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| issue date = 04/03/1996
| issue date = 04/03/1996
| title = WNP-2 Emergency Preparedness Program Audit.
| title = WNP-2 Emergency Preparedness Program Audit.
| author name = GUNTER, MUTH J J
| author name = Gunter, Muth J
| author affiliation = WASHINGTON PUBLIC POWER SUPPLY SYSTEM
| author affiliation = WASHINGTON PUBLIC POWER SUPPLY SYSTEM
| addressee name =  
| addressee name =  
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=Text=
=Text=
{{#Wiki_filter:0QualityDirectorate AuditReportWNP-2Emergency Preparedness AuditAudit296-01SApril3,1996.AuditDates:March4,1996throughMarch25,1996EntranceDate:March4,1996ExitDate:March25,1996WASHINGTON PUBLICPOWERkNSUPPLYSYSTEM+>0~2q03b4 050008970pDpADO<~pDR)j  
{{#Wiki_filter:0 Quality Directorate Audit Report WNP-2 Emergency Preparedness Audit Audit 296-01S April 3,         1996       .
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Audit Dates:   March 4, 1996 through March 25, 1996 Entrance Date: March 4, 1996 Exit Date:     March 25, 1996 WASHINGTON PUBLIC POWER kN SUPPLY SYSTEM 0
~mnb0 QUALIIYDIRECTORATE AUDIT296-018TABLEOFCONTENTSExecutive SummaryI.PurposeandScopeH.ReportDetailsSection1.0Emergency PlanandImplementing Procedures
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...................
 
3Section1.1LicenseeOn-ShiftResponsibilities........................
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3Section1.2StaffingAdequacy.................................
 
3Section1.3Identification ofInterfaces
QUALIIYDIRECTORATE AUDIT296-018 TABLE OF CONTENTS Executive Summary I. Purpose and Scope H. Report Details Section 1.0 Emergency Plan and Implementing Procedures           ...................                                 3 Section  1.1 Licensee  On-Shift Responsibilities........................                                       3 Section 1.2  Staffing Adequacy    .................................                                           3 Section 1.3 Identification of  Interfaces  ............................                                         4 Section 1.4  Emergency Plan Implementing Procedures         ..................                                 4 Section 1.5 FSAR Alignment ..................................                                                   4 Section  2.0  Emergency Response Organization      Training .....................                                     4 Section 2.1  Emergency Response Organization      Training .................                                   4 Section 2.2 Offsite  Agency  Training..............................                                             5 Section  3.0  Readiness Testing - Exercises and  Drills ......;................                                       5 Section 3.1 Drill Observation..................................                                                 5 Section 3.2 Drill  and Exercise Program    ...........................                                         6 Section 4.0 Facilities and  Equipment.................................                                               7 Section 4.1 Maintenance of Emergency      Equipment.....................                                       7 Section 4.2 Emergency Communications         ...........................                                         8 Section 5.0 Interfaces with State and    Local  Governments and    Agencies............                               8 Section 5.1 Interface Capability     ................................                                   '
............................
8 Section 5.2 Interviews with State and County Emergency Personnel9...                 ~  ~  ~  ~  ~        i 9 Section 5.3 Emergency Decontamination       Facility...............                   ~   ~   ~   ~   ~   ~ ~ 9 Section 6.0 Effectiveness of Previous Corrective Actions       ...................                               '. 9 Section 6.1 Emergency Preparedness       Program Corrective    Action    Process    .......                     9 Section 6.2 PER Corrective Action Review        .....:..................                                       10 Section 6.3 Quality Audit Recommendations      .. ~ ~ ~ ~ ~ ~
4Section1.4Emergency PlanImplementing Procedures
                                                                      'e
..................
                                                                        ~ ~ ~ ~ ~ ~ ~ ~ ~ ~   ~   ~   ~   ~   ~   10 Section 7.0 Other Audit Issues                            ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~   ~   ~   ~   ~   ~   ~   11 Appendix A Personnel Contacted During the Audit        .......................                                       12 Appendix B Additional Supporting     Documentation........................                                           13 Appendix C    References........................................                                                     14 Appendix D Problem Evaluation Requests         ............................                                         15
4Section1.5FSARAlignment
 
..................................
QUALITYDIRECTORATE AUDIT296%18 EXECUTIVF>>.  
4Section2.0Emergency ResponseOrganization Training.....................
 
4Section2.1Emergency ResponseOrganization Training.................
==SUMMARY==
4Section2.2OffsiteAgencyTraining..............................
 
5Section3.0Readiness Testing-Exercises andDrills......;................
An audit of the WNP-2 Emergency Preparedness Program is performed every twelve months as required by Technical Specification 6.25.2.8.f and 10CFR 50.54(t). Specific areas were assessed as required by NUREG 0654. Additionally, the effectiveness of previous corrective actions was assessed, and alignment of the program with licensing basis documents were reviewed.
5Section3.1DrillObservation..................................
The Emergency Preparedness organization has continued to be responsive to Quality's questions and concerns. The Emergency Preparedness organization has continued to demonstrate a strong desire for self improvement, as illustrated by their performance of a self-assessment issued in February, 1996. The self-assessment identified several areas for enhancement which were reviewed by the audit team. Emergency Preparedness is urged to implement the recommendations.
5Section3.2DrillandExerciseProgram...........................
Several areas needing remedial actions were noted by the audit team during the observation of the training drill performed by Team D on March 8, 1996.             Areas for improvement were primarily communications and procedure knowledge and use.             One recommendation issued with this audit report is to initiate corrective actions relative to identified concerns. A second recommendation is issued to perform a follow-up Quality assessment on another drill after corrective actions are implemented.
6Section4.0Facilities andEquipment.................................
The WNP-2 Emergency Plan, which comprises Chapter 13.3 of the FSAR, was compared to other sections of the FSAR applicable to Emergency Preparedness and the specific implementing procedures. Discrepancies were noted, particularly in Chapter 12, Radiation Protection, of the FSAR. In one case, the method for processing TLDs was changed without first consulting the FSAR and processing'an FSAR Change Notice. These discrepancies resulted in the issuance of PER 296-0213.
7Section4.1Maintenance ofEmergency Equipment.....................
One PER and seven Quality Recommendations were issued as a result of audit activities. In addition, four "proper use" gold cards were issued during the course of the audit for commendable indivi ual perform ce.
7Section4.2Emergency Communications
M.     ter, Au  it Team Lea er
...........................
  . J. ut,   uperv sor, Qu ity Services
8Section5.0Interfaces withStateandLocalGovernments andAgencies............
~Adi Team F.J. Englebracht, Utility Loanee (Waterford 3)
8Section5.1Interface Capability
B.J. Hahn, Quality Technical Specialist S.S. Kim, Quality C.R. Madden, Radiation Protection J.C. Wiles, Quality
................................
 
8Section5.2Interviews withStateandCountyEmergency Personnel9...
4 QUALITYDIRECTORATE AUDIT296%18
Section5.3Emergency Decontamination Facility...............
                              ~ ~
~~~~~'i9~~~~~~~9Section6.0Effectiveness ofPreviousCorrective Actions...................
 
'.9Section6.1Emergency Preparedness ProgramCorrective ActionProcess.......9Section6.2PERCorrective ActionReview.....:..................
I. PUIU'OSE AND SCOPE This annual audit of Emergency Preparedness (EP) is required by Technical Specification 6.5.2.8.f and Title 10 of the Code of Federal Regulations, Part 50.54(t).
10Section6.3QualityAuditRecommendations
Audit activities evaluated that the WNP-2 Emergency Preparedness Plan and implementing procedures included the requirements of 10CFR50, Appendix E and NUREG 0654. The following areas were assessed as required by NUREG 0654, Section II.P.9 and implemented in WNP-2 Emergency Plan, Section 8.3:
..Section7.0OtherAuditIssues~~~~~~'e~~~~~~~~~~~~~~~10~~~~~~~~~~~~~~~~~~~~~~11AppendixAPersonnel Contacted DuringtheAudit.......................
  ~ Emergency Response Organization Training
12AppendixBAdditional Supporting Documentation........................
  ~ Readiness Testing - Exercises and Drills
13AppendixCReferences........................................
  ~ Facilities and Equipment
14AppendixDProblemEvaluation Requests............................
  ~   Emergency Communications
15 QUALITYDIRECTORATE AUDIT296%18EXECUTIVF>>.
  ~ Interfaces with State and Local Governments and Agencies Additionally, the effectiveness of previous Problem Evaluation Requests (PER) corrective actions was evaluated, focusing on Human Performance PERs. A review of the Licensing Basis documents was also performed to ensure alignment with actual practices.
SUMMARYAnauditoftheWNP-2Emergency Preparedness Programisperformed everytwelvemonthsasrequiredbyTechnical Specification 6.25.2.8.f and10CFR50.54(t).
II. REPORT DETAILS SECTION 1.0 Emergency Plan and Implementing Procedures 1.1    Licensee On-Shift Responsibilities On-Shift responsibilities are adequately defined in the WNP-2 Emergency Plan (E-Plan). Section 2.2 clearly defines the responsibilities for emergency response. It states "The Shift Manager on duty has the immediate responsibility for the plant at all times, and has full authority and responsibility for recognizing and declaring emergencies." The Shift Manager initially assumes all duties and responsibilities of the Emergency Director and continues to serve in this capacity. until relieved by the TSC Manager or the EOF Manager as described in Section 2 of the E-Plan, paragraph 2.3.1.4.
SpecificareaswereassessedasrequiredbyNUREG0654.Additionally, theeffectiveness ofpreviouscorrective actionswasassessed, andalignment oftheprogramwithlicensing basisdocuments werereviewed.
The guidance in PPM 13.10.1 to the Shift Manager in the event of an emergency is clear and easy to follow.
TheEmergency Preparedness organization hascontinued toberesponsive toQuality's questions andconcerns.
1.2      Staffing Adequacy Adequate emergency staffing is maintained, but potential conflicts should be clarified. Shift staffing in modes 1, 2, and 3 appears to meet the requirements of NUREG 0654, table B1. By PPM 1.3.1, a Control Room Supervisor (CRS) is not required in modes 4 and 5. This may conflict with the Emergency Plan in that the CRS is designated to assume the Emergency Director duties should the Shift Manager not be available. Interviews with Emergency Response Organization (ERO) staff who formerly worked in the Operations Department indicated that there is always a CRS on shift
TheEmergency Preparedness organization hascontinued todemonstrate astrongdesireforselfimprovement, asillustrated bytheirperformance ofaself-assessment issuedinFebruary, 1996.Theself-assessment identified severalareasforenhancement whichwerereviewedbytheauditteam.Emergency Preparedness isurgedtoimplement therecommendations.
 
Severalareasneedingremedialactionswerenotedbytheauditteamduringtheobservation ofthetrainingdrillperformed byTeamDonMarch8,1996.Areasforimprovement wereprimarily communications andprocedure knowledge anduse.Onerecommendation issuedwiththisauditreportistoinitiatecorrective actionsrelativetoidentified concerns.
QUAIIIVDIRECTORATE AUDIT296%18
Asecondrecommendation isissuedtoperformafollow-up Qualityassessment onanotherdrillaftercorrective actionsareimplemented.
                                                                        'ven though the procedures and plans do not support this position. They stated that Technical Specifications do not require a CRS in modes 4 and 5, therefore, a decision was made not to include one in the staffing requirements for modes 4 and 5. This item will be discussed in further below in Section 1.5.
TheWNP-2Emergency Plan,whichcomprises Chapter13.3oftheFSAR,wascomparedtoothersectionsoftheFSARapplicable toEmergency Preparedness andthespecificimplementing procedures.
On-site craft coverage is adequate but needs improvement. During a four hour period between 0200 and 0600 no I&C or Electrical maintenance coverage is available on-site. If needed, the Shift Manager would call someone off site. This concern has been previously identified in the Emergency Preparedness Self- Assessment performed February, 1996. The Self-Assessment recommended that the minimum on-shift required staffing be identified. Emergency Preparedness Manager stated that recommendations from the Self-Assessment will be implemented.
Discrepancies werenoted,particularly inChapter12,Radiation Protection, oftheFSAR.Inonecase,themethodforprocessing TLDswaschangedwithoutfirstconsulting theFSARandprocessing'an FSARChangeNotice.Thesediscrepancies resultedintheissuanceofPER296-0213.
1.3      Identification of Interfaces Interfaces with supporting agencies and governments are adequately described in the Emergency Plan. The interfaces are illustrated in Table 1-1 of the Emergency Plan. Section 3 of the Emergency Plan specifies the coordination between State and Local governments as well as local agencies. Emergency Plans of supporting organizations are referenced in Appendix 1 of the E-Plan.
OnePERandsevenQualityRecommendations wereissuedasaresultofauditactivities.
Appendix 3 lists the agreement letters with local hospitals and government agencies. Additional details concerning interfaces are discussed in Section 5.0.
Inaddition, four"properuse"goldcardswereissuedduringthecourseoftheauditforcommendable indiviualperformce.M.ter,AuitTeamLeaer.J.ut,upervsor,QuityServices~AdiTeamF.J.Englebracht, UtilityLoanee(Waterford 3)B.J.Hahn,QualityTechnical Specialist S.S.Kim,QualityC.R.Madden,Radiation Protection J.C.Wiles,Quality 4QUALITYDIRECTORATE AUDIT296%18~~
1.4      Emergency Plan Implementing Procedures Selected implementing procedures were compared to the Emergency Plan and no discrepancies were noted. Section 2.3 of the Emergency Plan, Emergency Response Organization, identifies a team
I.PUIU'OSEANDSCOPEThisannualauditofEmergency Preparedness (EP)isrequiredbyTechnical Specification 6.5.2.8.f andTitle10oftheCodeofFederalRegulations, Part50.54(t).
'concept consisting of four teams assigned duties on a rotating basis. General duties are also outlined in the Emergency Plan. Specific duties are discussed in detail in the Emergency Plan Implementing procedures (EPIP). A review of these procedures indicates that they are very detailed and clearly identify authorities and responsibilities. A checklist is provided to ensure that turnover of responsibilities is smooth and that all requirements are met.
Auditactivities evaluated thattheWNP-2Emergency Preparedness Planandimplementing procedures includedtherequirements of10CFR50,AppendixEandNUREG0654.Thefollowing areaswereassessedasrequiredbyNUREG0654,SectionII.P.9andimplemented inWNP-2Emergency Plan,Section8.3:~Emergency ResponseOrganization Training~Readiness Testing-Exercises andDrills,~Facilities andEquipment
1.5      FSAR Alignment The Emergency Plan was compared to other sections of the FSAR as well as plant procedures to ensure alignment. Discrepancies were noted and resulted in PER 296-0213. Appendix D of this report describes the specific discrepancies in detail.
~Emergency Communications
SECTION 2.0 Emergency Response Organization Training 2.1      Emergency Response Organization Training The audit team reviewed the Personnel Qualification Database (PQD) and verified ERO members were qualified. The qualifications for ERO trainers were also verified. No discrepancies were noted.
~Interfaces withStateandLocalGovernments andAgenciesAdditionally, theeffectiveness ofpreviousProblemEvaluation Requests(PER)corrective actionswasevaluated, focusingonHumanPerformance PERs.AreviewoftheLicensing Basisdocuments wasalsoperformed toensurealignment withactualpractices.
 
II.REPORTDETAILSSECTION1.0Emergency PlanandImplementing Procedures 1.1LicenseeOn-ShiftResponsibilities On-Shiftresponsibilities areadequately definedintheWNP-2Emergency Plan(E-Plan).
QUALITYDIRECTORATE AUDIT296%18 0
Section2.2clearlydefinestheresponsibilities foremergency response.
2.2    Offsite Agency Training The audit team verified that training is offered to offsite agencies. Emergency Preparedness produced copies of letters offering training to offsite agencies. This was noted as an improvement from last year's audit where the training had not been offered.
Itstates"TheShiftManagerondutyhastheimmediate responsibility fortheplantatalltimes,andhasfullauthority andresponsibility forrecognizing anddeclaring emergencies."
SECTION 3.0 Readiness Testing - Exercises and Drills 3.1    Drill Observation The audit team observed performance of the training drill conducted March 8, 1996 with ERO Team D. Audit members were stationed at the Emergency Offsite Facility (EOF), Technical Support Center (TSC), Operations Support Center (OSC), and Security Support Center (SSC). The Main Control Room and Joint Information Center (JIC) were not observed since their role was simulated.
TheShiftManagerinitially assumesalldutiesandresponsibilities oftheEmergency Directorandcontinues toserveinthiscapacity.
The audit team also observed and participated in the post-drill player critique at each location.
untilrelievedbytheTSCManagerortheEOFManagerasdescribed inSection2oftheE-Plan,paragraph 2.3.1.4.TheguidanceinPPM13.10.1totheShiftManagerintheeventofanemergency isclearandeasytofollow.1.2StaffingAdequacyAdequateemergency staffingismaintained, butpotential conflicts shouldbeclarified.
Following the drill, the audit team identified concerns in communications issues, procedure knowledge and use issues, and hardware discrepancies. The concerns were evaluated and discussed with Emergency Preparedness to determine if any met the criteria for a PER. Both Quality and Emergency Preparedness agreed that these concerns were identified as part of a training drill which is designed, in part, to identify weaknesses. Had the same concerns been noted as part of the annual exercise, a PER would be necessary.       Emergency Preparedness categorized the drill as "adequate, with issues". Significant issues are outlined below:
Shiftstaffinginmodes1,2,and3appearstomeettherequirements ofNUREG0654,tableB1.ByPPM1.3.1,aControlRoomSupervisor (CRS)isnotrequiredinmodes4and5.ThismayconflictwiththeEmergency PlaninthattheCRSisdesignated toassumetheEmergency DirectordutiesshouldtheShiftManagernotbeavailable.
ATI N
Interviews withEmergency ResponseOrganization (ERO)staffwhoformerlyworkedintheOperations Department indicated thatthereisalwaysaCRSonshift QUAIIIVDIRECTORATE AUDIT296%18'venthoughtheprocedures andplansdonotsupportthisposition.
~ Announcement of the General Area Emergency (GAE) was made eleven minutes after the GAE was declared in the EOF.
TheystatedthatTechnical Specifications donotrequireaCRSinmodes4and5,therefore, adecisionwasmadenottoincludeoneinthestaffingrequirements formodes4and5.Thisitemwillbediscussed infurtherbelowinSection1.5.On-sitecraftcoverageisadequatebutneedsimprovement.
~ Announcements for site and exclusion area evacuations were made following a considerable time lapse after the emergency classifications. The Site Area Emergency was declared at 1253; Site Evacuation followed at 1309. The General Area Emergency was declared at 1313; the Exclusion Area Evacuation was announced at 1353.
Duringafourhourperiodbetween0200and0600noI&CorElectrical maintenance coverageisavailable on-site.Ifneeded,theShiftManagerwouldcallsomeoneoffsite.Thisconcernhasbeenpreviously identified intheEmergency Preparedness Self-Assessment performed
~ The Classification Notification Form (CNF) for the General Emergency classification indicated an airborne and waterborne release even though indications did not support any release.
: February, 1996.TheSelf-Assessment recommended thattheminimumon-shiftrequiredstaffingbeidentified.
~ Plume maps were not sent to the outside agencies.
Emergency Preparedness Managerstatedthatrecommendations fromtheSelf-Assessment willbeimplemented.
~   One  of the OSC Repair  Teams was sent to work the wrong equipment piece number (EPN).
1.3Identification ofInterfaces Interfaces withsupporting agenciesandgovernments areadequately described intheEmergency Plan.Theinterfaces areillustrated inTable1-1oftheEmergency Plan.Section3oftheEmergency Planspecifies thecoordination betweenStateandLocalgovernments aswellaslocalagencies.
PR    ED    E KN WLED E AND              E
Emergency Plansofsupporting organizations arereferenced inAppendix1oftheE-Plan.Appendix3liststheagreement letterswithlocalhospitals andgovernment agencies.
~ The TSC and OSC Managers did not use their respective procedures resulting in some elements not being performed.
Additional detailsconcerning interfaces arediscussed inSection5.0.1.4Emergency PlanImplementing Procedures Selectedimplementing procedures werecomparedtotheEmergency Planandnodiscrepancies werenoted.Section2.3oftheEmergency Plan,Emergency ResponseOrganization, identifies ateam'conceptconsisting offourteamsassigneddutiesonarotatingbasis.GeneraldutiesarealsooutlinedintheEmergency Plan.Specificdutiesarediscussed indetailintheEmergency PlanImplementing procedures (EPIP).Areviewoftheseprocedures indicates thattheyareverydetailedandclearlyidentifyauthorities andresponsibilities.
~ Field teams were issued forms from outdated or deleted procedures.
Achecklist isprovidedtoensurethatturnoverofresponsibilities issmoothandthatallrequirements aremet.1.5FSARAlignment TheEmergency PlanwascomparedtoothersectionsoftheFSARaswellasplantprocedures toensurealignment.
 
Discrepancies werenotedandresultedinPER296-0213.
QUALITYDIRECTORATE AUDIT296%18 0
AppendixDofthisreportdescribes thespecificdiscrepancies indetail.SECTION2.0Emergency ResponseOrganization Training2.1Emergency ResponseOrganization TrainingTheauditteamreviewedthePersonnel Qualification Database(PQD)andverifiedEROmemberswerequalified.
~ An outdated revision    of PPM 13.5.5  was in the OSC.
Thequalifications forEROtrainerswerealsoverified.
~ Volume 5 PPMs were not available in the OSC.
Nodiscrepancies werenoted.
Habitability monitoring of the TSC and OSC was not initiated as required by PPM 13.10.10.
0QUALITYDIRECTORATE AUDIT296%182.2OffsiteAgencyTrainingTheauditteamverifiedthattrainingisofferedtooffsiteagencies.
E    PMENT PR BLEMS
Emergency Preparedness producedcopiesoflettersofferingtrainingtooffsiteagencies.
~ The air sampling    kit used by Field Team  SS-1 was missing the air. sample head.
Thiswasnotedasanimprovement fromlastyear'sauditwherethetraininghadnotbeenoffered.SECTION3.0Readiness Testing-Exercises andDrills3.1DrillObservation Theauditteamobservedperformance ofthetrainingdrillconducted March8,1996withEROTeamD.Auditmemberswerestationed attheEmergency OffsiteFacility(EOF),Technical SupportCenter(TSC),Operations SupportCenter(OSC),andSecuritySupportCenter(SSC).TheMainControlRoomandJointInformation Center(JIC)werenotobservedsincetheirrolewassimulated.
~ The emergency public address announcements          could not be heard by the repair team in the RW467 critical switchgear room.
Theauditteamalsoobservedandparticipated inthepost-drill playercritiqueateachlocation.
~ The portable radios and batteries were not all charged for field team use.
Following thedrill,theauditteamidentified concernsincommunications issues,procedure knowledge anduseissues,andhardwarediscrepancies.
Additionally, the audit team noted that there were several key players that were new on Team D.
Theconcernswereevaluated anddiscussed withEmergency Preparedness todetermine ifanymetthecriteriaforaPER.BothQualityandEmergency Preparedness agreedthattheseconcernswereidentified aspartofatrainingdrillwhichisdesigned, inpart,toidentifyweaknesses.
Also, new drill members are expected to replace certain key players after June, 1996. New players will need additional training to bring them up to the caliber of a seasoned participant. Quality also noted that some players had not attended all or part of the training session held prior to the drill.
Hadthesameconcernsbeennotedaspartoftheannualexercise, aPERwouldbenecessary.
The following Quality Recommendations are issued to resolve these concerns:
Emergency Preparedness categorized thedrillas"adequate, withissues".Significant issuesareoutlinedbelow:ATIN~Announcement oftheGeneralAreaEmergency (GAE)wasmadeelevenminutesaftertheGAEwasdeclaredintheEOF.~Announcements forsiteandexclusion areaevacuations weremadefollowing aconsiderable timelapseaftertheemergency classifications.
QUALITYRECOMMENDATIONAU296-018-A InNate actions to correct concerns identjPed by Quality during observation of the March 8, 1996 training drillfor Team D.
TheSiteAreaEmergency wasdeclaredat1253;SiteEvacuation followedat1309.TheGeneralAreaEmergency wasdeclaredat1313;theExclusion AreaEvacuation wasannounced at1353.~TheClassification Notification Form(CNF)fortheGeneralEmergency classification indicated anairborneandwaterborne releaseeventhoughindications didnotsupportanyrelease.~Plumemapswerenotsenttotheoutsideagencies.
QUALITYRECOMMENDATIONAU296-018-B Perform a follow up assessment ofthe effectiveness    of corrective actions implemented per Quality Recommendation AU296-018-A.
~OneoftheOSCRepairTeamswassenttoworkthewrongequipment piecenumber(EPN).PREDEKNWLEDEANDE~TheTSCandOSCManagersdidnotusetheirrespective procedures resulting insomeelementsnotbeingperformed.
3.2    Drill and Exercise Program The audit team compared the Emergency Preparedness Program Six Year Plan to the wording of the Emergency Plan objectives to the objectives contained in NUREG 0654. Most of the objectives contained in the six year plan are a summary of the applicable NUREG requirements. In some cases, what appears to be important information is not included in the Six Year Plan objectives.
~Fieldteamswereissuedformsfromoutdatedordeletedprocedures.
One example is the NUREG requirement for the field teams to demonstrate the ability to take soil and water samples.
0QUALITYDIRECTORATE AUDIT296%18~AnoutdatedrevisionofPPM13.5.5wasintheOSC.~Volume5PPMswerenotavailable intheOSC.Habitability monitoring oftheTSCandOSCwasnotinitiated asrequiredbyPPM13.10.10.
The audit team reviewed Controller/Evaluator Event Logs, Player Comment Forms, and Objective Evaluation Forms generated during the September 7, 1995, Emergency Drill and the October 11, 1995 Emergency Exercise. This documentation review indicated that the annual demonstration of water sampling was not performed in 1995. In addition, the vegetation sampling performed during the September Drill was not conducted fully in accordance with procedures, and no vegetative sampling was performed during the October Exercise.
EPMENTPRBLEMS~TheairsamplingkitusedbyFieldTeamSS-1wasmissingtheair.samplehead.~Theemergency publicaddressannouncements couldnotbeheardbytherepairteamintheRW467criticalswitchgear room.~Theportableradiosandbatteries werenotallchargedforfieldteamuse.Additionally, theauditteamnotedthattherewereseveralkeyplayersthatwerenewonTeamD.Also,newdrillmembersareexpectedtoreplacecertainkeyplayersafterJune,1996.Newplayerswillneedadditional trainingtobringthemuptothecaliberofaseasonedparticipant.
 
Qualityalsonotedthatsomeplayershadnotattendedallorpartofthetrainingsessionheldpriortothedrill.Thefollowing QualityRecommendations areissuedtoresolvetheseconcerns:
QUALITYDIRECTORATE AUDIT29 %18 Concerns with sampling were discussed with the EP Manager who stated that the Supply System program is not committed to the exact wording of the objectives contained in NUREG-0654. The EP Manager's position is that the Supply System is committed to the positions and objectives as stated in the Emergency Preparedness Plan. The Plan is reviewed and approved by the NRC and, as such, establishes how the Supply System meets the requirements of NUREG 0654.
QUALITYRECOMMENDATION AU296-018-A InNateactionstocorrectconcernsidentjPed byQualityduringobservation oftheMarch8,1996trainingdrillforTeamD.QUALITYRECOMMENDATION AU296-018-B Performafollowupassessment oftheeffectiveness ofcorrective actionsimplemented perQualityRecommendation AU296-018-A.
The audit team reviewed player and evaluator comments from the drill and exercise performed in 1995. There does not appear to be a formal method in place to track and resolve concerns. An interview with the lead Emergency Planner indicated that in past years the drill issues were tracked as a punch list in a Word Perfect file. He was not sure that was done during 1995. In the past the lead controHers for each area would go over all the player and evaluator comments and decide which were necessary to resolve. The lead Emergency Planner indicated that probably didn't happen in 1995. Drill weakness were identified from previous drills that had not been resolved.
3.2DrillandExerciseProgramTheauditteamcomparedtheEmergency Preparedness ProgramSixYearPlantothewordingoftheEmergency Planobjectives totheobjectives contained inNUREG0654.Mostoftheobjectives contained inthesixyearplanareasummaryoftheapplicable NUREGrequirements.
The audit team communicated concern to the Emergency Preparedness Manager regarding implementing corrective actions for identified Drill and Exercise deficiencies. He stated this concern had been identified in the Self-assessment and EP had decided to track all drill/exercise deficiencies on the Plant Tracking Log (PTL) data base system. EP personnel are scheduled to receive training on the PTL system during the first week of April. Based on self-identification of the weakness and in-process corrective actions, no Quality finding was issued.
Insomecases,whatappearstobeimportant information isnotincludedintheSixYearPlanobjectives.
SECTION 4.0 Facilities and Equipment 4.1      Maintenance of Emergency Equipment PPM 13.14.4, "Emergency Equipment" (rev 20), was reviewed against the activities listed in PASSPORT to assure all emergency equipment is routinely inventoried or maintained. A worksheet describing the activity is printed from PASSPORT, the worker signs the sheet after performing the work, and the worksheets are maintained as quality records for compliance to the procedure requirements. In general, it is difficultto identify the activities in PPM 13. 14.4 as they are listed in PASSPORT. This is a repeat concern from the 1995 audit. EP personnel indicated they had established cross references, but the procedure had been revised and the references renumbered.
OneexampleistheNUREGrequirement forthefieldteamstodemonstrate theabilitytotakesoilandwatersamples.TheauditteamreviewedController/Evaluator EventLogs,PlayerCommentForms,andObjective Evaluation Formsgenerated duringtheSeptember 7,1995,Emergency DrillandtheOctober11,1995Emergency Exercise.
As a result the following Quality Recommendation is issued to develop a cross reference of PASSPORT activities to PPM 13. 14.4:
Thisdocumentation reviewindicated thattheannualdemonstration ofwatersamplingwasnotperformed in1995.Inaddition, thevegetation samplingperformed duringtheSeptember Drillwasnotconducted fullyinaccordance withprocedures, andnovegetative samplingwasperformed duringtheOctoberExercise.
 
QUALITYDIRECTORATE AUDIT29%18Concernswithsamplingwerediscussed withtheEPManagerwhostatedthattheSupplySystemprogramisnotcommitted totheexactwordingoftheobjectives contained inNUREG-0654.
QUALITYDIRECI'ORATE AUDlT296418 0
TheEPManager's positionisthattheSupplySystemiscommitted tothepositions andobjectives asstatedintheEmergency Preparedness Plan.ThePlanisreviewedandapprovedbytheNRCand,assuch,establishes howtheSupplySystemmeetstherequirements ofNUREG0654.Theauditteamreviewedplayerandevaluator commentsfromthedrillandexerciseperformed in1995.Theredoesnotappeartobeaformalmethodinplacetotrackandresolveconcerns.
QUALITYRECOMM<2DDATIONAU296-018-C Establish a cross reference  of PASSPORT      activities to PPM 13.14.4 attachments.
Aninterview withtheleadEmergency Plannerindicated thatinpastyearsthedrillissuesweretrackedasapunchlistinaWordPerfectfile.Hewasnotsurethatwasdoneduring1995.InthepasttheleadcontroHers foreachareawouldgooveralltheplayerandevaluator commentsanddecidewhichwerenecessary toresolve.TheleadEmergency Plannerindicated thatprobablydidn'thappenin1995.Drillweaknesswereidentified frompreviousdrillsthathadnotbeenresolved.
Additionally, PASSPORT indicated that HEPA and Carbon filter testing for the TSC and EOF HVAC are performed according to predefined tasks in PASSPORT. This testing is not referenced in PPM 13.14.4. The procedures for testing the units do not reference the TSC or EOF equipment, or require notifying EP in the event the unit does not meet it s acceptance criteria (PPMs 10.2.82, 10.2.83, and 10.2.39). The following Quality Recommendation is issued to address these items:
Theauditteamcommunicated concerntotheEmergency Preparedness Managerregarding implementing corrective actionsforidentified DrillandExercisedeficiencies.
QUALITYRECOMMENDATIONAU296-018-D Revise the following procedures to reference the TSC and EOF HVAC equipment.           Add a note jf to notify EP the equipment does not meet acceptance criteria.
Hestatedthisconcernhadbeenidentified intheSelf-assessment andEPhaddecidedtotrackalldrill/exercise deficiencies onthePlantTrackingLog(PTL)databasesystem.EPpersonnel arescheduled toreceivetrainingonthePTLsystemduringthefirstweekofApril.Basedonself-identification oftheweaknessandin-process corrective actions,noQualityfindingwasissued.SECTION4.0Facilities andEquipment 4.1Maintenance ofEmergency Equipment PPM13.14.4,"Emergency Equipment" (rev20),wasreviewedagainsttheactivities listedinPASSPORTtoassureallemergency equipment isroutinely inventoried ormaintained.
PPM 10.2.39 - "Pre-Filter, HEPA Filter, and Carbon Absorber Changeout" PPM 10.2.82 - "HEPA Fdter In-Place Testing" PPM 10.2.83 - "Carbon Filter In-Place Testing" Quality observed inventory activities for the Decontamination Trailer, Headquarters Protective Clothing Kit, Air Sampling Kit, Instrumentation Kit, and River Evacuation Monitoring Kit. The worker was very conscientious in performing the tasks, even going beyond the procedural requirements by verifying battery voltage.
Aworksheet describing theactivityisprintedfromPASSPORT, theworkersignsthesheetafterperforming thework,andtheworksheets aremaintained asqualityrecordsforcompliance totheprocedure requirements.
Emergency supplies at the'local hospitals were inspected by the audit team in accordance with PPM 13.14.4, Attachment 6.3.. PER 295-0294 from the 1995 EP audit noted that radiation protection instruments inspected on 2/2/95 had calibration due dates of 4/1/95, but were not replaced. Based on this 1996 inspection, corrective actions were found effective in preventing recurrence.
Ingeneral,itisdifficult toidentifytheactivities inPPM13.14.4astheyarelistedinPASSPORT.
4.2    Emergency Communications Emergency Preparedness had requested the audit team assess the readiness of Emergency Communications ability to operate following a severe natural event in preparation to NRC Temporary Instruction 2515/131, "Licensee Offsite Communication Capability". Adequate hardware and administrative provisions for prompt communication to principal response organizations, emergency response personnel, and the public were noted by the audit team. Redundant equipment is available to provide communication capability in case one system is lost.                   The Telecommunications organization has reviewed the NRC Temporary Instruction and is currently working on answering the specific questions.
Thisisarepeatconcernfromthe1995audit.EPpersonnel indicated theyhadestablished crossreferences, buttheprocedure hadbeenrevisedandthereferences renumbered.
SECTION 5.0 Interfaces with State and Local Governments and Agencies 5.1    Interface CapabBity The audit team observed the training drill conducted on March 8, 1996. During the drill, the auditor observed that the facsimile machine was operated as required for transmitting information to offsite organizations. The Crash telephone system was also noted to operate as required. The
Asaresultthefollowing QualityRecommendation isissuedtodevelopacrossreference ofPASSPORTactivities toPPM13.14.4:
 
0QUALITYDIRECI'ORATE AUDlT296418QUALITYRECOMM<2DDATION AU296-018-C Establish acrossreference ofPASSPORTactivities toPPM13.14.4attachments.
Offsite Agency Coordinator was using PPM 13.4.1 guidance to notify offsite agencies of drill emergency status using a telephone connected to a drill control cell. Following the drill, State of Washington emergency personnel were contacted to verify that the Classification Notification Forms had arrived at the State Emergency Center.
Additionally, PASSPORTindicated thatHEPAandCarbonfiltertestingfortheTSCandEOFHVACareperformed according topredefined tasksinPASSPORT.
5.2      Interviews with State and County Emergency Personnel Interviews were conducted with the Washington State Programs Management and Liaison Unit Manager, and a staff member of the Plans, Exercise, Education, and Training Unit. These personnel described the Supply System interface with the State as "excellent". Personnel interfaces were strong and positive. The State Liaison felt they were kept well informed of drills and other training opportunities. Communications tests were conducted regularly, and consistently found in order.
Thistestingisnotreferenced inPPM13.14.4.Theprocedures fortestingtheunitsdonotreference theTSCorEOFequipment, orrequirenotifying EPintheeventtheunitdoesnotmeetitsacceptance criteria(PPMs10.2.82,10.2.83,and10.2.39).
                                                                                /
Thefollowing QualityRecommendation isissuedtoaddresstheseitems:QUALITYRECOMMENDATION AU296-018-D Revisethefollowing procedures toreference theTSCandEOFHVACequipment.
An interview with the Franklin County Emergency Director indicated similar support for the Supply System Emergency Preparedness organization.         The Director expressed appreciation for the assistance provided by Supply System Emergency Preparedness personnel during the recent Emergency Center activation resulting from local flooding.
AddanotetonotifyEPjftheequipment doesnotmeetacceptance criteria.
The interfaces with offsite agencies was noted as a strength during the audit.
PPM10.2.39-"Pre-Filter, HEPAFilter,andCarbonAbsorberChangeout" PPM10.2.82-"HEPAFdterIn-PlaceTesting"PPM10.2.83-"CarbonFilterIn-PlaceTesting"Qualityobservedinventory activities fortheDecontamination Trailer,Headquarters Protective ClothingKit,AirSamplingKit,Instrumentation Kit,andRiverEvacuation Monitoring Kit.Theworkerwasveryconscientious inperforming thetasks,evengoingbeyondtheprocedural requirements byverifying batteryvoltage.Emergency suppliesatthe'local hospitals wereinspected bytheauditteaminaccordance withPPM13.14.4,Attachment 6.3..PER295-0294fromthe1995EPauditnotedthatradiation protection instruments inspected on2/2/95hadcalibration duedatesof4/1/95,butwerenotreplaced.
5.3      Emergency Decontamination Facility The Memorandum of Understanding (MOU) between Supply System and HEHF for use of the Emergency Decontamination Facility (EDF) was reviewed. It initiallyappeared from the MOU that the Supply System was to "...be responsible for all decontamination" which could include external and internal decontamination of personnel. The auditor questioned ifSupply System personnel were qualified for internal decontamination methodology. Based on subsequent discussions with HEHF personnel and Supply System Emergency Planners the wording was agreed to indicate that the Supply System had legal and financial responsibility for decontamination, but HEHF would provide the expertise. It was further agreed that the MOU intended for the Supply System to perform decontamination of the EDF after an event. Emergency Preparedness should consider rewording the MOU to more clearly define responsibilities.
Basedonthis1996inspection, corrective actionswerefoundeffective inpreventing recurrence.
A walkthrough of the EDF was conducted with HEHF personnel. The facility is maintained by HEHF and is kept ready to support Supply System emergency events. A wall chart was noted in several locations as an aid to quickly administer the most effective chelate or purgative for the more common radionuclides expected from nuclear facilities in this region.
4.2Emergency Communications Emergency Preparedness hadrequested theauditteamassessthereadiness ofEmergency Communications abilitytooperatefollowing aseverenaturaleventinpreparation toNRCTemporary Instruction 2515/131, "Licensee OffsiteCommunication Capability".
SECTION 6.0 Effectiveness of Previous Corrective Actions 6.1      Emergency Preparedness Program Corrective Action Process The audit team review of the EP Program corrective action process defined in PPM 13. 14.8, "Drill and Exercise Program" discovered that it is not consistent with the requirements contained in PPM 1.3. 12, "Problem Evaluation Request".
Adequatehardwareandadministrative provisions forpromptcommunication toprincipal responseorganizations, emergency responsepersonnel, andthepublicwerenotedbytheauditteam.Redundant equipment isavailable toprovidecommunication capability incaseonesystemislost.TheTelecommunications organization hasreviewedtheNRCTemporary Instruction andiscurrently workingonanswering thespecificquestions.
 
SECTION5.0Interfaces withStateandLocalGovernments andAgencies5.1Interface CapabBity Theauditteamobservedthetrainingdrillconducted onMarch8,1996.Duringthedrill,theauditorobservedthatthefacsimile machinewasoperatedasrequiredfortransmitting information tooffsiteorganizations.
QUALITYDIRECTORATE AUDIT 296%18 PPM 13.14.8 requires the performance of a Root Cause Analysis to determine if a consideration should be given to writing a PER.        This corrective. action process conflicts with the PER requirements contained in PPM 1.3.12. PPM 1.3.12 specifies that a PER shall be initiated for those significant problems defined in the procedure. Following PER initiation, a Root Cause Analysis is then performed in accordance with PPM 1.3.48. The following Quality Recommendation is issued to address the discrepancies between procedures:
TheCrashtelephone systemwasalsonotedtooperateasrequired.
QUALITYRECOMlVE&#xc3;DATION296-018-E Revise PPM 13.14.S corrective action process to align ivith PPM 1.3.12.
The OffsiteAgencyCoordinator wasusingPPM13.4.1guidancetonotifyoffsiteagenciesofdrillemergency statususingatelephone connected toadrillcontrolcell.Following thedrill,StateofWashington emergency personnel werecontacted toverifythattheClassification Notification FormshadarrivedattheStateEmergency Center.5.2Interviews withStateandCountyEmergency Personnel Interviews wereconducted withtheWashington StateProgramsManagement andLiaisonUnitManager,andastaffmemberofthePlans,Exercise, Education, andTrainingUnit.Thesepersonnel described theSupplySysteminterface withtheStateas"excellent".
6.2      PER Corrective Action Review Corrective actions associated with human performance issues were found to have been effectively implemented for the PERs reviewed. The audit team issued a "proper use" Gold Card to the Emergency Planner responsible for disposition of PER 295-0254 to commend the quality of the disposition and the timeliness of the corrective actions. There were no findings associated with NRC inspection reports reviewed during this audit.
Personnel interfaces werestrongandpositive.
6.3      Quality Audit Recommendations Seven Quality Recommendations resulting from Quality Audit 295-018, "WNP-2 Emergency Preparedness Program," conducted between March 20 and April 7, 1995, were reviewed to determine ifthey were effectively implemented. The following Quality Recommendations resulting from last years EP Audit, 295-018, were not implemented, contrary to the recommendation responses received from the Emergency Preparedness Manager:
TheStateLiaisonfelttheywerekeptwellinformedofdrillsandothertrainingopportunities.
Recommendation AU 295-018-E "Clarify Emergency Preparedness Plan definition of Annual to be calendar year for exercises.
Communications testswereconducted regularly, andconsistently foundinorder./Aninterview withtheFranklinCountyEmergency Directorindicated similarsupportfortheSupplySystemEmergency Preparedness organization.
It is currently defined as twelve months. Also, a definition for Quarterly.and Monthly should be developed for more frequent drills."
TheDirectorexpressed appreciation fortheassistance providedbySupplySystemEmergency Preparedness personnel duringtherecentEmergency Centeractivation resulting fromlocalflooding.
Recommendation AU 295-018-F "Revise the Emergency Preparedness Plan to require the backshift drills as specified in NUREG-0654 (six p.m. to midnight; midnight to six a.m., every six years)."
Theinterfaces withoffsiteagencieswasnotedasastrengthduringtheaudit.5.3Emergency Decontamination FacilityTheMemorandum ofUnderstanding (MOU)betweenSupplySystemandHEHFforuseoftheEmergency Decontamination Facility(EDF)wasreviewed.
                                                                          'he recommendation responses from Emergency Preparedness committed personnel to perform several actions. However, the actions were never completed. Audit team discussions with 'the Emergency Preparedness personnel indicated that they still feel the recommendations are valid and EP intends to implement them. Therefore, the following Quality Recommendation is issued:
Itinitially appearedfromtheMOUthattheSupplySystemwasto"...beresponsible foralldecontamination" whichcouldincludeexternalandinternaldecontamination ofpersonnel.
QUALITYRECO1VMENDATION 296-018-F Implement Quality Recommendations 29$ -01S-E and 29$ -01S-Il.
Theauditorquestioned ifSupplySystempersonnel werequalified forinternaldecontamination methodology.
The audit team did not find any indication that the failure to implement these recommendations resulted in degradation of the Emergency Preparedness Program.
Basedonsubsequent discussions withHEHFpersonnel andSupplySystemEmergency PlannersthewordingwasagreedtoindicatethattheSupplySystemhadlegalandfinancial responsibility fordecontamination, butHEHFwouldprovidetheexpertise.
10
ItwasfurtheragreedthattheMOUintendedfortheSupplySystemtoperformdecontamination oftheEDFafteranevent.Emergency Preparedness shouldconsiderrewording theMOUtomoreclearlydefineresponsibilities.
 
Awalkthrough oftheEDFwasconducted withHEHFpersonnel.
QUALITYDIRECTORATE AUDIT296-018 SECTION 7.0 7.1    Other Audit Issues The audit team noted that the Quality Director serves on the Emergency Response Organization as the EOF Manager. This may conflict with the wording in the Operational Quality Assurance Program Description (OQAPD), Chapter 1, Section 13.2.1 which defines the responsibilities of the position as follows:
Thefacilityismaintained byHEHFandiskeptreadytosupportSupplySystememergency events.Awallchartwasnotedinseverallocations asanaidtoquicklyadminister themosteffective chelateorpurgative forthemorecommonradionuclides expectedfromnuclearfacilities inthisregion.SECTION6.0Effectiveness ofPreviousCorrective Actions6.1Emergency Preparedness ProgramCorrective ActionProcessTheauditteamreviewoftheEPProgramcorrective actionprocessdefinedinPPM13.14.8,"DrillandExerciseProgram"discovered thatitisnotconsistent withtherequirements contained inPPM1.3.12,"ProblemEvaluation Request".
    "The Director, Quality, has effective communication channels with all Supply System senior management positions and has no duties or responsibilities unrelated to quality assurance."
QUALITYDIRECTORATE AUDIT296%18PPM13.14.8requirestheperformance ofaRootCauseAnalysistodetermine ifaconsideration shouldbegiventowritingaPER.Thiscorrective.
Discussions with the Quality Director and Licensing staff revealed no licensing basis document requirement for the wording. As such, the following recommendation is issued to clarify position responsibilities:
actionprocessconflicts withthePERrequirements contained inPPM1.3.12.PPM1.3.12specifies thataPERshallbeinitiated forthosesignificant problemsdefinedintheprocedure.
QUALITYRECO1VMENDATION AU296-018-G Rezone OQ4PD, Chapter 1, Section 13.2.1,     for Quality Director responsibilities.
Following PERinitiation, aRootCauseAnalysisisthenperformed inaccordance withPPM1.3.48.Thefollowing QualityRecommendation isissuedtoaddressthediscrepancies betweenprocedures:
11
QUALITYRECOMlVE&#xc3;DATION 296-018-E RevisePPM13.14.Scorrective actionprocesstoalignivithPPM1.3.12.6.2PERCorrective ActionReviewCorrective actionsassociated withhumanperformance issueswerefoundtohavebeeneffectively implemented forthePERsreviewed.
 
Theauditteamissueda"properuse"GoldCardtotheEmergency Plannerresponsible fordisposition ofPER295-0254tocommendthequalityofthedisposition andthetimeliness ofthecorrective actions.Therewerenofindingsassociated withNRCinspection reportsreviewedduringthisaudit.6.3QualityAuditRecommendations SevenQualityRecommendations resulting fromQualityAudit295-018,"WNP-2Emergency Preparedness Program,"
QU~ DIRECTORATE AUDIT296%18 APPENDIX A Personnel Contacted During the Audit H.L. Aeschliman, Emergency Planner+ ++
conducted betweenMarch20andApril7,1995,werereviewedtodetermine iftheywereeffectively implemented.
Lyle Ball, Emergency Planner+
Thefollowing QualityRecommendations resulting fromlastyearsEPAudit,295-018,werenotimplemented, contrarytotherecommendation responses receivedfromtheEmergency Preparedness Manager:Recommendation AU295-018-E "ClarifyEmergency Preparedness Plandefinition ofAnnualtobecalendaryearforexercises.
W.H. Barley, ERO Team D++
Itiscurrently definedastwelvemonths.Also,adefinition forQuarterly.and Monthlyshouldbedeveloped formorefrequentdrills."Recommendation AU295-018-F "RevisetheEmergency Preparedness Plantorequirethebackshift drillsasspecified inNUREG-0654(sixp.m.tomidnight; midnighttosixa.m.,everysixyears)."'herecommendation responses fromEmergency Preparedness committed personnel toperformseveralactions.However,theactionswerenevercompleted.
K.K. Cabral, HP Technician J. D. Carpenter, Manager, Telecommunications Services W.S, Davison, ERO Team D J.S. Flood, ERO Team D P.W. Harness, ERO Team D Chuck Hagerhjelm, State  of Washington, Plans, Exercise, Education and Trainin g Unit M.P. Hedges, Drill Evaluator R.J. Hintz, Principal Health Physicist D.B. Holmes, Emergency Planner R.E. Jorgenson, Emergency Planner+ ++
Auditteamdiscussions with'theEmergency Preparedness personnel indicated thattheystillfeeltherecommendations arevalidandEPintendstoimplement them.Therefore, thefollowing QualityRecommendation isissued:QUALITYRECO1VMENDATION 296-018-F Implement QualityRecommendations 29$-01S-Eand29$-01S-Il.Theauditteamdidnotfindanyindication thatthefailuretoimplement theserecommendations resultedindegradation oftheEmergency Preparedness Program.10 QUALITYDIRECTORATE AUDIT296-018SECTION7.07.1OtherAuditIssuesTheauditteamnotedthattheQualityDirectorservesontheEmergency ResponseOrganization astheEOFManager.ThismayconflictwiththewordingintheOperational QualityAssurance ProgramDescription (OQAPD),Chapter1,Section13.2.1whichdefinestheresponsibilities ofthepositionasfollows:"TheDirector, Quality,haseffective communication channelswithallSupplySystemseniormanagement positions andhasnodutiesorresponsibilities unrelated toqualityassurance."
A.F. Klauss, Emergency Planner+
Discussions withtheQualityDirectorandLicensing staffrevealednolicensing basisdocumentrequirement forthewording.Assuch,thefollowing recommendation isissuedtoclarifypositionresponsibilities:
J.A. Landon, Mechanical Craft Supervisor M.J. Mann, TSC Manager Sandi McInturff, Hanford Environmental Health Foundation Fernando Medina del Valle, Physicians Assistant, Hanford Environmental Health Foundation L.S. Morris, Drill Controller J.T.Nelson, HP Technician Dianne Offord, State of Washington, Programs Management and Liaison Unit J.F. Peters, Quality L.S. Peters, Quality, WNP-1 G.D. Phillips, HP Technician L.A. Pritchard, ERO Team D G.J. Reed, Emergency Preparedness Manager+ ++
QUALITYRECO1VMENDATION AU296-018-G RezoneOQ4PD,Chapter1,Section13.2.1,forQualityDirectorresponsibilities.
John Scheer, Franklin County Emergency Director W.D. Shaeffer, TSC Manager V.E. Shockley, ERO Team D J.L. Standley, Mechanic, J.M. Taylor, ERO Team D Maillian Uphaus, State of Washington, Programs Management and Liaison Unit R.L. Utter, Training Lead R.E. Welch, ERO Team D D. Wright, Facilities C.E. Young, Radiation Protection N.D. Zimmerman, Drill Controller
11 QU~DIRECTORATE AUDIT296%18APPENDIXAPersonnel Contacted DuringtheAuditgUnitFoundation H.L.Aeschliman, Emergency Planner+++LyleBall,Emergency Planner+W.H.Barley,EROTeamD++K.K.Cabral,HPTechnician J.D.Carpenter, Manager,Telecommunications ServicesW.S,Davison,EROTeamDJ.S.Flood,EROTeamDP.W.Harness,EROTeamDChuckHagerhjelm, StateofWashington, Plans,Exercise, Education andTraininM.P.Hedges,DrillEvaluator R.J.Hintz,Principal HealthPhysicist D.B.Holmes,Emergency PlannerR.E.Jorgenson, Emergency Planner+++A.F.Klauss,Emergency Planner+J.A.Landon,Mechanical CraftSupervisor M.J.Mann,TSCManagerSandiMcInturff, HanfordEnvironmental HealthFoundation FernandoMedinadelValle,Physicians Assistant, HanfordEnvironmental HealthL.S.Morris,DrillController J.T.Nelson, HPTechnician DianneOfford,StateofWashington, ProgramsManagement andLiaisonUnitJ.F.Peters,QualityL.S.Peters,Quality,WNP-1G.D.Phillips, HPTechnician L.A.Pritchard, EROTeamDG.J.Reed,Emergency Preparedness Manager+++JohnScheer,FranklinCountyEmergency DirectorW.D.Shaeffer, TSCManagerV.E.Shockley, EROTeamDJ.L.Standley,
+     Attended Entrance Meeting
: Mechanic, J.M.Taylor,EROTeamDMaillianUphaus,StateofWashington, ProgramsManagement andLiaisonUnitR.L.Utter,TrainingLeadR.E.Welch,EROTeamDD.Wright,Facilities C.E.Young,Radiation Protection N.D.Zimmerman, DrillController
++     Attended Exit Meeting 12
+AttendedEntranceMeeting++AttendedExitMeeting12 eQUALITYDIRECTORATE AUDIT296%18APPENDIXBAdditional Supporting Documentation Applicable Supporting Documentation willbemaintained inthepermanent auditfilesaspartofthespecificchecklist questions towhichitapplies.13 QUALXIVDIRECTORATE AUDIT296%18APPENDIXCReferences 10CFR50.47, Emergency Plans10CFR50.54, Conditions ofLicenses10CFR50,AppendixE,Emergency PlanningandPreparedness forProduction andUtilization Facilities NUREG0654,FEMAREP-1,Rev.1;CriteriaforPreparation andEvaluation ofRadiological Emergency ResponsePlansandPreparedness inSupportofNuclearPowerPlants;SectionII.BWNP-2Emergency Preparedness Plan,Rev16WNP-2Emergency Preparedness ProgramSixYearPlan,October26,19951995DressRehearsal DrillReport1995Evaluated ExerciseDrillReportNRCInspection Procedure 82301,"Evaluation ofExercises forPowerReactors" DrillandExercisemanualforWNP-2,Rev2EPProgramSelf-Assessment, February29,1995EPPP-03,01/26/96, "Maintaining theSixYearPlan"Volume13seriesofEmergency PlanImplementing Procedures 1995AuditofEmergency Preparedness ProgramAU295-018 Memorandums ofUnderstanding:
 
OurLadyofLourdesHospital, KadlecMedicalCenter,Kennewick GeneralHospital, DOE/HEHF, USFEMAOffsiteAgencyPhoneNumberList,Revision28NRCTemporary Instruction 2515/131, "Licensee OffsiteCommunication Capability" PASSPORTPredefined DatabaseCompleted PASSPORTWorksheets WorkOrders:MS1601,MS1801,KZ8801,YV8401,YV8701ProblemEvaluation Requests(PERs):295-285,295-296,295-286,295-1188, 295-1231, 295-1010, 294-303,295-254,a!ld295-29314 QUALITYDIRECTORATE AUDIT296%18APPENDIXDPROBLEMEVALUATION REQUESTS:
e      QUALITYDIRECTORATE AUDIT296%18 APPENDIX B Additional Supporting Documentation Applicable Supporting Documentation will be maintained in the permanent audit files as part of the specific checklist questions to which it applies.
PER296-0213D
13
-ThefoHowingdiscrepancies werenotedintheFinalSafetyAnalysisReport(FSAR):MERENYPREPAREDPLAFARErrrFSAR,Section12.3.1.2-TrafficPatternsThedescription ofthebasictrafficflowforpersonnel enteringtheplantisincorrect.
 
FSAR,Section12.5.2.2Thedescription oftheEOFbackupchemistry areareferences anincorrect figure(10-8)intheEmergency Preparedness Plan.FSAR,Figure12.5-1-EOF/PSFFloorPlansThisfiguredoesnotreflectthelastremodeling oftheEOF.FSAR,Section6.4.1Thissectionstatesthatemergency suppliesfortheControlRoom,TSC,andOSCwillbeprovidedbytheTSC.TheControlRoomandtheOSCnowhavetheirownsupplies.
QUALXIVDIRECTORATE AUDIT296%18 APPENDIX C References 10CFR50.47, Emergency Plans 10CFR50.54, Conditions of Licenses 10CFR50, Appendix E, Emergency Planning and Preparedness for Production and Utilization Facilities NUREG 0654, FEMA REP-1, Rev. 1; Criteria for Preparation and Evaluation of Radiological Emergency Response Plans and Preparedness in Support of Nuclear Power Plants; Section II.B WNP-2 Emergency Preparedness Plan, Rev 16 WNP-2 Emergency Preparedness Program Six Year Plan, October 26, 1995 1995 Dress Rehearsal Drill Report 1995 Evaluated Exercise Drill Report NRC Inspection Procedure 82301, "Evaluation of Exercises for Power Reactors" Drill and Exercise manual for WNP-2, Rev 2 EP Program Self-Assessment, February 29, 1995 EPPP-03, 01/26/96, "Maintaining the Six Year Plan" Volume 13 series of Emergency Plan Implementing Procedures 1995 Audit of Emergency Preparedness Program AU295-018 Memorandums of Understanding:       Our Lady of Lourdes Hospital, Kadlec Medical Center, Kennewick General Hospital, DOE/HEHF, US FEMA Offsite Agency Phone Number List, Revision 28 NRC Temporary Instruction 2515/131, "Licensee Offsite Communication Capability" PASSPORT Predefined Database Completed PASSPORT Worksheets Work Orders: MS1601, MS1801, KZ8801, YV8401, YV8701 Problem Evaluation Requests (PERs): 295-285, 295-296, 295-286, 295-1188, 295-1231, 295-1010, 294-303, 295-254, a!ld 295-293 14
FSAR,Section12.1.1.1-Organization Thissectionincorrectly statesthattheSafetyDepartment reportstotheOperations Directorate.
 
FSAR,Section12.1.2.1.r Theprocessdescription forradwastedrumsisnotaccurate.
QUALITYDIRECTORATE AUDIT296%18 APPENDIX D PROBLEM EVALUATIONREQUESTS:
Emergency Preparedness Plan,Appendix3ThePlanincorrectly statesthattwodecontamination kitsarelocatedintheServiceBuilding.
PER 296-0213D - The foHowing discrepancies were noted in the Final Safety Analysis Report (FSAR):
Emergency Preparedness Plan,Section2.3.1.5ThissectionstatesthataControlRoomSupervisor isonshift,asrequiredbyTechnical Specifications, torespondtotheEmergency Plan.However,Technical Specifications andPPM1.3.1statethataCRSisnotrequiredinModes4and5.Emergency Plan,Section6.2.8Contrarytothissection,theTLDprocessing equipment wasoutsourced toTMA/Eberline andremovedfromtheSupplySystemexternaldosimetry area.Inthisexample,changesintheEmergency Planwereimplemented priortotheperformance ofaLicensing BasisImpactDetermination andsubmittal ofaSCN.SupplySystemcontractC31087wasinitiated withTMA/Eberline onSeptember 25,1995,toprocesspersonnel andREMPenvironmental TLDs.15  
MER EN Y PREPARED                  PLA          F AR Err r FSAR, Section 12.3.1.2 - Traffic Patterns The description of the basic traffic flow for personnel entering the plant is incorrect.
/QUALIIYDIRECTORATE AUDITREPORT296-018WNP-2EM<AGENCY PREPAREDNESS PROGRAMriutinJPAlbers/927K JWBaker/1023 WHBarley/PE21 KMGunter/PE21 BJHahn/PE21 SSKim/PE21GJKucera/130 DEMcCauley/927R CRMadden/927H MMMonopoli/927S
FSAR, Section 12.5.2.2 The description of the EOF backup chemistry area references an incorrect figure (10-8) in the Emergency Preparedness Plan.
*JJMuth/PE21 JVParrish/1023 JFPeters/PE21
FSAR, Figure 12.5 EOF/PSF Floor Plans This figure does not reflect the last remodeling  of the EOF.
*GJReed/1020 CJSchwarz/9270 GOSmith/927M JHSwailes/PE27 DASwank/PE20 RLWebring/1021 JCWiles/PE21
FSAR, Section 6.4.1 This section states that emergency supplies for the Control Room, TSC, and OSC will be provided by the TSC. The Control Room and the OSC now have their own supplies.
.QRoutingAuditFile296-018BK(3)*RESPONSE REQUBU<3)
FSAR, Section 12.1.1.1 - Organization This section incorrectly states that the Safety Department reports to the Operations Directorate.
SEEAUDITREPORTRECOMVXENDATIONS eQUALITYDIRECTORATE AUDIT296%18QARECOMINFWDATION EVALUATION NUMBER:AU296-018 RECOMhQPlDATION MlMBER:AU296-018-A DATE:April3,1996ORGANIZATION:
FSAR, Section 12.1.2.1.r The process description for radwaste drums is not accurate.
Emergency Preparedness PERSONCONTACTED:
Emergency Preparedness Plan, Appendix 3 The Plan incorrectly states that two decontamination kits are located in the Service Building.
G.J.ReedRESPONSEDUEDATE:June3,1996AUTHOR:K.M.GunterRECOMNO~22IDATION:
Emergency Preparedness Plan, Section 2.3.1.5 This section states that a Control Room Supervisor is on shift, as required by Technical Specifications, to respond to the Emergency Plan. However, Technical Specifications and PPM 1.3.1 state that a CRS is not required in Modes 4 and 5.
InitiateactionstocorrectconcernsidenttjiedbyQualityduringobservation oftheMarch8,1996quarterly trainingdrill.RESPONSE:*
Emergency Plan, Section 6.2.8        Contrary to this section, the TLD processing equipment was outsourced to TMA/Eberline and removed from the Supply System external dosimetry area. In this example, changes in the Emergency Plan were implemented prior to the performance of a Licensing Basis Impact Determination and submittal of a SCN. Supply System contract C31087 was initiated with TMA/Eberline on September 25, 1995, to process personnel and REMP environmental TLDs.
Theresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
15
16 QUALITYDIRECTORATS AUDIT296%18QARECOMNF~ATXON EVALUATION NUMBER:AU296-018RECOMMXNDATION NUMBER:AU296-018-B DATE:April3,1996ORGANIZATION:
 
QualityPERSONCONTACTED:
                                /
W.H.BarleyRESPONSEDUEDATE:June3,1996AUTHOR:K.M.GunterRECOMMENDATION:
QUALIIYDIRECTORATE AUDITREPORT    296-018 WNP-2 EM<AGENCY PREPAREDNESS PROGRAM ri uti n JP Albers/927K JW Baker/1023 WH Barley/PE21 KM Gunter/PE21 BJ Hahn/PE21 SS Kim/PE21 GJ Kucera/130 DE McCauley/927R CR Madden/927H MM Monopoli/927S
Performafollowupassessment oftheeffectiveness ofcorrective actionsimplemented perQualityRecommendation AU255-018-A.
                *JJ Muth/PE21 JV Parrish/1023 JF Peters/PE21
                *GJ Reed/1020 CJ Schwarz/9270 GO Smith/927M JH Swailes/PE27 DA Swank/PE20 RL Webring/1021 JC Wiles/PE21 .
Q Routing Audit File 296-018 BK (3)
          *RESPONSE REQUBU<3)
SEE AUDIT REPORT RECOMVXENDATIONS
 
QUALITYDIRECTORATE AUDIT296%18 e
QA RECOMINFWDATION EVALUATIONNUMBER: AU296-018 RECOMhQPlDATION MlMBER: AU296-018-A DATE:       April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMNO~22IDATION:
Initiate actions to correct concerns identtji ed by Quality during observation of the March 8, 1996 quarterly training drill.
RESPONSE:*
RESPONSE:*
F~eresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
The response should address action to be taken and proposed completion date.         If no action is deemed necessary, the logic for this conclusion should be presented.
17 QUALITYDIRECTORATE AUDIT296-018QARECOMCEM)ATION EVALUATION NUMBER:AU296-018 RECOMM2$DATIONNUMBER:AU296-018-C DATE:April3,1996ORGANIZATION:
16
Emergency Preparedness PERSONCONTACTED:
 
D.B.HolmesRESPONSEDUEDATE:June3,1996AUTHOR:K.M.GunterRECOMMPlDATIO&#xb9; Establish acrossreference ofPASSPORTactivities toPPM13.14.4attachments.
QUALITYDIRECTORATS AUDIT296%18 QA RECOMNF~ATXON EVALUATIONNUMBER: AU 296-018 RECOMMXNDATIONNUMBER: AU296-018-B DATE:     April 3, 1996 ORGANIZATION: Quality PERSON CONTACTED: W.H. Barley RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:
Perform a follow up assessment  of the effectiveness of corrective actions implemented per Quality Recommendation AU255-018-A.
RESPONSE:*
RESPONSE:*
*Theresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
F
18  
~e    response should address action to be taken and proposed completion date.      If no action is deemed necessary, the logic for this conclusion should be presented.
~.~QUALITYDIRECTORATE AUDIT296418QARECOMMENDATION EVALUATION NUMBER:AU296-018 RECOMMENDATION NUMBER:AU296-018-D DATE:April3,1996ORGANIZATION:
17
Emergency Preparedness PERSONCONTACTED:
 
D.B.HolmesRESPONSEDUEDATE:June3,1996AUTHOR:K.M.GunterRECOMMENDATION:
QUALITYDIRECTORATE AUDIT296-018 QA RECOMCEM)ATION EVALUATIONNUMBER: AU296-018 RECOMM2$DATION NUMBER: AU296-018-C DATE:      April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: D.B. Holmes RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMPlDATIO&#xb9; Establish a cross reference of PASSPORT    activities to PPM 13.14.4 attachments.
Revisethefollowing procedures toreference theTSCandEOFHVACequipment.
RESPONSE:*
AddanotetonotifyEPiftheequipment doesnotmeetacceptance criteria.
*The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.
PPM10.2.39-"Pre-Filter, HEPAFilter,andCarbonAbsorberChangeout PPM10.2.82-"HEPAFilterIn-PlaceTesting"PPM10.2.83-"CarbonFilterIn-PlaceTesting"RESPONSEP Theresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
18
19 QUALITYDIRECTORATE AUDIT296%18QARECOMNFKDATION EVALUATION NUMBER:AU296-018 RECOMMFADATION NUMBER:AU296-018-E DATE:April3,1996ORGANIZATIO&#xb9; Emergency Preparedness PERSONCONTACTED:
 
G.J.ReedRESPONSEDUEDATE:June3,1996AUTHOR:J.C.WilesRECOMMFADATIO&#xb9; RevisePPM13.14.8corrective actionprocesstoalignwithPPM1.3.12."RESPONSE:*
                      ~               .
*Theresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
QUALITYDIRECTORATE AUDIT296418
20  
                                                              ~
~~QUALITYDIRECI'ORATE AUDIT296%18QARECOMNEM)AYjON EVALUATION NUMBER:AU296-018 RECOMM<221DATION NUICBER:AU296-018-F DATE:April3,1996ORGANIZATION:
QA RECOMMENDATION EVALUATIONNUMBER: AU296-018 RECOMMENDATIONNUMBER: AU296-018-D DATE:       April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: D.B. Holmes RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:
Emergency Preparedness PERSONCONTACTED:
Revise the following procedures to reference the TSC and EOF HVAC equipment. Add a note to if notify EP the equipment does not meet acceptance criteria.
G.J.ReedRESPONSEDUEDATE:June3,1996AUTHOR:J.C.WilesRECOMMENDATION:
PPM 10.2.39- "Pre-Filter, HEPA Filter, and Carbon Absorber Changeout PPM 10.2.82 - "HEPA Filter In-Place Testing" PPM 10.2.83 - "Carbon Filter In-Place Testing" RESPONSEP The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.
Implement QualityRecommendations 295-OI8-E and295-018-F.
19
 
QUALITYDIRECTORATE AUDIT 296%18 QA RECOMNFKDATION EVALUATIONNUMBER: AU296-018 RECOMMFADATIONNUMBER: AU296-018-E DATE:     April 3, 1996 ORGANIZATIO&#xb9;         Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: J.C. Wiles RECOMMFADATIO&#xb9; Revise PPM 13.14.8 corrective action process to align with PPM 1.3.12.
" RESPONSE:*
  *The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.
20
 
                      ~     QUALITYDIRECI'ORATE AUDIT296%18
                                                                ~
QA RECOMNEM)AYjON EVALUATIONNUMBER: AU296-018 RECOMM<221DATION NUICBER: AU296-018-F DATE:     April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: J.C. Wiles RECOMMENDATION:
Implement Quality Recommendations 295-OI8-E and 295-018-F.
RESPONSEP
RESPONSEP
~eresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
~e  response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.
21 QUALITYDIRECTORATE AUDIT29618QARECOMMENDATION EVALUATION NUMBER:AU296-018 RECOMMENDATION NUMBER:AU296-018-G DATE:April3,1996ORGANIZATION:
21
QualityPERSONCONTACTED:
 
W.H.BarleyRESPONSEDUEDATE:June3,1996AUTHOR:K.M.GunterRECOMMENDATION:
QUALITYDIRECTORATE AUDIT29618 QA RECOMMENDATION EVALUATIONNUMBER: AU296-018 RECOMMENDATIONNUMBER: AU296-018-G DATE:     April 3, 1996 ORGANIZATION: Quality PERSON CONTACTED: W.H. Barley RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:
RewordOQAPD,Chapter1,Section13.2.1,forQualiryDirectorresponsibilities.
Reword OQAPD, Chapter 1, Section 13.2.1,     for Qualiry Director responsibilities.
RESPONSE*Theresponseshouldaddressactiontobetakenandproposedcompletion date.Ifnoactionisdeemednecessary, thelogicforthisconclusion shouldbepresented.
 
22 0~~~+4'}}
===RESPONSE===
*The response should address action to be taken and proposed completion date.       If no action is deemed necessary, the logic for this conclusion should be presented.
22
 
0 ~ ~
      ~ + 4'}}

Latest revision as of 07:05, 4 February 2020

WNP-2 Emergency Preparedness Program Audit.
ML17292A148
Person / Time
Site: Columbia Energy Northwest icon.png
Issue date: 04/03/1996
From: Gunter, Muth J
WASHINGTON PUBLIC POWER SUPPLY SYSTEM
To:
Shared Package
ML17292A146 List:
References
296-018, 296-18, NUDOCS 9604290364
Download: ML17292A148 (27)


Text

0 Quality Directorate Audit Report WNP-2 Emergency Preparedness Audit Audit 296-01S April 3, 1996 .

Audit Dates: March 4, 1996 through March 25, 1996 Entrance Date: March 4, 1996 Exit Date: March 25, 1996 WASHINGTON PUBLIC POWER kN SUPPLY SYSTEM 0

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QUALIIYDIRECTORATE AUDIT296-018 TABLE OF CONTENTS Executive Summary I. Purpose and Scope H. Report Details Section 1.0 Emergency Plan and Implementing Procedures ................... 3 Section 1.1 Licensee On-Shift Responsibilities........................ 3 Section 1.2 Staffing Adequacy ................................. 3 Section 1.3 Identification of Interfaces ............................ 4 Section 1.4 Emergency Plan Implementing Procedures .................. 4 Section 1.5 FSAR Alignment .................................. 4 Section 2.0 Emergency Response Organization Training ..................... 4 Section 2.1 Emergency Response Organization Training ................. 4 Section 2.2 Offsite Agency Training.............................. 5 Section 3.0 Readiness Testing - Exercises and Drills ......;................ 5 Section 3.1 Drill Observation.................................. 5 Section 3.2 Drill and Exercise Program ........................... 6 Section 4.0 Facilities and Equipment................................. 7 Section 4.1 Maintenance of Emergency Equipment..................... 7 Section 4.2 Emergency Communications ........................... 8 Section 5.0 Interfaces with State and Local Governments and Agencies............ 8 Section 5.1 Interface Capability ................................ '

8 Section 5.2 Interviews with State and County Emergency Personnel9... ~ ~ ~ ~ ~ i 9 Section 5.3 Emergency Decontamination Facility............... ~ ~ ~ ~ ~ ~ ~ 9 Section 6.0 Effectiveness of Previous Corrective Actions ................... '. 9 Section 6.1 Emergency Preparedness Program Corrective Action Process ....... 9 Section 6.2 PER Corrective Action Review .....:.................. 10 Section 6.3 Quality Audit Recommendations .. ~ ~ ~ ~ ~ ~

'e

~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ 10 Section 7.0 Other Audit Issues ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ 11 Appendix A Personnel Contacted During the Audit ....................... 12 Appendix B Additional Supporting Documentation........................ 13 Appendix C References........................................ 14 Appendix D Problem Evaluation Requests ............................ 15

QUALITYDIRECTORATE AUDIT296%18 EXECUTIVF>>.

SUMMARY

An audit of the WNP-2 Emergency Preparedness Program is performed every twelve months as required by Technical Specification 6.25.2.8.f and 10CFR 50.54(t). Specific areas were assessed as required by NUREG 0654. Additionally, the effectiveness of previous corrective actions was assessed, and alignment of the program with licensing basis documents were reviewed.

The Emergency Preparedness organization has continued to be responsive to Quality's questions and concerns. The Emergency Preparedness organization has continued to demonstrate a strong desire for self improvement, as illustrated by their performance of a self-assessment issued in February, 1996. The self-assessment identified several areas for enhancement which were reviewed by the audit team. Emergency Preparedness is urged to implement the recommendations.

Several areas needing remedial actions were noted by the audit team during the observation of the training drill performed by Team D on March 8, 1996. Areas for improvement were primarily communications and procedure knowledge and use. One recommendation issued with this audit report is to initiate corrective actions relative to identified concerns. A second recommendation is issued to perform a follow-up Quality assessment on another drill after corrective actions are implemented.

The WNP-2 Emergency Plan, which comprises Chapter 13.3 of the FSAR, was compared to other sections of the FSAR applicable to Emergency Preparedness and the specific implementing procedures. Discrepancies were noted, particularly in Chapter 12, Radiation Protection, of the FSAR. In one case, the method for processing TLDs was changed without first consulting the FSAR and processing'an FSAR Change Notice. These discrepancies resulted in the issuance of PER 296-0213.

One PER and seven Quality Recommendations were issued as a result of audit activities. In addition, four "proper use" gold cards were issued during the course of the audit for commendable indivi ual perform ce.

M. ter, Au it Team Lea er

. J. ut, uperv sor, Qu ity Services

~Adi Team F.J. Englebracht, Utility Loanee (Waterford 3)

B.J. Hahn, Quality Technical Specialist S.S. Kim, Quality C.R. Madden, Radiation Protection J.C. Wiles, Quality

4 QUALITYDIRECTORATE AUDIT296%18

~ ~

I. PUIU'OSE AND SCOPE This annual audit of Emergency Preparedness (EP) is required by Technical Specification 6.5.2.8.f and Title 10 of the Code of Federal Regulations, Part 50.54(t).

Audit activities evaluated that the WNP-2 Emergency Preparedness Plan and implementing procedures included the requirements of 10CFR50, Appendix E and NUREG 0654. The following areas were assessed as required by NUREG 0654,Section II.P.9 and implemented in WNP-2 Emergency Plan, Section 8.3:

~ Emergency Response Organization Training

~ Readiness Testing - Exercises and Drills

~ Facilities and Equipment

~ Emergency Communications

~ Interfaces with State and Local Governments and Agencies Additionally, the effectiveness of previous Problem Evaluation Requests (PER) corrective actions was evaluated, focusing on Human Performance PERs. A review of the Licensing Basis documents was also performed to ensure alignment with actual practices.

II. REPORT DETAILS SECTION 1.0 Emergency Plan and Implementing Procedures 1.1 Licensee On-Shift Responsibilities On-Shift responsibilities are adequately defined in the WNP-2 Emergency Plan (E-Plan). Section 2.2 clearly defines the responsibilities for emergency response. It states "The Shift Manager on duty has the immediate responsibility for the plant at all times, and has full authority and responsibility for recognizing and declaring emergencies." The Shift Manager initially assumes all duties and responsibilities of the Emergency Director and continues to serve in this capacity. until relieved by the TSC Manager or the EOF Manager as described in Section 2 of the E-Plan, paragraph 2.3.1.4.

The guidance in PPM 13.10.1 to the Shift Manager in the event of an emergency is clear and easy to follow.

1.2 Staffing Adequacy Adequate emergency staffing is maintained, but potential conflicts should be clarified. Shift staffing in modes 1, 2, and 3 appears to meet the requirements of NUREG 0654, table B1. By PPM 1.3.1, a Control Room Supervisor (CRS) is not required in modes 4 and 5. This may conflict with the Emergency Plan in that the CRS is designated to assume the Emergency Director duties should the Shift Manager not be available. Interviews with Emergency Response Organization (ERO) staff who formerly worked in the Operations Department indicated that there is always a CRS on shift

QUAIIIVDIRECTORATE AUDIT296%18

'ven though the procedures and plans do not support this position. They stated that Technical Specifications do not require a CRS in modes 4 and 5, therefore, a decision was made not to include one in the staffing requirements for modes 4 and 5. This item will be discussed in further below in Section 1.5.

On-site craft coverage is adequate but needs improvement. During a four hour period between 0200 and 0600 no I&C or Electrical maintenance coverage is available on-site. If needed, the Shift Manager would call someone off site. This concern has been previously identified in the Emergency Preparedness Self- Assessment performed February, 1996. The Self-Assessment recommended that the minimum on-shift required staffing be identified. Emergency Preparedness Manager stated that recommendations from the Self-Assessment will be implemented.

1.3 Identification of Interfaces Interfaces with supporting agencies and governments are adequately described in the Emergency Plan. The interfaces are illustrated in Table 1-1 of the Emergency Plan. Section 3 of the Emergency Plan specifies the coordination between State and Local governments as well as local agencies. Emergency Plans of supporting organizations are referenced in Appendix 1 of the E-Plan.

Appendix 3 lists the agreement letters with local hospitals and government agencies. Additional details concerning interfaces are discussed in Section 5.0.

1.4 Emergency Plan Implementing Procedures Selected implementing procedures were compared to the Emergency Plan and no discrepancies were noted. Section 2.3 of the Emergency Plan, Emergency Response Organization, identifies a team

'concept consisting of four teams assigned duties on a rotating basis. General duties are also outlined in the Emergency Plan. Specific duties are discussed in detail in the Emergency Plan Implementing procedures (EPIP). A review of these procedures indicates that they are very detailed and clearly identify authorities and responsibilities. A checklist is provided to ensure that turnover of responsibilities is smooth and that all requirements are met.

1.5 FSAR Alignment The Emergency Plan was compared to other sections of the FSAR as well as plant procedures to ensure alignment. Discrepancies were noted and resulted in PER 296-0213. Appendix D of this report describes the specific discrepancies in detail.

SECTION 2.0 Emergency Response Organization Training 2.1 Emergency Response Organization Training The audit team reviewed the Personnel Qualification Database (PQD) and verified ERO members were qualified. The qualifications for ERO trainers were also verified. No discrepancies were noted.

QUALITYDIRECTORATE AUDIT296%18 0

2.2 Offsite Agency Training The audit team verified that training is offered to offsite agencies. Emergency Preparedness produced copies of letters offering training to offsite agencies. This was noted as an improvement from last year's audit where the training had not been offered.

SECTION 3.0 Readiness Testing - Exercises and Drills 3.1 Drill Observation The audit team observed performance of the training drill conducted March 8, 1996 with ERO Team D. Audit members were stationed at the Emergency Offsite Facility (EOF), Technical Support Center (TSC), Operations Support Center (OSC), and Security Support Center (SSC). The Main Control Room and Joint Information Center (JIC) were not observed since their role was simulated.

The audit team also observed and participated in the post-drill player critique at each location.

Following the drill, the audit team identified concerns in communications issues, procedure knowledge and use issues, and hardware discrepancies. The concerns were evaluated and discussed with Emergency Preparedness to determine if any met the criteria for a PER. Both Quality and Emergency Preparedness agreed that these concerns were identified as part of a training drill which is designed, in part, to identify weaknesses. Had the same concerns been noted as part of the annual exercise, a PER would be necessary. Emergency Preparedness categorized the drill as "adequate, with issues". Significant issues are outlined below:

ATI N

~ Announcement of the General Area Emergency (GAE) was made eleven minutes after the GAE was declared in the EOF.

~ Announcements for site and exclusion area evacuations were made following a considerable time lapse after the emergency classifications. The Site Area Emergency was declared at 1253; Site Evacuation followed at 1309. The General Area Emergency was declared at 1313; the Exclusion Area Evacuation was announced at 1353.

~ The Classification Notification Form (CNF) for the General Emergency classification indicated an airborne and waterborne release even though indications did not support any release.

~ Plume maps were not sent to the outside agencies.

~ One of the OSC Repair Teams was sent to work the wrong equipment piece number (EPN).

PR ED E KN WLED E AND E

~ The TSC and OSC Managers did not use their respective procedures resulting in some elements not being performed.

~ Field teams were issued forms from outdated or deleted procedures.

QUALITYDIRECTORATE AUDIT296%18 0

~ An outdated revision of PPM 13.5.5 was in the OSC.

~ Volume 5 PPMs were not available in the OSC.

Habitability monitoring of the TSC and OSC was not initiated as required by PPM 13.10.10.

E PMENT PR BLEMS

~ The air sampling kit used by Field Team SS-1 was missing the air. sample head.

~ The emergency public address announcements could not be heard by the repair team in the RW467 critical switchgear room.

~ The portable radios and batteries were not all charged for field team use.

Additionally, the audit team noted that there were several key players that were new on Team D.

Also, new drill members are expected to replace certain key players after June, 1996. New players will need additional training to bring them up to the caliber of a seasoned participant. Quality also noted that some players had not attended all or part of the training session held prior to the drill.

The following Quality Recommendations are issued to resolve these concerns:

QUALITYRECOMMENDATIONAU296-018-A InNate actions to correct concerns identjPed by Quality during observation of the March 8, 1996 training drillfor Team D.

QUALITYRECOMMENDATIONAU296-018-B Perform a follow up assessment ofthe effectiveness of corrective actions implemented per Quality Recommendation AU296-018-A.

3.2 Drill and Exercise Program The audit team compared the Emergency Preparedness Program Six Year Plan to the wording of the Emergency Plan objectives to the objectives contained in NUREG 0654. Most of the objectives contained in the six year plan are a summary of the applicable NUREG requirements. In some cases, what appears to be important information is not included in the Six Year Plan objectives.

One example is the NUREG requirement for the field teams to demonstrate the ability to take soil and water samples.

The audit team reviewed Controller/Evaluator Event Logs, Player Comment Forms, and Objective Evaluation Forms generated during the September 7, 1995, Emergency Drill and the October 11, 1995 Emergency Exercise. This documentation review indicated that the annual demonstration of water sampling was not performed in 1995. In addition, the vegetation sampling performed during the September Drill was not conducted fully in accordance with procedures, and no vegetative sampling was performed during the October Exercise.

QUALITYDIRECTORATE AUDIT29 %18 Concerns with sampling were discussed with the EP Manager who stated that the Supply System program is not committed to the exact wording of the objectives contained in NUREG-0654. The EP Manager's position is that the Supply System is committed to the positions and objectives as stated in the Emergency Preparedness Plan. The Plan is reviewed and approved by the NRC and, as such, establishes how the Supply System meets the requirements of NUREG 0654.

The audit team reviewed player and evaluator comments from the drill and exercise performed in 1995. There does not appear to be a formal method in place to track and resolve concerns. An interview with the lead Emergency Planner indicated that in past years the drill issues were tracked as a punch list in a Word Perfect file. He was not sure that was done during 1995. In the past the lead controHers for each area would go over all the player and evaluator comments and decide which were necessary to resolve. The lead Emergency Planner indicated that probably didn't happen in 1995. Drill weakness were identified from previous drills that had not been resolved.

The audit team communicated concern to the Emergency Preparedness Manager regarding implementing corrective actions for identified Drill and Exercise deficiencies. He stated this concern had been identified in the Self-assessment and EP had decided to track all drill/exercise deficiencies on the Plant Tracking Log (PTL) data base system. EP personnel are scheduled to receive training on the PTL system during the first week of April. Based on self-identification of the weakness and in-process corrective actions, no Quality finding was issued.

SECTION 4.0 Facilities and Equipment 4.1 Maintenance of Emergency Equipment PPM 13.14.4, "Emergency Equipment" (rev 20), was reviewed against the activities listed in PASSPORT to assure all emergency equipment is routinely inventoried or maintained. A worksheet describing the activity is printed from PASSPORT, the worker signs the sheet after performing the work, and the worksheets are maintained as quality records for compliance to the procedure requirements. In general, it is difficultto identify the activities in PPM 13. 14.4 as they are listed in PASSPORT. This is a repeat concern from the 1995 audit. EP personnel indicated they had established cross references, but the procedure had been revised and the references renumbered.

As a result the following Quality Recommendation is issued to develop a cross reference of PASSPORT activities to PPM 13. 14.4:

QUALITYDIRECI'ORATE AUDlT296418 0

QUALITYRECOMM<2DDATIONAU296-018-C Establish a cross reference of PASSPORT activities to PPM 13.14.4 attachments.

Additionally, PASSPORT indicated that HEPA and Carbon filter testing for the TSC and EOF HVAC are performed according to predefined tasks in PASSPORT. This testing is not referenced in PPM 13.14.4. The procedures for testing the units do not reference the TSC or EOF equipment, or require notifying EP in the event the unit does not meet it s acceptance criteria (PPMs 10.2.82, 10.2.83, and 10.2.39). The following Quality Recommendation is issued to address these items:

QUALITYRECOMMENDATIONAU296-018-D Revise the following procedures to reference the TSC and EOF HVAC equipment. Add a note jf to notify EP the equipment does not meet acceptance criteria.

PPM 10.2.39 - "Pre-Filter, HEPA Filter, and Carbon Absorber Changeout" PPM 10.2.82 - "HEPA Fdter In-Place Testing" PPM 10.2.83 - "Carbon Filter In-Place Testing" Quality observed inventory activities for the Decontamination Trailer, Headquarters Protective Clothing Kit, Air Sampling Kit, Instrumentation Kit, and River Evacuation Monitoring Kit. The worker was very conscientious in performing the tasks, even going beyond the procedural requirements by verifying battery voltage.

Emergency supplies at the'local hospitals were inspected by the audit team in accordance with PPM 13.14.4, Attachment 6.3.. PER 295-0294 from the 1995 EP audit noted that radiation protection instruments inspected on 2/2/95 had calibration due dates of 4/1/95, but were not replaced. Based on this 1996 inspection, corrective actions were found effective in preventing recurrence.

4.2 Emergency Communications Emergency Preparedness had requested the audit team assess the readiness of Emergency Communications ability to operate following a severe natural event in preparation to NRC Temporary Instruction 2515/131, "Licensee Offsite Communication Capability". Adequate hardware and administrative provisions for prompt communication to principal response organizations, emergency response personnel, and the public were noted by the audit team. Redundant equipment is available to provide communication capability in case one system is lost. The Telecommunications organization has reviewed the NRC Temporary Instruction and is currently working on answering the specific questions.

SECTION 5.0 Interfaces with State and Local Governments and Agencies 5.1 Interface CapabBity The audit team observed the training drill conducted on March 8, 1996. During the drill, the auditor observed that the facsimile machine was operated as required for transmitting information to offsite organizations. The Crash telephone system was also noted to operate as required. The

Offsite Agency Coordinator was using PPM 13.4.1 guidance to notify offsite agencies of drill emergency status using a telephone connected to a drill control cell. Following the drill, State of Washington emergency personnel were contacted to verify that the Classification Notification Forms had arrived at the State Emergency Center.

5.2 Interviews with State and County Emergency Personnel Interviews were conducted with the Washington State Programs Management and Liaison Unit Manager, and a staff member of the Plans, Exercise, Education, and Training Unit. These personnel described the Supply System interface with the State as "excellent". Personnel interfaces were strong and positive. The State Liaison felt they were kept well informed of drills and other training opportunities. Communications tests were conducted regularly, and consistently found in order.

/

An interview with the Franklin County Emergency Director indicated similar support for the Supply System Emergency Preparedness organization. The Director expressed appreciation for the assistance provided by Supply System Emergency Preparedness personnel during the recent Emergency Center activation resulting from local flooding.

The interfaces with offsite agencies was noted as a strength during the audit.

5.3 Emergency Decontamination Facility The Memorandum of Understanding (MOU) between Supply System and HEHF for use of the Emergency Decontamination Facility (EDF) was reviewed. It initiallyappeared from the MOU that the Supply System was to "...be responsible for all decontamination" which could include external and internal decontamination of personnel. The auditor questioned ifSupply System personnel were qualified for internal decontamination methodology. Based on subsequent discussions with HEHF personnel and Supply System Emergency Planners the wording was agreed to indicate that the Supply System had legal and financial responsibility for decontamination, but HEHF would provide the expertise. It was further agreed that the MOU intended for the Supply System to perform decontamination of the EDF after an event. Emergency Preparedness should consider rewording the MOU to more clearly define responsibilities.

A walkthrough of the EDF was conducted with HEHF personnel. The facility is maintained by HEHF and is kept ready to support Supply System emergency events. A wall chart was noted in several locations as an aid to quickly administer the most effective chelate or purgative for the more common radionuclides expected from nuclear facilities in this region.

SECTION 6.0 Effectiveness of Previous Corrective Actions 6.1 Emergency Preparedness Program Corrective Action Process The audit team review of the EP Program corrective action process defined in PPM 13. 14.8, "Drill and Exercise Program" discovered that it is not consistent with the requirements contained in PPM 1.3. 12, "Problem Evaluation Request".

QUALITYDIRECTORATE AUDIT 296%18 PPM 13.14.8 requires the performance of a Root Cause Analysis to determine if a consideration should be given to writing a PER. This corrective. action process conflicts with the PER requirements contained in PPM 1.3.12. PPM 1.3.12 specifies that a PER shall be initiated for those significant problems defined in the procedure. Following PER initiation, a Root Cause Analysis is then performed in accordance with PPM 1.3.48. The following Quality Recommendation is issued to address the discrepancies between procedures:

QUALITYRECOMlVEÃDATION296-018-E Revise PPM 13.14.S corrective action process to align ivith PPM 1.3.12.

6.2 PER Corrective Action Review Corrective actions associated with human performance issues were found to have been effectively implemented for the PERs reviewed. The audit team issued a "proper use" Gold Card to the Emergency Planner responsible for disposition of PER 295-0254 to commend the quality of the disposition and the timeliness of the corrective actions. There were no findings associated with NRC inspection reports reviewed during this audit.

6.3 Quality Audit Recommendations Seven Quality Recommendations resulting from Quality Audit 295-018, "WNP-2 Emergency Preparedness Program," conducted between March 20 and April 7, 1995, were reviewed to determine ifthey were effectively implemented. The following Quality Recommendations resulting from last years EP Audit, 295-018, were not implemented, contrary to the recommendation responses received from the Emergency Preparedness Manager:

Recommendation AU 295-018-E "Clarify Emergency Preparedness Plan definition of Annual to be calendar year for exercises.

It is currently defined as twelve months. Also, a definition for Quarterly.and Monthly should be developed for more frequent drills."

Recommendation AU 295-018-F "Revise the Emergency Preparedness Plan to require the backshift drills as specified in NUREG-0654 (six p.m. to midnight; midnight to six a.m., every six years)."

'he recommendation responses from Emergency Preparedness committed personnel to perform several actions. However, the actions were never completed. Audit team discussions with 'the Emergency Preparedness personnel indicated that they still feel the recommendations are valid and EP intends to implement them. Therefore, the following Quality Recommendation is issued:

QUALITYRECO1VMENDATION 296-018-F Implement Quality Recommendations 29$ -01S-E and 29$ -01S-Il.

The audit team did not find any indication that the failure to implement these recommendations resulted in degradation of the Emergency Preparedness Program.

10

QUALITYDIRECTORATE AUDIT296-018 SECTION 7.0 7.1 Other Audit Issues The audit team noted that the Quality Director serves on the Emergency Response Organization as the EOF Manager. This may conflict with the wording in the Operational Quality Assurance Program Description (OQAPD), Chapter 1, Section 13.2.1 which defines the responsibilities of the position as follows:

"The Director, Quality, has effective communication channels with all Supply System senior management positions and has no duties or responsibilities unrelated to quality assurance."

Discussions with the Quality Director and Licensing staff revealed no licensing basis document requirement for the wording. As such, the following recommendation is issued to clarify position responsibilities:

QUALITYRECO1VMENDATION AU296-018-G Rezone OQ4PD, Chapter 1, Section 13.2.1, for Quality Director responsibilities.

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QU~ DIRECTORATE AUDIT296%18 APPENDIX A Personnel Contacted During the Audit H.L. Aeschliman, Emergency Planner+ ++

Lyle Ball, Emergency Planner+

W.H. Barley, ERO Team D++

K.K. Cabral, HP Technician J. D. Carpenter, Manager, Telecommunications Services W.S, Davison, ERO Team D J.S. Flood, ERO Team D P.W. Harness, ERO Team D Chuck Hagerhjelm, State of Washington, Plans, Exercise, Education and Trainin g Unit M.P. Hedges, Drill Evaluator R.J. Hintz, Principal Health Physicist D.B. Holmes, Emergency Planner R.E. Jorgenson, Emergency Planner+ ++

A.F. Klauss, Emergency Planner+

J.A. Landon, Mechanical Craft Supervisor M.J. Mann, TSC Manager Sandi McInturff, Hanford Environmental Health Foundation Fernando Medina del Valle, Physicians Assistant, Hanford Environmental Health Foundation L.S. Morris, Drill Controller J.T.Nelson, HP Technician Dianne Offord, State of Washington, Programs Management and Liaison Unit J.F. Peters, Quality L.S. Peters, Quality, WNP-1 G.D. Phillips, HP Technician L.A. Pritchard, ERO Team D G.J. Reed, Emergency Preparedness Manager+ ++

John Scheer, Franklin County Emergency Director W.D. Shaeffer, TSC Manager V.E. Shockley, ERO Team D J.L. Standley, Mechanic, J.M. Taylor, ERO Team D Maillian Uphaus, State of Washington, Programs Management and Liaison Unit R.L. Utter, Training Lead R.E. Welch, ERO Team D D. Wright, Facilities C.E. Young, Radiation Protection N.D. Zimmerman, Drill Controller

+ Attended Entrance Meeting

++ Attended Exit Meeting 12

e QUALITYDIRECTORATE AUDIT296%18 APPENDIX B Additional Supporting Documentation Applicable Supporting Documentation will be maintained in the permanent audit files as part of the specific checklist questions to which it applies.

13

QUALXIVDIRECTORATE AUDIT296%18 APPENDIX C References 10CFR50.47, Emergency Plans 10CFR50.54, Conditions of Licenses 10CFR50, Appendix E, Emergency Planning and Preparedness for Production and Utilization Facilities NUREG 0654, FEMA REP-1, Rev. 1; Criteria for Preparation and Evaluation of Radiological Emergency Response Plans and Preparedness in Support of Nuclear Power Plants;Section II.B WNP-2 Emergency Preparedness Plan, Rev 16 WNP-2 Emergency Preparedness Program Six Year Plan, October 26, 1995 1995 Dress Rehearsal Drill Report 1995 Evaluated Exercise Drill Report NRC Inspection Procedure 82301, "Evaluation of Exercises for Power Reactors" Drill and Exercise manual for WNP-2, Rev 2 EP Program Self-Assessment, February 29, 1995 EPPP-03, 01/26/96, "Maintaining the Six Year Plan" Volume 13 series of Emergency Plan Implementing Procedures 1995 Audit of Emergency Preparedness Program AU295-018 Memorandums of Understanding: Our Lady of Lourdes Hospital, Kadlec Medical Center, Kennewick General Hospital, DOE/HEHF, US FEMA Offsite Agency Phone Number List, Revision 28 NRC Temporary Instruction 2515/131, "Licensee Offsite Communication Capability" PASSPORT Predefined Database Completed PASSPORT Worksheets Work Orders: MS1601, MS1801, KZ8801, YV8401, YV8701 Problem Evaluation Requests (PERs): 295-285, 295-296, 295-286, 295-1188, 295-1231, 295-1010, 294-303, 295-254, a!ld 295-293 14

QUALITYDIRECTORATE AUDIT296%18 APPENDIX D PROBLEM EVALUATIONREQUESTS:

PER 296-0213D - The foHowing discrepancies were noted in the Final Safety Analysis Report (FSAR):

MER EN Y PREPARED PLA F AR Err r FSAR, Section 12.3.1.2 - Traffic Patterns The description of the basic traffic flow for personnel entering the plant is incorrect.

FSAR, Section 12.5.2.2 The description of the EOF backup chemistry area references an incorrect figure (10-8) in the Emergency Preparedness Plan.

FSAR, Figure 12.5 EOF/PSF Floor Plans This figure does not reflect the last remodeling of the EOF.

FSAR, Section 6.4.1 This section states that emergency supplies for the Control Room, TSC, and OSC will be provided by the TSC. The Control Room and the OSC now have their own supplies.

FSAR, Section 12.1.1.1 - Organization This section incorrectly states that the Safety Department reports to the Operations Directorate.

FSAR, Section 12.1.2.1.r The process description for radwaste drums is not accurate.

Emergency Preparedness Plan, Appendix 3 The Plan incorrectly states that two decontamination kits are located in the Service Building.

Emergency Preparedness Plan, Section 2.3.1.5 This section states that a Control Room Supervisor is on shift, as required by Technical Specifications, to respond to the Emergency Plan. However, Technical Specifications and PPM 1.3.1 state that a CRS is not required in Modes 4 and 5.

Emergency Plan, Section 6.2.8 Contrary to this section, the TLD processing equipment was outsourced to TMA/Eberline and removed from the Supply System external dosimetry area. In this example, changes in the Emergency Plan were implemented prior to the performance of a Licensing Basis Impact Determination and submittal of a SCN. Supply System contract C31087 was initiated with TMA/Eberline on September 25, 1995, to process personnel and REMP environmental TLDs.

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/

QUALIIYDIRECTORATE AUDITREPORT 296-018 WNP-2 EM<AGENCY PREPAREDNESS PROGRAM ri uti n JP Albers/927K JW Baker/1023 WH Barley/PE21 KM Gunter/PE21 BJ Hahn/PE21 SS Kim/PE21 GJ Kucera/130 DE McCauley/927R CR Madden/927H MM Monopoli/927S

  • JJ Muth/PE21 JV Parrish/1023 JF Peters/PE21
  • GJ Reed/1020 CJ Schwarz/9270 GO Smith/927M JH Swailes/PE27 DA Swank/PE20 RL Webring/1021 JC Wiles/PE21 .

Q Routing Audit File 296-018 BK (3)

  • RESPONSE REQUBU<3)

SEE AUDIT REPORT RECOMVXENDATIONS

QUALITYDIRECTORATE AUDIT296%18 e

QA RECOMINFWDATION EVALUATIONNUMBER: AU296-018 RECOMhQPlDATION MlMBER: AU296-018-A DATE: April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMNO~22IDATION:

Initiate actions to correct concerns identtji ed by Quality during observation of the March 8, 1996 quarterly training drill.

RESPONSE:*

The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

16

QUALITYDIRECTORATS AUDIT296%18 QA RECOMNF~ATXON EVALUATIONNUMBER: AU 296-018 RECOMMXNDATIONNUMBER: AU296-018-B DATE: April 3, 1996 ORGANIZATION: Quality PERSON CONTACTED: W.H. Barley RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:

Perform a follow up assessment of the effectiveness of corrective actions implemented per Quality Recommendation AU255-018-A.

RESPONSE:*

F

~e response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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QUALITYDIRECTORATE AUDIT296-018 QA RECOMCEM)ATION EVALUATIONNUMBER: AU296-018 RECOMM2$DATION NUMBER: AU296-018-C DATE: April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: D.B. Holmes RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMPlDATIO¹ Establish a cross reference of PASSPORT activities to PPM 13.14.4 attachments.

RESPONSE:*

  • The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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QUALITYDIRECTORATE AUDIT296418

~

QA RECOMMENDATION EVALUATIONNUMBER: AU296-018 RECOMMENDATIONNUMBER: AU296-018-D DATE: April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: D.B. Holmes RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:

Revise the following procedures to reference the TSC and EOF HVAC equipment. Add a note to if notify EP the equipment does not meet acceptance criteria.

PPM 10.2.39- "Pre-Filter, HEPA Filter, and Carbon Absorber Changeout PPM 10.2.82 - "HEPA Filter In-Place Testing" PPM 10.2.83 - "Carbon Filter In-Place Testing" RESPONSEP The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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QUALITYDIRECTORATE AUDIT 296%18 QA RECOMNFKDATION EVALUATIONNUMBER: AU296-018 RECOMMFADATIONNUMBER: AU296-018-E DATE: April 3, 1996 ORGANIZATIO¹ Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: J.C. Wiles RECOMMFADATIO¹ Revise PPM 13.14.8 corrective action process to align with PPM 1.3.12.

" RESPONSE:*

  • The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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~ QUALITYDIRECI'ORATE AUDIT296%18

~

QA RECOMNEM)AYjON EVALUATIONNUMBER: AU296-018 RECOMM<221DATION NUICBER: AU296-018-F DATE: April 3, 1996 ORGANIZATION: Emergency Preparedness PERSON CONTACTED: G.J. Reed RESPONSE DUE DATE: June 3, 1996 AUTHOR: J.C. Wiles RECOMMENDATION:

Implement Quality Recommendations 295-OI8-E and 295-018-F.

RESPONSEP

~e response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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QUALITYDIRECTORATE AUDIT29618 QA RECOMMENDATION EVALUATIONNUMBER: AU296-018 RECOMMENDATIONNUMBER: AU296-018-G DATE: April 3, 1996 ORGANIZATION: Quality PERSON CONTACTED: W.H. Barley RESPONSE DUE DATE: June 3, 1996 AUTHOR: K.M. Gunter RECOMMENDATION:

Reword OQAPD, Chapter 1, Section 13.2.1, for Qualiry Director responsibilities.

RESPONSE

  • The response should address action to be taken and proposed completion date. If no action is deemed necessary, the logic for this conclusion should be presented.

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