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See also: [[followed by::IR 05000272/1989015]]


=Text=
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{{#Wiki_filter:Public Service Electric and Gas Company * Stanley LaBruna Public Service Electric and Gas Company P.O. Box 2'36, Hancocks Bridge, NJ 08038 609-339-4800  
{{#Wiki_filter:Public Service Electric and Gas Company Stanley LaBruna                     Public Service Electric and Gas Company P.O. Box 2'36, Hancocks Bridge, NJ 08038 609-339-4800 Vice President - Nuclear Operations SEP 0, 6 1989 NLR-N89176 United States Nuclear Regulatory Commission Document Control Desk Washington DC 20555 Gentlemen:
Vice President  
RESPONSE TO NOTICE OF VIOLATION NRC COMBINED INSPECTION REPORT NO. 50-272/89-15 AND 50-311/89-14 SALEM GENERATING STATION UNITS NOS. 1 AND 2 DOCKET NOS_. 50-272 AND 50-311 Public Service Electric and Gas Company (PSE&G) has received the subject inspection report dated August 4, 1989, which included a Notice of Violation concerning procedures not properly being implemented and surveillance requirements not being performed within the specified time interval.
-Nuclear Operations  
Pursuant to the requirements of 10 CFR 2.201, our response to this Notice of Violation is provided in the attachment to this letter.
SEP 0, 6 1989 NLR-N89176  
Should you have any questions in regards to this transmittal, do not hesitate to call.
* United States Nuclear Regulatory  
Sincerely, Attachment
Commission  
                                                                                                                    ?ii
Document Control Desk Washington  
                                                                                                                        '\'
DC 20555 Gentlemen:  
 
RESPONSE TO NOTICE OF VIOLATION  
Document Control Desk           2 NLR-N89176 .
NRC COMBINED INSPECTION  
C Mr. J. c. Stone Licensing Project Manager Ms. K. Halvey Gibson Senior Resident Inspector Mr. w. T. Russell, Administrator Region I Mr. Kent Tosch, Chief New Jersey Department of Environmental Protection Division of Environmental Quality Bureau of Nuclear Engineering CN 415 Trenton, NJ 08625
REPORT NO. 50-272/89-15  
 
AND 50-311/89-14  
ATTACHMENT Notice of Violation. Item A Technical Specification 6.8.1 requires that procedures be implemented, including general plant operating procedures, procedures for calibration of safety related equipment and radiation protection procedures.
SALEM GENERATING  
Contrary to the above, procedures were not properly implemented as follows:
STATION UNITS NOS. 1 AND 2 DOCKET NOS_. 50-272 AND 50-311 Public Service Electric and Gas Company (PSE&G) has received the subject inspection  
: 1. On June 3, 1989, control rods were withdrawn with one source range channel inoperable contrary to the requirements of Integrated Operating Procedure 3, "Hot Standby to Minimum Load" and Operating Procedure 8.3.1, "Rod Control System -
report dated August 4, 1989, which included a Notice of Violation  
Normal Operation" which specify that two source range channels are required to be operable prior to energizing the Rod control System and closing the reactor trip breakers.
concerning  
: 2. On June 3, 1989, two control rod shutdown banks were withdrawn together contrary to the requirements of Maintenance - I&C procedure IC-8.1.002, "Rod Position Indication Signal Module Calibration" which specifies that one control or shutdown bank be withdrawn at a time.
procedures  
: 3. On May 23, 1989, a High Radiation Area (HRA) where radiation levels exceeded 1 R/hr was left uncontrolled for a 10 minute period contrary to the requirements of radiation protection procedure RP-204 which specifies that continuous
not properly being implemented  
* surveillance be provided for unlocked HRAs.
and surveillance  
 
requirements  
===RESPONSE===
not being performed  
PSE&G DOES NOT DISPUTE THE VIOLATION THE ROOT CAUSE FOR EACH ITEM HAS BEEN ATTRIBUTED TO PERSONNEL ERROR.
within the specified  
ITEMS 1 AND 2 As discussed in the LERs which reported these events, a portion of the root cause was determined to be inadequate administrative controls in that operators were unfamiliar with a recently issued License Amendment aff ectinq one of these sections of the Technical Specifications. Licensed Operators are directed and expected to consider Technical Specification applicability prior to conducting operational evolutions. The failure to follow specific requirements of written procedures for two operable source range channels and for control bank removal are personnel errors. Contributing factors to the personnel errors were the fact that the procedures involved were less than optimum from a human factors standpoint and that the process for Technical
time interval.  
 
Pursuant to the requirements  
Specification Amendment implementation did not specifically
of 10 CFR 2.201, our response to this Notice of Violation  
* require notification of each Licensed Operator of changes.
is provided in the attachment  
CORRECTIVE ACTIONS TAKEN Procedures IC-8.1.002, "Rod Position Indication Signal Module Calibration", and IC-5.2.001, "Rod Drop Time Measurement Hot Full Flow", for both units, have been amended to include a precautionary note immediately before the step specifying rod bank withdrawal.
to this letter. Should you have any questions  
Procedure OP IV-8.3.1 has been revised to include a check-off-sheet addressing the requirements for energizing the Control Rods. The check-off-sheet provides a check to assure that both* source range channels are operable prior to energizing the control rods.
in regards to this transmittal, do not hesitate to call. Sincerely, Attachment  
The events were reviewed with the appropriate station personnel stressing the need for full procedural compliance to all parts of the procedures.
?ii '\'
An "Information Directive" has been                           issued to all Licensed Operators, identifying all                           recently approved Technical Specification Amendments,                           to assure that the Operators are aware of the changes.                                 The Information Directive process will continue to be used to                           notify Licensed Operators of recent Amendments
* * Document Control Desk NLR-N89176 . C Mr. J. c. Stone Licensing  
* The Station Operations Review Committee (SORC) will approve all Technical Specification Amendments for implementation after ensuring that all required training and procedural modifications necessitated by the Amendment are properly implemented.
Project Manager Ms. K. Halvey Gibson Senior Resident Inspector  
ADDITIONAL CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS Presentations by the General Manager - Salem Operations and training sessions are being conducted to introduce the new "Salem Handbook of Standards". Each Salem employee will receive their own copy of the handbook at these sessions.
2 Mr. w. T. Russell, Administrator  
This handbook includes standards for work practices and use of written instruction. A training video, "Attention to Detail", has also been developed to provide direction to station personnel on proper attention to detail attributes. station personnel will receive the training by September, 1989.
Region I Mr. Kent Tosch, Chief New Jersey Department  
PSE&G is continuing to stress procedural compliance with all station personnel. The need to read and comply with procedure prerequisites and other requirements has been discussed with Operations' personnel during pre-shift
of Environmental  
* briefings and will continue to be stressed in these discussions throughout the year.
Protection  
                              . .. . . - .. . . .* .. . : .. ~. ~* *- ... -*
Division of Environmental  
 
Quality Bureau of Nuclear Engineering  
A review of the Technical Specification Amendment
CN 415 Trenton, NJ 08625
* implementation process has been initiated to ensure that the appropriate delineation of responsibility, the appropriate direction for procedural changes and the necessary information/training for appropriate station personnel is provided for. The recommended changes and improvements resulting from this review will be incorporated into AP-12, Procedure NA-AP.ZZ-0012(Q) "Technical Specification Surveillance Program" by November, 1989.
* * 
ITEM 3 Procedures RP-203, "Radiation Protection Key Control" and RP-204 "Posting of Radiation Signs and Barriers" require that unlocked High Radiation Areas (HRAs) have continuous surveillance where the dose rates can exceed 1 R/hr. The contract technician failure to adequately control the HRA was a result of personnel error due to lack of attention to detail. The open door was discovered by the Radiation Protection Manager, who was performing supervisory rounds. These supervisory rounds had been increased prior to this event in an effort to more effectively monitor personnel performance, assure more effective management oversight and ensure personnel attention to detail.
ATTACHMENT  
CORRECTIVE ACTION TAKEN A guard (cognizant Radiation Protection person) was immediately posted at the entrance to the HRA, to provide the required continuous surveillance
Notice of Violation.  
* A "night order" was immediately written to all Radiation Protection Technicians to specify the requirements for entry to the eves Holdup Tank Room. The night order stated that two people are required to enter the eves Holdup Tank Room, one to provide positive access control and the other to perform the necessary surveys.
Item A Technical  
The event has been reviewed by the Radiation Protection Department Management and appropriate corrective disciplinary action has been administered to the contract employee.
Specification  
The event was reviewed with appropriate Radiation Protection Personnel.
6.8.1 requires that procedures  
A work request was written requesting the replacement of a lockset on the gate at the entrance to the eves Holdup Tank Room. The previous lockset did not work properly and a padlock and chain were being used to control access.
be implemented, including  
Subsequently, a new lockset was installed. This lockset provides positive control of the HRA while also allowing egress from the area; thereby, negating the need for the the night order specified above
general plant operating  
* PSE&G IS IN FULL COMPLIANCE Notice of Violation. Item B B.                   Technical Specification (TS) 4.0.2 requires in part that surveillance requirements should be performed within the specified time interval.
procedures, procedures  
Contrary to the above, surveillance requirements were not performed within the specified time interval as follows:
for calibration  
: 1.                   On February 21, 1989, it was identified that TS surveillance 4.0.5 for inservice inspection and testing of the lA Diesel Generator Service Water Valve and Prelube Oil Pump vibration check were not performed within the previous 92 days as required.
of safety related equipment  
: 2.                   On May 5, 1989, it was identified that TS surveillance 4.3.3.3.1 for channel check of the Triaxial Time-History Accelographs was not performed within the previous 31 days as required.
and radiation  
 
protection  
===RESPONSE===
procedures.  
PSE&G DOES NOT DISPUTE THIS VIOLATION
Contrary to the above, procedures  
* The root cause of Item 1 has been attributed to lack of adequate administrative controls and the root cause of Item 2 has been attributed to personnel error as discussed in the respective LERs reporting these items. In addition to the violation cited above, the inspection report delineates a concern that corrective actions for a previous similar violation (in 1988) did not prevent these recurrences. Corrective actions implemented as a result of the previous violation included assignment of a Technical Specification Administrator, establishment of a MMIS surveillance data base and generation of surveillance status reports. Those corrective actions have reduced the occurrence of missed/overdue surveillances since that violation. As a.result of the above violations and feedback from the program administrators, PSE&G has instituted additional corrective actions as described herein, to strengthen the program and provide backup review.
were not properly implemented  
ITEM 1 CORRECTIVE ACTIONS TAKEN The February 21, 1989 event was, in fact, attributable to the lack of adequate administrative controls of the program established .following the 1988 violation. *As a result, the following actions were implemented to enhance the effectiveness of the program.
as follows: 1. On June 3, 1989, control rods were withdrawn  
  -. * *' * ' .~*-; ., '* *** ' * * **-.-*" ~ °! * * * *~ I *
with one source range channel inoperable  
* The frequency of the MMIS Technical Specification surveillance overdue report was increased, and is now printed daily at the line printer located in each department. This report provides a 14 day "look ahead" listing of surveillances, with a greater than seven (7) day frequency, that will become overdue with the next fourteen (14) days and have not yet been completed.
contrary to the requirements  
The report is sorted by Unit, Department, Mode in which the surveillance can be performed, and overdue date.
of Integrated  
Each Department appointed a surveillance coordinator who is responsible to review the Technical Specification Overdue report daily, contact the line supervision if a surveillance is nearing (within 3-4 days) the overdue date, and to provide a single point of contact for the Technical Specification Administrator.
Operating  
ITEM 2 The Mays, *1989 event was the result of personnel error (failure to follow the established program) in that the Technical Specification Overdue Report was not reviewed by the appropriate personnel as required. PSE&G believes that this does not represent a programmatic deficiency of the corrective actions implemented following the 1988 violation.
Procedure  
CORRECTIVE ACTIONS TAKEN All appropriate Station Personnel were counseled to review and use the Technical Specification Surveillance Overdue report for tracking and completion of all Technical Specification surveillance requirements.
3, "Hot Standby to Minimum Load" and Operating  
As a backup, the Technical Specification Administrator was also assigned the responsibility of reviewing the Technical Specification Surveillance Overdue report daily and contacting the department coordinators when any surveillance is not completed within 3-4 days of the overdue date.
Procedure  
The Technical Specification Overdue report was revised, to provide the Modes of operation the equipment was required to be operable in, and to list all surveillances in order by overdue date. These changes were made for human factors reasons; i.e.,
8.3.1, "Rod Control System -Normal Operation" which specify that two source range channels are required to be operable prior to energizing  
to provide ease of review.
the Rod control System and closing the reactor trip breakers.  
In summary, PSE&G believes that Salem currently has an effective Technical Specification Administrative program. The additional actions stated above will further assure that TS surveillances are properly performed. Corrective actions taken will prevent recurrence of the problems associated with this violation.
2. On June 3, 1989, two control rod shutdown banks were withdrawn  
** .. --~*-**-* ' "': * * *' :: *.L * * **:     -.. *-. -- . . . .. - . .. ~ . , -. . - ... '
together contrary to the requirements  
                                                                                  ~
of Maintenance  
* ADDITIONAL CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS Increased management attention has been and will continue to be focused on this area. Programmatic changes will be made as necessary to enhance and solidify the Technical Specification Administrative Program as feedback is received from users or potential problem areas are identified.
-I&C procedure  
PSE&G IS IN FULL COMPLIANCE SUPPLEMENTAL INFORMATION The following represents information relative to a missed surveillance occurring after issuance of Inspection Report 272/89-15 & 311/89-14, and is being provided pursuant with discussions held with Salem Resident Inspector, s. Pindale.
IC-8.1.002, "Rod Position Indication  
Additionally, as required by the letter transmitting the subject Inspection Report, a discussion is being provided relative to corrective actions being taken to prevent recurrence of missed surveillances *
Signal Module Calibration" which specifies  
* After the subject inspection report was issued, PSE&G identified a missed surveillance on August 11, 1989, pertaining to venting of ECCS pumps and associated piping per Technical Specification 3.5.2 (Surveillance Requirement 4.5.2.b.2}. The missed surveillance was identified by a Technical Department engineer when reviewing an Amendment change in response to an Action Tracking System (ATS) open item.
that one control or shutdown bank be withdrawn  
The root cause of the event was determined to be inadequate administrative control of Technical Specification Amendment processing and implementation, which allowed the Amendment to be implemented with insufficient review. A recent Technical Specification Amendment (No. 94) had been implemented which had added the requirement to vent ECCS pump casings and accessible discharge piping high points to the Unit 1 surveillance Requirements (Unit 2 already had this requirement). The Amendment was implemented without assuring that a thorough review had been performed to ensure that all necessary procedures had been implemented.
at a time. 3. On May 23, 1989, a High Radiation  
Personnel error contributed to the event, as the individual responsible for reviewing the ATS open item (which required reviewing the Technical Specification Amendment for procedural modifications) had not performed a thorough review of the Amendment prior to implementation *
Area (HRA) where radiation  
. -. :*** ~-~ .. ' _,... *......... -~- : .. -**: .~ .*** .. -,..... **:-- ........ .
levels exceeded 1 R/hr was left uncontrolled  
 
for a 10 minute period contrary to the requirements  
Weaknesses in the Technical Specification Amendment implementation program had been identified by the Technical Specification Surveillance Group (originated to eliminate missed/overdue Technical Specification Surveillances at Salem) in conjunction with other station personnelo Corrective actions were instituted as a result of these identified weaknesses.
of radiation  
These actions changed the program to require all new Amendments to be approved for implementation by SORC. This ensures that all departments are prepared to implement the programmatic or procedural changes necessitated by the Amendment. In addition, ths program was revised to require computerized tracking (using ATS) to identify personnel responsibilities for the implementation of Technical Specification Amendments. These processes were put in place at the direction of the General Manager - Salem Operations. The draft revision of AP-12, Procedure NA-AP.ZZ-0012, "Technical Specification Surveillance Program", which will specify these changes, is now in the review process.
protection  
At the time that Amendment 94 was received the corrective actions, mentioned above, were not in place. Had the corrective actions (SORC review and a designated individual for tracking ATS open items associated with Amendments) been in place when Amendment 94 was received, this event would have been prevented.
procedure  
There is no safety impact associated with missing this surveillance. There was no previous requirement to vent the pumps and the pumps have been proven operable repeatedly, by surveillance and use, over that duration. The Technical Specification change is really an enhancement to provide further assurance that the pumps will perform as required when called upon. Fifty five (55) minutes after Technical Specification Action Statement 3.0.3 was entered for the missed surveillance, the surveillance was successfully completed.
RP-204 which specifies  
In addition to the corrective actions that had been previously instituted, the individual involved was counseled stressing the need to ensure attention to detailo The Operations Surveillance Procedure SP(O) 4o5.2b was revised to include the pump casing and piping venting requirements.
that continuous  
PSE&G management is committed to ensuring that the Salem Generating Stations Surveillance Program provides the necessary controls and monitoring to assure that Technical Specifications are performed as requiredQ The current program is significantly improved and PSE&G is confident that the program is now effective in controlling the surveillances. Increased management attention to insuring surveillance requirements are met as well as the continued management emphasis for attention to detail should lead to continued improvements in the program. PSE&G management will continue to dedicate resources to ensuring surveillance compliance and encourages all employees to improve the process.
* surveillance  
PSE&G's actions to reduce personnel errors and improve attention I_
be provided for unlocked HRAs. RESPONSE PSE&G DOES NOT DISPUTE THE VIOLATION  
 
THE ROOT CAUSE FOR EACH ITEM HAS BEEN ATTRIBUTED  
to detail will be continued. The "Attention to Detail" video and the "Salem Handbook of .standards" are presently being provided to every station employee, along with a General Manager - Salem Operations presentation and specific training to further stress attention to detail and high work standards. Management will continue to focus on these areas to assure that deficiencies in these areas are identified and corr~cted, and to insure continued improvement in these areas.
TO PERSONNEL  
In addition to responding to the Notice of Violation, PSE&G was requested to "address the adequacy of its' corrective action program in general, relative to preventing recurrence of previously identified problems including what improvements in this area are needed". PSE&G believes that it has an aggressive and responsive incident investigation and corrective action program. The main elements of the program are described in AP-06, Procedure NA-AP.ZZ-0006(Q), "Incident Report and Reportable Event Program". This program delineates the responsibilities and the flow path for investigation, root cause determination, and corrective action determination for events of appropriate cause or significance. The extent of evaluation and follow-up is relative to cause/significance, but can always be increased at individual discretion. Each incident report is now reviewed by station management at the daily.morning meeting.
ERROR. ITEMS 1 AND 2 As discussed  
If follow-up investigation is required, internal and external operational experience is reviewed for similar events. A Department Manager/Engineer is assigned responsibility for the investigation and a copy of the Incident Report (IR) is sent to the HPES (Human Performance Evaluation system) Engineer if human performance problems are involved (presently all IRs are sent to the HPES Engineer).
in the LERs which reported these events, a portion of the root cause was determined  
The follow-up investigation analyzes the event and determines root cause(s), identifies the corrective actions, and assesses the safety consequences and implications of the incidente The IR Form is used to document the investigation. The responsible Department Manager approves the investigation findings and corrective actionse The LER Coordinator also reviews the IR for completeness. If the incident is reportable the root cause and corrective actions are specified in the report and SORC reviews and approves them. The General Manager - Salem Operations must review and approve these reports prior to issuanceQ For significant or reportable events Quality Assurance (QA) and/or Onsite Safety Review (SRG) will often be present at the associated SORC and special station meetings at which the root cause and corrective actions are reviewed. This provides each with the opportunity to discuss and provide feedback into the process prior to final determination. Formal review of certain reportable events and all events involving Reactor Trips or ECCS actuations are performed by SRG. These reports are utilized by management. to assess root cause and corrective action
to be inadequate  
                                                ~* ,, *- .. --... *-.
administrative  
                                                                ,    -*~** .. *'
controls in that operators  
 
were unfamiliar  
effectiveness. QA also reviews various events and reports, and provides essential feedback to the management team. Further feedback is provided on selected (significant) events as a result of the HPES evaluations. Management often requests QA, LSRG, and OSR (Offsite Safety Review) to perform special investigations and requests to provide analysis, root cause evaluation and recommend corrective actions for items relative to events sensitive to operational performance concerns, programmatic concerns, human factor concerns, and other type events for which they may have additional concerns.
with a recently issued License Amendment  
PSE&G has frequently utilized the system engineering group, to perform the root cause analysis and help determine corrective actions, for events involving equipment failure, system performance and design concerns. This has resulted in increased technical investigation and often better resolution of the problem. Even though the corrective action program was viewed as aggressive and thorough, management believed that the program was not as consistent with regard to the varying levels of investigation and that the program did not provide a consistent systematic approach. Furthermore, industry information revealed that analyzing "near miss" events could be more significant for preventing future events than the actual events; therefore, it was felt that the program should be directed to place more emphasis on this. PSE&G determined that utilizing the INPO HPES methodology could improve root cause analysis, provide more complete corrective actions and better detect human performance deficiencies. In implementing the HPES program, the need for formal training of key personnel in root cause analysis was identified and a training program was developed. Select individuals have been trained and this training is ongoing.
aff ectinq one of these sections of the Technical  
PSE&G is continuing to evaluate its root cause analysis program and is implementing various actions to this end. These actions will be provided to the NRC, as part of PSE&G's integrated strategic plan for improving operational performance at Salem, during the late October, 1989 meeting with Region 1, as discussed in the SALP responsee PSE&G does not believe that the Violations cited in this report occurred directly as a result of the program established as a corrective action being inadequate, but that they were more a result of other problems i.e. lack of attention to detail (personnel error) and inadequate administrative controls for administering the program. PSE&G is aware of and has been addressing these problem. However, the corrective actions in these areas had not been fully implemented at the time of the event and are still being implemented. These corrective actions are included in the corrective actions provided in the Notice of Violation response.
Specifications.  
 
Licensed Operators  
Further improvements are also being implemented to improve the root cause and corrective action programs. A formal training program to provide root cause analysis training to key personnel (those who will be involved in root cause analysis) is presently being developed. A Significant Event Response Team (SERT) has been developed to perform thorough investigation/reports of significant events. This investigation process will provide a more systematic approach to the investigation of future events.
are directed and expected to consider Technical  
Implementation of these actions will be discussed during the October, 1989, Region 1, meetingo PSE&G management will continue to monitor the progress of its corrective actions for assuring surveillance requirements are met, increased attention to detail, reduced personnel errors and ensuring administrative controls and management oversight are effective in ensuring these goals. As such, PSE&G is determined to meet the highest operating standards and will ensure that all necessary actions will be taken to attain those standards *
Specification  
** - * - ** *-*-..:: *-. *.*** * < * -** ** ,_ ' - ..*-***-.*;.""* * -=* *;; :**:* * * * * ****-* *-** * **-:.***: ''* * *- .,.~***** --*,** _,. * * ** * ":-- :** r ** * * *' *' ** * * * ** * . . -- .*- .* '}}
applicability  
prior to conducting  
operational  
evolutions.  
The failure to follow specific requirements  
of written procedures  
for two operable source range channels and for control bank removal are personnel  
errors. Contributing  
factors to the personnel  
errors were the fact that the procedures  
involved were less than optimum from a human factors standpoint  
and that the process for Technical
* * * Specification  
Amendment  
implementation  
did not specifically  
require notification  
of each Licensed Operator of changes. CORRECTIVE  
ACTIONS TAKEN Procedures  
IC-8.1.002, "Rod Position Indication  
Signal Module Calibration", and IC-5.2.001, "Rod Drop Time Measurement  
Hot Full Flow", for both units, have been amended to include a precautionary  
note immediately  
before the step specifying  
rod bank withdrawal.  
Procedure  
OP IV-8.3.1 has been revised to include a check-off-sheet  
addressing  
the requirements  
for energizing  
the Control Rods. The check-off-sheet  
provides a check to assure that both* source range channels are operable prior to energizing  
the control rods. The events were reviewed with the appropriate  
station personnel  
stressing  
the need for full procedural  
compliance  
to all parts of the procedures.  
An "Information  
Directive" has been Licensed Operators, identifying  
all Technical  
Specification  
Amendments, Operators  
are aware of the changes. process will continue to be used to of recent Amendments  
* issued to all recently approved to assure that the The Information
Directive
notify Licensed Operators
The Station Operations  
Review Committee (SORC) will approve all Technical  
Specification  
Amendments  
for implementation  
after ensuring that all required training and procedural  
modifications  
necessitated  
by the Amendment  
are properly implemented.  
ADDITIONAL  
CORRECTIVE  
ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS  
Presentations  
by the General Manager -Salem Operations  
and training sessions are being conducted  
to introduce  
the new "Salem Handbook of Standards".  
Each Salem employee will receive their own copy of the handbook at these sessions.  
This handbook includes standards  
for work practices  
and use of written instruction.  
A training video, "Attention  
to Detail", has also been developed  
to provide direction  
to station personnel  
on proper attention  
to detail attributes.  
station personnel  
will receive the training by September, 1989. PSE&G is continuing  
to stress procedural  
compliance  
with all station personnel.  
The need to read and comply with procedure  
prerequisites  
and other requirements  
has been discussed  
with Operations'  
personnel  
during pre-shift  
briefings  
and will continue to be stressed in these discussions  
throughout  
the year. . .. . . -. . . . .* . . . : .. *-... -*
* * * A review of the Technical  
Specification  
Amendment  
implementation  
process has been initiated  
to ensure that the appropriate  
delineation  
of responsibility, the appropriate  
direction  
for procedural  
changes and the necessary  
information/training  
for appropriate  
station personnel  
is provided for. The recommended  
changes and improvements  
resulting  
from this review will be incorporated  
into AP-12, Procedure  
NA-AP.ZZ-0012(Q) "Technical  
Specification  
Surveillance  
Program" by November, 1989. ITEM 3 Procedures  
RP-203, "Radiation  
Protection  
Key Control" and RP-204 "Posting of Radiation  
Signs and Barriers" require that unlocked High Radiation  
Areas (HRAs) have continuous  
surveillance  
where the dose rates can exceed 1 R/hr. The contract technician  
failure to adequately  
control the HRA was a result of personnel  
error due to lack of attention  
to detail. The open door was discovered  
by the Radiation  
Protection  
Manager, who was performing  
supervisory  
rounds. These supervisory  
rounds had been increased  
prior to this event in an effort to more effectively  
monitor personnel  
performance, assure more effective  
management  
oversight  
and ensure personnel  
attention  
to detail. CORRECTIVE  
ACTION TAKEN A guard (cognizant  
Radiation  
Protection  
person) was immediately  
posted at the entrance to the HRA, to provide the required continuous  
surveillance  
* A "night order" was immediately  
written to all Radiation  
Protection  
Technicians  
to specify the requirements  
for entry to the eves Holdup Tank Room. The night order stated that two people are required to enter the eves Holdup Tank Room, one to provide positive access control and the other to perform the necessary  
surveys. The event has been reviewed by the Radiation  
Protection  
Department  
Management  
and appropriate  
corrective  
disciplinary  
action has been administered  
to the contract employee.  
The event was reviewed with appropriate  
Radiation  
Protection  
Personnel.  
A work request was written requesting  
the replacement  
of a lockset on the gate at the entrance to the eves Holdup Tank Room. The previous lockset did not work properly and a padlock and chain were being used to control access. Subsequently, a new lockset was installed.  
This lockset provides positive control of the HRA while also allowing egress from the area; thereby, negating the need for the the night order specified  
above
* PSE&G IS IN FULL COMPLIANCE  
Notice of Violation.  
Item B B. Technical  
Specification (TS) 4.0.2 requires in part that surveillance  
requirements  
should be performed  
within the specified  
time interval.  
Contrary to the above, surveillance  
requirements  
were not performed  
within the specified  
time interval as follows: 1. On February 21, 1989, it was identified  
that TS surveillance  
4.0.5 for inservice  
inspection  
and testing of the lA Diesel Generator  
Service Water Valve and Prelube Oil Pump vibration  
check were not performed  
within the previous 92 days as required.  
2. On May 5, 1989, it was identified  
that TS surveillance  
4.3.3.3.1  
for channel check of the Triaxial Time-History  
Accelographs  
was not performed  
within the previous 31 days as required.  
RESPONSE PSE&G DOES NOT DISPUTE THIS VIOLATION  
The root cause of Item 1 has been attributed  
to lack of adequate administrative  
controls and the root cause of Item 2 has been attributed  
to personnel  
error as discussed  
in the respective  
LERs reporting  
these items. In addition to the violation  
cited above, the inspection  
report delineates  
a concern that corrective  
actions for a previous similar violation (in 1988) did not prevent these recurrences.  
Corrective  
actions implemented  
as a result of the previous violation  
included assignment  
of a Technical  
Specification  
Administrator, establishment  
of a MMIS surveillance  
data base and generation  
of surveillance  
status reports. Those corrective  
actions have reduced the occurrence  
of missed/overdue  
surveillances  
since that violation.  
As a.result of the above violations  
and feedback from the program administrators, PSE&G has instituted  
additional  
corrective  
actions as described  
herein, to strengthen  
the program and provide backup review. ITEM 1 CORRECTIVE  
ACTIONS TAKEN The February 21, 1989 event was, in fact, attributable  
to the lack of adequate administrative  
controls of the program established .following  
the 1988 violation.  
*As a result, the following  
actions were implemented  
to enhance the effectiveness  
of the program. -. * *' * '  
., '* *** '* * **-.-*" &deg;! * * * I *
* * The frequency  
of the MMIS Technical  
Specification  
surveillance  
overdue report was increased, and is now printed daily at the line printer located in each department.  
This report provides a 14 day "look ahead" listing of surveillances, with a greater than seven (7) day frequency, that will become overdue with the next fourteen (14) days and have not yet been completed.  
The report is sorted by Unit, Department, Mode in which the surveillance  
can be performed, and overdue date. Each Department  
appointed  
a surveillance  
coordinator  
who is responsible  
to review the Technical  
Specification  
Overdue report daily, contact the line supervision  
if a surveillance  
is nearing (within 3-4 days) the overdue date, and to provide a single point of contact for the Technical  
Specification  
Administrator.  
ITEM 2 The Mays, *1989 event was the result of personnel  
error (failure to follow the established  
program) in that the Technical  
Specification  
Overdue Report was not reviewed by the appropriate  
personnel  
as required.  
PSE&G believes that this does not represent  
a programmatic  
deficiency  
of the corrective  
actions implemented  
following  
the 1988 violation.  
CORRECTIVE  
ACTIONS TAKEN All appropriate  
Station Personnel  
were counseled  
to review and use the Technical  
Specification  
Surveillance  
Overdue report for tracking and completion  
of all Technical  
Specification  
surveillance  
requirements.  
As a backup, the Technical  
Specification  
Administrator  
was also assigned the responsibility  
of reviewing  
the Technical  
Specification  
Surveillance  
Overdue report daily and contacting  
the department  
coordinators  
when any surveillance  
is not completed  
within 3-4 days of the overdue date. The Technical  
Specification  
Overdue report was revised, to provide the Modes of operation  
the equipment  
was required to be operable in, and to list all surveillances  
in order by overdue date. These changes were made for human factors reasons; i.e., to provide ease of review. In summary, PSE&G believes that Salem currently  
has an effective  
Technical  
Specification  
Administrative  
program. The additional  
actions stated above will further assure that TS surveillances  
are properly performed.  
Corrective  
actions taken will prevent recurrence  
of the problems associated  
with this violation.  
** ..  
' "': * * *' :: *.L * * **: -.. *-. --. . . .. -. .. . , -. . -... '
* * ADDITIONAL  
CORRECTIVE  
ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS  
Increased  
management  
attention  
has been and will continue to be focused on this area. Programmatic  
changes will be made as necessary  
to enhance and solidify the Technical  
Specification  
Administrative  
Program as feedback is received from users or potential  
problem areas are identified.  
PSE&G IS IN FULL COMPLIANCE  
SUPPLEMENTAL  
INFORMATION  
The following  
represents  
information  
relative to a missed surveillance  
occurring  
after issuance of Inspection  
Report 272/89-15  
& 311/89-14, and is being provided pursuant with discussions  
held with Salem Resident Inspector, s. Pindale. Additionally, as required by the letter transmitting  
the subject Inspection  
Report, a discussion  
is being provided relative to corrective  
actions being taken to prevent recurrence  
of missed surveillances  
* After the subject inspection  
report was issued, PSE&G identified  
a missed surveillance  
on August 11, 1989, pertaining  
to venting of ECCS pumps and associated  
piping per Technical  
Specification  
3.5.2 (Surveillance  
Requirement  
4.5.2.b.2}.  
The missed surveillance  
was identified  
by a Technical  
Department  
engineer when reviewing  
an Amendment  
change in response to an Action Tracking System (ATS) open item. The root cause of the event was determined  
to be inadequate  
administrative  
control of Technical  
Specification  
Amendment  
processing  
and implementation, which allowed the Amendment  
to be implemented  
with insufficient  
review. A recent Technical  
Specification  
Amendment (No. 94) had been implemented  
which had added the requirement  
to vent ECCS pump casings and accessible  
discharge  
piping high points to the Unit 1 surveillance  
Requirements (Unit 2 already had this requirement).  
The Amendment  
was implemented  
without assuring that a thorough review had been performed  
to ensure that all necessary  
procedures  
had been implemented.  
Personnel  
error contributed  
to the event, as the individual  
responsible  
for reviewing  
the ATS open item (which required reviewing  
the Technical  
Specification  
Amendment  
for procedural  
modifications)  
had not performed  
a thorough review of the Amendment  
prior to implementation  
* . -. :*** .. ' _,... * ......... : .. -**: . .*** .. -, ..... **:--........ .
* * I_ Weaknesses  
in the Technical  
Specification  
Amendment  
implementation  
program had been identified  
by the Technical  
Specification  
Surveillance  
Group (originated  
to eliminate  
missed/overdue  
Technical  
Specification  
Surveillances  
at Salem) in conjunction  
with other station personnelo  
Corrective  
actions were instituted  
as a result of these identified  
weaknesses.  
These actions changed the program to require all new Amendments  
to be approved for implementation  
by SORC. This ensures that all departments  
are prepared to implement  
the programmatic  
or procedural  
changes necessitated  
by the Amendment.  
In addition, ths program was revised to require computerized  
tracking (using ATS) to identify personnel  
responsibilities  
for the implementation  
of Technical  
Specification  
Amendments.  
These processes  
were put in place at the direction  
of the General Manager -Salem Operations.  
The draft revision of AP-12, Procedure  
NA-AP.ZZ-0012, "Technical  
Specification  
Surveillance  
Program", which will specify these changes, is now in the review process. At the time that Amendment  
94 was received the corrective  
actions, mentioned  
above, were not in place. Had the corrective  
actions (SORC review and a designated  
individual  
for tracking ATS open items associated  
with Amendments)  
been in place when Amendment  
94 was received, this event would have been prevented.  
There is no safety impact associated  
with missing this surveillance.  
There was no previous requirement  
to vent the pumps and the pumps have been proven operable repeatedly, by surveillance  
and use, over that duration.  
The Technical  
Specification  
change is really an enhancement  
to provide further assurance  
that the pumps will perform as required when called upon. Fifty five (55) minutes after Technical  
Specification  
Action Statement  
3.0.3 was entered for the missed surveillance, the surveillance  
was successfully  
completed.  
In addition to the corrective  
actions that had been previously  
instituted, the individual  
involved was counseled  
stressing  
the need to ensure attention  
to detailo The Operations  
Surveillance  
Procedure  
SP(O) 4o5.2b was revised to include the pump casing and piping venting requirements.  
PSE&G management  
is committed  
to ensuring that the Salem Generating  
Stations Surveillance  
Program provides the necessary  
controls and monitoring  
to assure that Technical  
Specifications  
are performed  
as requiredQ  
The current program is significantly  
improved and PSE&G is confident  
that the program is now effective  
in controlling  
the surveillances.  
Increased  
management  
attention  
to insuring surveillance  
requirements  
are met as well as the continued  
management  
emphasis for attention  
to detail should lead to continued  
improvements  
in the program. PSE&G management  
will continue to dedicate resources  
to ensuring surveillance  
compliance  
and encourages  
all employees  
to improve the process. PSE&G's actions to reduce personnel  
errors and improve attention
* * to detail will be continued.  
The "Attention  
to Detail" video and the "Salem Handbook of .standards" are presently  
being provided to every station employee, along with a General Manager -Salem Operations  
presentation  
and specific training to further stress attention  
to detail and high work standards.  
Management  
will continue to focus on these areas to assure that deficiencies  
in these areas are identified  
and  
and to insure continued  
improvement  
in these areas. In addition to responding  
to the Notice of Violation, PSE&G was requested  
to "address the adequacy of its' corrective  
action program in general, relative to preventing  
recurrence  
of previously  
identified  
problems including  
what improvements  
in this area are needed". PSE&G believes that it has an aggressive  
and responsive  
incident investigation  
and corrective  
action program. The main elements of the program are described  
in AP-06, Procedure  
NA-AP.ZZ-0006(Q), "Incident  
Report and Reportable  
Event Program".  
This program delineates  
the responsibilities  
and the flow path for investigation, root cause determination, and corrective  
action determination  
for events of appropriate  
cause or significance.  
The extent of evaluation  
and follow-up  
is relative to cause/significance, but can always be increased  
at individual  
discretion.  
Each incident report is now reviewed by station management  
at the daily.morning  
meeting. If follow-up  
investigation  
is required, internal and external operational  
experience  
is reviewed for similar events. A Department  
Manager/Engineer  
is assigned responsibility  
for the investigation  
and a copy of the Incident Report (IR) is sent to the HPES (Human Performance  
Evaluation  
system) Engineer if human performance  
problems are involved (presently  
all IRs are sent to the HPES Engineer).  
The follow-up  
investigation  
analyzes the event and determines  
root cause(s), identifies  
the corrective  
actions, and assesses the safety consequences  
and implications  
of the incidente  
The IR Form is used to document the investigation.  
The responsible  
Department  
Manager approves the investigation  
findings and corrective  
actionse The LER Coordinator  
also reviews the IR for completeness.  
If the incident is reportable  
the root cause and corrective  
actions are specified  
in the report and SORC reviews and approves them. The General Manager -Salem Operations  
must review and approve these reports prior to issuanceQ  
For significant  
or reportable  
events Quality Assurance (QA) and/or Onsite Safety Review (SRG) will often be present at the associated  
SORC and special station meetings at which the root cause and corrective  
actions are reviewed.  
This provides each with the opportunity  
to discuss and provide feedback into the process prior to final determination.  
Formal review of certain reportable  
events and all events involving  
Reactor Trips or ECCS actuations  
are performed  
by SRG. These reports are utilized by management.  
to assess root cause and corrective  
action ,, *-.. --... , *-.  
.. *'
* effectiveness.  
QA also reviews various events and reports, and provides essential  
feedback to the management  
team. Further feedback is provided on selected (significant)  
events as a result of the HPES evaluations.  
Management  
often requests QA, LSRG, and OSR (Offsite Safety Review) to perform special investigations  
and requests to provide analysis, root cause evaluation  
and recommend  
corrective  
actions for items relative to events sensitive  
to operational  
performance  
concerns, programmatic  
concerns, human factor concerns, and other type events for which they may have additional  
concerns.  
PSE&G has frequently  
utilized the system engineering  
group, to perform the root cause analysis and help determine  
corrective  
actions, for events involving  
equipment  
failure, system performance  
and design concerns.  
This has resulted in increased  
technical  
investigation  
and often better resolution  
of the problem. Even though the corrective  
action program was viewed as aggressive  
and thorough, management  
believed that the program was not as consistent  
with regard to the varying levels of investigation  
and that the program did not provide a consistent  
systematic  
approach.  
Furthermore, industry information  
revealed that analyzing "near miss" events could be more significant  
for preventing  
future events than the actual events; therefore, it was felt that the program should be directed to place more emphasis on this. PSE&G determined  
that utilizing  
the INPO HPES methodology  
could improve root cause analysis, provide more complete corrective  
actions and better detect human performance  
deficiencies.  
In implementing  
the HPES program, the need for formal training of key personnel  
in root cause analysis was identified  
and a training program was developed.  
Select individuals  
have been trained and this training is ongoing. PSE&G is continuing  
to evaluate its root cause analysis program and is implementing  
various actions to this end. These actions will be provided to the NRC, as part of PSE&G's integrated  
strategic  
plan for improving  
operational  
performance  
at Salem, during the late October, 1989 meeting with Region 1, as discussed  
in the SALP responsee  
PSE&G does not believe that the Violations  
cited in this report occurred directly as a result of the program established  
as a corrective  
action being inadequate, but that they were more a result of other problems i.e. lack of attention  
to detail (personnel  
error) and inadequate  
administrative  
controls for administering  
the program. PSE&G is aware of and has been addressing  
these problem. However, the corrective  
actions in these areas had not been fully implemented  
at the time of the event and are still being implemented.  
These corrective  
actions are included in the corrective  
actions provided in the Notice of Violation  
response.
* Further improvements  
are also being implemented  
to improve the root cause and corrective  
action programs.  
A formal training program to provide root cause analysis training to key personnel (those who will be involved in root cause analysis)  
is presently  
being developed.  
A Significant  
Event Response Team (SERT) has been developed  
to perform thorough investigation/reports  
of significant  
events. This investigation  
process will provide a more systematic  
approach to the investigation  
of future events. Implementation  
of these actions will be discussed  
during the October, 1989, Region 1, meetingo PSE&G management  
will continue to monitor the progress of its corrective  
actions for assuring surveillance  
requirements  
are met, increased  
attention  
to detail, reduced personnel  
errors and ensuring administrative  
controls and management  
oversight  
are effective  
in ensuring these goals. As such, PSE&G is determined  
to meet the highest operating  
standards  
and will ensure that all necessary  
actions will be taken to attain those standards  
* ** -*-** *-*-..:: *-. *.*** * < * -** ** ,_ ' -.. *-***-.*;.""*  
* -=* *;; :**:* * * * * ****-* *-** * **-:.***:  
''* * *-
--*,** _,. * * ** * ":--:** r ** * * *' *' ** *** ** * . . --. *-.* '
}}

Latest revision as of 07:16, 3 February 2020

Responds to Violations Noted in Insp Repts 50-272/89-15 & 50-311/89-14.Corrective Actions:Procedures Re Rod Position Indication Signal Module Calibr & Rod Drop Time Measurements Revised to Include Precautionary Note & Events Reviewed
ML18094A679
Person / Time
Site: Salem  PSEG icon.png
Issue date: 09/06/1989
From: Labruna S
Public Service Enterprise Group
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
NLR-N899176, NUDOCS 8909130243
Download: ML18094A679 (13)


Text

Public Service Electric and Gas Company Stanley LaBruna Public Service Electric and Gas Company P.O. Box 2'36, Hancocks Bridge, NJ 08038 609-339-4800 Vice President - Nuclear Operations SEP 0, 6 1989 NLR-N89176 United States Nuclear Regulatory Commission Document Control Desk Washington DC 20555 Gentlemen:

RESPONSE TO NOTICE OF VIOLATION NRC COMBINED INSPECTION REPORT NO. 50-272/89-15 AND 50-311/89-14 SALEM GENERATING STATION UNITS NOS. 1 AND 2 DOCKET NOS_. 50-272 AND 50-311 Public Service Electric and Gas Company (PSE&G) has received the subject inspection report dated August 4, 1989, which included a Notice of Violation concerning procedures not properly being implemented and surveillance requirements not being performed within the specified time interval.

Pursuant to the requirements of 10 CFR 2.201, our response to this Notice of Violation is provided in the attachment to this letter.

Should you have any questions in regards to this transmittal, do not hesitate to call.

Sincerely, Attachment

?ii

'\'

Document Control Desk 2 NLR-N89176 .

C Mr. J. c. Stone Licensing Project Manager Ms. K. Halvey Gibson Senior Resident Inspector Mr. w. T. Russell, Administrator Region I Mr. Kent Tosch, Chief New Jersey Department of Environmental Protection Division of Environmental Quality Bureau of Nuclear Engineering CN 415 Trenton, NJ 08625

ATTACHMENT Notice of Violation. Item A Technical Specification 6.8.1 requires that procedures be implemented, including general plant operating procedures, procedures for calibration of safety related equipment and radiation protection procedures.

Contrary to the above, procedures were not properly implemented as follows:

1. On June 3, 1989, control rods were withdrawn with one source range channel inoperable contrary to the requirements of Integrated Operating Procedure 3, "Hot Standby to Minimum Load" and Operating Procedure 8.3.1, "Rod Control System -

Normal Operation" which specify that two source range channels are required to be operable prior to energizing the Rod control System and closing the reactor trip breakers.

2. On June 3, 1989, two control rod shutdown banks were withdrawn together contrary to the requirements of Maintenance - I&C procedure IC-8.1.002, "Rod Position Indication Signal Module Calibration" which specifies that one control or shutdown bank be withdrawn at a time.
3. On May 23, 1989, a High Radiation Area (HRA) where radiation levels exceeded 1 R/hr was left uncontrolled for a 10 minute period contrary to the requirements of radiation protection procedure RP-204 which specifies that continuous
  • surveillance be provided for unlocked HRAs.

RESPONSE

PSE&G DOES NOT DISPUTE THE VIOLATION THE ROOT CAUSE FOR EACH ITEM HAS BEEN ATTRIBUTED TO PERSONNEL ERROR.

ITEMS 1 AND 2 As discussed in the LERs which reported these events, a portion of the root cause was determined to be inadequate administrative controls in that operators were unfamiliar with a recently issued License Amendment aff ectinq one of these sections of the Technical Specifications. Licensed Operators are directed and expected to consider Technical Specification applicability prior to conducting operational evolutions. The failure to follow specific requirements of written procedures for two operable source range channels and for control bank removal are personnel errors. Contributing factors to the personnel errors were the fact that the procedures involved were less than optimum from a human factors standpoint and that the process for Technical

Specification Amendment implementation did not specifically

  • require notification of each Licensed Operator of changes.

CORRECTIVE ACTIONS TAKEN Procedures IC-8.1.002, "Rod Position Indication Signal Module Calibration", and IC-5.2.001, "Rod Drop Time Measurement Hot Full Flow", for both units, have been amended to include a precautionary note immediately before the step specifying rod bank withdrawal.

Procedure OP IV-8.3.1 has been revised to include a check-off-sheet addressing the requirements for energizing the Control Rods. The check-off-sheet provides a check to assure that both* source range channels are operable prior to energizing the control rods.

The events were reviewed with the appropriate station personnel stressing the need for full procedural compliance to all parts of the procedures.

An "Information Directive" has been issued to all Licensed Operators, identifying all recently approved Technical Specification Amendments, to assure that the Operators are aware of the changes. The Information Directive process will continue to be used to notify Licensed Operators of recent Amendments

  • The Station Operations Review Committee (SORC) will approve all Technical Specification Amendments for implementation after ensuring that all required training and procedural modifications necessitated by the Amendment are properly implemented.

ADDITIONAL CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS Presentations by the General Manager - Salem Operations and training sessions are being conducted to introduce the new "Salem Handbook of Standards". Each Salem employee will receive their own copy of the handbook at these sessions.

This handbook includes standards for work practices and use of written instruction. A training video, "Attention to Detail", has also been developed to provide direction to station personnel on proper attention to detail attributes. station personnel will receive the training by September, 1989.

PSE&G is continuing to stress procedural compliance with all station personnel. The need to read and comply with procedure prerequisites and other requirements has been discussed with Operations' personnel during pre-shift

  • briefings and will continue to be stressed in these discussions throughout the year.

. .. . . - .. . . .* .. . : .. ~. ~* *- ... -*

A review of the Technical Specification Amendment

  • implementation process has been initiated to ensure that the appropriate delineation of responsibility, the appropriate direction for procedural changes and the necessary information/training for appropriate station personnel is provided for. The recommended changes and improvements resulting from this review will be incorporated into AP-12, Procedure NA-AP.ZZ-0012(Q) "Technical Specification Surveillance Program" by November, 1989.

ITEM 3 Procedures RP-203, "Radiation Protection Key Control" and RP-204 "Posting of Radiation Signs and Barriers" require that unlocked High Radiation Areas (HRAs) have continuous surveillance where the dose rates can exceed 1 R/hr. The contract technician failure to adequately control the HRA was a result of personnel error due to lack of attention to detail. The open door was discovered by the Radiation Protection Manager, who was performing supervisory rounds. These supervisory rounds had been increased prior to this event in an effort to more effectively monitor personnel performance, assure more effective management oversight and ensure personnel attention to detail.

CORRECTIVE ACTION TAKEN A guard (cognizant Radiation Protection person) was immediately posted at the entrance to the HRA, to provide the required continuous surveillance

  • A "night order" was immediately written to all Radiation Protection Technicians to specify the requirements for entry to the eves Holdup Tank Room. The night order stated that two people are required to enter the eves Holdup Tank Room, one to provide positive access control and the other to perform the necessary surveys.

The event has been reviewed by the Radiation Protection Department Management and appropriate corrective disciplinary action has been administered to the contract employee.

The event was reviewed with appropriate Radiation Protection Personnel.

A work request was written requesting the replacement of a lockset on the gate at the entrance to the eves Holdup Tank Room. The previous lockset did not work properly and a padlock and chain were being used to control access.

Subsequently, a new lockset was installed. This lockset provides positive control of the HRA while also allowing egress from the area; thereby, negating the need for the the night order specified above

  • PSE&G IS IN FULL COMPLIANCE Notice of Violation. Item B B. Technical Specification (TS) 4.0.2 requires in part that surveillance requirements should be performed within the specified time interval.

Contrary to the above, surveillance requirements were not performed within the specified time interval as follows:

1. On February 21, 1989, it was identified that TS surveillance 4.0.5 for inservice inspection and testing of the lA Diesel Generator Service Water Valve and Prelube Oil Pump vibration check were not performed within the previous 92 days as required.
2. On May 5, 1989, it was identified that TS surveillance 4.3.3.3.1 for channel check of the Triaxial Time-History Accelographs was not performed within the previous 31 days as required.

RESPONSE

PSE&G DOES NOT DISPUTE THIS VIOLATION

  • The root cause of Item 1 has been attributed to lack of adequate administrative controls and the root cause of Item 2 has been attributed to personnel error as discussed in the respective LERs reporting these items. In addition to the violation cited above, the inspection report delineates a concern that corrective actions for a previous similar violation (in 1988) did not prevent these recurrences. Corrective actions implemented as a result of the previous violation included assignment of a Technical Specification Administrator, establishment of a MMIS surveillance data base and generation of surveillance status reports. Those corrective actions have reduced the occurrence of missed/overdue surveillances since that violation. As a.result of the above violations and feedback from the program administrators, PSE&G has instituted additional corrective actions as described herein, to strengthen the program and provide backup review.

ITEM 1 CORRECTIVE ACTIONS TAKEN The February 21, 1989 event was, in fact, attributable to the lack of adequate administrative controls of the program established .following the 1988 violation. *As a result, the following actions were implemented to enhance the effectiveness of the program.

-. * *' * ' .~*-; ., '* *** ' * * **-.-*" ~ °! * * * *~ I *

  • The frequency of the MMIS Technical Specification surveillance overdue report was increased, and is now printed daily at the line printer located in each department. This report provides a 14 day "look ahead" listing of surveillances, with a greater than seven (7) day frequency, that will become overdue with the next fourteen (14) days and have not yet been completed.

The report is sorted by Unit, Department, Mode in which the surveillance can be performed, and overdue date.

Each Department appointed a surveillance coordinator who is responsible to review the Technical Specification Overdue report daily, contact the line supervision if a surveillance is nearing (within 3-4 days) the overdue date, and to provide a single point of contact for the Technical Specification Administrator.

ITEM 2 The Mays, *1989 event was the result of personnel error (failure to follow the established program) in that the Technical Specification Overdue Report was not reviewed by the appropriate personnel as required. PSE&G believes that this does not represent a programmatic deficiency of the corrective actions implemented following the 1988 violation.

CORRECTIVE ACTIONS TAKEN All appropriate Station Personnel were counseled to review and use the Technical Specification Surveillance Overdue report for tracking and completion of all Technical Specification surveillance requirements.

As a backup, the Technical Specification Administrator was also assigned the responsibility of reviewing the Technical Specification Surveillance Overdue report daily and contacting the department coordinators when any surveillance is not completed within 3-4 days of the overdue date.

The Technical Specification Overdue report was revised, to provide the Modes of operation the equipment was required to be operable in, and to list all surveillances in order by overdue date. These changes were made for human factors reasons; i.e.,

to provide ease of review.

In summary, PSE&G believes that Salem currently has an effective Technical Specification Administrative program. The additional actions stated above will further assure that TS surveillances are properly performed. Corrective actions taken will prevent recurrence of the problems associated with this violation.

    • .. --~*-**-* ' "': * * *' :: *.L * * **: -.. *-. -- . . . .. - . .. ~ . , -. . - ... '

~

  • ADDITIONAL CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER VIOLATIONS Increased management attention has been and will continue to be focused on this area. Programmatic changes will be made as necessary to enhance and solidify the Technical Specification Administrative Program as feedback is received from users or potential problem areas are identified.

PSE&G IS IN FULL COMPLIANCE SUPPLEMENTAL INFORMATION The following represents information relative to a missed surveillance occurring after issuance of Inspection Report 272/89-15 & 311/89-14, and is being provided pursuant with discussions held with Salem Resident Inspector, s. Pindale.

Additionally, as required by the letter transmitting the subject Inspection Report, a discussion is being provided relative to corrective actions being taken to prevent recurrence of missed surveillances *

The root cause of the event was determined to be inadequate administrative control of Technical Specification Amendment processing and implementation, which allowed the Amendment to be implemented with insufficient review. A recent Technical Specification Amendment (No. 94) had been implemented which had added the requirement to vent ECCS pump casings and accessible discharge piping high points to the Unit 1 surveillance Requirements (Unit 2 already had this requirement). The Amendment was implemented without assuring that a thorough review had been performed to ensure that all necessary procedures had been implemented.

Personnel error contributed to the event, as the individual responsible for reviewing the ATS open item (which required reviewing the Technical Specification Amendment for procedural modifications) had not performed a thorough review of the Amendment prior to implementation *

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Weaknesses in the Technical Specification Amendment implementation program had been identified by the Technical Specification Surveillance Group (originated to eliminate missed/overdue Technical Specification Surveillances at Salem) in conjunction with other station personnelo Corrective actions were instituted as a result of these identified weaknesses.

These actions changed the program to require all new Amendments to be approved for implementation by SORC. This ensures that all departments are prepared to implement the programmatic or procedural changes necessitated by the Amendment. In addition, ths program was revised to require computerized tracking (using ATS) to identify personnel responsibilities for the implementation of Technical Specification Amendments. These processes were put in place at the direction of the General Manager - Salem Operations. The draft revision of AP-12, Procedure NA-AP.ZZ-0012, "Technical Specification Surveillance Program", which will specify these changes, is now in the review process.

At the time that Amendment 94 was received the corrective actions, mentioned above, were not in place. Had the corrective actions (SORC review and a designated individual for tracking ATS open items associated with Amendments) been in place when Amendment 94 was received, this event would have been prevented.

There is no safety impact associated with missing this surveillance. There was no previous requirement to vent the pumps and the pumps have been proven operable repeatedly, by surveillance and use, over that duration. The Technical Specification change is really an enhancement to provide further assurance that the pumps will perform as required when called upon. Fifty five (55) minutes after Technical Specification Action Statement 3.0.3 was entered for the missed surveillance, the surveillance was successfully completed.

In addition to the corrective actions that had been previously instituted, the individual involved was counseled stressing the need to ensure attention to detailo The Operations Surveillance Procedure SP(O) 4o5.2b was revised to include the pump casing and piping venting requirements.

PSE&G management is committed to ensuring that the Salem Generating Stations Surveillance Program provides the necessary controls and monitoring to assure that Technical Specifications are performed as requiredQ The current program is significantly improved and PSE&G is confident that the program is now effective in controlling the surveillances. Increased management attention to insuring surveillance requirements are met as well as the continued management emphasis for attention to detail should lead to continued improvements in the program. PSE&G management will continue to dedicate resources to ensuring surveillance compliance and encourages all employees to improve the process.

PSE&G's actions to reduce personnel errors and improve attention I_

to detail will be continued. The "Attention to Detail" video and the "Salem Handbook of .standards" are presently being provided to every station employee, along with a General Manager - Salem Operations presentation and specific training to further stress attention to detail and high work standards. Management will continue to focus on these areas to assure that deficiencies in these areas are identified and corr~cted, and to insure continued improvement in these areas.

In addition to responding to the Notice of Violation, PSE&G was requested to "address the adequacy of its' corrective action program in general, relative to preventing recurrence of previously identified problems including what improvements in this area are needed". PSE&G believes that it has an aggressive and responsive incident investigation and corrective action program. The main elements of the program are described in AP-06, Procedure NA-AP.ZZ-0006(Q), "Incident Report and Reportable Event Program". This program delineates the responsibilities and the flow path for investigation, root cause determination, and corrective action determination for events of appropriate cause or significance. The extent of evaluation and follow-up is relative to cause/significance, but can always be increased at individual discretion. Each incident report is now reviewed by station management at the daily.morning meeting.

If follow-up investigation is required, internal and external operational experience is reviewed for similar events. A Department Manager/Engineer is assigned responsibility for the investigation and a copy of the Incident Report (IR) is sent to the HPES (Human Performance Evaluation system) Engineer if human performance problems are involved (presently all IRs are sent to the HPES Engineer).

The follow-up investigation analyzes the event and determines root cause(s), identifies the corrective actions, and assesses the safety consequences and implications of the incidente The IR Form is used to document the investigation. The responsible Department Manager approves the investigation findings and corrective actionse The LER Coordinator also reviews the IR for completeness. If the incident is reportable the root cause and corrective actions are specified in the report and SORC reviews and approves them. The General Manager - Salem Operations must review and approve these reports prior to issuanceQ For significant or reportable events Quality Assurance (QA) and/or Onsite Safety Review (SRG) will often be present at the associated SORC and special station meetings at which the root cause and corrective actions are reviewed. This provides each with the opportunity to discuss and provide feedback into the process prior to final determination. Formal review of certain reportable events and all events involving Reactor Trips or ECCS actuations are performed by SRG. These reports are utilized by management. to assess root cause and corrective action

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effectiveness. QA also reviews various events and reports, and provides essential feedback to the management team. Further feedback is provided on selected (significant) events as a result of the HPES evaluations. Management often requests QA, LSRG, and OSR (Offsite Safety Review) to perform special investigations and requests to provide analysis, root cause evaluation and recommend corrective actions for items relative to events sensitive to operational performance concerns, programmatic concerns, human factor concerns, and other type events for which they may have additional concerns.

PSE&G has frequently utilized the system engineering group, to perform the root cause analysis and help determine corrective actions, for events involving equipment failure, system performance and design concerns. This has resulted in increased technical investigation and often better resolution of the problem. Even though the corrective action program was viewed as aggressive and thorough, management believed that the program was not as consistent with regard to the varying levels of investigation and that the program did not provide a consistent systematic approach. Furthermore, industry information revealed that analyzing "near miss" events could be more significant for preventing future events than the actual events; therefore, it was felt that the program should be directed to place more emphasis on this. PSE&G determined that utilizing the INPO HPES methodology could improve root cause analysis, provide more complete corrective actions and better detect human performance deficiencies. In implementing the HPES program, the need for formal training of key personnel in root cause analysis was identified and a training program was developed. Select individuals have been trained and this training is ongoing.

PSE&G is continuing to evaluate its root cause analysis program and is implementing various actions to this end. These actions will be provided to the NRC, as part of PSE&G's integrated strategic plan for improving operational performance at Salem, during the late October, 1989 meeting with Region 1, as discussed in the SALP responsee PSE&G does not believe that the Violations cited in this report occurred directly as a result of the program established as a corrective action being inadequate, but that they were more a result of other problems i.e. lack of attention to detail (personnel error) and inadequate administrative controls for administering the program. PSE&G is aware of and has been addressing these problem. However, the corrective actions in these areas had not been fully implemented at the time of the event and are still being implemented. These corrective actions are included in the corrective actions provided in the Notice of Violation response.

Further improvements are also being implemented to improve the root cause and corrective action programs. A formal training program to provide root cause analysis training to key personnel (those who will be involved in root cause analysis) is presently being developed. A Significant Event Response Team (SERT) has been developed to perform thorough investigation/reports of significant events. This investigation process will provide a more systematic approach to the investigation of future events.

Implementation of these actions will be discussed during the October, 1989, Region 1, meetingo PSE&G management will continue to monitor the progress of its corrective actions for assuring surveillance requirements are met, increased attention to detail, reduced personnel errors and ensuring administrative controls and management oversight are effective in ensuring these goals. As such, PSE&G is determined to meet the highest operating standards and will ensure that all necessary actions will be taken to attain those standards *

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