flood Pump at Design Conditions
a. Inspection Scope
The inspectors reviewed this URI to ensure that the issues documented in the report were adequately addressed in the licensees corrective action program. The inspectors interviewed plant personnel and reviewed test data, calculation results, and other documents.
b. Findings
Introduction:
The inspectors identified a performance deficiency involving a Non-Cited Violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump.
Description:
On June 5, 2004, the inspectors identified that the licensees abnormal operating procedure for response to external flooding, and the surveillance test procedure for the diesel driven pump necessary to provide make-up to the isolation condenser for response to external flooding, were not adequate for the circumstances (NCV 05000237/2004010-02; 05000249/2004010-02). As a corrective action the licensee planned to change the surveillance test procedure and perform a full flow test of the pump. This was documented in IR 246038. Subsequently, the inspectors performed a detailed review of IR 246038 to determine if the corrective actions were appropriate and were adequately completed.
The inspectors noted that the isolation condenser emergency make-up pump was full flow tested on November 21, 2005. On September 7, 2006, the inspectors reviewed the details of the pump test and the licensees conclusions. The inspectors noted that the pump capacity at the maximum pump speed was measured at 298 gpm at a discharge head of 114 psig. This was only 80.5 percent of the expected capacity of 370 gpm based on the manufacturers pump curve. The inspectors were concerned that the lower than expected flowrate may be an indication of pump degradation. The licensee tested the pump at only one point and assumed that the actual pump curve would follow the generic pump curve established by the manufacturer. The inspectors questioned the method of testing and the method used to extrapolate the flowrate to generate a pump curve.
The inspectors questioned licensee personnel to determine if any actions had been taken to address the cause of the 19.5 percent degraded pump test results, and to ensure the pump would not degrade further over time. The inspectors learned that no actions had been taken. The inspectors concluded that the lack of additional points tested on the pump curve did not ensure the pump would provide adequate flow at design conditions.
The inspectors were concerned that the licensee did not perform an adequate test to validate the performance of the emergency flood pump. An unresolved item was created to track the issue while further review was conducted by the inspectors (URI 05000237/2006010-04; 05000249/2006010-04). To address the inspectors concerns about this issue, the licensee sent the pump to an offsite facility for additional testing.
Subsequently, in January, 2007, the inspectors reviewed the test results. The inspectors noted that the test results indicated that the emergency flood pump could not achieve the flowrate and discharge head as calculated in calculation DRE99-0035, Rev. 03 Capacity and Discharge Head For Portable Isolation Condenser Make-up Pump To Be Used During Flood Conditions, due to inadequate Net Positive Suction Head (NPSH). The licensee stated that this was caused by friction losses in the suction hose combined with how high the pump was elevated above the flood water. Also, the licensees procedure did not clearly state how high the pump could be lifted above the flood water before it would start to lose NPSH.
The licensee concluded that the cause of this deficiency was attributed to original sizing of the pumps suction hose. The size of the suction hose was originally based on a manufacturer recommendation when the pump was purchased in 2000. The required flowrate and discharge head at that time was 336 gpm and 247.2 feet of water. A 3-inch diameter suction line was used for this flow. However, the losses in the suction line were not re-evaluated when the required flowrate was increased to 350 gpm in 2003 as a result of Extended Power Uprate (EPU). Contributing to this error was the lack of vendor information on NPSH requirements for the pump and size of the suction line used to generate the published pump curve.
The inspectors then questioned what the impact of a higher elevation lift or longer suction hose length would have been on the ability to remove reactor decay heat, and what would have happened using Dresden Operating Abnormal Procedure DOA 0010-04, Revision 24, which was not precise regarding the elevation lift and suction hose length. To address the inspectors concerns, the licensee performed an Engineering Change (EC) 364149, Revision 00. The licensee determined that in a worst case scenario which would be the effect of combined worst case elevation and worst case hose length of 3-inch diameter suction hose, the maximum flowrate would have been 269 gpm. This flowrate was determined to be sufficient to balance reactor decay heat and provide make-up to the spent fuel pools at 30.6 hours6.944444e-5 days <br />0.00167 hours <br />9.920635e-6 weeks <br />2.283e-6 months <br /> following reactor shutdown.
Page 9 of Calculation DRE 99-0035 stated that the timetable for the licensing basis flood was given in Technical Evaluation Report (TER) C5257-421, Hydrological Considerations, dated May 7, 1982. The report concludes that the flood waters will rise from 509 feet to 517 feet in 7 hours8.101852e-5 days <br />0.00194 hours <br />1.157407e-5 weeks <br />2.6635e-6 months <br /> assuming dam gates open to 16 feet. The Technical Requirements Manual and Procedure DOA 0010-04, Floods, both require that both units be shutdown when the river elevation reaches 509 feet. Therefore, the amount of water needed for the isolation condensers is based on decay heat 6 hours6.944444e-5 days <br />0.00167 hours <br />9.920635e-6 weeks <br />2.283e-6 months <br /> after shutdown.
It was determined that the increase in time to balance reactor decay heat from 6 hours6.944444e-5 days <br />0.00167 hours <br />9.920635e-6 weeks <br />2.283e-6 months <br /> to 30.6 hours6.944444e-5 days <br />0.00167 hours <br />9.920635e-6 weeks <br />2.283e-6 months <br /> would not have significantly impacted plant safety. DOA 0010-04 requires a unit shutdown if river levels are predicted to exceed elevation 509 feet withing 3 days.
Assuming the procedure is executed as written, the reactor could have been shut down as much as 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> prior to the flood water reaching elevation 509 feet.
Analysis:
The inspectors determined that the failure to promptly identify and adequately correct issues with the operation and testing of the isolation condenser emergency make-up pump, until prompted by the inspectors, to ensure an adequate supply of make-up water to the isolation condenser during flood conditions to prevent core damage was a performance deficiency warranting a significance evaluation in accordance with IMC 0612, Power Reactor Inspection Reports, Appendix B, Issue Screening, issued on November 2, 2006. The inspectors determined that the finding was more than minor because it
- (1) involved the equipment performance and procedure quality attributes of the Mitigating Systems cornerstone and
- (2) affected the cornerstone objective of ensuring the reliability, and capability of systems that respond to initiating events to prevent undesirable consequences.
The inspectors determined that the finding could be evaluated using the SDP in accordance with IMC 0609, Significance Determination Process, Appendix A, dated March 23, 2007, because the finding was associated with the reliability of a mitigating system. The inspectors concluded that the diesel driven make-up pump would be a mitigating system in the case of the probable maximum flood (PMF). For the Phase 1 screening, the inspectors answered No to the first four questions under the mitigating systems column. The inspectors then went to the Phase 1 worksheet for Seismic, Fire, Flooding, and Severe Weather Criteria. Question 1 was answered Yes. Question 2.c was answered No. As a result, the issue was screened to be of very low safety significance, Green. The primary cause of this finding was related to the cross-cutting issue of problem identification and resolution (corrective action program) because the licensee failed to take appropriate corrective actions to address safety issues and adverse trends in a timely manner, commensurate with their safety significance and complexity (P.1(d)).
Enforcement:
Title 10 CFR Part 50, Appendix B, Introduction, requires, in part that nuclear power plants and fuel reprocessing plants include structures, systems, and components that prevent or mitigate the consequences of postulated accidents that could cause undue risk to the health and safety of the public.
Title 10 CFR Part 50, Appendix B, Criterion II, Quality Assurance Program, requires, in part, that the applicant shall identify the structures, systems, and components to be covered by the quality assurance program.
The licensees Quality Assurance Topical Report (QATR), Revision 79, Appendix F, Section 2.2, Quality Classification, stated, in part, that the scope of the Companys QATR includes, but is not limited to, items and activities related to safe nuclear plant operation,...this process relies on the use of the terms Safety Related, Augmented Quality, and QATR Scope. Section 2.2.1.1 of Appendix F, stated, in part, that items within the scope of the QATR are designated as Nuclear Safety Related or Augmented Quality.
The isolation condenser emergency make up pump is designated Augmented Quality, and is a mitigating system in the PMF postulated scenario in the UFSAR.
Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that measures be established to assure that conditions adverse to quality, such as deficiencies, defective material and equipment, and nonconformances, are promptly identified and corrected.
Contrary to this requirement, from June 5, 2004, to January 3, 2007, the licensee failed to ensure that measures be established to assure that conditions adverse to quality, such as inadequate testing, insufficiently sized suction hoses, and inadequate operational procedures, were promptly identified and adequately corrected after they were previously identified by the inspectors. Specifically, the licensee failed to ensure adequate corrective actions were taken to:
- test the isolation condenser make-up pump to its design limits;
- identify operational deficiencies such as the size and length of the suction hose to eliminate friction losses in the suction line; and
- identify and correct operational issues regarding the height to which the pump could be raised to maintain NPSH.
The licensees corrective actions for this issue included increasing the margin in NPSH by increasing the size of the pump suction line to a 30-foot length of 4-inch diameter hose, eliminating restrictions in the flowpath to the isolation condenser, and planning to review DOA 0010-04 and revise the procedure as appropriate to address the height above the water to which the pump could be elevated to maintain NPSH. Because this issue is of very low safety significance and has been entered into the licensees corrective action program (Issue Report 574887), this violation is being treated as a Non-Cited Violation, consistent with Section VI.A., of the NRC Enforcement Policy (NCV 05000237/2007003-04; 05000249/2007003-04). Unresolved Item (URI 05000237;249/2006010-04) is considered closed.
This represents one inspection sample.
4OA5 Other Activities
.1 Preoperational Testing of an Independent Spent Fuel Storage Installation (ISFSI)
(60854)
a. Inspection Scope
Training The inspectors reviewed the licensees Systematic Approach to Training program which consisted of classroom and on-the-job training to ensure all staff involved in the use of the HI-STORM cask were trained. The inspectors reviewed the training material, including the content of the manuals, visual aids, and techniques used to perform on-the-job training. The inspectors independently verified satisfactory completion of training by applicable staff by comparing training documentation to the licensees Personnel Qualification Database. The inspectors interviewed training instructors and select individuals who were responsible for performance of specific tasks during loading to evaluate their knowledge regarding the campaign activities, the cask loading process, and use of the equipment. The inspectors reviewed training records of welders and other personnel who the licensee authorized to perform the non-destructive examination inspections to ensure that these individuals training was current.
b. Findings
No findings of significance were identified.
.2 Preoperational Testing of an Independent Spent Fuel Storage Installation at Operating
Plants (60854.1)
a. Inspection Scope
10 CFR 72.212 Evaluation The inspectors reviewed the licensees 10 CFR Part 72.212 evaluation to determine its acceptability and compliance with conditions set forth in the Certificate of Compliance (CoC), the Final Safety Analysis Report (FSAR) and 10 CFR Part 72 requirements in regard to the Holtec MPC-68 cask system. The inspectors interviewed personnel to ensure the Dresden Nuclear Power Station (DNPS) West ISFSI 72.212 Evaluation adequately addressed the requirements for 72.212(b)(8)(iii) for cask sales, lease or loan. The inspectors discussed with the licensee staff the need to clearly identify the two 72.212 evaluations for the West and East ISFSI pads to eliminate the possibility of confusion between the two documents.
The inspectors reviewed select documents referenced in the DNPS West ISFSI 72.212 Evaluation. The documents reviewed included a sample of operational procedures, evaluations and design of the west pad, modifications to the reactor building and the transfer route, evaluation of the dose rate limits, the quality assurance program, procurement and fabrication packages, and the emergency plan.
The inspectors reviewed records to determine that a graded approach was being applied at DNPS under the application of the Exelon Generating Company Quality Assurance Program Topical Report NO-AA-10, Revision 77. The inspectors also verified that the licensee maintained a records management system and adequately controlled a copy of the CoC and the FSAR as specified in the 72.212 Evaluation.
Demonstrations The inspectors reviewed the loading and unloading procedures to determine if they contained commitments and requirements specified in the license, the Technical Specifications, the FSAR, and Title 10 Code of Federal Regulations, Part 72. The inspectors also reviewed the licensees contingency procedures to examine if the necessary failure scenarios were addressed and adequate initial recovery actions were proposed to place equipment in a safe configuration.
The inspectors observed licensee personnel perform select activities associated with dry fuel storage to demonstrate their readiness to safely load fuel from the spent fuel pool into the dry cask storage system. The inspectors attended a High Level Awareness meeting and various pre-job briefs to assess the licensees ability to identify critical steps of the evolution, potential failure scenarios and tools to prevent errors. The inspectors observed the licensee perform a number of critical activities including the transfer of the Multi-Purpose Canister (MPC) from the transfer cask (TC) to the storage cask, the installation of the storage cask lid, and transfer of the storage cask to the pad.
The inspectors observed the licensee respond to an unplanned condition where the TC pool lid became bound inside the mating device, thus preventing the mating device to open fully. This condition prevented the pool lid from being removed, resulting in inability to insert the MPC into the storage cask. The inspectors evaluated the adequacy of the licensees proposed actions to recover from the condition by first securing the heavy load, the suspended MPC, and then disassembly of the mating device, evaluation of the mating device and the lid, engineering evaluation to repair, and finally repair activities. During the demonstrations, inspectors evaluated the adequacy of the operational procedures and verified the staffs familiarity with procedures and the equipment. During the observations, the inspectors verified that adequate supervisory oversight was provided, good communication and coordination between the groups was established, and the procedures were adhered to.
Fuel Selection The inspectors reviewed the licensees procedure describing the process to verify that the selected fuel was appropriately characterized and selected. The inspectors reviewed a completed fuel selection package for MPC No. 83 which was to be loaded first during the campaign to verify that the licensee used criteria specified in the CoC, the Technical Specifications, and the FSAR to verify the acceptability of assemblies.
The inspectors reviewed the certification guides for an individual and the associated training material used for the training to ensure that the individual was adequately trained to perform fuel selection and its verification.
Heavy Loads The inspectors reviewed 26 Condition Reports associated with the Unit 2/3 reactor building crane generated since July 2006. The inspectors interviewed personnel and reviewed work requests to ensure the crane main hoist upper travel limit switch will not adversely impact the loading of fuel and that the licensee has taken measures to repair the switch. The inspectors also reviewed documentation for the 110 ton single failure proof crane to ensure the loads to be handled are within the crane and the transfer cask trunnion load capacity limits. The inspectors performed a detailed review of the licensees heavy load program including maintenance, surveillance, and testing of the crane, the special lifting device and the slings.
Radiation Protection The inspectors evaluated the licensees radiation protection program as it related to the operation of the ISFSI including a review of the licensees As-Low-As-Reasonably-Achievable (ALARA) Plan. The inspectors compared estimated exposure to the actual doses (in person-rem) received during the past several campaigns and the licensees plan to ensure the doses remain ALARA during the upcoming campaign. The inspectors also reviewed the licensees effluent control program which included review of the annual ISFSI report. The inspectors reviewed the procedures associated with radiation protection safety to verify that all dose rate limits and surveillance requirements contained in the Technical Specifications were incorporated into procedures. The inspectors also reviewed the analyses for establishing administrative dose limits for the transfer and storage cask radiation surveys, the ISFSI pad radiation surveys, and storage cask inspection. The inspectors reviewed methods of personnel monitoring.
The inspectors interviewed the licensees personnel to verify their knowledge regarding the scope of the work and the radiological hazards associated with transfer and storage of dry fuel.
b. Findings
No findings of significance were identified.
.3 Operation of an Independent Spent Fuel Storage Installation (60855.1)
a. Inspection Scope
The inspectors observed and evaluated the licensees loading of the first canister during the campaign and the transfer of the first storage cask to the west ISFSI pad to verify compliance with the applicable CoC conditions, the associated Technical Specifications, and procedures. Specifically, the inspectors observed independent verification of the fuel assemblies, lifting of the transfer cask from the spent fuel pool, decontamination and surveying, welding of the lid, draining of water, vacuum drying, down loading of the transfer cask and transfer of the MPC to the storage cask and transfer of the storage cask to the ISFSI pad. The inspectors reviewed daily radiation dose records for the staff who performed work to verify that the radiation doses received were below the licensees administrative limits. The inspectors also verified that the contamination and radiation levels from the transfer cask and the loaded MPC as well as the storage cask were well below the regulatory limits and the licensees administrative limits. The inspectors reviewed select documents, in part, after the licensee completed certain loading activities. Specifically, the inspectors reviewed the welding travelers and the visual and dye penetrant testing records for MPC No. 84 to ensure that acceptance criteria were followed in accordance with codes and that the documents were complete.
In addition, the inspectors reviewed a number of condition reports and the associated follow up actions that were generated in response to some unexpected conditions encountered during the loading campaign. The inspectors verified that the licensee took adequate corrective actions to correct an issue associated with loading MPC No. 84 with fuel which was designated to be initially loaded into MPC No. 83. The inspectors verified that this event did not adversely affect the MPC design or its capability to safely store fuel.
b. Findings
No findings of significance were identified.
.4 (Closed) Unresolved Item (URI)05000237/2006012-02; 05000249/2006012-02:
Change of Systems Credited to Mitigate a High Pressure Coolant Injection (HPCI)
Pump Room High Energy Line Break (HELB)
An URI was opened during the 2006 NRC Evaluation of Changes, Tests, or Experiments and Permanent Plant modification Baseline Inspection concerning the adequacy of the licensees basis, described in the 10 CFR 50.59 safety evaluation, for determining that changes to UFSAR Section 3.6.1.5 did not require a license amendment. Based on the information discussed in Section 1R02.1.b.1 of this report, an NCV of 10 CFR 50.59 was identified. Therefore, this URI is closed.
4OA6 Meetings
.1 Exit Meeting
The inspectors presented the inspection results to the Site Vice President, Mr. D. Bost, and other members of licensee management on July 17, 2007. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was discussed.
.2 Interim Exit Meetings
An interim exit meeting was conducted for the Licensed Operator Requalification Inspection 71111.11B with Mr. P. OConnor, Licensed Operator Requalification Training Lead, on June 26, 2007, via telephone.
Closure of URI 05000237/2006012-02; 05000249/2006012-02 as an NCV with Mr. James Ellis and other members of licensee management on July 5, 2007, via telephone.
.3 Interim Exit Meetings
An interim exit meeting was conducted on April 23, 2007, at the completion of the pre-operational inspection of the dry fuel storage activities. A second interim exit meeting was held on May 11, 2007, which concluded the inspection of the loading activities and transfer of the first storage cask to the west ISFSI pad. The individuals present included:
- J. Ellis, Regulatory Assurance Manager
- J. Griffin, NRC Coordinator
- K. Hunter, Reactor Services
- D. Legget, Nuclear Oversight Manager
- M. Mikota, Reactor Services
- B. Rybak, Regulatory Assurance
- P. Salgado, Operations
- J. Sipek, Assistant Engineering Director
- C. Symonds, Training Director
- D. Wozniak, Plant Manager
- indicates individuals present at the April 23, 2007 meeting.
- indicates individuals present at the May 11, 2007 meeting.
- indicates individuals present at the April 23 and May 11, 2007 meetings.
ATTACHMENT:
SUPPLEMENTAL INFORMATION
KEY POINTS OF CONTACT
Licensee personnel
- D. Bost, Site Vice President
- D. Wozniak, Plant Manager
- C. Barajas, Senior Operations Supervisor
- H. Bush, Radiation Protection Manager
- J. Ellis, Regulatory Assurance Manager
- R. Gadbois, Operations Director
- D. Galanis, Design Engineering Manager
- D. Glick, Shipping Specialist
- G. Graff, Operations Training Manager
- J. Griffin, Regulatory Assurance - NRC Coordinator
- T. Hanley, Engineering Director
- D. Hartung, Test Engineer
- K. Hunter, Dry Fuel Storage Engineer
- M. Kluge, Senior Staff Engineer
- D. Leggett, Nuclear Oversight Manager
- M. Mikota, Project Manager
- P. OConnor, Licensed Operator Requalification Training Lead
- M. Overstreet, Radiation Protection
- C. Podczerwinski, Maintenance Rule Coordinator
- K. Purdy, Projects
- E. Rowley, Chemistry
- R. Rybak, Regulatory Assurance
- J. Schrage, Licensing Engineer
- P. Simpson, Manager of Licensing (Cantera)
- J. Sipek, Assistant Engineering Director
- D. Smith, Projects
- J. Strmec, Chemistry Manager
- C. Symonds, Training Director
- B. Zanc, Training
NRC personnel
- M. Ring, Chief, Division of Reactor Projects, Branch 1
- D. Hills, Chief, Engineering Branch 1
IEMA personnel
Attachment
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
Opened
- 05000237/2007003-01 NCV Change of Systems Credited to Mitigate a High Pressure
- 05000249/2007003-01 Coolant Injection Pump Room High Energy Line Break (1R02)
- 05000237/2007003-02 NCV Failure to Restore Fire Brigade Equipment to a Ready
- 05000249/2007003-02 Status in a Timely Manner after the Performance of a Fire Drill (1R05)
- 05000237/2007003-03 NCV Inadequate Risk Assessment That Led to Reactor Scram (4OA3.2)
- 05000237/2007003-04 NCV Failure To Identify And Correct Issues With The Operation
- 05000249/2007003-04 And Testing Of The Diesel Driven Pump Used To Respond To External Flooding (4OA3.3)
Closed
- 05000237/2007003-01 NCV Change of Systems Credited to Mitigate a High Pressure
- 05000249/2007003-01 Coolant Injection Pump Room High Energy Line Break (1R02)
- 05000237/2007003-02 NCV Failure to Restore Fire Brigade Equipment to a Ready
- 05000249/2007003-02 Status in a Timely Manner after the Performance of a Fire Drill (1R05)
- 05000237/2007003-03 NCV Inadequate Risk Assessment That Led to Reactor Scram (4OA3.2)
- 05000237/2007003-04 NCV Failure To Identify And Correct Issues With The Operation
- 05000249/2007003-04 And Testing Of The Diesel Driven Pump Used To Respond To External Flooding (4OA3.3)
- 05000237/2006010-04 URI Full Flow Testing of the Diesel Driven Flood Pump at
- 05000249/2006010-04 Design Conditions (4OA3.3)
- 05000237/2006012-02 URI Change of Systems Credited to Mitigate a High Pressure
- 05000249/2006012-02 Coolant Injection Pump (4OA5.4)
- 05000237;249/2006-005-00 LER Units 2 and 3 Control Room Emergency Ventilation Air Conditioning System Inoperable Due To Leaking Fittings (4OA3.1)
Attachment
Discussed
- 05000237/2004010-02 NCV Source of Make-up Water (4OA3.3)
- 05000237/2006007-06 NCV Standby Liquid Control Valves Installed in the Plant
- 05000249/2006007-06 Different than Those Assumed in Design Calculation (4OA2.4)
Attachment