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See also: [[followed by::IR 05000259/1998007]]


=Text=
=Text=
{{#Wiki_filter:CATEGORY 1 REGULATORY
{{#Wiki_filter:CATEGORY 1 REGULATORY INFORMATION DISTRIBUTION SYSTEM (RZDS)
INFORMATION
CCESSION NBR:9902020320 FACZL:5'0-259 Browns DOC.DATE:   99/01/21   NOTARIZED: NO Ferry Nuclear Power Station, Unit 1, Tennessee DOCKET 05000259 I
DISTRIBUTION
              ~
SYSTEM (RZDS)CCESSION NBR:9902020320
50-260 Browns   Ferry Nuclear Power Station, Unit 2, Tennessee                 05000260 50-296 Browns   Ferry Nuclear Power Station, Unit 3, Tennessee                 05000296 AUTH. NAME             AUTHOR AFFILIATION ABNEY,T.E.             Tennessee Valley Authority l     RECIP . NAME           RECIPIENT AFFILIATION UN
DOC.DATE: 99/01/21 NOTARIZED:
 
NO DOCKET I FACZL:5'0-259
==SUBJECT:==
Browns Ferry Nuclear Power Station, Unit 1, Tennessee 05000259~50-260 Browns Ferry Nuclear Power Station, Unit 2, Tennessee 05000260 50-296 Browns Ferry Nuclear Power Station, Unit 3, Tennessee 05000296 AUTH.NAME AUTHOR AFFILIATION
Records Management Branch (Document           Control Desk)
ABNEY,T.E.
C Responds to NRC 981209       ltr re violations noted in insp repts 50-259/98-07,50-260/98-07 & 50-296/98-07,respectively.
Tennessee Valley Authority l RECIP.NAME RECIPIENT AFFILIATION
Corrective actions:will revise procedure NEPD-8 re vendor nonconformance documentation submission to TVA.
Records Management
DISTRIBUTION CODE: IEOZD COPIES RECEIVED:LTR i ENCL TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response       5    SIZE:
Branch (Document Control Desk)C UNSUBJECT:
E'OTES:
Responds to NRC 981209 ltr re violations
RECIPIENT            COPIES            RECIPIENT             COPIES ID CODE/NAME          LTTR ENCL        ID CODE/NAME         LTTR ENCL PD2-3-PD                 1    1      DEAGAZZO,A                1      1 INTERNAL: ACRS                         2            AEOD/SPD/RAB              1     1 AEOD TTC                  1     1       DEDRO                    1     1 E  E                1     1     NRR/DRCH/HOHB              1     1 NRR/DRPM/PECB            1     1     NRR/DRPM/PERB             1     1 NUDOCS-ABSTRACT          1     1       OE DIR                    1     1 OGC/HDS3                  1     1       RGN2    FILE  01        1     1 D
noted in insp repts 50-259/98-07,50-260/98-07
EXTERNAL: LZTCO BRYCE,J H               1    1      NOAC                      1      1 NRC PDR                   1'           NUDOCS FULLTEXT           1   i 1 N
&50-296/98-07,respectively.
~ I NOTE TO   ALL "RIDS" RECIPIENTS:
Corrective
PLEASE HELP US TO REDUCE WASTE. TO HAVE YOUR NAME OR ORGANIZATION REMOVED FROM DISTRIBUTION LISTS OR REDUCE THE NUMBER OF COPIES RECEIVED BY YOU OR YOUR ORGANIZATION, CONTACT THE,DOCUMENT CONTROL DESK (DCD) ON EXTENSION 415-2083 TOTAL NUMBER OF COPIES REQUIRED: LTTR               19   ENCL     19
actions:will
 
revise procedure NEPD-8 re vendor nonconformance
Tennessee Valley Authority, Post Office Box 2000, Decatur, Aiabarna 35609.2000 January 21, 1999 U. S. Nuclear             Regulatory Commission                                     1'0 CFR  2.201 ATTN: Document               Control Desk Washington,           D.C. 20555 Gentleman:
documentation
In the Matter of                                                               Docket Nos. 50-259 Tennessee Valley Authority                                                                    50-260 50-296 BROWNS FERRY NUCLEAR PLANT (BFN) NRC INSPECTION REPORT 50 259 r 50 260 r 50 296/98 07                               COMMENTS ON VIOLATION 50 260 r 296/98-07-04 This     letter     provides TVA's comments on the subject NOV transmitted by letter from Mr. H. 0. Christensen, NRC, to Mr. J. A. Scalice, TVA, dated December 9, 1998. In the letter, two violations of NRC requirements50-296/98-07-01).                      were identified.
submission
TVA agrees with the first violation (VIO This violation does not require a response since the corrective actions are already adequately addressed on the docket in the inspection report.
to TVA.DISTRIBUTION
The second violation (VIO 50-260, 296/98-07-04)                                         in the letter was associated with the procurement and receipt                                         activities for a valve part. This violation does not require a response since the corrective actions are already adequately addressed in the inspection report. While TVA agrees with the violation, the discussion in the inspection report is not correct in all aspects. For clarity, we have provided our.
CODE: IEOZD COPIES RECEIVED:LTR
comments in the Enclosure.                             These comments do not affect the 9902020320 990i2i PDR     ADOCK 05000259 8                           PDR
i ENCL 5 SIZE: TITLE: General (50 Dkt)-Insp Rept/Notice
 
of Violation Response E'OTES: INTERNAL: RECIPIENT ID CODE/NAME PD2-3-PD ACRS AEOD TTC E E NRR/DRPM/PECB
U.S. Nuclear Regulatory Commission Page 2 January 21, 1999 corrective a'ctions addressed on the docket in the inspection report.
NUDOCS-ABSTRACT
There are no commitments in this letter. If you have any questions on these comments, please contact me at (256) 729-3675.
OGC/HDS3 COPIES LTTR ENCL 1 1 2'1 1 1 1 1 1 1 1 1 1 RECIPIENT ID CODE/NAME DEAGAZZO,A
Si cerel Abney Site Licen ng a d Industry Affair   Manager Enclosure cc: See page     3
AEOD/SPD/RAB
 
DEDRO NRR/DRCH/HOHB
0 U.S. Nuclear Regulatory Commission Page 3 January 21, 1999 Enclosure cc (Enclosure):
NRR/DRPM/PERB
Regional Administrator U.S. Nuclear Regulatory Commission Region   II 61 Forsyth Street S.W.
OE DIR RGN2 FILE 01 COPIES LTTR ENCL 1 1 1 1 1 1 1 1 1 1 1 1 1 1 D EXTERNAL: LZTCO BRYCE,J H NRC PDR 1 1 1'NOAC NUDOCS FULLTEXT 1 1 1 i 1 N~I NOTE TO ALL"RIDS" RECIPIENTS:
Suite 23T85 Atlanta, Georgia   30303 Mr. P. E. Fredrickson U. S. Nuclear Regulatory Commission Region   II 61 Forsyth Street S.W.
PLEASE HELP US TO REDUCE WASTE.TO HAVE YOUR NAME OR ORGANIZATION
Suite 23T85 Atlanta, Georgia   30303 NRC   Resident Inspector Browns Ferry, Nuclear Plant 10833 Shaw Road Athens, Alabama '5611 Mr. L. Raghavan, Project Manager U.S. Nuclear Regulatory Commission One White Flint, North 11555 Rockville Pike Rockville, Maryland 20852
REMOVED FROM DISTRIBUTION
 
LISTS OR REDUCE THE NUMBER OF COPIES RECEIVED BY YOU OR YOUR ORGANIZATION, CONTACT THE, DOCUMENT CONTROL DESK (DCD)ON EXTENSION 415-2083 TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19  
0 ENCLOSURE TENNESSEE VALLEY AUTHORITY BROWNS FERRY NUCLEAR PLANT (BFN)
UNITS 1, 2, AND 3 INSPECTION REPORT NUMBER 50 259 50 260 g 50 296/98 07
Tennessee Valley Authority, Post Office Box 2000, Decatur, Aiabarna 35609.2000
                                        ~
January 21, 1999 U.S.Nuclear Regulatory
COMMENTS ON NOTICE OF. VIOLATION (NOV)
Commission
RESTATEMENT OF VIOLATION (VIO)   50-260, 296/98-07-04 10 CFR 50 Appendix B, Criterion V, requires that activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings.
ATTN: Document Control Desk Washington, D.C.20555 1'0 CFR 2.201 Gentleman:
The licensee'   Nuclear Quality Assurance Plan, TVA-NQA-PLN89-A, Revision (Rev.) 8, Section 6.1, states that the Quality Assurance Program requires that quality-related activities shall be prescribed by documented instructions appropriate to the circumstances. Activities shall be accomplished in accordance with these procedures and instructions.
In the Matter of Tennessee Valley Authority Docket Nos.50-259 50-260 50-296 BROWNS FERRY NUCLEAR PLANT (BFN)-NRC INSPECTION
TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, Note T2054, requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's quality assurance program. Nonconformances with a disposition of "Accept As-Is" or "Repair" shall be submitted to TVA for approval.'VA standard program and process procedure SPP-4.2, Material Receipt 'and Inspection, Rev. 0, implements the requirements of TVA NQA-PLN89-A concerning receipt and inspection requirements for quality-related materials. Section 3.6 of this procedure specifically implements the requirements of DS-M18.2.18 and requires responsible engineering personnel to disposition material nonconforming conditions and document the results of the disposition on a Receiving Unsatisfactory Report (RUR).
REPORT 50 259 r 50 260 r 50 296/98 07 COMMENTS ON VIOLATION 50 260 r 296/98-07-04
Contrary to the above, on October 8, 1997, contract number 121076190ZNU4138 was placed with Fisher Control without imposing the requirements of DS-M18.2.18, Note T2054, for a QA Level 1 purchase order. This failure resulted in an inadequate receipt inspection on November 14, 1997, which was performed for TVA Item Identification Code (TIIC) No. CBW9098C. This procurement action involved-the purchase of three Fisher Pressure Controller Model 4160 flappers, part number 1H2669-41132. The vendor provided nonconformance report (NCR) Nos. 544579-1, -2, and -3 in connection with deviations from the vendor
This letter provides TVA's comments on the subject NOV transmitted
 
by letter from Mr.H.0.Christensen, NRC, to Mr.J.A.Scalice, TVA, dated December 9, 1998.In the letter, two violations
t specification for the flapper diameter. Fisher design required a diameter of 1.99 to 2.00 inches and the measured, diameter of all three flappers was 1.95 inches. The vendor also provided a recommendation for use as-is. These nonconformances were never dispositioned by Procurement Engineering and the results documented on a RUR, in accordance with the requirements of procedure SPP-4.2.
of NRC requirements
This is a Severity Level IV Violation (Supplement   I).
were identified.
TVA's COMMENTS ON VIOLATION In the third paragraph of the violation discussion,     it is stated that TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, Note T2054, requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's assurance program and that nonconformances with a         'uality disposition of "Accept-as-is" or "Repair" be submitted to TVA for approval. It further states that Section 3.6 of TVA SPP-4.2, Materials Receipt and Inspection, specifically implements the requirements of DS-M18.2.18. Actually, as detailed below, DS-M18.2.18 Note T2054 is only applicable   if designated on the Procurement Data Sheet (PDS) in accordance with NEDP-8, Technical Evaluation for Procurement of Materials and Services. Thus, SPP-4.2 does not directly implement the subject note.
TVA agrees with the first violation (VIO 50-296/98-07-01).
TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, provides procurement personnel with a   list of approximately   180 Standardized Procurement Notes   which may be used as an aid to procurement activities. When used, these Standardized Procurement Notes communicate applicable engineering requirements and other provisions to procuring organizations, and may be applied to procurement materials or services documents.
This violation does not require a response since the corrective
The Standardized Procurement Notes are, however, not stand-alone requirements and apply to specific procurements only     if prescribed on the contract. For typical contracts the notes that are pertinent to the procurement activity are specific'd by TVA on the purchase contract.
actions are already adequately
TVA procedure NEDP-8 establishes the procedural requirements to perform technical evaluations and to determine quality requirements for the specification and procurement of materials.
addressed on the docket in the inspection
NEDP-8 is used for procuring safety related and non-safety material, as well as equipment of various quality class designations. Section 3.3.6 of NEDP-8 requires the preparation of a PDS which, in turn, establishes the necessary technical and quality requirements for procuring items. Typical attributes listed on the PDS include such items as technical requirements and specifications, receipt inspection requirements, requirements E-2
report.The second violation (VIO 50-260, 296/98-07-04)
 
in the letter was associated
for   10 CFR   Part 21 applicability, handling of     nonconformances, arid so forth. These types of standard requirements are incorporated into the procurement contract by the Procurement Engineering Group (PEG) by including the applicable Standardized Procurement Notes from DS-M18.2.18 on the PDS as appropriate for the safety and quality class of the material being procured.
with the procurement
Custom   technical or TVA specified design requirements may also be included on the PDS.
and receipt activities
The PDS for contract 121076190ZNU4138 did not prescribe any specific TVA technical requirements since the part was a standard vendor supplied replacement part. The PDS did include several Standardized Procurement- Notes from DS-M18.2.18 as enumerated below.
for a valve part.This violation does not require a response since the corrective
: 1. Note T1061     requires the parts and materials be supplied under a Quality Assurance (QA) program evaluated and accepted by TVA, and which is in accordance with the applicable provisions of ANSI N45.2.
actions are already adequately
: 2. Note T2050 requires that the vendor review the contents of the bid and communicate any exceptions or changes, including part number changes, to TVA prior to executing the order, and provide an analysis of the effects of .any such changes on form, fit, function, or material.
addressed in the inspection
: 3. Note T2055 specifies that the parts supplied on the order were subject to the provisions of 10 CFR Part 21 regarding the reporting of defects and noncompliances and requires that TVA be informed of each such defect or noncompliance.             (Inclusion of Note   T2055   is standard on all   QA level 1 device requisitions.)
report.While TVA agrees with the violation, the discussion
: 4. Note T2056     requires the vendor to provide access to their facilities for quality     inspection or audit,     if requested.
in the inspection
: 5. Note T4157 requires a Certificate of Conformance (COC) be provided which certifies that the items are in conformance to the product specifications for the part/catalog numbers referenced on the contract.
report is not correct in all aspects.For clarity, we have provided our.comments in the Enclosure.
: 6. Note T5050 requires the item be marked         with the TVA purchase order and traceable to the COC.
These comments do not affect the 9902020320
: 7. Note T6056     specifies   ANSI N45.2.2   Level C packing, shipping, handling, and storage requirements.
990i2i PDR ADOCK 05000259 8 PDR  
NEDP-8   step 3.3.6.B.5 requires that arrangements between the supplier and TVA for the identification, and control and disposition of items that do not meet procurement requirements be E-3
U.S.Nuclear Regulatory
 
Commission
established on the PDS. This procedure currently includes a provision that TVA approval is required on procured items which h v a supplier recommended disposition of "Accept-as-is" or "Repair" if procurement requirements are not met by the supp lier.
Page 2 January 21, 1999 corrective
When invoked, this provision is incorporated by including mechanical design standard DS-M18.2.18 Note T2054 on the PDS which requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's QA program, and that recommended dispositions of "Accept-as-is" or "Repair" be submitted to TVA for approval. If this note is not emp loye d disposition of nonconformances   is delegated to the vendor. For the subject contract, Note T2054 was inadverten tly omitted, which is considered by TVA to be a procedure violation of NEDP-8 since current practice is to impose Note T2054 on those contracts where Note T2055 (Part 21) is specified. This omission b quently resulted in not processing the flappers as nonconforming during receipt inspection as explained be low.
a'ctions addressed on the docket in the inspection
For the subject requisition, though not contractually obligated to do so (since Note T2054 was not specified), Fisher provided TVA with an NCR with the each of the 3 delivered flappers.     The NCRs described a minor deviation from the manufacturers design specifications in which the flapper diameter dimension was 1.95 inches in lieu of 2.00-1.99 inches. Fisher also provided their luation to "Accept-as-is" indicating that the dimension deviation did not affect the form, fit, or function o f the part, and that all code requirements were met. The vendor also provided a COC as required by contract Note T4157, which warranted that parts were manufactured and shipped in conformance with contract specifications, were satisfactorily tested and t d that the items were free from defects in material/workmanship, and were interchangeable in form, function and material with those originally supplied.
report.There are no commitments
m  fit and The, material was subsequently received on site Novembe r 14 1997 and found to be conforming during receipt inspection in accordance with Section 3.4 of SPP-4.2, Material Receipt and Inspection. Section 3.4 states, "items are acceptable     if the results of receipt inspections indicate that the items conform with PEG procurement package requirements." Section 3.6 o SPP-4.2 stipulates requirements for resolving unacceptable d't'       Acquisition and Material personnel or the PEG, Since, however, Note T2054 had not been specified on t hee PDS SSP-4.2 receipt inspection instruct'ions would not regard the d       'd d "Accept-as-is" dispositions as conditions needing further review by TVA. Thus, the receipt inspection accep e parts for issue and use. Had Note'2054 been included on the PDS, the material would have been determined to be non-conforming during receipt inspection and dispositioned in accordance with SPP-4.2, Section 3.6.
in this letter.If you have any questions on these comments, please contact me at (256)729-3675.Si cerel Abney Site Licen ng a Industry Affair d Manager Enclosure cc: See page 3  
E-4
0  
 
U.S.Nuclear Regulatory
0 The absence   of Note T2054 on a particular contract would allow the vendor to disposition nonconformances       in accordance with their own ANSI N45.2 approved QA program and without direct TVA involve'ment. For manufactured parts, the vendor is typically the designer and maintains the engineering drawings and design specifications. Hence, it follows that the vendor is in the best position to provide an engineering disposition regarding the acceptability for use of nonconformances. For procurements where TVA provides specific technical requirements and design specifications, Note T2054 would be applicable and TVA would prime responsibility for the approval of nonconformances.   'ssume Contract 121076190ZNU4138 fits into the former category since TVA requested a replacement part by part number and did not stipulate detailed technical requirements. Since the nonconformance regarding the flapper diameter was a variance from the vendor internal design specifications, Fisher was the most appropriate party to disposition the NCRs. The TVA review, when specified by Note T2054 for this kind of procurement, can best be characterized a's a general oversight review of the vendor disposition rather than an independent engineering review since TVA typically does not have access to the vendor's design specifications. Therefore, the safety significance of the omission of Note T2054 for this procurement is considered low based on the following:
Commission
1..The NCRs were written against Fisher's design.
Page 3 January 21, 1999 Enclosure cc (Enclosure):
: 2. Fisher dispositioned their   NCRs in accordance with their audited ANSI N45.2 program.
Regional Administrator
: 3. Fisher provided a COC stating: "Fisher Controls certifies that items herein were designed, manufactured, and shipped in.
U.S.Nuclear Regulatory
conformance to contract specifications.       All required tests and inspections were performed and the results found to be satisfactory. We   further certi'fy that all items shipped herein are free 'from defects in material and/or workmanship.
Commission
Parts are certified to be interchangeable in form, fit, function and material with those originally supplied."
Region II 61 Forsyth Street S.W.Suite 23T85 Atlanta, Georgia 30303 Mr.P.E.Fredrickson
Fisher Controls is on TVA's approved vendor       list with an ANSI N45.2 QA program. These vendors are   periodically audited to verify conformance with their,QA program. Fisher Controls was last audited in June 1997 by the Nuclear Procurement Issues Committee (NUPIC). TVA  is a NUPIC  participant.
U.S.Nuclear Regulatory
 
Commission
CONCLUSION The characterization in the violation that SPP-4.2, Section 3.6 directly implements standard DS-M18.2.18, Rev. 10, Note T2054 is out of context. As outlined above, DS-M18.2.18 Note T2054 is only applicable if designated on the PDS in accordance with NEDP-8. SPP-4.2, Section 3.6, only applies when material does not conform with PEG package (PDS) requirements.
Region II 61 Forsyth Street S.W.Suite 23T85 Atlanta, Georgia 30303 NRC Resident Inspector Browns Ferry, Nuclear Plant 10833 Shaw Road Athens, Alabama'5611 Mr.L.Raghavan, Project Manager U.S.Nuclear Regulatory
For a replacement part procurement such as that described in this NOV, TVA considers the inclusion of DS-M18.2.18 Note T2054 as a conservative measure not specifically required by TVA' QA,Plan or by ANSI N45.2.13, Quality Assurance Requirements for Control of Items and Services for Nuclear Power Plants. Accordingly, as discussed in the inspection report, the developed corrective action for recurrence control of this item involves revising procedure NEDP-8 to more clearly describe when vendor nonconformance documentation is to be submitted to TVA and approved by TVA engineering. These corrective actions are unaffected by the preceding comments on this violation.
Commission
E-6}}
One White Flint, North 11555 Rockville Pike Rockville, Maryland 20852  
0  
ENCLOSURE TENNESSEE VALLEY AUTHORITY BROWNS FERRY NUCLEAR PLANT (BFN)UNITS 1, 2, AND 3 INSPECTION
REPORT NUMBER 50 259~50 260 g 50 296/98 07 COMMENTS ON NOTICE OF.VIOLATION (NOV)RESTATEMENT
OF VIOLATION (VIO)50-260, 296/98-07-04
10 CFR 50 Appendix B, Criterion V, requires that activities
affecting quality shall be prescribed
by documented
instructions, procedures, or drawings of a type appropriate
to the circumstances
and shall be accomplished
in accordance
with these instructions, procedures, or drawings.The licensee'Nuclear Quality Assurance Plan, TVA-NQA-PLN89-A, Revision (Rev.)8, Section 6.1, states that the Quality Assurance Program requires that quality-related
activities
shall be prescribed
by documented
instructions
appropriate
to the circumstances.
Activities
shall be accomplished
in accordance
with these procedures
and instructions.
TVA nuclear power mechanical
design standard DS-M18.2.18, Rev.10, Note T2054, requires nonconformances
to the requirements
of the contract to be handled in accordance
with the vendor's quality assurance program.Nonconformances
with a disposition
of"Accept As-Is" or"Repair" shall be submitted to TVA for approval.'VA
standard program and process procedure SPP-4.2, Material Receipt'and Inspection, Rev.0, implements
the requirements
of TVA NQA-PLN89-A
concerning
receipt and inspection
requirements
for quality-related
materials.
Section 3.6 of this procedure specifically
implements
the requirements
of DS-M18.2.18
and requires responsible
engineering
personnel to disposition
material nonconforming
conditions
and document the results of the disposition
on a Receiving Unsatisfactory
Report (RUR).Contrary to the above, on October 8, 1997, contract number 121076190ZNU4138
was placed with Fisher Control without imposing the requirements
of DS-M18.2.18, Note T2054, for a QA Level 1 purchase order.This failure resulted in an inadequate
receipt inspection
on November 14, 1997, which was performed for TVA Item Identification
Code (TIIC)No.CBW9098C.This procurement
action involved-the
purchase of three Fisher Pressure Controller
Model 4160 flappers, part number 1H2669-41132.
The vendor provided nonconformance
report (NCR)Nos.544579-1,-2, and-3 in connection
with deviations
from the vendor  
t  
specification
for the flapper diameter.Fisher design required a diameter of 1.99 to 2.00 inches and the measured, diameter of all three flappers was 1.95 inches.The vendor also provided a recommendation
for use as-is.These nonconformances
were never dispositioned
by Procurement
Engineering
and the results documented
on a RUR, in accordance
with the requirements
of procedure SPP-4.2.This is a Severity Level IV Violation (Supplement
I).TVA's COMMENTS ON VIOLATION In the third paragraph of the violation discussion, it is stated that TVA nuclear power mechanical
design standard DS-M18.2.18, Rev.10, Note T2054, requires nonconformances
to the requirements
of the contract to be handled in accordance
with the vendor's'uality assurance program and that nonconformances
with a disposition
of"Accept-as-is" or"Repair" be submitted to TVA for approval.It further states that Section 3.6 of TVA SPP-4.2, Materials Receipt and Inspection, specifically
implements
the requirements
of DS-M18.2.18.
Actually, as detailed below, DS-M18.2.18
Note T2054 is only applicable
if designated
on the Procurement
Data Sheet (PDS)in accordance
with NEDP-8, Technical Evaluation
for Procurement
of Materials and Services.Thus, SPP-4.2 does not directly implement the subject note.TVA nuclear power mechanical
design standard DS-M18.2.18, Rev.10, provides procurement
personnel with a list of approximately
180 Standardized
Procurement
Notes which may be used as an aid to procurement
activities.
When used, these Standardized
Procurement
Notes communicate
applicable
engineering
requirements
and other provisions
to procuring organizations, and may be applied to procurement
materials or services documents.
The Standardized
Procurement
Notes are, however, not stand-alone
requirements
and apply to specific procurements
only if prescribed
on the contract.For typical contracts the notes that are pertinent to the procurement
activity are specific'd
by TVA on the purchase contract.TVA procedure NEDP-8 establishes
the procedural
requirements
to perform technical evaluations
and to determine quality requirements
for the specification
and procurement
of materials.
NEDP-8 is used for procuring safety related and non-safety
material, as well as equipment of various quality class designations.
Section 3.3.6 of NEDP-8 requires the preparation
of a PDS which, in turn, establishes
the necessary technical and quality requirements
for procuring items.Typical attributes
listed on the PDS include such items as technical requirements
and specifications, receipt inspection
requirements, requirements
E-2  
for 10 CFR Part 21 applicability, handling of nonconformances, arid so forth.These types of standard requirements
are incorporated
into the procurement
contract by the Procurement
Engineering
Group (PEG)by including the applicable
Standardized
Procurement
Notes from DS-M18.2.18
on the PDS as appropriate
for the safety and quality class of the material being procured.Custom technical or TVA specified design requirements
may also be included on the PDS.The PDS for contract 121076190ZNU4138
did not prescribe any specific TVA technical requirements
since the part was a standard vendor supplied replacement
part.The PDS did include several Standardized
Procurement-
Notes from DS-M18.2.18
as enumerated
below.1.Note T1061-requires the parts and materials be supplied under a Quality Assurance (QA)program evaluated and accepted by TVA, and which is in accordance
with the applicable
provisions
of ANSI N45.2.2.Note T2050-requires that the vendor review the contents of the bid and communicate
any exceptions
or changes, including part number changes, to TVA prior to executing the order, and provide an analysis of the effects of.any such changes on form, fit, function, or material.3.Note T2055-specifies that the parts supplied on the order were subject to the provisions
of 10 CFR Part 21 regarding the reporting of defects and noncompliances
and requires that TVA be informed of each such defect or noncompliance.(Inclusion
of Note T2055 is standard on all QA level 1 device requisitions.)
4.Note T2056-requires the vendor to provide access to their facilities
for quality inspection
or audit, if requested.
5.Note T4157-requires a Certificate
of Conformance (COC)be provided which certifies that the items are in conformance
to the product specifications
for the part/catalog
numbers referenced
on the contract.6.Note T5050-requires the item be marked with the TVA purchase order and traceable to the COC.7.Note T6056-specifies ANSI N45.2.2 Level C packing, shipping, handling, and storage requirements.
NEDP-8 step 3.3.6.B.5 requires that arrangements
between the supplier and TVA for the identification, and control and disposition
of items that do not meet procurement
requirements
be E-3  
established
on the PDS.This procedure currently includes a provision that TVA approval is required on procured items which h v a supplier recommended
disposition
of"Accept-as-is" or"Repair" if procurement
requirements
are not met by the supp lier.When invoked, this provision is incorporated
by including mechanical
design standard DS-M18.2.18
Note T2054 on the PDS which requires nonconformances
to the requirements
of the contract to be handled in accordance
with the vendor's QA program, and that recommended
dispositions
of"Accept-as-is" or"Repair" be submitted to TVA for approval.If this note is not emp oye l d disposition
of nonconformances
is delegated to the vendor.For the subject contract, Note T2054 was inadverten
y tl omitted, which is considered
by TVA to be a procedure violation of NEDP-8 since current practice is to impose Note T2054 on those contracts where Note T2055 (Part 21)is specified.
This omission b quently resulted in not processing
the flappers as nonconforming
during receipt inspection
as explained be low.For the subject requisition, though not contractually
obligated to do so (since Note T2054 was not specified), Fisher provided TVA with an NCR with the each of the 3 delivered flappers.The NCRs described a minor deviation from the manufacturers
design specifications
in which the flapper diameter dimension was 1.95 inches in lieu of 2.00-1.99 inches.Fisher also provided their luation to"Accept-as-is" indicating
that the f dimension deviation did not affect the form, fit, or function o the part, and that all code requirements
were met.The vendor also provided a COC as required by contract Note T4157, which warranted that parts were manufactured
and shipped in conformance
with contract specifications, were satisfactorily
tested and t d that the items were free from defects in material/workmanship, and were interchangeable
in form, m fit and function and material with those originally
supplied.The, material was subsequently
received on site Novembe r 14 1997 and found to be conforming
during receipt inspection
in accordance
with Section 3.4 of SPP-4.2, Material Receipt and Inspection.
Section 3.4 states,"items are acceptable
if the results of receipt inspections
indicate that the items conform with PEG procurement
package requirements." Section 3.6 o SPP-4.2 stipulates
requirements
for resolving unacceptable
d't'Acquisition
and Material personnel or the PEG, Since, however, Note T2054 had not been specified on t e he PDS SSP-4.2 receipt inspection
instruct'ions
would not regard the d'd d"Accept-as-is" dispositions
as conditions
needing further review by TVA.Thus, the receipt inspection
accep e parts for issue and use.Had Note'2054 been included on the PDS, the material would have been determined
to be non-conforming
during receipt inspection
and dispositioned
in accordance
with SPP-4.2, Section 3.6.E-4  
0  
The absence of Note T2054 on a particular
contract would allow the vendor to disposition
nonconformances
in accordance
with their own ANSI N45.2 approved QA program and without direct TVA involve'ment.
For manufactured
parts, the vendor is typically the designer and maintains the engineering
drawings and design specifications.
Hence, it follows that the vendor is in the best position to provide an engineering
disposition
regarding the acceptability
for use of nonconformances.
For procurements
where TVA provides specific technical requirements
and design specifications, Note T2054 would be applicable
and TVA would'ssume prime responsibility
for the approval of nonconformances.
Contract 121076190ZNU4138
fits into the former category since TVA requested a replacement
part by part number and did not stipulate detailed technical requirements.
Since the nonconformance
regarding the flapper diameter was a variance from the vendor internal design specifications, Fisher was the most appropriate
party to disposition
the NCRs.The TVA review, when specified by Note T2054 for this kind of procurement, can best be characterized
a's a general oversight review of the vendor disposition
rather than an independent
engineering
review since TVA typically does not have access to the vendor's design specifications.
Therefore, the safety significance
of the omission of Note T2054 for this procurement
is considered
low based on the following:
1..The NCRs were written against Fisher's design.2.Fisher dispositioned
their NCRs in accordance
with their audited ANSI N45.2 program.3.Fisher provided a COC stating: "Fisher Controls certifies that items herein were designed, manufactured, and shipped in.conformance
to contract specifications.
All required tests and inspections
were performed and the results found to be satisfactory.
We further certi'fy that all items shipped herein are free'from defects in material and/or workmanship.
Parts are certified to be interchangeable
in form, fit, function and material with those originally
supplied." Fisher Controls is on TVA's approved vendor list with an ANSI N45.2 QA program.These vendors are periodically
audited to verify conformance
with their,QA program.Fisher Controls was last audited in June 1997 by the Nuclear Procurement
Issues Committee (NUPIC).TVA is a NUPIC participant.
   
CONCLUSION
The characterization
in the violation that SPP-4.2, Section 3.6 directly implements
standard DS-M18.2.18, Rev.10, Note T2054 is out of context.As outlined above, DS-M18.2.18
Note T2054 is only applicable
if designated
on the PDS in accordance
with NEDP-8.SPP-4.2, Section 3.6, only applies when material does not conform with PEG package (PDS)requirements.
For a replacement
part procurement
such as that described in this NOV, TVA considers the inclusion of DS-M18.2.18
Note T2054 as a conservative
measure not specifically
required by TVA'QA,Plan or by ANSI N45.2.13, Quality Assurance Requirements
for Control of Items and Services for Nuclear Power Plants.Accordingly, as discussed in the inspection
report, the developed corrective
action for recurrence
control of this item involves revising procedure NEDP-8 to more clearly describe when vendor nonconformance
documentation
is to be submitted to TVA and approved by TVA engineering.
These corrective
actions are unaffected
by the preceding comments on this violation.
E-6
}}

Latest revision as of 14:33, 3 February 2020

Responds to NRC 981209 Ltr Re Violations Noted in Insp Repts 50-259/98-07,50-260/98-07 & 50-296/98-07,respectively. Corrective Actions:Will Revise Procedure NEPD-8 Re Vendor Nonconformance Documentation Submission to TVA
ML18039A674
Person / Time
Site: Browns Ferry  Tennessee Valley Authority icon.png
Issue date: 01/21/1999
From: Abney T
TENNESSEE VALLEY AUTHORITY
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
50-259-98-07, 50-259-98-7, 50-260-98-07, 50-260-98-7, 50-296-98-07, 50-296-98-7, NUDOCS 9902020320
Download: ML18039A674 (18)


Text

CATEGORY 1 REGULATORY INFORMATION DISTRIBUTION SYSTEM (RZDS)

CCESSION NBR:9902020320 FACZL:5'0-259 Browns DOC.DATE: 99/01/21 NOTARIZED: NO Ferry Nuclear Power Station, Unit 1, Tennessee DOCKET 05000259 I

~

50-260 Browns Ferry Nuclear Power Station, Unit 2, Tennessee 05000260 50-296 Browns Ferry Nuclear Power Station, Unit 3, Tennessee 05000296 AUTH. NAME AUTHOR AFFILIATION ABNEY,T.E. Tennessee Valley Authority l RECIP . NAME RECIPIENT AFFILIATION UN

SUBJECT:

Records Management Branch (Document Control Desk)

C Responds to NRC 981209 ltr re violations noted in insp repts 50-259/98-07,50-260/98-07 & 50-296/98-07,respectively.

Corrective actions:will revise procedure NEPD-8 re vendor nonconformance documentation submission to TVA.

DISTRIBUTION CODE: IEOZD COPIES RECEIVED:LTR i ENCL TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response 5 SIZE:

E'OTES:

RECIPIENT COPIES RECIPIENT COPIES ID CODE/NAME LTTR ENCL ID CODE/NAME LTTR ENCL PD2-3-PD 1 1 DEAGAZZO,A 1 1 INTERNAL: ACRS 2 AEOD/SPD/RAB 1 1 AEOD TTC 1 1 DEDRO 1 1 E E 1 1 NRR/DRCH/HOHB 1 1 NRR/DRPM/PECB 1 1 NRR/DRPM/PERB 1 1 NUDOCS-ABSTRACT 1 1 OE DIR 1 1 OGC/HDS3 1 1 RGN2 FILE 01 1 1 D

EXTERNAL: LZTCO BRYCE,J H 1 1 NOAC 1 1 NRC PDR 1' NUDOCS FULLTEXT 1 i 1 N

~ I NOTE TO ALL "RIDS" RECIPIENTS:

PLEASE HELP US TO REDUCE WASTE. TO HAVE YOUR NAME OR ORGANIZATION REMOVED FROM DISTRIBUTION LISTS OR REDUCE THE NUMBER OF COPIES RECEIVED BY YOU OR YOUR ORGANIZATION, CONTACT THE,DOCUMENT CONTROL DESK (DCD) ON EXTENSION 415-2083 TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19

Tennessee Valley Authority, Post Office Box 2000, Decatur, Aiabarna 35609.2000 January 21, 1999 U. S. Nuclear Regulatory Commission 1'0 CFR 2.201 ATTN: Document Control Desk Washington, D.C. 20555 Gentleman:

In the Matter of Docket Nos. 50-259 Tennessee Valley Authority 50-260 50-296 BROWNS FERRY NUCLEAR PLANT (BFN) NRC INSPECTION REPORT 50 259 r 50 260 r 50 296/98 07 COMMENTS ON VIOLATION 50 260 r 296/98-07-04 This letter provides TVA's comments on the subject NOV transmitted by letter from Mr. H. 0. Christensen, NRC, to Mr. J. A. Scalice, TVA, dated December 9, 1998. In the letter, two violations of NRC requirements50-296/98-07-01). were identified.

TVA agrees with the first violation (VIO This violation does not require a response since the corrective actions are already adequately addressed on the docket in the inspection report.

The second violation (VIO 50-260, 296/98-07-04) in the letter was associated with the procurement and receipt activities for a valve part. This violation does not require a response since the corrective actions are already adequately addressed in the inspection report. While TVA agrees with the violation, the discussion in the inspection report is not correct in all aspects. For clarity, we have provided our.

comments in the Enclosure. These comments do not affect the 9902020320 990i2i PDR ADOCK 05000259 8 PDR

U.S. Nuclear Regulatory Commission Page 2 January 21, 1999 corrective a'ctions addressed on the docket in the inspection report.

There are no commitments in this letter. If you have any questions on these comments, please contact me at (256) 729-3675.

Si cerel Abney Site Licen ng a d Industry Affair Manager Enclosure cc: See page 3

0 U.S. Nuclear Regulatory Commission Page 3 January 21, 1999 Enclosure cc (Enclosure):

Regional Administrator U.S. Nuclear Regulatory Commission Region II 61 Forsyth Street S.W.

Suite 23T85 Atlanta, Georgia 30303 Mr. P. E. Fredrickson U. S. Nuclear Regulatory Commission Region II 61 Forsyth Street S.W.

Suite 23T85 Atlanta, Georgia 30303 NRC Resident Inspector Browns Ferry, Nuclear Plant 10833 Shaw Road Athens, Alabama '5611 Mr. L. Raghavan, Project Manager U.S. Nuclear Regulatory Commission One White Flint, North 11555 Rockville Pike Rockville, Maryland 20852

0 ENCLOSURE TENNESSEE VALLEY AUTHORITY BROWNS FERRY NUCLEAR PLANT (BFN)

UNITS 1, 2, AND 3 INSPECTION REPORT NUMBER 50 259 50 260 g 50 296/98 07

~

COMMENTS ON NOTICE OF. VIOLATION (NOV)

RESTATEMENT OF VIOLATION (VIO) 50-260, 296/98-07-04 10 CFR 50 Appendix B, Criterion V, requires that activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings.

The licensee' Nuclear Quality Assurance Plan, TVA-NQA-PLN89-A, Revision (Rev.) 8, Section 6.1, states that the Quality Assurance Program requires that quality-related activities shall be prescribed by documented instructions appropriate to the circumstances. Activities shall be accomplished in accordance with these procedures and instructions.

TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, Note T2054, requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's quality assurance program. Nonconformances with a disposition of "Accept As-Is" or "Repair" shall be submitted to TVA for approval.'VA standard program and process procedure SPP-4.2, Material Receipt 'and Inspection, Rev. 0, implements the requirements of TVA NQA-PLN89-A concerning receipt and inspection requirements for quality-related materials. Section 3.6 of this procedure specifically implements the requirements of DS-M18.2.18 and requires responsible engineering personnel to disposition material nonconforming conditions and document the results of the disposition on a Receiving Unsatisfactory Report (RUR).

Contrary to the above, on October 8, 1997, contract number 121076190ZNU4138 was placed with Fisher Control without imposing the requirements of DS-M18.2.18, Note T2054, for a QA Level 1 purchase order. This failure resulted in an inadequate receipt inspection on November 14, 1997, which was performed for TVA Item Identification Code (TIIC) No. CBW9098C. This procurement action involved-the purchase of three Fisher Pressure Controller Model 4160 flappers, part number 1H2669-41132. The vendor provided nonconformance report (NCR) Nos. 544579-1, -2, and -3 in connection with deviations from the vendor

t specification for the flapper diameter. Fisher design required a diameter of 1.99 to 2.00 inches and the measured, diameter of all three flappers was 1.95 inches. The vendor also provided a recommendation for use as-is. These nonconformances were never dispositioned by Procurement Engineering and the results documented on a RUR, in accordance with the requirements of procedure SPP-4.2.

This is a Severity Level IV Violation (Supplement I).

TVA's COMMENTS ON VIOLATION In the third paragraph of the violation discussion, it is stated that TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, Note T2054, requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's assurance program and that nonconformances with a 'uality disposition of "Accept-as-is" or "Repair" be submitted to TVA for approval. It further states that Section 3.6 of TVA SPP-4.2, Materials Receipt and Inspection, specifically implements the requirements of DS-M18.2.18. Actually, as detailed below, DS-M18.2.18 Note T2054 is only applicable if designated on the Procurement Data Sheet (PDS) in accordance with NEDP-8, Technical Evaluation for Procurement of Materials and Services. Thus, SPP-4.2 does not directly implement the subject note.

TVA nuclear power mechanical design standard DS-M18.2.18, Rev. 10, provides procurement personnel with a list of approximately 180 Standardized Procurement Notes which may be used as an aid to procurement activities. When used, these Standardized Procurement Notes communicate applicable engineering requirements and other provisions to procuring organizations, and may be applied to procurement materials or services documents.

The Standardized Procurement Notes are, however, not stand-alone requirements and apply to specific procurements only if prescribed on the contract. For typical contracts the notes that are pertinent to the procurement activity are specific'd by TVA on the purchase contract.

TVA procedure NEDP-8 establishes the procedural requirements to perform technical evaluations and to determine quality requirements for the specification and procurement of materials.

NEDP-8 is used for procuring safety related and non-safety material, as well as equipment of various quality class designations. Section 3.3.6 of NEDP-8 requires the preparation of a PDS which, in turn, establishes the necessary technical and quality requirements for procuring items. Typical attributes listed on the PDS include such items as technical requirements and specifications, receipt inspection requirements, requirements E-2

for 10 CFR Part 21 applicability, handling of nonconformances, arid so forth. These types of standard requirements are incorporated into the procurement contract by the Procurement Engineering Group (PEG) by including the applicable Standardized Procurement Notes from DS-M18.2.18 on the PDS as appropriate for the safety and quality class of the material being procured.

Custom technical or TVA specified design requirements may also be included on the PDS.

The PDS for contract 121076190ZNU4138 did not prescribe any specific TVA technical requirements since the part was a standard vendor supplied replacement part. The PDS did include several Standardized Procurement- Notes from DS-M18.2.18 as enumerated below.

1. Note T1061 requires the parts and materials be supplied under a Quality Assurance (QA) program evaluated and accepted by TVA, and which is in accordance with the applicable provisions of ANSI N45.2.
2. Note T2050 requires that the vendor review the contents of the bid and communicate any exceptions or changes, including part number changes, to TVA prior to executing the order, and provide an analysis of the effects of .any such changes on form, fit, function, or material.
3. Note T2055 specifies that the parts supplied on the order were subject to the provisions of 10 CFR Part 21 regarding the reporting of defects and noncompliances and requires that TVA be informed of each such defect or noncompliance. (Inclusion of Note T2055 is standard on all QA level 1 device requisitions.)
4. Note T2056 requires the vendor to provide access to their facilities for quality inspection or audit, if requested.
5. Note T4157 requires a Certificate of Conformance (COC) be provided which certifies that the items are in conformance to the product specifications for the part/catalog numbers referenced on the contract.
6. Note T5050 requires the item be marked with the TVA purchase order and traceable to the COC.
7. Note T6056 specifies ANSI N45.2.2 Level C packing, shipping, handling, and storage requirements.

NEDP-8 step 3.3.6.B.5 requires that arrangements between the supplier and TVA for the identification, and control and disposition of items that do not meet procurement requirements be E-3

established on the PDS. This procedure currently includes a provision that TVA approval is required on procured items which h v a supplier recommended disposition of "Accept-as-is" or "Repair" if procurement requirements are not met by the supp lier.

When invoked, this provision is incorporated by including mechanical design standard DS-M18.2.18 Note T2054 on the PDS which requires nonconformances to the requirements of the contract to be handled in accordance with the vendor's QA program, and that recommended dispositions of "Accept-as-is" or "Repair" be submitted to TVA for approval. If this note is not emp loye d disposition of nonconformances is delegated to the vendor. For the subject contract, Note T2054 was inadverten tly omitted, which is considered by TVA to be a procedure violation of NEDP-8 since current practice is to impose Note T2054 on those contracts where Note T2055 (Part 21) is specified. This omission b quently resulted in not processing the flappers as nonconforming during receipt inspection as explained be low.

For the subject requisition, though not contractually obligated to do so (since Note T2054 was not specified), Fisher provided TVA with an NCR with the each of the 3 delivered flappers. The NCRs described a minor deviation from the manufacturers design specifications in which the flapper diameter dimension was 1.95 inches in lieu of 2.00-1.99 inches. Fisher also provided their luation to "Accept-as-is" indicating that the dimension deviation did not affect the form, fit, or function o f the part, and that all code requirements were met. The vendor also provided a COC as required by contract Note T4157, which warranted that parts were manufactured and shipped in conformance with contract specifications, were satisfactorily tested and t d that the items were free from defects in material/workmanship, and were interchangeable in form, function and material with those originally supplied.

m fit and The, material was subsequently received on site Novembe r 14 1997 and found to be conforming during receipt inspection in accordance with Section 3.4 of SPP-4.2, Material Receipt and Inspection. Section 3.4 states, "items are acceptable if the results of receipt inspections indicate that the items conform with PEG procurement package requirements." Section 3.6 o SPP-4.2 stipulates requirements for resolving unacceptable d't' Acquisition and Material personnel or the PEG, Since, however, Note T2054 had not been specified on t hee PDS SSP-4.2 receipt inspection instruct'ions would not regard the d 'd d "Accept-as-is" dispositions as conditions needing further review by TVA. Thus, the receipt inspection accep e parts for issue and use. Had Note'2054 been included on the PDS, the material would have been determined to be non-conforming during receipt inspection and dispositioned in accordance with SPP-4.2, Section 3.6.

E-4

0 The absence of Note T2054 on a particular contract would allow the vendor to disposition nonconformances in accordance with their own ANSI N45.2 approved QA program and without direct TVA involve'ment. For manufactured parts, the vendor is typically the designer and maintains the engineering drawings and design specifications. Hence, it follows that the vendor is in the best position to provide an engineering disposition regarding the acceptability for use of nonconformances. For procurements where TVA provides specific technical requirements and design specifications, Note T2054 would be applicable and TVA would prime responsibility for the approval of nonconformances. 'ssume Contract 121076190ZNU4138 fits into the former category since TVA requested a replacement part by part number and did not stipulate detailed technical requirements. Since the nonconformance regarding the flapper diameter was a variance from the vendor internal design specifications, Fisher was the most appropriate party to disposition the NCRs. The TVA review, when specified by Note T2054 for this kind of procurement, can best be characterized a's a general oversight review of the vendor disposition rather than an independent engineering review since TVA typically does not have access to the vendor's design specifications. Therefore, the safety significance of the omission of Note T2054 for this procurement is considered low based on the following:

1..The NCRs were written against Fisher's design.

2. Fisher dispositioned their NCRs in accordance with their audited ANSI N45.2 program.
3. Fisher provided a COC stating: "Fisher Controls certifies that items herein were designed, manufactured, and shipped in.

conformance to contract specifications. All required tests and inspections were performed and the results found to be satisfactory. We further certi'fy that all items shipped herein are free 'from defects in material and/or workmanship.

Parts are certified to be interchangeable in form, fit, function and material with those originally supplied."

Fisher Controls is on TVA's approved vendor list with an ANSI N45.2 QA program. These vendors are periodically audited to verify conformance with their,QA program. Fisher Controls was last audited in June 1997 by the Nuclear Procurement Issues Committee (NUPIC). TVA is a NUPIC participant.

CONCLUSION The characterization in the violation that SPP-4.2, Section 3.6 directly implements standard DS-M18.2.18, Rev. 10, Note T2054 is out of context. As outlined above, DS-M18.2.18 Note T2054 is only applicable if designated on the PDS in accordance with NEDP-8. SPP-4.2, Section 3.6, only applies when material does not conform with PEG package (PDS) requirements.

For a replacement part procurement such as that described in this NOV, TVA considers the inclusion of DS-M18.2.18 Note T2054 as a conservative measure not specifically required by TVA' QA,Plan or by ANSI N45.2.13, Quality Assurance Requirements for Control of Items and Services for Nuclear Power Plants. Accordingly, as discussed in the inspection report, the developed corrective action for recurrence control of this item involves revising procedure NEDP-8 to more clearly describe when vendor nonconformance documentation is to be submitted to TVA and approved by TVA engineering. These corrective actions are unaffected by the preceding comments on this violation.

E-6