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| issue date = 01/28/1982
| issue date = 01/28/1982
| title = Responds to NRC Ltr Re Violation Noted in IE Insp Repts 50-250/80-38 & 50-251/80-37.Corrective Actions:Nonlicensed Operator Training Procedure Will Be Revised & Issued by 820226
| title = Responds to NRC Ltr Re Violation Noted in IE Insp Repts 50-250/80-38 & 50-251/80-37.Corrective Actions:Nonlicensed Operator Training Procedure Will Be Revised & Issued by 820226
| author name = UHRIG R E
| author name = Uhrig R
| author affiliation = FLORIDA POWER & LIGHT CO.
| author affiliation = FLORIDA POWER & LIGHT CO.
| addressee name = OREILLY J P
| addressee name = Oreilly J
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
| docket = 05000250, 05000251
| docket = 05000250, 05000251
Line 15: Line 15:
| page count = 30
| page count = 30
}}
}}
See also: [[followed by::IR 05000250/1980038]]


=Text=
=Text=
{{#Wiki_filter:USHRQ REQ/Qg e~'>t L ADYTA'LOR~], 82FE8 2~8~g'.O.BOX 529100 MIAMI, F L 33152 yQlllg 8-i cA FLORIDA POWER 8 LIGHT COMPANY January 28, 1982 L-82-32 Mr.James P.O'Reilly Regional Administrator, Region II U.S.Nuclear Regulatory
{{#Wiki_filter:g'.O.
Commission
BOX 529100 MIAMI,F L 33152 yQlllg USHRQ REQ/Qg                   e ~
101 Marietta Street, Suite 3100'tlanta, Georgia 30303 Dear Mr.O'Reilly: Re: Turkey Point Units 3 8 4 Docket Nos.50-250, 50-251 IE Inspection
8
Report 80-38/37 Florida Power 5 Light responded to IE Inspection
                                    '> t L ADYTA'LOR~],
Report 80-38/37 in our letter (L-81-127)
i cA FLORIDA POWER 8 LIGHT COMPANY 82FE8                2  ~8  ~
dated March 25, 1981.In that report, Finding A concerned the maintenance
January 28, 1982 L-82-32 Mr. James P. O'Reilly Regional Administrator, Region II U.S. Nuclear Regulatory Commission 101 Marietta Street, Suite Georgia 30303 3100'tlanta,
of training records for nuclear turbine operators.
 
We responded that as future corrective
==Dear Mr. O'Reilly:==
action we would review existing non-licensed
 
operator training procedures
Re:   Turkey Point Units 3 8 4 Docket Nos. 50-250, 50-251 IE Inspection Report 80-38/37 Florida   Power 5     Light responded to IE Inspection Report 80-38/37 in our letter (L-81-127) dated March 25, 1981. In that report, Finding A concerned the maintenance of training records for nuclear turbine operators.                             We responded that as future corrective           action           we would   review existing   non-licensed operator training procedures and make revisions as necessary.                             Our letter said that full compliance would           be           achieved   by January 1, 1982.
and make revisions as necessary.
The review of the non-licensed operator training program and procedures has been completed, but the procedure revision, although prepared in draIt form has not received final review prior to being issued.                           The procedure revision, which is essentially an upgrade of the training program, has been substantially incorporated into the program. However, in order to be in full compliance, we have determined that the revised procedure shouId be reviewed, issued and fully implemented.
Our letter said that full compliance
Our   current plans are to complete the non-licensed operator training procedure revision and then to issue the procedure by February 26, 1982.
would be achieved by January 1, 1982.The review of the non-licensed
Very   truly yours, ob   t E. Uhrig Vice President Advanced Systems       8 Technology REU/PLP/cab Attachment cc:   Harold F. Reis, Esquire 8202220266 8202i0 i" PDR.-ADQCK 05000250
operator training program and procedures
                  ..."~" PDR"" ~1~4~>>.~                                                     PFOPLF... SERVING PEOPLE
has been completed, but the procedure revision, although prepared in draIt form has not received final review prior to being issued.The procedure revision, which is essentially
 
an upgrade of the training program, has been substantially
l v
incorporated
4 t
into the program.However, in order to be in full compliance, we have determined
u s~     4ii i
that the revised procedure shouId be reviewed, issued and fully implemented.
                ~ II M
Our current plans are to complete the non-licensed
                        ~t
operator training procedure revision and then to issue the procedure by February 26, 1982.Very truly yours, ob t E.Uhrig Vice President Advanced Systems 8 Technology
 
REU/PLP/cab
P c<
Attachment
aaq Reou C~
cc: Harold F.Reis, Esquire , 8202220266
  ~4             ~o
8202i0 i" PDR.-ADQCK
                '~c                                 UNITED STATES Cl o
05000250..."~" PDR""~1~4~>>.~PFOPLF...SERVING PEOPLE  
NUCLEAR REGULATORY COMMISSION REGION II 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,G EORGIA 30303
l v 4 t u s~4ii i~II~t M
      >>>>*a~
P aaq Reou c<C~~4~o'~c Cl o>>>>*a~UNITED STATES NUCLEAR REGULATORY
P,PR 0 9!981 Florida         Power and Light Company ATTI'I:       R. E. Uhrig, Vice President Advanced Systems and Technology P. 0.     Box 529100 Miami, FL 33152 Gentlemen:
COMMISSION
 
REGION II 101 MARIETTA ST., N.W., SUITE 3100 ATLANTA, G EORGIA 30303 P,PR 0 9!981 Florida Power and Light Company ATTI'I: R.E.Uhrig, Vice President Advanced Systems and Technology
==Subject:==
P.0.Box 529100 Miami, FL 33152 Gentlemen:
Inspection Report 50-250/80-38 and 50-251/80-37 Thank you         for your letter of March 25, 1981, informing us of steps you have taken to correct the violations concerning activities under NRC License IIos.
Subject: Inspection
DPR-31 and DPR-41 brought to y'our attention in our letter of February 27, 1981.
Report 50-250/80-38
We will examine your corrective actions and plans during subsequent               inspections.
and 50-251/80-37
We appreciate your cooperation with us.
Thank you for your letter of March 25, 1981, informing us of steps you have taken to correct the violations
Sincerely, gC; R. C.     ewis, Acting Director Division of Resident and Reactor project Inspection cc:       H. E. Yaeger,     Plant Manager
concerning
 
activities
                                ~ ~
under NRC License IIos.DPR-31 and DPR-41 brought to y'our attention in our letter of February 27, 1981.We will examine your corrective
March 25, 1981 L-81-127 Mr'. James   P. O'Reil ly, Director, Region II Office of Inspection     and Enforcement U. S. Nuclear Regulatory Commission 101 Marietta Street, Suite 3100 Atlanta, Georgia 30303
actions and plans during subsequent
 
inspections.
==Dear Mr. O'Reilly:==
We appreciate
 
your cooperation
Re:   RII:
with us.Sincerely, gC;R.C.ewis, Acting Director Division of Resident and Reactor project Inspection
50-250/80-38 50-251/80-37 Florida   Power 8 Light Company has reviewed the subject inspection report and a response   is attached.
cc: H.E.Yaeger, Plant Manager  
There   is no proprietary information in the report.
~~~
~~March 25, 1981 L-81-127 Mr'.James P.O'Reil ly, Director, Region II Office of Inspection
Very Robert E. Uhrig Vice President yours, Advanced Systems     8 Technology REU/JEM/r'as Attachment cc:   Harold F. Reis, Esquire
and Enforcement
 
U.S.Nuclear Regulatory
DRAFT RESPONSE TO USNRC IE INSPECTION   REPORT 80-38/80-37 Findin A:
Commission
Technical Specification 6.4.1 requires that a retraining and replacement training program for the facility staff be maintained under the direction of the training supervisor to meet or exceed the requirements and recommendations of Section 5.5, ANSI N18.1-1971.           Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate evaluation of its effectiveness.
101 Marietta Street, Suite 3100 Atlanta, Georgia 30303 Dear Mr.O'Reilly: Re: RII: 50-250/80-38
Contrary to the above,     the Training Supervisor failed to implement an existing administrative procedure on the training and retraining program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift) training records for trainee evaluation purposes were not maintained     as required by AP 0303.
50-251/80-37
Res onse A:
Florida Power 8 Light Company has reviewed the subject inspection
(A-1)     FPL concurs with the finding.
report and a response is attached.There is no proprietary
The reasons for the findings are:
information
(1)     Turnover   of   nuclear   turbine   operators     has   been significant during this past year.
in the report.Very yours,~~~Robert E.Uhrig Vice President Advanced Systems 8 Technology
(2)     The training staff had been undermanned to handle the amount of training necessitated by the turnover.
REU/JEM/r'as
As corrective action, the size of the training stafr has been increased to properly support the effort required in the non-licensed operator area.         The training program for nuclear turbine operators was reinitiated in January of this year and will continue in order to insure this training will be conducted as required by Administrative Procedure 0303, Nuclear Operator and Nuclear Turbine Operator Training and Retraining Program.
Attachment
As corrective action in order to avoid further problems,           (1)
cc: Harold F.Reis, Esquire  
Review of the existing non-licensed operator training procedures will be conducted and the procedures revised         if necessary to more clearly define our policies on replacement training and retraining of non-licensed operators, and (2) the Quality Control Department will periodically check the progress of the non-licensed operator training program.
Full compliance   will be achieved by January 1, 1982.
DRAFT RESPONSE TO USNRC IE INSPECTION
 
REPORT 80-38/80-37
Techn ical   Sepcification     6.8.1 requires that written procedures and adm.nistrative policies     be   established, implemented, and maintained that meet or exceed the requirements of Section 5.1 and 5.3 of ANSI N18.7-1972 and Appendix "A" of USNRC Regulatory Guide 1.33.
Findin A: Technical Specification
Contrary to the above, the Nuclear Plant Supervisor failed to implement an existing administrative procedure on the control of valves, locks and switches in that on December 4, 1980, 'the onshift nuclear plant supervisor failed to enter into the locked valve deviation log of Administrative Procedure 0103.5 the change in status of valves MOV-3-863A and B, "RHR
6.4.1 requires that a retraining
  . Heat Exchanger to RWST or Alternate LHSI" which had undergone 'a periodi.c valve exercise test in accordance with Operating Procedure 0209.1. Valves MOV-3-863A and B with their associated circuit breakers are included in the valve, lock and switch list of AP 0103.5 and the status of these valves is required to be under administrative control.
and replacement
Res onse B:
training program for the facility staff be maintained
FPL concurs with the     finding.
under the direction of the training supervisor
The   reason for the violation was that the Nuclear Plant Supervisor assumed that the requirement to log deviations of valve positions did not apply       if the repositioning was covered by another procedure.
to meet or exceed the requirements
As corrective action a procedure change that was reviewed and approved by the Plant Nuclear Safety Committee on March 19, 1981, to Administrative Procedure 0103.5 clarifies that when a deviation from normal line up occurs,         it will be logged in the deviation log, unless         it is covered by an approved plant procedure and/or equipment clearance order.
and recommendations
As corrective action in order to     avoid further problems, we will review our pump and valve test         procedures to ensure that when these procedures cause a valve       on the locked valve list to be operated they also require        it  to be returned to its normal position and relocked.
of Section 5.5, ANSI N18.1-1971.
Full compliance   will be   achieved by March 31, 1981.
Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate
 
evaluation
V STATE OF FLORXDA   )
of its effectiveness.
                    )       ss COUNTY OF DADE     )
Contrary to the above, the Training Supervisor
Robert E. Uhrig, being   first duly sworn, deposes   and says:
failed to implement an existing administrative
That he is a Vice President of Florida Power     & Light Company, the Licensee herein; That he has executed the foregoing document; that the state-ments made in this said document are true and correct to the best of his knowledge, information, and belief, and that he is authorized to execute the document on behalf of said Licensee.
procedure on the training and retraining
Robert E. Uhrig Subscribed and sworn to before   me this day of                               19 F~
program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift)
NOTARY PUBLT.C in and for the county of   Dade, State of Florida
training records for trainee evaluation
                                      ~   )
purposes were not maintained
Ny commission expires:
as required by AP 0303.Res onse A: (A-1)FPL concurs with the finding.The reasons for the findings are: (1)Turnover of nuclear turbine operators has been significant
 
during this past year.(2)The training staff had been undermanned
  +
to handle the amount of training necessitated
Cy J
by the turnover.As corrective
yS ~EOII O~
action, the size of the training stafr has been increased to properly support the effort required in the non-licensed operator area.The training program for nuclear turbine operators was reinitiated
A n
in January of this year and will continue in order to insure this training will be conducted as required by Administrative
t           'I UNITED STATES NUCLEAR REGULATORY COMMISSION REGION   II 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,GEORGIA 30303 FE8   27   ass~
Procedure 0303, Nuclear Operator and Nuclear Turbine Operator Training and Retraining
Florida     Power and Light Company ATTN: R. E. Uhrig, Vice President P. 0. Box 529100 Miami, FL 33152 Gentlemen:
Program.As corrective
Subject       Report Nos. 50-250/80-38 and 50-251/80-37 This refers to the routine inspection conducted by A. J. Igantonis. and W. C.
action in order to avoid further problems, (1)Review of the existing non-licensed
Marsh   of this office on December 1-31, 1980, of activities authorized by NRC Operating I,icense Nos. DPR-31 and DPR-41 for the Turkey Point facility. Our preliminary findings were discussed with J. K. Hays at the conclusion of the inspection.
operator training procedures
Areas examined       during the inspection and our findings are discussed in the enclosed inspection report. Within these areas, the inspection consisted of selective examinations of procedures and representative records, interviews with personnel, and observations by the inspectors.
will be conducted and the procedures
During the inspection,       it was found that certain activities under your license appear   to violate   NRC requirements. These items and references to pertinent requirements are listed in the Notice of Violation enclosed herewith as Appendix A.
revised if necessary to more clearly define our policies on replacement
Elements to be included in your response are delineated in Appendix A.
training and retraining
We have examined actions you have taken           with regard to previously identified enforcement matters.     These are discussed     in the enclosed inspection report.
of non-licensed
In accordance with Section 2.790 of the NRC "Rules of Practice," Part 2, Title 10, Code of Federal Regulations, a copy of this letter and the enclosed inspection report will be placed in the NRC Public Document Room. If this report contains any information that you believe to be proprietary,               it is necessary that you make a written application within 20 days to this office to withhold such infor" mation from public disclosure. Any such application must include the basis for claiming that the information is proprietary and the proprietary information should be contained in a separate part of the document. If we do not hear from you in this regard within the specified period, the report will be placed in the Public Document     Room.
operators, and (2)the Quality Control Department
 
will periodically
FEH   27   ~sst Florida Power and Light Company     Should you have any questions concerning this letter, we will be glad to discuss them with you.
check the progress of the non-licensed
Sincerely, E.c.
operator training program.Full compliance
R. C. ewis, Acting Chief Reactor Operations and Nuclear Support Branch
will be achieved by January 1, 1982.  
 
==Enclosures:==
Techn ical Sepcification
: 1. Appendix A, Notice of Violation
6.8.1 requires that written procedures
: 2. Inspection Report Nos. 50-250/80-38 and 50-251/80>>37 cc w/encl:
and adm.nistrative
H. E. Yaeger, Plant Manager
policies be established, implemented, and maintained
 
that meet or exceed the requirements
0 Florida  Power and  Light  Company APPENDIX A NOTICE OF VIOLATION Docket Nos. 50-250 8 50-251 Turkey Point Units    3  6 4                            License Nos. DPR-31 S DPR-41 As a   result of the inspection conducted     on December 1-31, 1980, and in accordance with the Interim Enforcement Policy, 45       FR 66754 (October 7, 1980), the following violations were identified.
of Section 5.1 and 5.3 of ANSI N18.7-1972
A. Technical Specification 6.4.1 requires that a retraining and replacement training program for the facile;ty staff be maintained under the direction of the training supervisor to meet or exceed the requirements and recom-mendations of Section 5.5, ANSI N18.1-1971. Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate evaluation of   its effectiveness.
and Appendix"A" of USNRC Regulatory
Contrary to the above,       the Training Supervisor failed to implement an existing administrative procedure on the training and retraining program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift) training records for trainee evaluation .
Guide 1.33.Contrary to the above, the Nuclear Plant Supervisor
purposes were not maintained as required by A.P.0303.
failed to implement an existing administrative
This is a Severity Level V Violation (Supplement I.E.).
procedure on the control of valves, locks and switches in that on December 4, 1980,'the onshift nuclear plant supervisor
B.   - Technical Specification 6.8.1 requires that written procedures and administrative policies be established, implemented, and maintained that meet or exceed the requirements of Section 5.1 and 5.3 of ANSI N18.7-1972 and Appendix "A" of USNRC Regulatory Guide 1.33.
failed to enter into the locked valve deviation log of Administrative
Contrary to the above, the Nuclear Plant Supervisors failed to implement an existing administrative procedure on the control of valves, locks and switches in that on December 4, 1980, the onshift nuclear plant supervisor failed to enter into the locked valve deviation log of administrative procedure 0103.5 the change in status of valves MOV-3-863ASB, "RHR Heat Exchanger to RUST or Alternate LHSI "which had undergone a periodic valve exercise test in accordance with operating procedure 02.09.1. Valves MOV-3-863AM with their associated circuit breakers are included in the valve, lock and switch list of A.P.0103.5 and the status of these valves is required to be under administrative control.
Procedure 0103.5 the change in status of valves MOV-3-863A
This is a Severity Ievel VI Violation (Supplement I.F.) applicable to Unit 3 only.
and B,"RHR.Heat Exchanger to RWST or Alternate LHSI" which had undergone'a periodi.c valve exercise test in accordance
Pursuant to the provisions of 10 CFR 2.201, Florida Power and Light Company is hereby required to submit to this office within twenty>>five days of the date of this Notice, a written statement or explanation in reply, including: (1) admission or denial of the alleged violations; (2) the reasons for the violations       if
with Operating Procedure 0209.1.Valves MOV-3-863A
 
and B with their associated
admitted; (3) the corrective steps which have been taken and the results achieved; (4) corrective steps which will be taken to avoid further violations; and (5) the date when full compliance will be achieved. Under the authority of Section 182 of the Atomic Energy Act of 1954, as amended, this response shall be submitted under oath or affirmation.
circuit breakers are included in the valve, lock and switch list of AP 0103.5 and the status of these valves is required to be under administrative
FEB   27   )98)
control.Res onse B: FPL concurs with the finding.The reason for the violation was that the Nuclear Plant Supervisor
Date:
assumed that the requirement
 
to log deviations
        ~g RK0Iy
of valve positions did not apply if the repositioning
                  ~o
was covered by another procedure.
                                      ~              "
As corrective
UNITED STATES
action a procedure change that was reviewed and approved by the Plant Nuclear Safety Committee on March 19, 1981, to Administrative
                                                                                  ~
Procedure 0103.5 clarifies that when a deviation from normal line up occurs, it will be logged in the deviation log, unless it is covered by an approved plant procedure and/or equipment clearance order.As corrective
ee               ~i e                     0                   NUCLEAR'REGULATORY COMMISSION I
action in order to review our pump and valve test these procedures
I              0 REGION II rye              y ee 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,GEORGIA 30303
cause a valve operated they also require it position and relocked.avoid further problems, we will procedures
    +~          ~0 Report Nos. 50-250/80-38 and 50-251/80-37 Licensee:         Florida   Power & Light Company 9250 West Flagler Street Miami, FL 33101 Facility       Name:     Turkey Point Oocket Nos. 50-250 and 50-251 License Nos. OPR-31 and OPR-41 I'nspection at Turkey Point site near Homestead, Florida Inspector:
to ensure that when on the locked valve list to be to be returned to its normal Full compliance
A. J. nat   s                                               Oate   igned Accompanying Personnel.:           M. C. Marsh Approved by:                                                                       z/z.7 8/
will be achieved by March 31, 1981.  
C'.
V  
Julia, Acting Section Chief,       RONS   Branch       Oate Signed
STATE OF FLORXDA))COUNTY OF DADE)ss Robert E.Uhrig, being first duly sworn, deposes and says: That he is a Vice President of Florida Power&Light Company, the Licensee herein;That he has executed the foregoing document;that the state-ments made in this said document are true and correct to the best of his knowledge, information, and belief, and that he is authorized
 
to execute the document on behalf of said Licensee.Robert E.Uhrig Subscribed
==SUMMARY==
and sworn to before me this day of 19 F~NOTARY PUBLT.C in and for the county of Dade, State of Florida~)Ny commission
 
expires:  
Inspection         on Oecember   1-31, 1980 Areas Inspected This routine inspection involved 111 resident inspection hours on site. Ouring this reporting period Unit 4 continued to be in a shutdown condition for the scheduled refueling outage which included time spent for the preparation of the periodic Integrated Leak Rate Testing, replacement of feedwater heaters and main steam reheater tube bundles, and other scheduled inspection and maintenance
   
    'ctivities of primary system components. The areas of inspection were: (1) licensee event report followup; (2) followup of previous inspection findings; (3) surveillance test observations; (4) plant operations including the review of the Nuclear Turbine operator training program; (5) witness of Unit 4 pressurizer safety valve bench testing; and (6) plant tours.
J yS~EOII+O~Cy A n t'I UNITED STATES NUCLEAR REGULATORY
Results Of the         six areas     inspected,     no items of noncompliance      or deviations were identified in five, areas; two aparent items of noncompliance were found in one area (Violation - failure to fully comply with paragraph 6.4. 1 of the plant Technical Specifications - paragon aph 8; violation - failure to follow administrative procedure - paragraph 8).
COMMISSION
 
REGION I I 101 MARIETTA ST., N.W., SUITE 3100 ATLANTA, GEORGIA 30303 FE8 27 ass~Florida Power and Light Company ATTN: R.E.Uhrig, Vice President P.0.Box 529100 Miami, FL 33152 Gentlemen:
DETAILS Persons Contacted Licensee Employees H. E. Yaeger, Site Manager "J. K. Hays, Plant Manager - Nuclear
Subject Report Nos.50-250/80-38
*J. E. Moore, Operations Superintendent Nuclear D. W. Haase, Technical Department Supervisor V. B. Wager, Operations Supervisor J. Wade, Chemistry Supervisor G. G. Jones, Nuclear Plant Supervisor J. E. Crockford, Nuclear Plant Supervisor C. A. Coker, Nuclear Plant Supervisor T. A. Finn, Nuclear Plant Supervisor L. C. Huenniger, Nuclear Plant Supervisor J. L. Whitehead, Nuclear Plant Supervisor D. C. Bradford, Refueling Coordinator W. A. Klein, Licensing Engineer B. Abrishami, Systems Test Engineer "J. P. Mendietta, Maintenance Superintendent "D. W. Jones, gC Supervisor "R. L. Caleman, Training Instructions Supervisor Other   licensee employees contacted included operators, craftsmen, technicians, security personnel, gC personnel, and engineering personnel.
and 50-251/80-37
"Attended monthly   exit interview Monthly Exit Interview An   interview   was conducted on January 8, 1981   with plant management personnel. The inspector summarized the scope and findings for the month of December inspection activities to the persons indicated in paragraph 1. The plant manager acknowledged the stated violation on the lack of documentation for the Nuclear Turbine Operator training program and agreed to take corrective action. The item on failure to follow administrative procedure 103.5, "Administrative control of Valves, Locks and Switches" was reported by the inspector during the interview as a deviation. However, following review of this item, the inspector determined this to be a violation. This change was reported to the plant manager prior to the publication of this
This refers to the routine inspection
                                                                                'eport.
conducted by A.J.Igantonis.
Licensee Action on Previous Inspection Findings (Closed) Infraction (50"250/80-16-01, 50-251/80-14-01) Failure to track implementation of corrective action to noncompliance 79-31-01.         The inspector reviewed the licensee's corrective action and had no further questions.
and W.C.Marsh of this office on December 1-31, 1980, of activities
 
authorized
(Closed) Oeviation (50-250/80-16-02, 50-251/80-14-02) Failure to establish a maintenance   instruction on Select-A-Torq by date committed in response to 79-31-01. The inspector reviewed the procedure issued Apri 1 25, 1980 and had nb further questions.
by NRC Operating I,icense Nos.DPR-31 and DPR-41 for the Turkey Point facility.Our preliminary
(Cl osed) Inspector Fol 1 owup Item (50-250/80-16-04, 50-251/80-14-04),
findings were discussed with J.K.Hays at the conclusion
Licensee to modify procedures .to reduce chance of safeguards actuations. The inspector reviewed operating Procedure 0205.2 "Hot shutdown to cold shutdown condition" and noted that information regarding blockage of the high steam line differential pressure signal prior to reducing steam generator pressure below 500 psig had been included in a caution statement after step 8.8, and had no   further questions.
of the inspection.
Followup on Previous Unresolved Items Not reviewed during   this inspection report period.
Areas examined during the inspection
New Unresolved Items No   new unresolved   items were   identified during this inspection report period.
and our findings are discussed in the enclosed inspection
Licensee Event Report Followup Our ing this inspection report period, the following Licensee Event Reports were followed up:
report.Within these areas, the inspection
: 1. 250-80-21,T.S. 4. 1 Seismograph Inoperative
consisted of selective examinations
: 2. 250-80-23 T.S. 4. 1 Hissed EST Level Surveillance The events were reviewed to assure the accuracy and completeness of the report and the appropriateness and efficiency of corrective actions taken.
of procedures
The inspector verified that the seismograph was repaired and returned to service.
and representative
No violations or deviations   were identified within the areas inspected.
records, interviews
Surveillance Test Observations Portions of the monthly surveillance testing on three safety-related system components were witnessed by the inspector. These were the component cooling water system 4A pump, the Unit 3 containment spray pumps, and the Auxiliary Feedwater System pump. The tests were performed in accordance to the following procedures: (1) Operating procedure 3104. 1, "Component Cooling water system - periodic test of pumps"; (2) operating procedure 4004. 1, "Containment Spray Pumps - Periodic Test; and (3) operating procedure
with personnel, and observations
 
by the inspectors.
7304.1, "Auxiliary Feedwater System -Periodic Test". Performance dates for the above test activities were December 2, 1980, and December 8, 1980. The following inspection items were verified:
During the inspection, it was found that certain activities
: a.       Testing is scheduled       in accordance     with technical                 specification requirements.
under your license appear to violate NRC requirements.
b.~     Procedures are being followed.
These items and references
: c.       Testing is by qualified personnel.
to pertinent requirements
: d.       LCOs are being met.
are listed in the Notice of Violation enclosed herewith as Appendix A.Elements to be included in your response are delineated
: e.       System   restoration is correctly accomplished following         testing.'o violations or deviations       were identified for the     areas inspected above.
in Appendix A.We have examined actions you have taken with regard to previously
Plant Operations The   inspector kept informed on a daily basis of the overall plant status and any significant safety matters related to plant operations.                             Discussions were     held with   plant management   and various   members   of the       operations       staff on a   regular   basis. Selected   portions   of daily operating   logs           and operating data sheets were reviewed on at least a weekly basis during the report
identified
'period.
enforcement
The   inspector conducted various plant tour'nd made frequent visits to the control room. Observations included witnessing work activities in progress, status of operating and standby safety systems, confirming valve positions,
matters.These are discussed in the enclosed inspection
,instrument readings and recordings, annunciator alarms, housekeeping, radiation area controls,       and vital area controls.
report.In accordance
During the conduct of routine plant tours inspections the inspector observed on December 16, 1980 that the motor control circuit breake~, 3-0726 for motor operated valve MOV-3-863A, (RHR heat exchanger to refueling water storage tank (RWST) or altenate LHSI) was not in the required condition.
with Section 2.790 of the NRC"Rules of Practice," Part 2, Title 10, Code of Federal Regulations, a copy of this letter and the enclosed inspection
The breaker was found to be in an open position as               it should be, but             it was not locked.       The licensee   administrative   procedure   0103.5,             "Administrative Control of Valves, Locks and Switches" requires the circuit breaker 3-0726 be locked open with the valve closed (item 18.b of the valve lock and switch list).
report will be placed in the NRC Public Document Room.If this report contains any information
This finding was brought to the Nuclear Plant Supervisor's attention, and was subsequently corrected by having the circuit breaker locked open.                               It appears that the lock may have been inadvertently left open                               following completion of the valve exercise test performed on valve MOV-3-863A on December 4, 1980.         But this supposition could not be substantiated because per operating procedure 0202. 1, "Reactor Startup
that you believe to be proprietary, it is necessary that you make a written application
                                                                  - Cold Condition to Hot Shutdown Condition", step 8.20 which requires           verification         of valves MOV-863 A&B closed and their associated           breakers   locked   open   had           been initiated.
within 20 days to this office to withhold such infor" mation from public disclosure.
This step of the procedure had been         accomplished   some   time between
Any such application
 
must include the basis for claiming that the information
Oecember 4 and   6, 1980. However,   it is evident that the administrative procedure A.P. 0103.5 was not followed in that testing performed on valve MOV-3-863A as well as MOV-3-863B per O.P. 0209.1, "Valve Exercising Procedure" should have required the supervisor to enter the valve position change   in the locked valve deviation log of the subject administrative procedure. The record shows that no such entry had been made during the month of Oecember, 1980.       This is, contrary to the requirements of the procedure and constitutes a violation. (50-250/80-38-01)
is proprietary
Informal discussions were held with operators and other personnel on work activities in   progress and status of safety-related equipment or systems.
and the proprietary
The inspectors questions were satisfactorily answered.         A review of the licensee's training program for unlicensed personnel, specifically oriented towards the Nuclear Turbine Operators (NTO) 'and nuclear operators (NO) was conducted by the inspectors'nformal discussions were held with the licensee training department instructions supervisor, the operations superintendent, and the NTOs. This included the review of NTO personnel training records. Based on the review,     it was the inspectors understanding that the NTOs are considered to be fully qualified operators once they have completed the training program per the licensee administrative procedure A.P. 0303, "Nuclear Operator and Nuclea~ Turbine Operator Training and Retraining Program". The training program consists of classroom work (off-shift), in-the-field walk thr'ough of all equipment that the NOs and NTOs are responsible for, and on-the"job training (on-shift). Based on the information provided to the inspector the training records show'that five out of ten NTOs did not complete the training program in accordance to the requirements of A.P.303.
information
The   inspector has concluded that the licensee lacked adequate documentation for the NTO trainees in order to show that they have satisfactorily completed their training. This finding results in a violation, for the licensee failed to follow plant Administrative procedures A.P.303.           In paragraph 5.1   of A.P.303 the following statement is made:   "The Training Supervisor shall arrange for the Nuclear Operator or Nuclear Turbine Operator Trainee to be placed on shift to work with a regular shift operator on all phases of operations.       On-shift check off guide sheets will be furnished to cover on-shift training and will be used to help evaluate each trainee, and the progress achieved shall be evaluated by the'raining Supervisor". This step of the procedure was not'ollowed in that the licensee was not able to provide NTO records covering on-shift training with check off guide sheets used for trainee evaluation and progress achieved.
should be contained in a separate part of the document.If we do not hear from you in this regard within the specified period, the report will be placed in the Public Document Room.  
Furthermore,   paragraph 6.4. 1 of the Technical Specifications states that a retraining and replacement training program for the facility staff shall be maintained under the direction of the Training Supervisor and shall meet or exceed the requirements and recommendations of Section 5.5, ANS1 N18. 1 -1971 and Appendix A to 10 CFR Part 55. Per Section 5.5 of ANSI 18. 1-1971 the licensee should provide means in the training programs for appropriate evaluation of its effectiveness. Contrary to the above the licensee failed to maintain on-the-job training evaluation records for the     NTOs. Failure of
FEH 27~sst Florida Power and Light Company-2-Should you have any questions concerning
 
this letter, we will be glad to discuss them with you.Sincerely, E.c.R.C.ewis, Acting Chief Reactor Operations
o the Training Supervisor to implement the requirements of A.P.303 constitutes a violation of Technical Specification 6.4. 1. (250/80-38"02, 251/80-37-01)
and Nuclear Support Branch Enclosures:
Prior to     and during the exit interview in the discussions held with the Training Supervisor the inspector was informed that classroom training for the NTOs will start early January, 1981 and that all the NTOs will be scheduled to complete their training by the end of 1981. The results of this training will be reviewed during a future inspection. (Inspector Fol 1 owup Item 250/80-38-03, 251/80-37-02) .
1.Appendix A, Notice of Violation 2.Inspection
                                                      'or Unit 4 the inspector observed a portion of the pressurizer safety valve bench   testing performed during each refueling shutdown. Specifically, "pop" tests and seat leakage testing were witnessed on valves 4-551B and 4-551A, respectively. Also, the inspector performed walkdowns of the containment spray and high head safety injection systems to verify their operability for Units   3 and 4 outside containment.
Report Nos.50-250/80-38
No   violations or deviations   were identified within the areas inspected.
and 50-251/80>>37
h
cc w/encl: H.E.Yaeger, Plant Manager  
: 9. Plant Tours Ouring the Unit 3 steam generator inspection and tube plugging outage (November 26 through Oecember 6, 1980) the licensee had also inspected and modified pipe supports for the Safety Injection and Residual Heat Removal Systems lines located inside the containment.           The pipe supports were structurally reinforced based on the results of analyses performed by the Architect Engineering firm in accordance with IE Bulletin 79-14, "Seismic Analyses for As Built Safety Related Piping Systems".
Just prior to heatup of Unit 3, on Oecember 4, 1980 the inspector performed a walkthrough inspection inside the containment with licensee personnel and visually inspected all of the piping support modifications.
0 APPENDIX A NOTICE OF VIOLATION Florida Power and Light Company Turkey Point Units 3 6 4 Docket Nos.50-250 8 50-251 License Nos.DPR-31 S DPR-41 As a result of the inspection
No   discrepancies were observed.}}
conducted on December 1-31, 1980, and in accordance
with the Interim Enforcement
Policy, 45 FR 66754 (October 7, 1980), the following violations
were identified.
A.Technical Specification
6.4.1 requires that a retraining
and replacement
training program for the facile;ty staff be maintained
under the direction of the training supervisor
to meet or exceed the requirements
and recom-mendations
of Section 5.5, ANSI N18.1-1971.
Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate
evaluation
of its effectiveness.
Contrary to the above, the Training Supervisor
failed to implement an existing administrative
procedure on the training and retraining
program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift)
training records for trainee evaluation
.purposes were not maintained
as required by A.P.0303.This is a Severity Level V Violation (Supplement
I.E.).B.-Technical Specification
6.8.1 requires that written procedures
and administrative
policies be established, implemented, and maintained
that meet or exceed the requirements
of Section 5.1 and 5.3 of ANSI N18.7-1972
and Appendix"A" of USNRC Regulatory
Guide 1.33.Contrary to the above, the Nuclear Plant Supervisors
failed to implement an existing administrative
procedure on the control of valves, locks and switches in that on December 4, 1980, the onshift nuclear plant supervisor
failed to enter into the locked valve deviation log of administrative
procedure 0103.5 the change in status of valves MOV-3-863ASB,"RHR Heat Exchanger to RUST or Alternate LHSI"which had undergone a periodic valve exercise test in accordance
with operating procedure 02.09.1.Valves MOV-3-863AM
with their associated
circuit breakers are included in the valve, lock and switch list of A.P.0103.5
and the status of these valves is required to be under administrative
control.This is a Severity Ievel VI Violation (Supplement
I.F.)applicable
to Unit 3 only.Pursuant to the provisions
of 10 CFR 2.201, Florida Power and Light Company is hereby required to submit to this office within twenty>>five
days of the date of this Notice, a written statement or explanation
in reply, including:
(1)admission or denial of the alleged violations;
(2)the reasons for the violations
if
admitted;(3)the corrective
steps which have been taken and the results achieved;(4)corrective
steps which will be taken to avoid further violations;
and (5)the date when full compliance
will be achieved.Under the authority of Section 182 of the Atomic Energy Act of 1954, as amended, this response shall be submitted under oath or affirmation.
Date: FEB 27)98)  
~g RK0Iy~o ee~i I e 0 0 I rye y ee+~~0~"~UNITED STATES NUCLEAR'REGULATORY
COMMISSION
REGION II 101 MARIETTA ST., N.W., SUITE 3100 ATLANTA, GEORGIA 30303 Report Nos.50-250/80-38
and 50-251/80-37
Licensee: Florida Power&Light Company 9250 West Flagler Street Miami, FL 33101 Facility Name: Turkey Point Oocket Nos.50-250 and 50-251 License Nos.OPR-31 and OPR-41 I'nspection
at Turkey Point site near Homestead, Florida Inspector:
A.J.nat s Oate igned Accompanying
Personnel.:
M.C.Marsh Approved by: C'.Julia, Acting Section Chief, RONS Branch SUMMARY z/z.7 8/Oate Signed Inspection
on Oecember 1-31, 1980 Areas Inspected This routine inspection
involved 111 resident inspection
hours on site.Ouring this reporting period Unit 4 continued to be in a shutdown condition for the scheduled refueling outage which included time spent for the preparation
of the periodic Integrated
Leak Rate Testing, replacement
of feedwater heaters and main steam reheater tube bundles, and other scheduled inspection
and maintenance
'ctivities
of primary system components.
The areas of inspection
were: (1)licensee event report followup;(2)followup of previous inspection
findings;(3)surveillance
test observations;
(4)plant operations
including the review of the Nuclear Turbine operator training program;(5)witness of Unit 4 pressurizer
safety valve bench testing;and (6)plant tours.Results Of the six areas inspected, no items of identified
in five, areas;two aparent items area (Violation
-failure to fully comply Technical Specifications
-paragon aph 8;administrative
procedure-paragraph 8).noncompliance
or deviations
were of noncompliance
were found in one with paragraph 6.4.1 of the plant violation-failure to follow
DETAILS Persons Contacted Licensee Employees H.E.Yaeger, Site Manager"J.K.Hays, Plant Manager-Nuclear*J.E.Moore, Operations
Superintendent
-Nuclear D.W.Haase, Technical Department
Supervisor
V.B.Wager, Operations
Supervisor
J.Wade, Chemistry Supervisor
G.G.Jones, Nuclear Plant Supervisor
J.E.Crockford, Nuclear Plant Supervisor
C.A.Coker, Nuclear Plant Supervisor
T.A.Finn, Nuclear Plant Supervisor
L.C.Huenniger, Nuclear Plant Supervisor
J.L.Whitehead, Nuclear Plant Supervisor
D.C.Bradford, Refueling Coordinator
W.A.Klein, Licensing Engineer B.Abrishami, Systems Test Engineer"J.P.Mendietta, Maintenance
Superintendent"D.W.Jones, gC Supervisor"R.L.Caleman, Training Instructions
Supervisor
Other licensee employees contacted included operators, craftsmen, technicians, security personnel, gC personnel, and engineering
personnel."Attended monthly exit interview Monthly Exit Interview An interview was conducted on January 8, 1981 with plant management
personnel.
The inspector summarized
the scope and findings for the month of December inspection
activities
to the persons indicated in paragraph 1.The plant manager acknowledged
the stated violation on the lack of documentation
for the Nuclear Turbine Operator training program and agreed to take corrective
action.The item on failure to follow administrative
procedure 103.5,"Administrative
control of Valves, Locks and Switches" was reported by the inspector during the interview as a deviation.
However, following review of this item, the inspector determined
this to be a violation.
This change was reported to the plant manager prior to the publication
of this'eport.Licensee Action on Previous Inspection
Findings (Closed)Infraction
(50"250/80-16-01, 50-251/80-14-01)
Failure to track implementation
of corrective
action to noncompliance
79-31-01.The inspector reviewed the licensee's
corrective
action and had no further questions.  
(Closed)Oeviation (50-250/80-16-02, 50-251/80-14-02)
Failure to establish a maintenance
instruction
on Select-A-Torq
by date committed in response to 79-31-01.The inspector reviewed the procedure issued Apri 1 25, 1980 and had nb further questions.(Cl osed)Inspector Fol 1 owup Item (50-250/80-16-04, 50-251/80-14-04), Licensee to modify procedures.to reduce chance of safeguards
actuations.
The inspector reviewed operating Procedure 0205.2"Hot shutdown to cold shutdown condition" and noted that information
regarding blockage of the high steam line differential
pressure signal prior to reducing steam generator pressure below 500 psig had been included in a caution statement after step 8.8, and had no further questions.
Followup on Previous Unresolved
Items Not reviewed during this inspection
report period.New Unresolved
Items No new unresolved
items were identified
during this inspection
report period.Licensee Event Report Followup Our ing this inspection
report period, the following Licensee Event Reports were followed up: 1.250-80-21,T.S.
4.1 Seismograph
Inoperative
2.250-80-23 T.S.4.1 Hissed EST Level Surveillance
The events were reviewed to assure the accuracy and completeness
of the report and the appropriateness
and efficiency
of corrective
actions taken.The inspector verified that the seismograph
was repaired and returned to service.No violations
or deviations
were identified
within the areas inspected.
Surveillance
Test Observations
Portions of the monthly surveillance
testing on three safety-related
system components
were witnessed by the inspector.
These were the component cooling water system 4A pump, the Unit 3 containment
spray pumps, and the Auxiliary Feedwater System pump.The tests were performed in accordance
to the following procedures:
(1)Operating procedure 3104.1,"Component
Cooling water system-periodic test of pumps";(2)operating procedure 4004.1,"Containment
Spray Pumps-Periodic Test;and (3)operating procedure  
7304.1,"Auxiliary
Feedwater System-Periodic Test".Performance
dates for the above test activities
were December 2, 1980, and December 8, 1980.The following inspection
items were verified: a.Testing is scheduled in accordance
with technical specification
requirements.
b.~Procedures
are being followed.c.Testing is by qualified personnel.
d.LCOs are being met.e.System restoration
is correctly accomplished
following testing.'o
violations
or deviations
were identified
for the areas inspected above.Plant Operations
The inspector kept informed on a daily basis of the overall plant status and any significant
safety matters related to plant operations.
Discussions
were held with plant management
and various members of the operations
staff on a regular basis.Selected portions of daily operating logs and operating data sheets were reviewed on at least a weekly basis during the report'period.The inspector conducted various plant tour'nd made frequent visits to the control room.Observations
included witnessing
work activities
in progress, status of operating and standby safety systems, confirming
valve positions, ,instrument
readings and recordings, annunciator
alarms, housekeeping, radiation area controls, and vital area controls.During the conduct of routine plant tours inspections
the inspector observed on December 16, 1980 that the motor control circuit breake~, 3-0726 for motor operated valve MOV-3-863A, (RHR heat exchanger to refueling water storage tank (RWST)or altenate LHSI)was not in the required condition.
The breaker was found to be in an open position as it should be, but it was not locked.The licensee administrative
procedure 0103.5,"Administrative
Control of Valves, Locks and Switches" requires the circuit breaker 3-0726 be locked open with the valve closed (item 18.b of the valve lock and switch list).This finding was brought to the Nuclear Plant Supervisor's
attention, and was subsequently
corrected by having the circuit breaker locked open.It appears that the lock may have been inadvertently
left open following completion
of the valve exercise test performed on valve MOV-3-863A
on December 4, 1980.But this supposition
could not be substantiated
because per operating procedure 0202.1,"Reactor Startup-Cold Condition to Hot Shutdown Condition", step 8.20 which requires verification
of valves MOV-863 A&B closed and their associated
breakers locked open had been initiated.
This step of the procedure had been accomplished
some time between  
Oecember 4 and 6, 1980.However, it is evident that the administrative
procedure A.P.0103.5 was not followed in that testing performed on valve MOV-3-863A
as well as MOV-3-863B
per O.P.0209.1,"Valve Exercising
Procedure" should have required the supervisor
to enter the valve position change in the locked valve deviation log of the subject administrative
procedure.
The record shows that no such entry had been made during the month of Oecember, 1980.This is, contrary to the requirements
of the procedure and constitutes
a violation.
(50-250/80-38-01)
Informal discussions
were held with operators and other personnel on work activities
in progress and status of safety-related
equipment or systems.The inspectors
questions were satisfactorily
answered.A review of the licensee's
training program for unlicensed
personnel, specifically
oriented towards the Nuclear Turbine Operators (NTO)'and nuclear operators (NO)was conducted by the inspectors'nformal
discussions
were held with the licensee training department
instructions
supervisor, the operations
superintendent, and the NTOs.This included the review of NTO personnel training records.Based on the review, it was the inspectors
understanding
that the NTOs are considered
to be fully qualified operators once they have completed the training program per the licensee administrative
procedure A.P.0303,"Nuclear Operator and Nuclea~Turbine Operator Training and Retraining
Program".The training program consists of classroom work (off-shift), in-the-field
walk thr'ough of all equipment that the NOs and NTOs are responsible
for, and on-the"job
training (on-shift).
Based on the information
provided to the inspector the training records show'that five out of ten NTOs did not complete the training program in accordance
to the requirements
of A.P.303.The inspector has concluded that the licensee lacked adequate documentation
for the NTO trainees in order to show that they have satisfactorily
completed their training.This finding results in a violation, for the licensee failed to follow plant Administrative
procedures
A.P.303.In paragraph 5.1 of A.P.303 the following statement is made: "The Training Supervisor
shall arrange for the Nuclear Operator or Nuclear Turbine Operator Trainee to be placed on shift to work with a regular shift operator on all phases of operations.
On-shift check off guide sheets will be furnished to cover on-shift training and will be used to help evaluate each trainee, and the progress achieved shall be evaluated by the'raining
Supervisor".
This step of the procedure was not'ollowed
in that the licensee was not able to provide NTO records covering on-shift training with check off guide sheets used for trainee evaluation
and progress achieved.Furthermore, paragraph 6.4.1 of the Technical Specifications
states that a retraining
and replacement
training program for the facility staff shall be maintained
under the direction of the Training Supervisor
and shall meet or exceed the requirements
and recommendations
of Section 5.5, ANS1 N18.1-1971 and Appendix A to 10 CFR Part 55.Per Section 5.5 of ANSI 18.1-1971 the licensee should provide means in the training programs for appropriate
evaluation
of its effectiveness.
Contrary to the above the licensee failed to maintain on-the-job
training evaluation
records for the NTOs.Failure of  
o the Training Supervisor
to implement the requirements
of A.P.303 constitutes
a violation of Technical Specification
6.4.1.(250/80-38"02, 251/80-37-01)
Prior to and during the exit interview in the discussions
held with the Training Supervisor
the inspector was informed that classroom training for the NTOs will start early January, 1981 and that all the NTOs will be scheduled to complete their training by the end of 1981.The results of this training will be reviewed during a future inspection.(Inspector
Fol 1 owup Item 250/80-38-03, 251/80-37-02)
.'or Unit 4 the inspector observed a portion of the pressurizer
safety valve bench testing performed during each refueling shutdown.Specifically,"pop" tests and seat leakage testing were witnessed on valves 4-551B and 4-551A, respectively.
Also, the inspector performed walkdowns of the containment
spray and high head safety injection systems to verify their operability
for Units 3 and 4 outside containment.
No violations
or deviations
were identified
within the areas inspected.
h 9.Plant Tours Ouring the Unit 3 steam generator inspection
and tube plugging outage (November 26 through Oecember 6, 1980)the licensee had also inspected and modified pipe supports for the Safety Injection and Residual Heat Removal Systems lines located inside the containment.
The pipe supports were structurally
reinforced
based on the results of analyses performed by the Architect Engineering
firm in accordance
with IE Bulletin 79-14,"Seismic Analyses for As Built Safety Related Piping Systems".Just prior to heatup of Unit 3, on Oecember 4, 1980 the inspector performed a walkthrough
inspection
inside the containment
with licensee personnel and visually inspected all of the piping support modifications.
No discrepancies
were observed.
}}

Latest revision as of 22:53, 3 February 2020

Responds to NRC Ltr Re Violation Noted in IE Insp Repts 50-250/80-38 & 50-251/80-37.Corrective Actions:Nonlicensed Operator Training Procedure Will Be Revised & Issued by 820226
ML17341A897
Person / Time
Site: Turkey Point  NextEra Energy icon.png
Issue date: 01/28/1982
From: Robert E. Uhrig
FLORIDA POWER & LIGHT CO.
To: James O'Reilly
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
Shared Package
ML17341A896 List:
References
L-82-32, NUDOCS 8202220266
Download: ML17341A897 (30)


Text

g'.O.

BOX 529100 MIAMI,F L 33152 yQlllg USHRQ REQ/Qg e ~

8

'> t L ADYTA'LOR~],

i cA FLORIDA POWER 8 LIGHT COMPANY 82FE8 2 ~8 ~

January 28, 1982 L-82-32 Mr. James P. O'Reilly Regional Administrator, Region II U.S. Nuclear Regulatory Commission 101 Marietta Street, Suite Georgia 30303 3100'tlanta,

Dear Mr. O'Reilly:

Re: Turkey Point Units 3 8 4 Docket Nos. 50-250, 50-251 IE Inspection Report 80-38/37 Florida Power 5 Light responded to IE Inspection Report 80-38/37 in our letter (L-81-127) dated March 25, 1981. In that report, Finding A concerned the maintenance of training records for nuclear turbine operators. We responded that as future corrective action we would review existing non-licensed operator training procedures and make revisions as necessary. Our letter said that full compliance would be achieved by January 1, 1982.

The review of the non-licensed operator training program and procedures has been completed, but the procedure revision, although prepared in draIt form has not received final review prior to being issued. The procedure revision, which is essentially an upgrade of the training program, has been substantially incorporated into the program. However, in order to be in full compliance, we have determined that the revised procedure shouId be reviewed, issued and fully implemented.

Our current plans are to complete the non-licensed operator training procedure revision and then to issue the procedure by February 26, 1982.

Very truly yours, ob t E. Uhrig Vice President Advanced Systems 8 Technology REU/PLP/cab Attachment cc: Harold F. Reis, Esquire 8202220266 8202i0 i" PDR.-ADQCK 05000250

..."~" PDR"" ~1~4~>>.~ PFOPLF... SERVING PEOPLE

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'~c UNITED STATES Cl o

NUCLEAR REGULATORY COMMISSION REGION II 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,G EORGIA 30303

>>>>*a~

P,PR 0 9!981 Florida Power and Light Company ATTI'I: R. E. Uhrig, Vice President Advanced Systems and Technology P. 0. Box 529100 Miami, FL 33152 Gentlemen:

Subject:

Inspection Report 50-250/80-38 and 50-251/80-37 Thank you for your letter of March 25, 1981, informing us of steps you have taken to correct the violations concerning activities under NRC License IIos.

DPR-31 and DPR-41 brought to y'our attention in our letter of February 27, 1981.

We will examine your corrective actions and plans during subsequent inspections.

We appreciate your cooperation with us.

Sincerely, gC; R. C. ewis, Acting Director Division of Resident and Reactor project Inspection cc: H. E. Yaeger, Plant Manager

~ ~

March 25, 1981 L-81-127 Mr'. James P. O'Reil ly, Director, Region II Office of Inspection and Enforcement U. S. Nuclear Regulatory Commission 101 Marietta Street, Suite 3100 Atlanta, Georgia 30303

Dear Mr. O'Reilly:

Re: RII:

50-250/80-38 50-251/80-37 Florida Power 8 Light Company has reviewed the subject inspection report and a response is attached.

There is no proprietary information in the report.

~~~

Very Robert E. Uhrig Vice President yours, Advanced Systems 8 Technology REU/JEM/r'as Attachment cc: Harold F. Reis, Esquire

DRAFT RESPONSE TO USNRC IE INSPECTION REPORT 80-38/80-37 Findin A:

Technical Specification 6.4.1 requires that a retraining and replacement training program for the facility staff be maintained under the direction of the training supervisor to meet or exceed the requirements and recommendations of Section 5.5, ANSI N18.1-1971. Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate evaluation of its effectiveness.

Contrary to the above, the Training Supervisor failed to implement an existing administrative procedure on the training and retraining program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift) training records for trainee evaluation purposes were not maintained as required by AP 0303.

Res onse A:

(A-1) FPL concurs with the finding.

The reasons for the findings are:

(1) Turnover of nuclear turbine operators has been significant during this past year.

(2) The training staff had been undermanned to handle the amount of training necessitated by the turnover.

As corrective action, the size of the training stafr has been increased to properly support the effort required in the non-licensed operator area. The training program for nuclear turbine operators was reinitiated in January of this year and will continue in order to insure this training will be conducted as required by Administrative Procedure 0303, Nuclear Operator and Nuclear Turbine Operator Training and Retraining Program.

As corrective action in order to avoid further problems, (1)

Review of the existing non-licensed operator training procedures will be conducted and the procedures revised if necessary to more clearly define our policies on replacement training and retraining of non-licensed operators, and (2) the Quality Control Department will periodically check the progress of the non-licensed operator training program.

Full compliance will be achieved by January 1, 1982.

Techn ical Sepcification 6.8.1 requires that written procedures and adm.nistrative policies be established, implemented, and maintained that meet or exceed the requirements of Section 5.1 and 5.3 of ANSI N18.7-1972 and Appendix "A" of USNRC Regulatory Guide 1.33.

Contrary to the above, the Nuclear Plant Supervisor failed to implement an existing administrative procedure on the control of valves, locks and switches in that on December 4, 1980, 'the onshift nuclear plant supervisor failed to enter into the locked valve deviation log of Administrative Procedure 0103.5 the change in status of valves MOV-3-863A and B, "RHR

. Heat Exchanger to RWST or Alternate LHSI" which had undergone 'a periodi.c valve exercise test in accordance with Operating Procedure 0209.1. Valves MOV-3-863A and B with their associated circuit breakers are included in the valve, lock and switch list of AP 0103.5 and the status of these valves is required to be under administrative control.

Res onse B:

FPL concurs with the finding.

The reason for the violation was that the Nuclear Plant Supervisor assumed that the requirement to log deviations of valve positions did not apply if the repositioning was covered by another procedure.

As corrective action a procedure change that was reviewed and approved by the Plant Nuclear Safety Committee on March 19, 1981, to Administrative Procedure 0103.5 clarifies that when a deviation from normal line up occurs, it will be logged in the deviation log, unless it is covered by an approved plant procedure and/or equipment clearance order.

As corrective action in order to avoid further problems, we will review our pump and valve test procedures to ensure that when these procedures cause a valve on the locked valve list to be operated they also require it to be returned to its normal position and relocked.

Full compliance will be achieved by March 31, 1981.

V STATE OF FLORXDA )

) ss COUNTY OF DADE )

Robert E. Uhrig, being first duly sworn, deposes and says:

That he is a Vice President of Florida Power & Light Company, the Licensee herein; That he has executed the foregoing document; that the state-ments made in this said document are true and correct to the best of his knowledge, information, and belief, and that he is authorized to execute the document on behalf of said Licensee.

Robert E. Uhrig Subscribed and sworn to before me this day of 19 F~

NOTARY PUBLT.C in and for the county of Dade, State of Florida

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Ny commission expires:

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t 'I UNITED STATES NUCLEAR REGULATORY COMMISSION REGION II 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,GEORGIA 30303 FE8 27 ass~

Florida Power and Light Company ATTN: R. E. Uhrig, Vice President P. 0. Box 529100 Miami, FL 33152 Gentlemen:

Subject Report Nos. 50-250/80-38 and 50-251/80-37 This refers to the routine inspection conducted by A. J. Igantonis. and W. C.

Marsh of this office on December 1-31, 1980, of activities authorized by NRC Operating I,icense Nos. DPR-31 and DPR-41 for the Turkey Point facility. Our preliminary findings were discussed with J. K. Hays at the conclusion of the inspection.

Areas examined during the inspection and our findings are discussed in the enclosed inspection report. Within these areas, the inspection consisted of selective examinations of procedures and representative records, interviews with personnel, and observations by the inspectors.

During the inspection, it was found that certain activities under your license appear to violate NRC requirements. These items and references to pertinent requirements are listed in the Notice of Violation enclosed herewith as Appendix A.

Elements to be included in your response are delineated in Appendix A.

We have examined actions you have taken with regard to previously identified enforcement matters. These are discussed in the enclosed inspection report.

In accordance with Section 2.790 of the NRC "Rules of Practice," Part 2, Title 10, Code of Federal Regulations, a copy of this letter and the enclosed inspection report will be placed in the NRC Public Document Room. If this report contains any information that you believe to be proprietary, it is necessary that you make a written application within 20 days to this office to withhold such infor" mation from public disclosure. Any such application must include the basis for claiming that the information is proprietary and the proprietary information should be contained in a separate part of the document. If we do not hear from you in this regard within the specified period, the report will be placed in the Public Document Room.

FEH 27 ~sst Florida Power and Light Company Should you have any questions concerning this letter, we will be glad to discuss them with you.

Sincerely, E.c.

R. C. ewis, Acting Chief Reactor Operations and Nuclear Support Branch

Enclosures:

1. Appendix A, Notice of Violation
2. Inspection Report Nos. 50-250/80-38 and 50-251/80>>37 cc w/encl:

H. E. Yaeger, Plant Manager

0 Florida Power and Light Company APPENDIX A NOTICE OF VIOLATION Docket Nos. 50-250 8 50-251 Turkey Point Units 3 6 4 License Nos. DPR-31 S DPR-41 As a result of the inspection conducted on December 1-31, 1980, and in accordance with the Interim Enforcement Policy, 45 FR 66754 (October 7, 1980), the following violations were identified.

A. Technical Specification 6.4.1 requires that a retraining and replacement training program for the facile;ty staff be maintained under the direction of the training supervisor to meet or exceed the requirements and recom-mendations of Section 5.5, ANSI N18.1-1971. Section 5.5 of ANSI N18.1 1971 requires that a means be provided in the training programs for appropriate evaluation of its effectiveness.

Contrary to the above, the Training Supervisor failed to implement an existing administrative procedure on the training and retraining program of nuclear operators and nuclear turbine operators in that the nuclear turbine operator on-the-job (on-shift) training records for trainee evaluation .

purposes were not maintained as required by A.P.0303.

This is a Severity Level V Violation (Supplement I.E.).

B. - Technical Specification 6.8.1 requires that written procedures and administrative policies be established, implemented, and maintained that meet or exceed the requirements of Section 5.1 and 5.3 of ANSI N18.7-1972 and Appendix "A" of USNRC Regulatory Guide 1.33.

Contrary to the above, the Nuclear Plant Supervisors failed to implement an existing administrative procedure on the control of valves, locks and switches in that on December 4, 1980, the onshift nuclear plant supervisor failed to enter into the locked valve deviation log of administrative procedure 0103.5 the change in status of valves MOV-3-863ASB, "RHR Heat Exchanger to RUST or Alternate LHSI "which had undergone a periodic valve exercise test in accordance with operating procedure 02.09.1. Valves MOV-3-863AM with their associated circuit breakers are included in the valve, lock and switch list of A.P.0103.5 and the status of these valves is required to be under administrative control.

This is a Severity Ievel VI Violation (Supplement I.F.) applicable to Unit 3 only.

Pursuant to the provisions of 10 CFR 2.201, Florida Power and Light Company is hereby required to submit to this office within twenty>>five days of the date of this Notice, a written statement or explanation in reply, including: (1) admission or denial of the alleged violations; (2) the reasons for the violations if

admitted; (3) the corrective steps which have been taken and the results achieved; (4) corrective steps which will be taken to avoid further violations; and (5) the date when full compliance will be achieved. Under the authority of Section 182 of the Atomic Energy Act of 1954, as amended, this response shall be submitted under oath or affirmation.

FEB 27 )98)

Date:

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UNITED STATES

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ee ~i e 0 NUCLEAR'REGULATORY COMMISSION I

I 0 REGION II rye y ee 101 MARIETTAST., N.W., SUITE 3100 ATLANTA,GEORGIA 30303

+~ ~0 Report Nos. 50-250/80-38 and 50-251/80-37 Licensee: Florida Power & Light Company 9250 West Flagler Street Miami, FL 33101 Facility Name: Turkey Point Oocket Nos. 50-250 and 50-251 License Nos. OPR-31 and OPR-41 I'nspection at Turkey Point site near Homestead, Florida Inspector:

A. J. nat s Oate igned Accompanying Personnel.: M. C. Marsh Approved by: z/z.7 8/

C'.

Julia, Acting Section Chief, RONS Branch Oate Signed

SUMMARY

Inspection on Oecember 1-31, 1980 Areas Inspected This routine inspection involved 111 resident inspection hours on site. Ouring this reporting period Unit 4 continued to be in a shutdown condition for the scheduled refueling outage which included time spent for the preparation of the periodic Integrated Leak Rate Testing, replacement of feedwater heaters and main steam reheater tube bundles, and other scheduled inspection and maintenance

'ctivities of primary system components. The areas of inspection were: (1) licensee event report followup; (2) followup of previous inspection findings; (3) surveillance test observations; (4) plant operations including the review of the Nuclear Turbine operator training program; (5) witness of Unit 4 pressurizer safety valve bench testing; and (6) plant tours.

Results Of the six areas inspected, no items of noncompliance or deviations were identified in five, areas; two aparent items of noncompliance were found in one area (Violation - failure to fully comply with paragraph 6.4. 1 of the plant Technical Specifications - paragon aph 8; violation - failure to follow administrative procedure - paragraph 8).

DETAILS Persons Contacted Licensee Employees H. E. Yaeger, Site Manager "J. K. Hays, Plant Manager - Nuclear

  • J. E. Moore, Operations Superintendent Nuclear D. W. Haase, Technical Department Supervisor V. B. Wager, Operations Supervisor J. Wade, Chemistry Supervisor G. G. Jones, Nuclear Plant Supervisor J. E. Crockford, Nuclear Plant Supervisor C. A. Coker, Nuclear Plant Supervisor T. A. Finn, Nuclear Plant Supervisor L. C. Huenniger, Nuclear Plant Supervisor J. L. Whitehead, Nuclear Plant Supervisor D. C. Bradford, Refueling Coordinator W. A. Klein, Licensing Engineer B. Abrishami, Systems Test Engineer "J. P. Mendietta, Maintenance Superintendent "D. W. Jones, gC Supervisor "R. L. Caleman, Training Instructions Supervisor Other licensee employees contacted included operators, craftsmen, technicians, security personnel, gC personnel, and engineering personnel.

"Attended monthly exit interview Monthly Exit Interview An interview was conducted on January 8, 1981 with plant management personnel. The inspector summarized the scope and findings for the month of December inspection activities to the persons indicated in paragraph 1. The plant manager acknowledged the stated violation on the lack of documentation for the Nuclear Turbine Operator training program and agreed to take corrective action. The item on failure to follow administrative procedure 103.5, "Administrative control of Valves, Locks and Switches" was reported by the inspector during the interview as a deviation. However, following review of this item, the inspector determined this to be a violation. This change was reported to the plant manager prior to the publication of this

'eport.

Licensee Action on Previous Inspection Findings (Closed) Infraction (50"250/80-16-01, 50-251/80-14-01) Failure to track implementation of corrective action to noncompliance 79-31-01. The inspector reviewed the licensee's corrective action and had no further questions.

(Closed) Oeviation (50-250/80-16-02, 50-251/80-14-02) Failure to establish a maintenance instruction on Select-A-Torq by date committed in response to 79-31-01. The inspector reviewed the procedure issued Apri 1 25, 1980 and had nb further questions.

(Cl osed) Inspector Fol 1 owup Item (50-250/80-16-04, 50-251/80-14-04),

Licensee to modify procedures .to reduce chance of safeguards actuations. The inspector reviewed operating Procedure 0205.2 "Hot shutdown to cold shutdown condition" and noted that information regarding blockage of the high steam line differential pressure signal prior to reducing steam generator pressure below 500 psig had been included in a caution statement after step 8.8, and had no further questions.

Followup on Previous Unresolved Items Not reviewed during this inspection report period.

New Unresolved Items No new unresolved items were identified during this inspection report period.

Licensee Event Report Followup Our ing this inspection report period, the following Licensee Event Reports were followed up:

1. 250-80-21,T.S. 4. 1 Seismograph Inoperative
2. 250-80-23 T.S. 4. 1 Hissed EST Level Surveillance The events were reviewed to assure the accuracy and completeness of the report and the appropriateness and efficiency of corrective actions taken.

The inspector verified that the seismograph was repaired and returned to service.

No violations or deviations were identified within the areas inspected.

Surveillance Test Observations Portions of the monthly surveillance testing on three safety-related system components were witnessed by the inspector. These were the component cooling water system 4A pump, the Unit 3 containment spray pumps, and the Auxiliary Feedwater System pump. The tests were performed in accordance to the following procedures: (1) Operating procedure 3104. 1, "Component Cooling water system - periodic test of pumps"; (2) operating procedure 4004. 1, "Containment Spray Pumps - Periodic Test; and (3) operating procedure

7304.1, "Auxiliary Feedwater System -Periodic Test". Performance dates for the above test activities were December 2, 1980, and December 8, 1980. The following inspection items were verified:

a. Testing is scheduled in accordance with technical specification requirements.

b.~ Procedures are being followed.

c. Testing is by qualified personnel.
d. LCOs are being met.
e. System restoration is correctly accomplished following testing.'o violations or deviations were identified for the areas inspected above.

Plant Operations The inspector kept informed on a daily basis of the overall plant status and any significant safety matters related to plant operations. Discussions were held with plant management and various members of the operations staff on a regular basis. Selected portions of daily operating logs and operating data sheets were reviewed on at least a weekly basis during the report

'period.

The inspector conducted various plant tour'nd made frequent visits to the control room. Observations included witnessing work activities in progress, status of operating and standby safety systems, confirming valve positions,

,instrument readings and recordings, annunciator alarms, housekeeping, radiation area controls, and vital area controls.

During the conduct of routine plant tours inspections the inspector observed on December 16, 1980 that the motor control circuit breake~, 3-0726 for motor operated valve MOV-3-863A, (RHR heat exchanger to refueling water storage tank (RWST) or altenate LHSI) was not in the required condition.

The breaker was found to be in an open position as it should be, but it was not locked. The licensee administrative procedure 0103.5, "Administrative Control of Valves, Locks and Switches" requires the circuit breaker 3-0726 be locked open with the valve closed (item 18.b of the valve lock and switch list).

This finding was brought to the Nuclear Plant Supervisor's attention, and was subsequently corrected by having the circuit breaker locked open. It appears that the lock may have been inadvertently left open following completion of the valve exercise test performed on valve MOV-3-863A on December 4, 1980. But this supposition could not be substantiated because per operating procedure 0202. 1, "Reactor Startup

- Cold Condition to Hot Shutdown Condition", step 8.20 which requires verification of valves MOV-863 A&B closed and their associated breakers locked open had been initiated.

This step of the procedure had been accomplished some time between

Oecember 4 and 6, 1980. However, it is evident that the administrative procedure A.P. 0103.5 was not followed in that testing performed on valve MOV-3-863A as well as MOV-3-863B per O.P. 0209.1, "Valve Exercising Procedure" should have required the supervisor to enter the valve position change in the locked valve deviation log of the subject administrative procedure. The record shows that no such entry had been made during the month of Oecember, 1980. This is, contrary to the requirements of the procedure and constitutes a violation. (50-250/80-38-01)

Informal discussions were held with operators and other personnel on work activities in progress and status of safety-related equipment or systems.

The inspectors questions were satisfactorily answered. A review of the licensee's training program for unlicensed personnel, specifically oriented towards the Nuclear Turbine Operators (NTO) 'and nuclear operators (NO) was conducted by the inspectors'nformal discussions were held with the licensee training department instructions supervisor, the operations superintendent, and the NTOs. This included the review of NTO personnel training records. Based on the review, it was the inspectors understanding that the NTOs are considered to be fully qualified operators once they have completed the training program per the licensee administrative procedure A.P. 0303, "Nuclear Operator and Nuclea~ Turbine Operator Training and Retraining Program". The training program consists of classroom work (off-shift), in-the-field walk thr'ough of all equipment that the NOs and NTOs are responsible for, and on-the"job training (on-shift). Based on the information provided to the inspector the training records show'that five out of ten NTOs did not complete the training program in accordance to the requirements of A.P.303.

The inspector has concluded that the licensee lacked adequate documentation for the NTO trainees in order to show that they have satisfactorily completed their training. This finding results in a violation, for the licensee failed to follow plant Administrative procedures A.P.303. In paragraph 5.1 of A.P.303 the following statement is made: "The Training Supervisor shall arrange for the Nuclear Operator or Nuclear Turbine Operator Trainee to be placed on shift to work with a regular shift operator on all phases of operations. On-shift check off guide sheets will be furnished to cover on-shift training and will be used to help evaluate each trainee, and the progress achieved shall be evaluated by the'raining Supervisor". This step of the procedure was not'ollowed in that the licensee was not able to provide NTO records covering on-shift training with check off guide sheets used for trainee evaluation and progress achieved.

Furthermore, paragraph 6.4. 1 of the Technical Specifications states that a retraining and replacement training program for the facility staff shall be maintained under the direction of the Training Supervisor and shall meet or exceed the requirements and recommendations of Section 5.5, ANS1 N18. 1 -1971 and Appendix A to 10 CFR Part 55. Per Section 5.5 of ANSI 18. 1-1971 the licensee should provide means in the training programs for appropriate evaluation of its effectiveness. Contrary to the above the licensee failed to maintain on-the-job training evaluation records for the NTOs. Failure of

o the Training Supervisor to implement the requirements of A.P.303 constitutes a violation of Technical Specification 6.4. 1. (250/80-38"02, 251/80-37-01)

Prior to and during the exit interview in the discussions held with the Training Supervisor the inspector was informed that classroom training for the NTOs will start early January, 1981 and that all the NTOs will be scheduled to complete their training by the end of 1981. The results of this training will be reviewed during a future inspection. (Inspector Fol 1 owup Item 250/80-38-03, 251/80-37-02) .

'or Unit 4 the inspector observed a portion of the pressurizer safety valve bench testing performed during each refueling shutdown. Specifically, "pop" tests and seat leakage testing were witnessed on valves 4-551B and 4-551A, respectively. Also, the inspector performed walkdowns of the containment spray and high head safety injection systems to verify their operability for Units 3 and 4 outside containment.

No violations or deviations were identified within the areas inspected.

h

9. Plant Tours Ouring the Unit 3 steam generator inspection and tube plugging outage (November 26 through Oecember 6, 1980) the licensee had also inspected and modified pipe supports for the Safety Injection and Residual Heat Removal Systems lines located inside the containment. The pipe supports were structurally reinforced based on the results of analyses performed by the Architect Engineering firm in accordance with IE Bulletin 79-14, "Seismic Analyses for As Built Safety Related Piping Systems".

Just prior to heatup of Unit 3, on Oecember 4, 1980 the inspector performed a walkthrough inspection inside the containment with licensee personnel and visually inspected all of the piping support modifications.

No discrepancies were observed.