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See also: [[followed by::IR 05000528/1989050]]


=Text=
=Text=
{{#Wiki_filter:ACCELERATED
{{#Wiki_filter:ACCELERATED DISTIGBUTION DEMON>TINCTION SYSIEM r~                                       t i
DISTIGBUTION
REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)
DEMON>TINCTION
ESSION NBR 9003150098              DOC.DATE 90/02/21        NOTARIZED: NO        DOCKET  N FACIL:STN-50-528 Palo Verde Nuclear Station, Unit 1, Arizona Publ'i                05000528 .,
SYSIEM r~t i SUBJECT: Responds to NRC 900123 ltr re violations
AUTH. NAME            AUTHOR AFFILIATION CONWAY,W.F.         Arizona Public Service Co. (formerly Arizona Nuclear Power RECIP.NAME           RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)                         R
noted in Insp Rept 50-528/89-50.
 
DISTRIBUTION
==SUBJECT:==
CODE: IE01D COPIES RECEIVED:LTR
Responds to NRC 900123 50-528/89-50.
ENCL SIZE: TITLE: General (50 Dkt)-Insp Rept/Notice
ltr  re violations noted in Insp Rept DISTRIBUTION CODE: IE01D COPIES RECEIVED:LTR                      ENCL  SIZE:
of Violation Response NOTES ,S 05000528 REGULATORY
TITLE: General    (50 Dkt)-Insp Rept/Notice of Violation Response                            ,S NOTES                                                                              05000528 RECIPIENT              COPIES              RECIPIENT        COPIES ID  CODE/NAME            LTTR ENCL
INFORMATION
                                      '.1 ID  CODE/NAME    LTTR ENCL PD5 PD                              1      PETERSON,S.         1     1 INTERNAL: ACRS                          2       2     AEOD                1     1 AEOD/DEIIB DEDRO NRR/DLPQ/LPEB10 1,
DISTRIBUTION
1 1
SYSTEM (RIDS)ESSION NBR 9003150098
1 1
DOC.DATE 90/02/21 NOTARIZED:
AEOD/TPAD NRR SHANKMAN,S NRR/DOEA DIR 11 1
NO DOCKET N FACIL:STN-50-528
1 1
Palo Verde Nuclear Station, Unit 1, Arizona Publ'i 05000528., AUTH.NAME AUTHOR AFFILIATION
1 1
CONWAY,W.F.
1 NRR/DREP/PEPB9D              1      1      NRR/DREP/PRPB11      2    2 NRR/DRIS/DIR                 1       1     NRR/DST/DIR 8E2      1     1 NRR/PMAS/ILRB12 OGC/HDS 1 RES MORISSEAU i D 1
Arizona Public Service Co.(formerly Arizona Nuclear Power RECIP.NAME
1 1
RECIPIENT AFFILIATION
1 1
Document Control Branch (Document Control Desk)R INTERNAL: RECIPIENT ID CODE/NAME PD5 PD ACRS AEOD/DEIIB
1 NU QC REG FI    .
DEDRO NRR/DLPQ/LPEB10
FILE
NRR/DREP/PEPB9D
                                                                      '2 STRACT 01 1
NRR/DRIS/DIR
1 1
NRR/PMAS/ILRB12
1 1
OGC/HDS 1 RES MORISSEAU i D COPIES LTTR ENCL'.1 1 2 2 1 1 1, 1 1'1 1 1 1 1 1 1 1 1 1 RECIPIENT ID CODE/NAME PETERSON,S.
1 EXTERNAL: LPDR                           1       1     NRC PDR              1     1 NSIC                        1       1 NOTES                                    1       1 D
AEOD AEOD/TPAD NRR SHANKMAN,S
A b
NRR/DOEA DIR 11 NRR/DREP/PRPB11
NOTE TO ALL "RIDS" RECIPIENTS:
NRR/DST/DIR
PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, e             ROOM Pl-37 (EXT. 20079) TO ELMINATEYOUR NAME FROM DISIRIBUTION LISIS FOR DOCUMENTS YOU DON'T NEED!
8E2 NU QC-STRACT REG FI.'2 FILE 01 COPIES LTTR ENCL 1 1 1 1 1 1 1 1 1 1 2 2 1 1 1 1 1 1 1 1 EXTERNAL: LPDR NSIC NOTES 1 1 1 1 1 1 NRC PDR 1 1 D A b NOTE TO ALL"RIDS" RECIPIENTS:
TOTAL NUMBER OF COPIES REQUIRED: LTTR                26  ENCL     26
PLEASE HELP US TO REDUCE WASTE!CONTACT THE DOCUMENT CONTROL DESK, e ROOM Pl-37 (EXT.20079)TO ELMINATE YOUR NAME FROM DISIRIBUTION
 
LISIS FOR DOCUMENTS YOU DON'T NEED!TOTAL NUMBER OF COPIES REQUIRED: LTTR26 ENCL 26  
Arizona Public Service Company P.O. BOX 53999 ~ PHOENIX. ARIZONA85072-3999 102-01606-MFC/TRB/JJN WILLIAMF. CONWAY EXECUTIVEVICE PRESIDENT                                      February 21, 1990 NUCLEAR U. S. Nuclear Regulatory Commission Document Control Desk Washington, DC 20555
Arizona Public Service Company P.O.BOX 53999~PHOENIX.ARIZONA 85072-3999
 
WILLIAM F.CONWAY EXECUTIVE VICE PRESIDENT NUCLEAR 102-01606-MFC/TRB/JJN
==Reference:==
February 21, 1990 U.S.Nuclear Regulatory
Letter from R. Zimmerman, Director, Division of Reactor Safety and Projects, NRC to W. F. Conway, Executive Vice President Nuclear, Arizona Public Service, dated January 23, 1990
Commission
 
Document Control Desk Washington, DC 20555 Reference:
==Dear   Sirs:==
Letter from R.Zimmerman, Director, Division of Reactor Safety and Projects, NRC to W.F.Conway, Executive Vice President Nuclear, Arizona Public Service, dated January 23, 1990 Dear Sirs: Sub j ect: Palo Verde Nuclear Generating
 
Station (PVNGS)Unit 1 Docket No.STN 50-528 (License No.NPF-41)Reply to Notices of Violation-50-528/89-50-01
Sub j ect:         Palo Verde Nuclear Generating Station (PVNGS)
and 528/89-50-02
Unit   1 Docket No. STN 50-528 (License No. NPF-41)
File: 90-070-026
Reply to Notices of Violation 528/89-50-01 and 528/89-50-02 File: 90-070-026 This   letter is provided in             response to the inspection conducted by Messrs.
This letter is provided in response to the inspection
D. Coe, T. Polich,           J. Ringwald, J. Sloan, W. Wagner, T. Meadows, and W. Ang.
conducted by Messrs.D.Coe, T.Polich, J.Ringwald, J.Sloan, W.Wagner, T.Meadows, and W.Ang.Based upon the results of the inspection, two (2)violations
Based upon       the   results   of the inspection, two (2) violations of NRC requirements were identified. The violations are discussed in Appendix A of the referenced letter. A restatement of the violations and PVNGS's responses are provided in Appendix A and Attachment 1 respectively, to this letter.
of NRC requirements
The   referenced letter noted that the violation involving failure to document completion of steps of a procedure is similar to previously identified violations and requires additional management attention. APS has taken additional actions since this occurrence to assure that personnel adhere to procedures.                     These actions are described in Attachment l.
were identified.
The refer'enced         letter also noted that the events that occurred during the Unit 1 refueling operations demonstrated the need to improve communications between the various levels of APS management.                       In response to the event, a Human Performance Evaluation was conducted and the following corrective actions were implemented. The Unit 1 guideline "Communication of Unit 1 Status and Events" was revised to include additional guidance for potential refueling events which would require immediate notification of the Plant Manager or designee. The Unit 1 Plant Manager           discussed this event and importance of prompt, accurate communication       with   the Unit 1 managers.
The violations
f0Q   3I 50Qq g             goOZP I t'& P                         ~ ooo gal PDg
are discussed in Appendix A of the referenced
 
letter.A restatement
Document Control Desk                                 102-01606 -WFC/TRB/J JN Page 2                                                February 21, 1990 Should you have any questions regarding this response, please contact   me.
of the violations
Very truly yours, WFC/TRB/JJN/kj Attachments CC:   J. B. Martin D. H. Coe T. L. Chan E. E. Van Brunt A. C. Gehr J. R. Newman
and PVNGS's responses are provided in Appendix A and Attachment
 
1 respectively, to this letter.The referenced
Document   Control Desk                                   102-01606-WFC/TRB/3 JN Page 1  of  1                                              February 21, 1990 APPENDIX A NOTICE OF VIOLATION Arizona Nuclear Power Project                       Docket Number 50-528 Palo Verde Unit    1                                License Number NPF-41 During an NRC inspection conducted on November 13 through December 17, 1989, several violations of NRC requirements were identified. In accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions," 10 CFR Part 2, Appendix C (1989), the violations are listed below:
letter noted that the violation involving failure to document completion
Technical Specification 6.8.1 states, in part: "Written procedures shall be   established,   implemented and maintained covering . . . the recommendations in Appendix A 'of Regulatory Guide 1.33, Revision 2, February 1978 Regulatory Guide 1.33, Revision 2, February 1978 recommends       "Procedures for Performing Maintenance."
of steps of a procedure is similar to previously
Regulatory Guide 1.33, Revision 2, February 1978, is implemented in part by ANPP procedure     30DP-9MPOl,   Revision 0, entitled "Conduct of Maintenance," Section 3.8, which states in step 3.8.6: "Work instruction steps, sections of steps and data sheets shall be properly documented at the time of performing the step or as soon thereafter   if conditions do not permit."
identified
Contrary to the above, on November 14, 1989, Unit 1 Train "B" containment spray pump motor maintenance work order 362320 had progressed from Step 3.2.1 to Step 4.5 without corresponding documentation at the time of performing the step, under conditions which permitted such documentation.
violations
This is a Severity Level IV   violation applicable to Unit     1 (Supplement I).
and requires additional
B. 10 CFR   Part 50, Appendix B, Criterion V,   states in part 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.
management
Contrary to the above, on September 30, 1989, the licensee issued Special
attention.
:Nuclear Material Transfer Set 1-3-1 to reload the Unit 1 reactor core, which was not appropriate to the circumstance in that   it contained an error which directly resulted in partially inserting a fuel assembly in the core in other than its analyzed location.
APS has taken additional
This is a Severity Level IV   violation applicable to Unit     1 (Supplement I).                                 l
actions since this occurrence
 
to assure that personnel adhere to procedures.
Document Control Desk                                         102-01606-WFC/TRB/J JN Page 1 of 8                                                  February 21, 1990 ATTACHMENT 1 Re 1   to Notice of Violation 50-528 89-50-01 A.I.       REASON FOR VIOLATION On November   14, 1989, work to inspect motor terminal lugs on the       Unit 1 "B" train safety injection     pumps. began   in accordance with     Work Orders 362318 and 36320.         Since the work areas       were potentially contaminated, working copies of the       original   work orders were made.
These actions are described in Attachment
After the assistant shift supervisor's       approva1 was" obtained to   start work, the   original   work orders were     left in the   electric shop and the electricians and a     QC inspector proceeded to the work area with the working copies.       Terminal lug inspection was in progress and almost complete on Work Order 362320 when the       NRC inspectors observed that both the electrician     and the QC   inspector had not been signing off completed   work instruction steps   as the steps were performed on the working copy.
l.The refer'enced
The reason   for the violation   was cognitive error by the personnel involved. The electricians   were interviewed   following the event.
letter also noted that the events that occurred during the Unit 1 refueling operations
Both electricians   had thoroughly reviewed the work order preceding the actual work. The electricians were aware   of the requirement to sign-off the steps in the       work order while performing the work however,     contrary   to   APS   administrative     requirements,     the electricians periodically "checked-off" the steps         on the working copy
demonstrated
 
the need to improve communications
Document Control Desk                                           102- 01606- WFC/TRB/J JN Page. 2 of 8                                                    February 21, 1990 of the work order.
between the various levels of APS management.
The   QC inspector   was interviewed following the event.                               The QC inspector     had   completed     the   General   Inspector   Indoctrination Training, which included discussions of APS's requirement to sign-off steps   as work was completed.       However, the QC inspector had been on site for only three       weeks   and was   unsure   of the procedural'equirements to sign-off work steps as they are completed.
In response to the event, a Human Performance
A.II         CORRECTIVE STEPS TAKEN AND RESULTS ACHIEVED The NRC   inspectors informed the responsible Work Group Supervisor about the   violation of   APS   administrative requirements.                           The Work Group, Supervisor immediately directed the electricians to stop work on Work Orders 362318 and 362320.         Prior to continuing with the lug inspection, the work orders were         amended to require a complete re-performance     of the work.     The work was   re-performed and properly documented.
Evaluation
No discrepancies were identified indicating improper performance of previous work.     The steps   in the amended work   orders were properly signed-off     as each step was completed.       No further discrepancies were   identified during the     performance of the work.
was conducted and the following corrective
 
actions were implemented.
Document Control Desk                                           102-01606-'WFC/TRB/JJN Page 3 of  8                                                      February 21, 1990 The individual electricians involved in the event             were disciplined for not adhering to       APS administrative control requirements         (i.e.,
The Unit 1 guideline"Communication
signing   off   on   the   work order     as   each   step   was complete).
of Unit 1 Status and Events" was revised to include additional
Additionally, maintenance personnel         were   briefed on the use   of 30DP-9MPOl,   "Conduct   of Maintenance," which, in part, requires'roper documentation of completed steps at the time of performance.
guidance for potential refueling events which would require immediate notification
An effectiveness review of     QC Inspector indoctrination training         was performed immediately following the event.           Interviews were conducted with other   new QC Inspectors. These inspectors stated that training adequately   addressed     the procedural     requirement     to document the completion of the work steps after the work step had been completed.
of the Plant Manager or designee.The Unit 1 Plant Manager discussed this event and importance
An examination was administered to another group of new           QC Inspectors regarding proper documentation of work and administrative controls for conduct of maintenance.           Based   upon the     test results,     APS concluded   that the requirements       discussed     above   were adequately emphasized.
of prompt, accurate communication
As a result of the training effectiveness review,           APS concluded that training   was adequate     and the problem was an       isolated occurrence limited to the     QC   Inspector. The   QC   inspector (contractor)       was released from his duties with the       PVNGS QC   Department. Additionally, applicable indoctrination       QC training was   enhanced to include   testing to validate effectiveness         of the indoctrination training         and the competence   of the individual.
with the Unit 1 managers.f0Q 3I 50Qq g t'&P goOZP I~ooo gal PDg  
 
Document Control Desk Page 2 102-01606-WFC/TRB/J
Document   Control Desk                                     102- 01606-WFC/TRB/J JN Page 4  of 8                                                February 21, 1990 In addition to the corrective action's taken specifically in response to the event,   APS has taken a number of steps       to reemphasize   to plant personnel the importance of   strict adherence to procedures. A number of such steps are described   in a letter to the NRC   from J. N. Bailey, APS, dated November 17, 1989.
JN February 21, 1990 Should you have any questions regarding this response, please contact me.Very truly yours, WFC/TRB/JJN/kj
A,III.       CORRECTIVE STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS APS believes the actions taken as described above are adequate to prevent recurrence.
Attachments
A.IV.
CC: J.B.Martin D.H.Coe T.L.Chan E.E.Van Brunt A.C.Gehr J.R.Newman  
~   ~       DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED Full compliance was achieved on November 14, 1989, when Work Orders 362318 & 362320 were completed   with the appropriate steps signed.
Document Control Desk Page 1 of 1 102-01606-WFC/TRB/3
 
JN February 21, 1990 APPENDIX A NOTICE OF VIOLATION Arizona Nuclear Power Project Palo Verde Unit 1 Docket Number 50-528 License Number NPF-41 During an NRC inspection
Document Control Desk                                             102 - 01606- WFC/TRB/J JN Page 5 of,8                                                      February 21, 1990 Re 1   to Notice of Violation 50-528 89-50-02 B.l.       REASON FOR VIOLATION On   September     29,   1989",   PVNGS/APS   Reactor   Engineering personnel completed and approved         the Material Balance Area (MBA) transfer sheet   for movement     of fuel   and ultimately, the reload of the Unit 1 reactor core.         The Reactor   Engineering personnel       reviewed the planned core loading pattern to determine the appropriate assembly for each   location in the core,       and entered the assembly designator on the MBA   transfer sheet.       They also identified the location of the assemblies     on the Spent     Fuel Pool (SFP)     map   and entered   the SFP location designator       on the MBA   transfer sheet.
conducted on November 13 through December 17, 1989, several violations
During the preparation of the         MBA transfer, sheet, the     SFP location of one assembly       was improperly transcribed.         Assembly PlD303 was stored in   SFP location   P28. However, during the     preparation of the MBA   transfer sheet for step         667,   the SFP location of     PID003 was entered as P38.     The completed MBA     transfer sheets were reviewed       and approved by the responsible Reactor Engineer.               However, the Reactor Engineer did not     verify every entry on the MBA transfer sheets. The applicable procedure did not specifically require such detailed verification.
of NRC requirements
 
were identified.
Document   Control Desk                                             102-01606-WFC/TRB/JJN Page  6 of  8                                                      February 21, 1990 B.II.         CORRECTIVE STEPS TAKEN AND RESULTS ACHIEVED On November     16, 1989,   while fuel loading       was in progress,     mimic boards of the     SFP and reactor core in the control       room were updated to reflect current assembly position.             When   the assembly from     SFP location   P38   (P1E004)   was being inserted into the reactor core, reactor engineering personnel observed that the mimic placard               on the mimic board represented       a new   fuel assembly and should have been located on the periphery of the core.         Reactor engineering personnel immediately directed that the fuel movement be stopped.
In accordance
An immediate   review of core loading pattern, the         MBA transfer sheet, and the Spent Fuel Pool map was conducted.             The transcription error on the MBA transfer sheet     was identified   as the cause   of this event.
with the"General Statement of Policy and Procedure for NRC Enforcement
The MBA transfer sheets     were revised to place assembly P1E004           into an intermediate location outside of the reactor core.                   Assembly PlD303 was   retrieved from the       SFP and   inserted into the proper core location. Following discussions       of the event, the       cause   and the additional procedural steps with the Operations. Shift Supervisor, fuel movement recommenced.
Actions," 10 CFR Part 2, Appendix C (1989), the violations
Subsequent   to the event, on November 27, 1989, procedure               72AC-NF01 "Control of     SNM Transfer and Inventory"         was revised to require independent   verification of     the MBA transfer sheets.       This
are listed below: Technical Specification
 
6.8.1 states, in part: "Written procedures
Document Control Desk                                         102- 01606-WFC/TRB/JJN Page 7 of 8                                                  February 21, 1990 requirement was added to     clarify that   the existing requirement   for approval included a 100 percent independent         verification.
shall be established, implemented
To assess     the potential safety significance       if the fuel transfer error had not been detected       promptly, an analysis     was performed assuming   that the fuel assembly had     been completely   inserted. The analysis   demonstrated   that adequate   shutdown   margin would have existed.     Additionally, the   PVNGS Updated Final Safety Analysis Report provides the analysis       for the misloading of     two assemblies in the event that the final fuel loading verification process did not identify     a misloading of fuel assemblies.     Therefore this event had no adverse     effect on the health and safety of the public.
and maintained
The Unit   1 Plant Manager discussed     this incident with the Unit     1 Managers to reemphasize management's intention that senior     management be promptly advised of such occurences.
covering...the recommendations
B.III.     CORRECTIVE STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS APS  believes the actions taken      as  described above are adequate    to prevent recurrence.
in Appendix A'of Regulatory
 
Guide 1.33, Revision 2, February 1978 Regulatory
Document  Control Desk                                  102-01606-WFC/TRB/JJN Page 8 of 8                                           February 21, 1990 B.IV.         DATE WHEN FULL COMPLIANCE WAS ACHIEVED Full compliance was achieved on November 16,   1989'hen the   MBA transfer sheets were revised and the fuel assemblies were placed in the proper locations.}}
Guide 1.33, Revision 2, February 1978 recommends"Procedures
for Performing
Maintenance." Regulatory
Guide 1.33, Revision 2, February 1978, is implemented
in part by ANPP procedure 30DP-9MPOl, Revision 0, entitled"Conduct of Maintenance," Section 3.8, which states in step 3.8.6: "Work instruction
steps, sections of steps and data sheets shall be properly documented
at the time of performing
the step or as soon thereafter
if conditions
do not permit." Contrary to the above, on November 14, 1989, Unit 1 Train"B" containment
spray pump motor maintenance
work order 362320 had progressed
from Step 3.2.1 to Step 4.5 without corresponding
documentation
at the time of performing
the step, under conditions
which permitted such documentation.
This is a Severity Level IV violation applicable
to Unit 1 (Supplement
I).B.10 CFR Part 50, Appendix B, Criterion V, states in part 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.Contrary to the above, on September 30, 1989, the licensee issued Special:Nuclear Material Transfer Set 1-3-1 to reload the Unit 1 reactor core, which was not appropriate
to the circumstance
in that it contained an error which directly resulted in partially inserting a fuel assembly in the core in other than its analyzed location.This is a Severity Level IV violation applicable
to Unit 1 (Supplement
I).l  
Document Control Desk Page 1 of 8 102-01606-WFC/TRB/J
JN February 21, 1990 ATTACHMENT
1 Re 1 to Notice of Violation 50-528 89-50-01 A.I.REASON FOR VIOLATION On November 14, 1989, work to inspect motor terminal lugs on the Unit 1"B" train safety injection pumps.began in accordance
with Work Orders 362318 and 36320.Since the work areas were potentially
contaminated, working copies of the original work orders were made.After the assistant shift supervisor's
approva1 was" obtained to start work, the original work orders were left in the electric shop and the electricians
and a QC inspector proceeded to the work area with the working copies.Terminal lug inspection
was in progress and almost complete on Work Order 362320 when the NRC inspectors
observed that both the electrician
and the QC inspector had not been signing off completed work instruction
steps as the steps were performed on the working copy.The reason for the violation was cognitive error by the personnel involved.The electricians
were interviewed
following the event.Both electricians
had thoroughly
reviewed the work order preceding the actual work.The electricians
were aware of the requirement
to sign-off the steps in the work order while performing
the work however, contrary to APS administrative
requirements, the electricians
periodically"checked-off" the steps on the working copy  
Document Control Desk Page.2 of 8 102-01606-WFC/TRB/J JN February 21, 1990 of the work order.The QC inspector was interviewed
following the event.The QC inspector had completed the General Inspector Indoctrination
Training, which included discussions
of APS's requirement
to sign-off steps as work was completed.
However, the QC inspector had been on site for only three weeks and was unsure of the procedural'equirements
to sign-off work steps as they are completed.
A.II CORRECTIVE
STEPS TAKEN AND RESULTS ACHIEVED The NRC inspectors
informed the responsible
Work Group Supervisor
about the violation of APS administrative
requirements.
The Work Group, Supervisor
immediately
directed the electricians
to stop work on Work Orders 362318 and 362320.Prior to continuing
with the lug inspection, the work orders were amended to require a complete re-performance
of the work.The work was re-performed
and properly documented.
No discrepancies
were identified
indicating
improper performance
of previous work.The steps in the amended work orders were properly signed-off
as each step was completed.
No further discrepancies
were identified
during the performance
of the work.  
Document Control Desk Page 3 of 8 102-01606-'WFC/TRB/JJN
February 21, 1990 The individual
electricians
involved in the event were disciplined
for not adhering to APS administrative
control requirements (i.e., signing off on the work order as each step was complete).
Additionally, maintenance
personnel were briefed on the use of 30DP-9MPOl,"Conduct of Maintenance," which, in part, requires'roper
documentation
of completed steps at the time of performance.
An effectiveness
review of QC Inspector indoctrination
training was performed immediately
following the event.Interviews
were conducted with other new QC Inspectors.
These inspectors
stated that training adequately
addressed the procedural
requirement
to document the completion
of the work steps after the work step had been completed.
An examination
was administered
to another group of new QC Inspectors
regarding proper documentation
of work and administrative
controls for conduct of maintenance.
Based upon the test results, APS concluded that the requirements
discussed above were adequately
emphasized.
As a result of the training effectiveness
review, APS concluded that training was adequate and the problem was an isolated occurrence
limited to the QC Inspector.
The QC inspector (contractor)
was released from his duties with the PVNGS QC Department.
Additionally, applicable
indoctrination
QC training was enhanced to include testing to validate effectiveness
of the indoctrination
training and the competence
of the individual.  
Document Control Desk Page 4 of 8 102-01606-WFC/TRB/J
JN February 21, 1990 In addition to the corrective
action's taken specifically
in response to the event, APS has taken a number of steps to reemphasize
to plant personnel the importance
of strict adherence to procedures.
A number of such steps are described in a letter to the NRC from J.N.Bailey, APS, dated November 17, 1989.A,III.CORRECTIVE
STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS
APS believes the actions taken as described above are adequate to prevent recurrence.
A.IV.~~DATE WHEN FULL COMPLIANCE
WILL BE ACHIEVED Full compliance
was achieved on November 14, 1989, when Work Orders 362318&362320 were completed with the appropriate
steps signed.  
Document Control Desk Page 5 of,8*102-01606-WFC/TRB/J JN February 21, 1990 Re 1 to Notice of Violation 50-528 89-50-02 B.l.REASON FOR VIOLATION On September 29, 1989", PVNGS/APS Reactor Engineering
personnel completed and approved the Material Balance Area (MBA)transfer sheet for movement of fuel and ultimately, the reload of the Unit 1 reactor core.The Reactor Engineering
personnel reviewed the planned core loading pattern to determine the appropriate
assembly for each location in the core, and entered the assembly designator
on the MBA transfer sheet.They also identified
the location of the assemblies
on the Spent Fuel Pool (SFP)map and entered the SFP location designator
on the MBA transfer sheet.During the preparation
of the MBA transfer, sheet, the SFP location of one assembly was improperly
transcribed.
Assembly PlD303 was stored in SFP location P28.However, during the preparation
of the MBA transfer sheet for step 667, the SFP location of PID003 was entered as P38.The completed MBA transfer sheets were reviewed and approved by the responsible
Reactor Engineer.However, the Reactor Engineer did not verify every entry on the MBA transfer sheets.The applicable
procedure did not specifically
require such detailed verification.  
Document Control Desk Page 6 of 8 102-01606-WFC/TRB/JJN
February 21, 1990 B.II.CORRECTIVE
STEPS TAKEN AND RESULTS ACHIEVED On November 16, 1989, while fuel loading was in progress, mimic boards of the SFP and reactor core in the control room were updated to reflect current assembly position.When the assembly from SFP location P38 (P1E004)was being inserted into the reactor core, reactor engineering
personnel observed that the mimic placard on the mimic board represented
a new fuel assembly and should have been located on the periphery of the core.Reactor engineering
personnel immediately
directed that the fuel movement be stopped.An immediate review of core loading pattern, the MBA transfer sheet, and the Spent Fuel Pool map was conducted.
The transcription
error on the MBA transfer sheet was identified
as the cause of this event.The MBA transfer sheets were revised to place assembly P1E004 into an intermediate
location outside of the reactor core.Assembly PlD303 was retrieved from the SFP and inserted into the proper core location.Following discussions
of the event, the cause and the additional
procedural
steps with the Operations.
Shift Supervisor, fuel movement recommenced.
Subsequent
to the event, on November 27, 1989, procedure 72AC-NF01"Control of SNM Transfer and Inventory" was revised to require independent
verification
of the MBA transfer sheets.This  
Document Control Desk Page 7 of 8 102-01606-WFC/TRB/JJN
February 21, 1990 requirement
was added to clarify that the existing requirement
for approval included a 100 percent independent
verification.
To assess the potential safety significance
if the fuel transfer error had not been detected promptly, an analysis was performed assuming that the fuel assembly had been completely
inserted.The analysis demonstrated
that adequate shutdown margin would have existed.Additionally, the PVNGS Updated Final Safety Analysis Report provides the analysis for the misloading
of two assemblies
in the event that the final fuel loading verification
process did not identify a misloading
of fuel assemblies.
Therefore this event had no adverse effect on the health and safety of the public.The Unit 1 Plant Manager discussed this incident with the Unit 1 Managers to reemphasize
management's
intention that senior management
be promptly advised of such occurences.
B.III.CORRECTIVE
STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS
APS believes the actions taken as described above are adequate to prevent recurrence.
Document Control Desk Page 8 of 8 102-01606-WFC/TRB/JJN
February 21, 1990 B.IV.DATE WHEN FULL COMPLIANCE
WAS ACHIEVED Full compliance
was achieved on November 16, 1989'hen the MBA transfer sheets were revised and the fuel assemblies
were placed in the proper locations.
}}

Latest revision as of 04:02, 4 February 2020

Responds to NRC 900123 Ltr Re Violations Noted in Insp Rept 50-528/89-50.Corrective Actions:Work Orders Amended & Work Reperformed & Documented & Review of Core Loading Pattern, Mba Transfer Sheet & Spent Fuel Pool Map Conducted
ML17305A571
Person / Time
Site: Palo Verde Arizona Public Service icon.png
Issue date: 02/21/1990
From: Conway W
ARIZONA PUBLIC SERVICE CO. (FORMERLY ARIZONA NUCLEAR
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
102-01606-WFC-T, 102-1606-WFC-T, NUDOCS 9003150098
Download: ML17305A571 (12)


Text

ACCELERATED DISTIGBUTION DEMON>TINCTION SYSIEM r~ t i

REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)

ESSION NBR 9003150098 DOC.DATE 90/02/21 NOTARIZED: NO DOCKET N FACIL:STN-50-528 Palo Verde Nuclear Station, Unit 1, Arizona Publ'i 05000528 .,

AUTH. NAME AUTHOR AFFILIATION CONWAY,W.F. Arizona Public Service Co. (formerly Arizona Nuclear Power RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk) R

SUBJECT:

Responds to NRC 900123 50-528/89-50.

ltr re violations noted in Insp Rept DISTRIBUTION CODE: IE01D COPIES RECEIVED:LTR ENCL SIZE:

TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response ,S NOTES 05000528 RECIPIENT COPIES RECIPIENT COPIES ID CODE/NAME LTTR ENCL

'.1 ID CODE/NAME LTTR ENCL PD5 PD 1 PETERSON,S. 1 1 INTERNAL: ACRS 2 2 AEOD 1 1 AEOD/DEIIB DEDRO NRR/DLPQ/LPEB10 1,

1 1

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AEOD/TPAD NRR SHANKMAN,S NRR/DOEA DIR 11 1

1 1

1 1

1 NRR/DREP/PEPB9D 1 1 NRR/DREP/PRPB11 2 2 NRR/DRIS/DIR 1 1 NRR/DST/DIR 8E2 1 1 NRR/PMAS/ILRB12 OGC/HDS 1 RES MORISSEAU i D 1

1 1

1 1

1 NU QC REG FI .

FILE

'2 STRACT 01 1

1 1

1 1

1 EXTERNAL: LPDR 1 1 NRC PDR 1 1 NSIC 1 1 NOTES 1 1 D

A b

NOTE TO ALL "RIDS" RECIPIENTS:

PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, e ROOM Pl-37 (EXT. 20079) TO ELMINATEYOUR NAME FROM DISIRIBUTION LISIS FOR DOCUMENTS YOU DON'T NEED!

TOTAL NUMBER OF COPIES REQUIRED: LTTR 26 ENCL 26

Arizona Public Service Company P.O. BOX 53999 ~ PHOENIX. ARIZONA85072-3999 102-01606-MFC/TRB/JJN WILLIAMF. CONWAY EXECUTIVEVICE PRESIDENT February 21, 1990 NUCLEAR U. S. Nuclear Regulatory Commission Document Control Desk Washington, DC 20555

Reference:

Letter from R. Zimmerman, Director, Division of Reactor Safety and Projects, NRC to W. F. Conway, Executive Vice President Nuclear, Arizona Public Service, dated January 23, 1990

Dear Sirs:

Sub j ect: Palo Verde Nuclear Generating Station (PVNGS)

Unit 1 Docket No. STN 50-528 (License No. NPF-41)

Reply to Notices of Violation 528/89-50-01 and 528/89-50-02 File: 90-070-026 This letter is provided in response to the inspection conducted by Messrs.

D. Coe, T. Polich, J. Ringwald, J. Sloan, W. Wagner, T. Meadows, and W. Ang.

Based upon the results of the inspection, two (2) violations of NRC requirements were identified. The violations are discussed in Appendix A of the referenced letter. A restatement of the violations and PVNGS's responses are provided in Appendix A and Attachment 1 respectively, to this letter.

The referenced letter noted that the violation involving failure to document completion of steps of a procedure is similar to previously identified violations and requires additional management attention. APS has taken additional actions since this occurrence to assure that personnel adhere to procedures. These actions are described in Attachment l.

The refer'enced letter also noted that the events that occurred during the Unit 1 refueling operations demonstrated the need to improve communications between the various levels of APS management. In response to the event, a Human Performance Evaluation was conducted and the following corrective actions were implemented. The Unit 1 guideline "Communication of Unit 1 Status and Events" was revised to include additional guidance for potential refueling events which would require immediate notification of the Plant Manager or designee. The Unit 1 Plant Manager discussed this event and importance of prompt, accurate communication with the Unit 1 managers.

f0Q 3I 50Qq g goOZP I t'& P ~ ooo gal PDg

Document Control Desk 102-01606 -WFC/TRB/J JN Page 2 February 21, 1990 Should you have any questions regarding this response, please contact me.

Very truly yours, WFC/TRB/JJN/kj Attachments CC: J. B. Martin D. H. Coe T. L. Chan E. E. Van Brunt A. C. Gehr J. R. Newman

Document Control Desk 102-01606-WFC/TRB/3 JN Page 1 of 1 February 21, 1990 APPENDIX A NOTICE OF VIOLATION Arizona Nuclear Power Project Docket Number 50-528 Palo Verde Unit 1 License Number NPF-41 During an NRC inspection conducted on November 13 through December 17, 1989, several violations of NRC requirements were identified. In accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions," 10 CFR Part 2, Appendix C (1989), the violations are listed below:

Technical Specification 6.8.1 states, in part: "Written procedures shall be established, implemented and maintained covering . . . the recommendations in Appendix A 'of Regulatory Guide 1.33, Revision 2, February 1978 Regulatory Guide 1.33, Revision 2, February 1978 recommends "Procedures for Performing Maintenance."

Regulatory Guide 1.33, Revision 2, February 1978, is implemented in part by ANPP procedure 30DP-9MPOl, Revision 0, entitled "Conduct of Maintenance," Section 3.8, which states in step 3.8.6: "Work instruction steps, sections of steps and data sheets shall be properly documented at the time of performing the step or as soon thereafter if conditions do not permit."

Contrary to the above, on November 14, 1989, Unit 1 Train "B" containment spray pump motor maintenance work order 362320 had progressed from Step 3.2.1 to Step 4.5 without corresponding documentation at the time of performing the step, under conditions which permitted such documentation.

This is a Severity Level IV violation applicable to Unit 1 (Supplement I).

B. 10 CFR Part 50, Appendix B, Criterion V, states in part 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.

Contrary to the above, on September 30, 1989, the licensee issued Special

Nuclear Material Transfer Set 1-3-1 to reload the Unit 1 reactor core, which was not appropriate to the circumstance in that it contained an error which directly resulted in partially inserting a fuel assembly in the core in other than its analyzed location.

This is a Severity Level IV violation applicable to Unit 1 (Supplement I). l

Document Control Desk 102-01606-WFC/TRB/J JN Page 1 of 8 February 21, 1990 ATTACHMENT 1 Re 1 to Notice of Violation 50-528 89-50-01 A.I. REASON FOR VIOLATION On November 14, 1989, work to inspect motor terminal lugs on the Unit 1 "B" train safety injection pumps. began in accordance with Work Orders 362318 and 36320. Since the work areas were potentially contaminated, working copies of the original work orders were made.

After the assistant shift supervisor's approva1 was" obtained to start work, the original work orders were left in the electric shop and the electricians and a QC inspector proceeded to the work area with the working copies. Terminal lug inspection was in progress and almost complete on Work Order 362320 when the NRC inspectors observed that both the electrician and the QC inspector had not been signing off completed work instruction steps as the steps were performed on the working copy.

The reason for the violation was cognitive error by the personnel involved. The electricians were interviewed following the event.

Both electricians had thoroughly reviewed the work order preceding the actual work. The electricians were aware of the requirement to sign-off the steps in the work order while performing the work however, contrary to APS administrative requirements, the electricians periodically "checked-off" the steps on the working copy

Document Control Desk 102- 01606- WFC/TRB/J JN Page. 2 of 8 February 21, 1990 of the work order.

The QC inspector was interviewed following the event. The QC inspector had completed the General Inspector Indoctrination Training, which included discussions of APS's requirement to sign-off steps as work was completed. However, the QC inspector had been on site for only three weeks and was unsure of the procedural'equirements to sign-off work steps as they are completed.

A.II CORRECTIVE STEPS TAKEN AND RESULTS ACHIEVED The NRC inspectors informed the responsible Work Group Supervisor about the violation of APS administrative requirements. The Work Group, Supervisor immediately directed the electricians to stop work on Work Orders 362318 and 362320. Prior to continuing with the lug inspection, the work orders were amended to require a complete re-performance of the work. The work was re-performed and properly documented.

No discrepancies were identified indicating improper performance of previous work. The steps in the amended work orders were properly signed-off as each step was completed. No further discrepancies were identified during the performance of the work.

Document Control Desk 102-01606-'WFC/TRB/JJN Page 3 of 8 February 21, 1990 The individual electricians involved in the event were disciplined for not adhering to APS administrative control requirements (i.e.,

signing off on the work order as each step was complete).

Additionally, maintenance personnel were briefed on the use of 30DP-9MPOl, "Conduct of Maintenance," which, in part, requires'roper documentation of completed steps at the time of performance.

An effectiveness review of QC Inspector indoctrination training was performed immediately following the event. Interviews were conducted with other new QC Inspectors. These inspectors stated that training adequately addressed the procedural requirement to document the completion of the work steps after the work step had been completed.

An examination was administered to another group of new QC Inspectors regarding proper documentation of work and administrative controls for conduct of maintenance. Based upon the test results, APS concluded that the requirements discussed above were adequately emphasized.

As a result of the training effectiveness review, APS concluded that training was adequate and the problem was an isolated occurrence limited to the QC Inspector. The QC inspector (contractor) was released from his duties with the PVNGS QC Department. Additionally, applicable indoctrination QC training was enhanced to include testing to validate effectiveness of the indoctrination training and the competence of the individual.

Document Control Desk 102- 01606-WFC/TRB/J JN Page 4 of 8 February 21, 1990 In addition to the corrective action's taken specifically in response to the event, APS has taken a number of steps to reemphasize to plant personnel the importance of strict adherence to procedures. A number of such steps are described in a letter to the NRC from J. N. Bailey, APS, dated November 17, 1989.

A,III. CORRECTIVE STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS APS believes the actions taken as described above are adequate to prevent recurrence.

A.IV.

~ ~ DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED Full compliance was achieved on November 14, 1989, when Work Orders 362318 & 362320 were completed with the appropriate steps signed.

Document Control Desk 102 - 01606- WFC/TRB/J JN Page 5 of,8 February 21, 1990 Re 1 to Notice of Violation 50-528 89-50-02 B.l. REASON FOR VIOLATION On September 29, 1989", PVNGS/APS Reactor Engineering personnel completed and approved the Material Balance Area (MBA) transfer sheet for movement of fuel and ultimately, the reload of the Unit 1 reactor core. The Reactor Engineering personnel reviewed the planned core loading pattern to determine the appropriate assembly for each location in the core, and entered the assembly designator on the MBA transfer sheet. They also identified the location of the assemblies on the Spent Fuel Pool (SFP) map and entered the SFP location designator on the MBA transfer sheet.

During the preparation of the MBA transfer, sheet, the SFP location of one assembly was improperly transcribed. Assembly PlD303 was stored in SFP location P28. However, during the preparation of the MBA transfer sheet for step 667, the SFP location of PID003 was entered as P38. The completed MBA transfer sheets were reviewed and approved by the responsible Reactor Engineer. However, the Reactor Engineer did not verify every entry on the MBA transfer sheets. The applicable procedure did not specifically require such detailed verification.

Document Control Desk 102-01606-WFC/TRB/JJN Page 6 of 8 February 21, 1990 B.II. CORRECTIVE STEPS TAKEN AND RESULTS ACHIEVED On November 16, 1989, while fuel loading was in progress, mimic boards of the SFP and reactor core in the control room were updated to reflect current assembly position. When the assembly from SFP location P38 (P1E004) was being inserted into the reactor core, reactor engineering personnel observed that the mimic placard on the mimic board represented a new fuel assembly and should have been located on the periphery of the core. Reactor engineering personnel immediately directed that the fuel movement be stopped.

An immediate review of core loading pattern, the MBA transfer sheet, and the Spent Fuel Pool map was conducted. The transcription error on the MBA transfer sheet was identified as the cause of this event.

The MBA transfer sheets were revised to place assembly P1E004 into an intermediate location outside of the reactor core. Assembly PlD303 was retrieved from the SFP and inserted into the proper core location. Following discussions of the event, the cause and the additional procedural steps with the Operations. Shift Supervisor, fuel movement recommenced.

Subsequent to the event, on November 27, 1989, procedure 72AC-NF01 "Control of SNM Transfer and Inventory" was revised to require independent verification of the MBA transfer sheets. This

Document Control Desk 102- 01606-WFC/TRB/JJN Page 7 of 8 February 21, 1990 requirement was added to clarify that the existing requirement for approval included a 100 percent independent verification.

To assess the potential safety significance if the fuel transfer error had not been detected promptly, an analysis was performed assuming that the fuel assembly had been completely inserted. The analysis demonstrated that adequate shutdown margin would have existed. Additionally, the PVNGS Updated Final Safety Analysis Report provides the analysis for the misloading of two assemblies in the event that the final fuel loading verification process did not identify a misloading of fuel assemblies. Therefore this event had no adverse effect on the health and safety of the public.

The Unit 1 Plant Manager discussed this incident with the Unit 1 Managers to reemphasize management's intention that senior management be promptly advised of such occurences.

B.III. CORRECTIVE STEPS THAT WILL BE TAKEN TO AVOID FURTHER VIOLATIONS APS believes the actions taken as described above are adequate to prevent recurrence.

Document Control Desk 102-01606-WFC/TRB/JJN Page 8 of 8 February 21, 1990 B.IV. DATE WHEN FULL COMPLIANCE WAS ACHIEVED Full compliance was achieved on November 16, 1989'hen the MBA transfer sheets were revised and the fuel assemblies were placed in the proper locations.