IR 05000259/2013301: Difference between revisions

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| issue date = 07/23/2013
| issue date = 07/23/2013
| title = Er 05000259/13-301, 05000260/13-301 and 05000296/13-301, Operating Test June 3-7, 2013, & Written Exam June 28, 2013, Browns Ferry Nuclear Plant, Operator License Examinations, Units 1, 2, and 3
| title = Er 05000259/13-301, 05000260/13-301 and 05000296/13-301, Operating Test June 3-7, 2013, & Written Exam June 28, 2013, Browns Ferry Nuclear Plant, Operator License Examinations, Units 1, 2, and 3
| author name = Franke M E
| author name = Franke M
| author affiliation = NRC/RGN-II/DRS
| author affiliation = NRC/RGN-II/DRS
| addressee name = Shea J W
| addressee name = Shea J
| addressee affiliation = Tennessee Valley Authority
| addressee affiliation = Tennessee Valley Authority
| docket = 05000259, 05000260, 05000296
| docket = 05000259, 05000260, 05000296
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:
{{#Wiki_filter:UNITED STATES uly 23, 2013
[[Issue date::July 23, 2013]]


Mr. Joseph Vice President, Nuclear Licensing Tennessee Valley Authority
==SUBJECT:==
 
BROWNS FERRY NUCLEAR PLANT - NRC OPERATOR LICENSE EXAMINATION REPORT NOS 05000259/2013301, 05000260/2013301 AND 05000296/2013301
1101 Market Street, LP 3D-C
 
Chattanooga, TN 37402-2801
 
SUBJECT: BROWNS FERRY NUCLEAR PLANT - NRC OPERATOR LICENSE EXAMINATION REPORT NOS 05000259/2013301, 05000260/2013301 AND  
 
05000296/2013301


==Dear Mr. Shea:==
==Dear Mr. Shea:==
Line 38: Line 30:
The initial written SRO examination submitted by your staff failed to meet the guidelines for quality contained in NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 9, Supplement 1, as described in the enclosed report.
The initial written SRO examination submitted by your staff failed to meet the guidelines for quality contained in NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 9, Supplement 1, as described in the enclosed report.


In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4436
rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4436  


Sincerely,/RA/ Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Docket Nos: 50-259, 50-260, 50-296 License Nos: DPR-33, DPR-52, DPR-68  
Sincerely,
/RA/
Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Docket Nos: 50-259, 50-260, 50-296 License Nos: DPR-33, DPR-52, DPR-68


===Enclosures:===
===Enclosures:===
1. Report Details 2. Facility Comments and NRC Resolution  
1. Report Details 2. Facility Comments and NRC Resolution 3. Simulator Fidelity Report (


3. Simulator Fidelity Report
REGION II==
Docket No.: 50-259, 50-260, AND 50-296 License No.: DPR-33, DPR-52, and DPR-68 Report No.: 05000259/2013301, 05000260/2013301, and 05000296/2013301 Licensee: Tennessee Valley Authority (TVA), LLC Facility: Browns Ferry Nuclear Plant, Units 1, 2, and 3 Location: Athens, AL 35611 Dates: Operating Test - June 3 - 7, 2013 Written Examination - June 28, 2013 Examiners: Bruno Caballero, Chief, Senior Operations Engineer, RII/DRS/OLB2 Ken Schaaf, Operations Engineer, RII/DRS/OLB1 Andreas Goldau, Operations Engineer, RII/DRS/OLB2 Matt Emrich, Examiner-in-Training, TTC Approved by: Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Enclosure 1


(cc See page3)
=SUMMARY OF FINDINGS=
 
ER 05000259/2013301, 05000260/2013301, and 05000296/2013301; operating test
_________________________ x SUNSI REVIEW COMPLETE x FORM 665 ATTACHED OFFICE RII:DRS RII:DRS RII:DRS TTC RII:DRS SIGNATURE RA RA RA RA VIA EMAIL RA NAME CABALLERO SCHAAF GOLDAU EMRICH FRANKE DATE 7/ /2013 7/ /2013 7/ /2013 7/ /2013 7/ /2013 7/ /2013 7/ /2013 E-MAIL COPY? YES NO YES NO YES NO YES NO YES NO YES NO YES NO cc: K. J. Polson Site Vice President Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
 
S. M. Bono
 
Plant Manager Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
 
James E. Emens Manager, Site Licensing Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
 
E. W. Cobey Manager, Corporate Licensing
 
Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
 
T. A. Hess Program Manager Corporate Licensing Tennessee Valley Authority Electronic Mail Distribution Edward J. Vigluicci Associate General Counsel, Nuclear Tennessee Valley Authority Electronic Mail Distribution
 
Chairman Limestone County Commission 310 West Washington Street
 
Athens, AL 35611
 
State Health Officer Alabama Dept. of Public Health P.O. Box 303017
 
Montgomery, AL 36130-3017
 
Senior Resident Inspector U.S. Nuclear Regulatory Commission Browns Ferry Nuclear Plant
 
10833 Shaw Road
 
Athens, AL 35611-6970 Mr. Michael J. Wilson, Site Training Manager
 
Browns Ferry Nuclear Plant Tennessee Valley Authority P. O. Box 2000
 
Decatur, AL 35609-2000
 
Letter to Joseph from Mark E. Franke dated July 23, 2013
 
SUBJECT: BROWNS FERRY NUCLEAR PLANT - NRC OPERATOR LICENSE EXAMINATION REPORT NOS 05000259/2013301, 05000260/2013301 AND 05000296/2013301
 
DISTRIBUTION
: C. Evans, RII EICS L. Douglas, RII EICS RIDSNRRDIRS PUBLIC RidsNrrPMBrownsFerry Resource Enclosure 1 U.S. NUCLEAR REGULATORY COMMISSION REGION II
 
Docket No.: 50-259, 50-260, AND 50-296
 
License No.: DPR-33, DPR-52, and DPR-68
 
Report No.: 05000259/2013301, 05000260/2013301, and 05000296/2013301  
 
Licensee: Tennessee Valley Authority (TVA), LLC
 
Facility: Browns Ferry Nuclear Plant, Units 1, 2, and 3
 
Location: Athens, AL 35611


Dates: Operating Test - June 3 - 7, 2013 Written Examination - June 28, 2013
June 3 - 7, 2013, & written exam June 28, 2013; Browns Ferry Nuclear Plant, Operator License Examinations.
 
Examiners: Bruno Caballero, Chief, Senior Operations Engineer, RII/DRS/OLB2 Ken Schaaf, Operations Engineer, RII/DRS/OLB1 Andreas Goldau, Operations Engineer, RII/DRS/OLB2 Matt Emrich, Examiner-in-Training, TTC
 
Approved by: Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Enclosure 1
 
=SUMMARY OF FINDINGS=
ER 05000259/2013301, 05000260/2013301, and 05000296/2013301; operating test  June 3 - 7, 2013, & written exam June 28, 2013; Browns Ferry Nuclear Plant, Operator License Examinations.


Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.
Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.


Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. The initial written SRO examination submittal did not meet the quality guidelines contained in NUREG-1021.
Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. The initial written SRO examination submittal did not meet the quality guidelines contained in NUREG-1021.
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No findings were identified.
No findings were identified.
1


=REPORT DETAILS=
=REPORT DETAILS=
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====a. Inspection Scope====
====a. Inspection Scope====
Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final version of the examination materials.
Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final version of the examination materials.


The NRC reviewed the licensee's examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, "Integrity of examinations and tests."
The NRC reviewed the licensees examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, Integrity of examinations and tests.


The NRC examiners evaluated five Reactor Operator (RO) and three Senior Reactor Operator (SRO) applicants using the guidelines contained in NUREG-1021. The examiners administered the operating tests during the period June 3 - 7, 2013.
The NRC examiners evaluated five Reactor Operator (RO) and three Senior Reactor Operator (SRO) applicants using the guidelines contained in NUREG-1021. The examiners administered the operating tests during the period June 3 - 7, 2013.


Members of the Browns Ferry Nuclear Plant training staff administered the written examination on June 28, 2013. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Browns Ferry Nuclear Plant, met the requirements specified in 10 CFR Part 55, "Operators' Licenses."
Members of the Browns Ferry Nuclear Plant training staff administered the written examination on June 28, 2013. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Browns Ferry Nuclear Plant, met the requirements specified in 10 CFR Part 55, Operators Licenses.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


The NRC determined that the licensee's examination submittal was outside the range of acceptable quality specified by NUREG-1021. The initial written examination submittal was outside the range of acceptable quality because more than 20% (8 of 25 sampled) of the SRO questions sampled for review contained unacceptable flaws. Individual questions were evaluated as unsatisfactory for the following reasons:
The NRC determined that the licensees examination submittal was outside the range of acceptable quality specified by NUREG-1021. The initial written examination submittal was outside the range of acceptable quality because more than 20% (8 of 25 sampled)of the SRO questions sampled for review contained unacceptable flaws. Individual questions were evaluated as unsatisfactory for the following reasons:
* Five questions contained two or more implausible distractors.
* Five questions contained two or more implausible distractors.
* Two questions on the SRO examination were not written at the SRO license level.
* Two questions on the SRO examination were not written at the SRO license level.
* One question failed to meet the K/A statement contained in the examination outline.
* One question failed to meet the K/A statement contained in the examination outline.


The NRC regional office returned the entire written examination, containing 100 questions, to the licensee for rework and correction in accordance with NUREG-1021. Administration of the written examination was delayed, in part, because the quality of the licensee's examination submittal was unacceptable. Future examination submittals need to incorporate lessons learned.
The NRC regional office returned the entire written examination, containing 100 questions, to the licensee for rework and correction in accordance with NUREG-1021.


1 Three RO applicants and three SRO applicants passed both the operating test and written examination. Two RO applicants passed the written examination but did not pass the operating test.
Administration of the written examination was delayed, in part, because the quality of the licensees examination submittal was unacceptable. Future examination submittals need to incorporate lessons learned.


One RO applicant and three SRO applicants were issued licenses. Issuance of the licenses for two RO applicants has been delayed pending receipt of additional information. Details concerning the need for additional information have been sent to the individual applicants and the facility licensee.
Three RO applicants and three SRO applicants passed both the operating test and written examination. Two RO applicants passed the written examination but did not pass the operating test. One RO applicant and three SRO applicants were issued licenses. Issuance of the licenses for two RO applicants has been delayed pending receipt of additional information. Details concerning the need for additional information have been sent to the individual applicants and the facility licensee.


The following generic weaknesses were discussed at the exit meeting:
The following generic weaknesses were discussed at the exit meeting:
* The RO applicants' performance during plant evolutions with the reactor at low power was weak. For example, administrative log taking in Mode 5, response to a feed pump trip during a startup scenario, and adjustment of the cool down rate using integrated computer screens during shutdown cooling operations.
* The RO applicants performance during plant evolutions with the reactor at low power was weak. For example, administrative log taking in Mode 5, response to a feed pump trip during a startup scenario, and adjustment of the cool down rate using integrated computer screens during shutdown cooling operations.
* The RO and SRO applicants' implementation of the requirement to stop rod withdrawal prior to reaching the rod block monitor (RBM) set point was weak. That is, the applicants failed to stop rod withdrawals prior to receiving the RBM High/Inop alarm.
* The RO and SRO applicants implementation of the requirement to stop rod withdrawal prior to reaching the rod block monitor (RBM) set point was weak.
 
That is, the applicants failed to stop rod withdrawals prior to receiving the RBM High/Inop alarm.


Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.
Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.


The licensee submitted three post-examination comments concerning the operating test. A copy of the final written examination and answer key, with all changes incorporated, and the licensee's post-examination comments may be accessed not earlier than July 9, 2015, in the ADAMS system (ADAMS Accession Number(s)
The licensee submitted three post-examination comments concerning the operating test. A copy of the final written examination and answer key, with all changes incorporated, and the licensees post-examination comments may be accessed not earlier than July 9, 2015, in the ADAMS system (ADAMS Accession Number(s)
ML13191A869, ML13191A879, and ML13191A882.
ML13191A869, ML13191A879, and ML13191A882.


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On June 7, 2013 the NRC examination team discussed generic issues associated with the operating test with Lang Hughes, Operations Manager, and members of the Browns Ferry Nuclear Plant staff. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.
On June 7, 2013 the NRC examination team discussed generic issues associated with the operating test with Lang Hughes, Operations Manager, and members of the Browns Ferry Nuclear Plant staff. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.


1 KEY POINTS OF CONTACT Licensee personnel Lang Hughes, Operations Senior Manager James Emens, Site Licensing Manager Steve Austin, Licensing Manager Russell Joplin, Corporate Training Director Daniel Laing, Site Training Director Hal Higgins, Nuclear Operations Training Supervisor Doug Hakenewerth, Operations Shift Manager  
KEY POINTS OF CONTACT Licensee personnel Lang Hughes, Operations Senior Manager James Emens, Site Licensing Manager Steve Austin, Licensing Manager Russell Joplin, Corporate Training Director Daniel Laing, Site Training Director Hal Higgins, Nuclear Operations Training Supervisor Doug Hakenewerth, Operations Shift Manager NRC personnel Dave Dumbacker, NRC Senior Resident Inspector
 
NRC personnel Dave Dumbacker, NRC Senior Resident Inspector 2


=FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS=
=FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS=


A complete text of the licensee's post-examination comments can be found in ADAMS under Accession Number ML13191A882.
A complete text of the licensees post-examination comments can be found in ADAMS under
Item #1: Walk-Through - Job Performance Measure (JPM) Administrative Topic "b", SR-2
Accession Number ML13191A882.
Operator Logs in Mode 5  
Item #1: Walk-Through - Job Performance Measure (JPM) Administrative Topic b, SR-2
 
Operator Logs in Mode 5
Comment  The licensee recommended that Steps 5 and 8 of this JPM were NOT critical steps.  
Comment
* The licensee's basis for why JPM Step 5 was not a critical step was that the applicability listed in SR-2, Instrument Checks and Observations, Table 4.5, Mode Switch Position,
The licensee recommended that Steps 5 and 8 of this JPM were NOT critical steps.
was: o Mode 5 with the Reactor Mode Switch in the REFUEL position and any control rod
    *   The licensees basis for why JPM Step 5 was not a critical step was that the applicability
withdrawn
listed in SR-2, Instrument Checks and Observations, Table 4.5, Mode Switch Position,
OR o Mode 4 when in Special Operation LCO 3.10.4
was:
Because the actual plant condition presented to the applicants (on the simulator) was that the Mode Switch was locked in the REFUEL (Mode 5) position, with all rods fully
o   Mode 5 with the Reactor Mode Switch in the REFUEL position and any control rod
inserted, the licensee contended that the applicant could record either "SAT" or "NOT APPLICABLE" for JPM Step 5.  
withdrawn OR
* The licensee's basis for why JPM Step 8 was not a critical step was that the actual plant condition presented to the applicants (on the simulator) was the vessel head removed and the cavity flooded to greater than 22 feet above the RPV flange. The licensee
o   Mode 4 when in Special Operation LCO 3.10.4
contended that the potential for thermal stratification could not, and did not, exist; therefore, performing the RPV differential temperature calculation in JPM Step 8 was not critical.  
Because the actual plant condition presented to the applicants (on the simulator) was
 
that the Mode Switch was locked in the REFUEL (Mode 5) position, with all rods fully
inserted, the licensee contended that the applicant could record either SAT or NOT
APPLICABLE for JPM Step 5.
    *   The licensees basis for why JPM Step 8 was not a critical step was that the actual plant
condition presented to the applicants (on the simulator) was the vessel head removed
and the cavity flooded to greater than 22 feet above the RPV flange. The licensee
contended that the potential for thermal stratification could not, and did not, exist;
therefore, performing the RPV differential temperature calculation in JPM Step 8 was not
critical.
NRC Resolution
NRC Resolution
The licensee's recommendation was accepted.  
The licensees recommendation was accepted.
 
For this administrative JPM, the applicant was expected to perform operator logs in accordance
For this administrative JPM, the applicant was expected to perform operator logs in accordance
with SR-2, Instrument Checks and Observations, for Tables 4.1 through 4.7 while the unit was
with SR-2, Instrument Checks and Observations, for Tables 4.1 through 4.7 while the unit was
in Mode 5, Refueling, and use the table notes to determine whether acceptance criteria was satisfied. The following items were required to be logged and identified by the applicant:  
in Mode 5, Refueling, and use the table notes to determine whether acceptance criteria was
* Table 4.1, IRM Instrumentation  
satisfied. The following items were required to be logged and identified by the applicant:
* Table 4.2, SRM Instrumentation (identify 'A' SRM inoperable; critical step)  
    *   Table 4.1, IRM Instrumentation
* Table 4.3, Level Instrumentation  
    *   Table 4.2, SRM Instrumentation (identify A SRM inoperable; critical step)
* Table 4.4.a, Control Rod Position
    *   Table 4.3, Level Instrumentation
o write "All Rods In" for Column A (critical step)
    *   Table 4.4.a, Control Rod Position
o write "not applicable" for Column B (critical step because local observation of
o write All Rods In for Column A (critical step)
o write not applicable for Column B (critical step because local observation of
hydraulic control unit (HCU) pressure indicator was not required when all rods
hydraulic control unit (HCU) pressure indicator was not required when all rods
were inserted)
were inserted)
Enclosure 2
 
* JPM Step 5: Table 4.5, Mode Switch Position  
    *   JPM Step 5: Table 4.5, Mode Switch Position
* Table 4.6, Reactor Coolant Conductivity (record between 4 - 6 µmhos; critical step)  
    *   Table 4.6, Reactor Coolant Conductivity (record between 4 - 6 µmhos; critical step)
* Table 4.7, Part 1, RHR Shutdown Cooling (SDC) (identify flow requirements not met; critical step)  
    *   Table 4.7, Part 1, RHR Shutdown Cooling (SDC) (identify flow requirements not met;
* JPM Step 8: Table 4.7, Part 2, Vessel Differential Temperature (Record the bottom and top RPV temperatures, then subtract to obtain the overall RPV temperature difference)
critical step)
    *   JPM Step 8: Table 4.7, Part 2, Vessel Differential Temperature (Record the bottom and
top RPV temperatures, then subtract to obtain the overall RPV temperature difference)
NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,
NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,
Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step
Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step
that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the proper time) in order to accomplish the task standard shall be identified as a critical step
that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the
. The task standard was to perform operator logs in accordance with SR-2, Instrument Checks and Observations, for log tables 4.1 through 4.7 and to verify acceptance criteria were satisfied in
proper time) in order to accomplish the task standard shall be identified as a critical step. The
accordance with notes.  
task standard was to perform operator logs in accordance with SR-2, Instrument Checks and
 
Observations, for log tables 4.1 through 4.7 and to verify acceptance criteria were satisfied in
For JPM Step 5, because no control rods were withdrawn, Table 4.5, Mode Switch Position was not required to be performed. Therefore, completion of JPM Step 5 was not required to accomplish the task standard because, with all rods fully inserted, Table 4.5 was not applicable.  
accordance with notes.
 
For JPM Step 5, because no control rods were withdrawn, Table 4.5, Mode Switch Position was
not required to be performed. Therefore, completion of JPM Step 5 was not required to
accomplish the task standard because, with all rods fully inserted, Table 4.5 was not applicable.
For JPM Step 8, the actual plant condition presented to the applicants (on the simulator) was
For JPM Step 8, the actual plant condition presented to the applicants (on the simulator) was
the vessel head as removed and the cavity flooded to greater than 22 feet above the RPV
the vessel head as removed and the cavity flooded to greater than 22 feet above the RPV
flange. The actual temperature difference across the RPV (bottom to top) was 10.9 °
flange. The actual temperature difference across the RPV (bottom to top) was 10.9 °F. Based
: [[contact::F. Based on Note 6]], a temperature differential  50°F was indicative of inadequate mixing and stratification of the water in the RPV; however, this value was impossible to achieve since the vessel head was removed and cavity flooded. Because the plant condition presented to the
on Note 6, a temperature differential  50°F was indicative of inadequate mixing and
stratification of the water in the RPV; however, this value was impossible to achieve since the
vessel head was removed and cavity flooded. Because the plant condition presented to the
applicants (on the simulator) was not affiliated with a situation where thermal stratification could
applicants (on the simulator) was not affiliated with a situation where thermal stratification could
ever occur, performance of JPM Step 8 was determined to be not critical.
ever occur, performance of JPM Step 8 was determined to be not critical.
 
Item #2: Walk-Through - Job Performance Measure (JPM) Administrative Topic a, Work Hour
Item #2: Walk-Through - Job Performance Measure (JPM) Administrative Topic "a", Work Hour Limitations - SRO Version  
Limitations - SRO Version
 
Comment
Comment  The licensee recommended that a typographical error existed in the standard for JPM Step 1.  
The licensee recommended that a typographical error existed in the standard for JPM Step 1.
 
The basis for the licensees recommendation was that the operator first exceeded the 72 hours
The basis for the licensee's recommendation was that the operator first exceeded the 72 hours
in a 7 day period work limitation on April 20 at 15:00. The licensee contended that standard for
in a 7 day period work limitation on April 20 at 15:00. The licensee contended that standard for this JPM step incorrectly listed that the operator first exceeded this work hour limitation on April 20 at 11:00.  
this JPM step incorrectly listed that the operator first exceeded this work hour limitation on April
 
at 11:00.
NRC Resolution
NRC Resolution
The licensee's recommendation was accepted.
The licensees recommendation was accepted.
For this administrative JPM, the applicant was expected to analyze two operators' work
For this administrative JPM, the applicant was expected to analyze two operators work
schedules and identify the date and time that one reactor operator exceeded 72 work hours in a
schedules and identify the date and time that one reactor operator exceeded 72 work hours in a
day period (critical step). Additionally, the applicant was expected to identify the date and
day period (critical step). Additionally, the applicant was expected to identify the date and
time that the same operator also failed to meet the requirement for 3 days off in a 15 day period  
time that the same operator also failed to meet the requirement for 3 days off in a 15 day period
(critical step).
(critical step).
Enclosure 2 After identifying the date and times of the reactor operator's non-compliance with the Fatigue Rule, the applicant was expected to:
* Notify the Nuclear Fatigue Rule (NFR) Ad
ministrator, Operations Manager, and Site NFR Subject Matter Expert (critical step).
* Generate a problem evaluation report (PER) (critical step)
* Determine that Tech Spec 5.2.2, Unit Staff, required another operator to replace the operator within 2 hours, because control room staffing was below minimum (critical step).
The examiners verified, based on the work schedules presented to the applicants, the operator first exceeded the 72 work hour in a 7 day period work limitation on April 20
th at 15:00 and the same operator also failed to meet the requirement for 3 days off in a 15 day period on April 20
th at 07:00. Therefore, the licensee's recommendation that the standard for JPM Step 1 contained
a typographical error was accepted.
Item #3:  Walk-Through - Job Performance Measure (JPM) Systems - Control Room Topic "e", Verify Traversing Incore Probe (TIP) Isolation
Comment  The licensee recommended that Steps 6 and 12 of this JPM were NOT critical steps.


After identifying the date and times of the reactor operators non-compliance with the Fatigue
Rule, the applicant was expected to:
*    Notify the Nuclear Fatigue Rule (NFR) Administrator, Operations Manager, and Site NFR
Subject Matter Expert (critical step).
*    Generate a problem evaluation report (PER) (critical step)
*    Determine that Tech Spec 5.2.2, Unit Staff, required another operator to replace the
operator within 2 hours, because control room staffing was below minimum (critical step).
The examiners verified, based on the work schedules presented to the applicants, the operator
first exceeded the 72 work hour in a 7 day period work limitation on April 20th at 15:00 and the
same operator also failed to meet the requirement for 3 days off in a 15 day period on April 20th
at 07:00. Therefore, the licensees recommendation that the standard for JPM Step 1 contained
a typographical error was accepted.
Item #3: Walk-Through - Job Performance Measure (JPM) Systems - Control Room Topic e,
Verify Traversing Incore Probe (TIP) Isolation
Comment
The licensee recommended that Steps 6 and 12 of this JPM were NOT critical steps.
For JPM Step 6, the licensee contended that placing the Manual TIP Drive Control Switch to the
For JPM Step 6, the licensee contended that placing the Manual TIP Drive Control Switch to the
OFF position, after the TIP had been manually retracted, was not a critical step because the in-shield limit switch turned off the detector drive motor. Because the detector drive motor was stopped by the in-shield limit switch, the licensee contended that JPM Step 6 was not a critical
OFF position, after the TIP had been manually retracted, was not a critical step because the in-
shield limit switch turned off the detector drive motor. Because the detector drive motor was
stopped by the in-shield limit switch, the licensee contended that JPM Step 6 was not a critical
step.
step.
For JPM Step 12, the licensee contended that placing the TIP C & E Manual Valve Control
For JPM Step 12, the licensee contended that placing the TIP C & E Manual Valve Control
Switches to the CLOSED position was not critical because the ball valve had already automatically closed for TIP C and because the shear valve was activated for TIP E.
Switches to the CLOSED position was not critical because the ball valve had already
automatically closed for TIP C and because the shear valve was activated for TIP E.
NRC Resolution
NRC Resolution
 
The licensees recommendation was accepted.
The licensee's recommendation was accepted.
For this JPM, the applicant was expected to recognize that TIP detectors A, B, D, and E failed to
For this JPM, the applicant was expected to recognize that TIP detectors A, B, D, and E failed to
automatically retract (TIP C did auto-retract) and then manually retract and isolate TIPs in
automatically retract (TIP C did auto-retract) and then manually retract and isolate TIPs in
accordance with 2-AOI-64-2E, Traversing Incore Probe Isolation. The applicant was also
accordance with 2-AOI-64-2E, Traversing Incore Probe Isolation. The applicant was also
expected to identify that TIP E failed to manually retract and then activate its associated explosive shear valve. The following expected actions were designated as critical steps in the
expected to identify that TIP E failed to manually retract and then activate its associated
JPM:  
explosive shear valve. The following expected actions were designated as critical steps in the
* Place Mode Switch to the MANUAL position for TIP drives A, B, D, and E  
JPM:
* Place the Manual Switch to the REV position for TIP drives A, B, D, and E (identifying TIP E fails to retract)  
    *   Place Mode Switch to the MANUAL position for TIP drives A, B, D, and E
* JPM Step 6: Return the Manual Switch to the OFF position for TIP drives A, B, D, and E  
    *   Place the Manual Switch to the REV position for TIP drives A, B, D, and E (identifying
* Place Man Valve Control Switch to the CLOSED position for TIP drives A, B, and D  
TIP E fails to retract)
* Obtain key PA-235
    *   JPM Step 6: Return the Manual Switch to the OFF position for TIP drives A, B, D, and E
Enclosure 2
    *   Place Man Valve Control Switch to the CLOSED position for TIP drives A, B, and D
* Insert key into the key lock switch for the TIP E shear valve and turn the key to the FIRE position
    *   Obtain key PA-235
* JPM Step 12:  Place all five TIP MAN VALVE CONTROL switches in CLOSED position


    *    Insert key into the key lock switch for the TIP E shear valve and turn the key to the FIRE
position
    *    JPM Step 12: Place all five TIP MAN VALVE CONTROL switches in CLOSED position
NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,
NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,
Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step
Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step
that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the proper time) in order to accomplish the task standard shall be identified as a critical step
that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the
. The task standard was 1) TIPs A, B, and D are manually driven inward and their associated ball isolation valves closed after the TIP was moved to the In-Shield position and 2) the TIP E shear
proper time) in order to accomplish the task standard shall be identified as a critical step. The
task standard was 1) TIPs A, B, and D are manually driven inward and their associated ball
isolation valves closed after the TIP was moved to the In-Shield position and 2) the TIP E shear
valve was activated.
valve was activated.
For JPM Step 6, an in-shield position limit switch de-energized the detector drive motor.
For JPM Step 6, an in-shield position limit switch de-energized the detector drive motor.
Therefore, placing the Manual Switch to the OFF position was not required to complete the task.
Therefore, placing the Manual Switch to the OFF position was not required to complete the task.
JPM Step 6 was not a critical step.  
JPM Step 6 was not a critical step.
 
For JPM Step 12, placing the MAN VALVE CONTROL switch to the CLOSED position for TIP C
For JPM Step 12, placing the MAN VALVE CONTROL switch to the CLOSED position for TIP C was not critical because TIP C had already automatically retracted and its ball isolation valve was already closed, based on the initial plant conditions (on the simulator) presented to the applicants. Placing the MAN VALVE CONTROL switch to the CLOSED position for TIP E was
was not critical because TIP C had already automatically retracted and its ball isolation valve
not critical because TIP E was manually isolated via the explosive shear valve, which effectively isolates the TIP penetration. TIPs A, B, and D MAN VALVE CONTROL switches had already been placed to the CLOSED position in a previous procedure step. Therefore, JPM Step 12 was not a critical step.  
was already closed, based on the initial plant conditions (on the simulator) presented to the
 
applicants. Placing the MAN VALVE CONTROL switch to the CLOSED position for TIP E was
not critical because TIP E was manually isolated via the explosive shear valve, which effectively
isolates the TIP penetration. TIPs A, B, and D MAN VALVE CONTROL switches had already
been placed to the CLOSED position in a previous procedure step. Therefore, JPM Step 12 was
not a critical step.
SIMULATOR FIDELITY REPORT
SIMULATOR FIDELITY REPORT
Facility Licensee: Browns Ferry Nuclear Plant
Facility Licensee: Browns Ferry Nuclear Plant
Facility Docket No.: 50-259, 50-260, AND 50-296  
Facility Docket No.: 50-259, 50-260, AND 50-296
 
Operating Test Administered: June 3 - 7, 2013
Operating Test Administered: June 3 - 7, 2013
This form is to be used only to report observations. These observations do not constitute audit or inspection findings and, without further verification and review in accordance with Inspection
This form is to be used only to report observations. These observations do not constitute audit
or inspection findings and, without further verification and review in accordance with Inspection
Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee
Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee
action is required in response to these observations.
action is required in response to these observations.
During the onsite preparatory visit during the period of May 6 - 10, 2013, the examiners observed the following:  
During the onsite preparatory visit during the period of May 6 - 10, 2013, the examiners
 
observed the following:
Item Description
Item                                                       Description
Problem Report # 5348 U2 simulator FW flow oscillations at low power during scenario validation
Problem Report # 5348                                 U2 simulator FW flow oscillations at low
power during scenario validation
3
}}
}}

Latest revision as of 05:05, 20 March 2020

Er 05000259/13-301, 05000260/13-301 and 05000296/13-301, Operating Test June 3-7, 2013, & Written Exam June 28, 2013, Browns Ferry Nuclear Plant, Operator License Examinations, Units 1, 2, and 3
ML13205A410
Person / Time
Site: Browns Ferry  Tennessee Valley Authority icon.png
Issue date: 07/23/2013
From: Mark Franke
Division of Reactor Safety II
To: James Shea
Tennessee Valley Authority
References
50-259/13-301, 50-260/13-301, 50-296/13-301
Download: ML13205A410 (15)


Text

UNITED STATES uly 23, 2013

SUBJECT:

BROWNS FERRY NUCLEAR PLANT - NRC OPERATOR LICENSE EXAMINATION REPORT NOS 05000259/2013301, 05000260/2013301 AND 05000296/2013301

Dear Mr. Shea:

During the period June 3 - 7, 2013, the Nuclear Regulatory Commission (NRC) administered operating tests to employees of your company who had applied for licenses to operate the Browns Ferry Nuclear Plant. At the conclusion of the tests, the examiners discussed preliminary findings related to the operating tests and the written examination submittal with those members of your staff identified in the enclosed report. The written examination was administered by your staff on June 28, 2013.

Three Reactor Operator (RO) and three Senior Reactor Operator (SRO) applicants passed both the operating test and written examination. Two RO applicants failed the operating test. There were three post-administration comments concerning the operating test. These comments, and the NRC resolution of these comments, are summarized in Enclosure 2. A Simulator Fidelity Report is included in this report as Enclosure 3.

The initial written SRO examination submitted by your staff failed to meet the guidelines for quality contained in NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 9, Supplement 1, as described in the enclosed report.

In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4436

Sincerely,

/RA/

Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Docket Nos: 50-259, 50-260, 50-296 License Nos: DPR-33, DPR-52, DPR-68

Enclosures:

1. Report Details 2. Facility Comments and NRC Resolution 3. Simulator Fidelity Report (

REGION II==

Docket No.: 50-259, 50-260, AND 50-296 License No.: DPR-33, DPR-52, and DPR-68 Report No.: 05000259/2013301, 05000260/2013301, and 05000296/2013301 Licensee: Tennessee Valley Authority (TVA), LLC Facility: Browns Ferry Nuclear Plant, Units 1, 2, and 3 Location: Athens, AL 35611 Dates: Operating Test - June 3 - 7, 2013 Written Examination - June 28, 2013 Examiners: Bruno Caballero, Chief, Senior Operations Engineer, RII/DRS/OLB2 Ken Schaaf, Operations Engineer, RII/DRS/OLB1 Andreas Goldau, Operations Engineer, RII/DRS/OLB2 Matt Emrich, Examiner-in-Training, TTC Approved by: Mark E. Franke, Chief Operations Branch 2 Division of Reactor Safety Enclosure 1

SUMMARY OF FINDINGS

ER 05000259/2013301, 05000260/2013301, and 05000296/2013301; operating test

June 3 - 7, 2013, & written exam June 28, 2013; Browns Ferry Nuclear Plant, Operator License Examinations.

Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.

Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. The initial written SRO examination submittal did not meet the quality guidelines contained in NUREG-1021.

The NRC administered the operating tests during the period June 3 - 7, 2013. Members of the Browns Ferry Nuclear Plant training staff administered the written examination on June 28, 2013. Three Reactor Operator (RO) and three Senior Reactor Operator (SRO) applicants passed both the operating test and written examination. Four applicants were issued licenses commensurate with the level of examination administered. Issuance for two RO applicants has been delayed pending receipt of additional information.

There were three post-examination comments.

No findings were identified.

REPORT DETAILS

OTHER ACTIVITIES

4OA5 Operator Licensing Examinations

a. Inspection Scope

Members of the Browns Ferry Nuclear Plant staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 9, Supplement 1, of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final version of the examination materials.

The NRC reviewed the licensees examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, Integrity of examinations and tests.

The NRC examiners evaluated five Reactor Operator (RO) and three Senior Reactor Operator (SRO) applicants using the guidelines contained in NUREG-1021. The examiners administered the operating tests during the period June 3 - 7, 2013.

Members of the Browns Ferry Nuclear Plant training staff administered the written examination on June 28, 2013. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Browns Ferry Nuclear Plant, met the requirements specified in 10 CFR Part 55, Operators Licenses.

b. Findings

No findings were identified.

The NRC determined that the licensees examination submittal was outside the range of acceptable quality specified by NUREG-1021. The initial written examination submittal was outside the range of acceptable quality because more than 20% (8 of 25 sampled)of the SRO questions sampled for review contained unacceptable flaws. Individual questions were evaluated as unsatisfactory for the following reasons:

  • Five questions contained two or more implausible distractors.
  • Two questions on the SRO examination were not written at the SRO license level.
  • One question failed to meet the K/A statement contained in the examination outline.

The NRC regional office returned the entire written examination, containing 100 questions, to the licensee for rework and correction in accordance with NUREG-1021.

Administration of the written examination was delayed, in part, because the quality of the licensees examination submittal was unacceptable. Future examination submittals need to incorporate lessons learned.

Three RO applicants and three SRO applicants passed both the operating test and written examination. Two RO applicants passed the written examination but did not pass the operating test. One RO applicant and three SRO applicants were issued licenses. Issuance of the licenses for two RO applicants has been delayed pending receipt of additional information. Details concerning the need for additional information have been sent to the individual applicants and the facility licensee.

The following generic weaknesses were discussed at the exit meeting:

  • The RO applicants performance during plant evolutions with the reactor at low power was weak. For example, administrative log taking in Mode 5, response to a feed pump trip during a startup scenario, and adjustment of the cool down rate using integrated computer screens during shutdown cooling operations.
  • The RO and SRO applicants implementation of the requirement to stop rod withdrawal prior to reaching the rod block monitor (RBM) set point was weak.

That is, the applicants failed to stop rod withdrawals prior to receiving the RBM High/Inop alarm.

Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.

The licensee submitted three post-examination comments concerning the operating test. A copy of the final written examination and answer key, with all changes incorporated, and the licensees post-examination comments may be accessed not earlier than July 9, 2015, in the ADAMS system (ADAMS Accession Number(s)

ML13191A869, ML13191A879, and ML13191A882.

4OA6 Meetings, Including Exit

Exit Meeting Summary

On June 7, 2013 the NRC examination team discussed generic issues associated with the operating test with Lang Hughes, Operations Manager, and members of the Browns Ferry Nuclear Plant staff. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.

KEY POINTS OF CONTACT Licensee personnel Lang Hughes, Operations Senior Manager James Emens, Site Licensing Manager Steve Austin, Licensing Manager Russell Joplin, Corporate Training Director Daniel Laing, Site Training Director Hal Higgins, Nuclear Operations Training Supervisor Doug Hakenewerth, Operations Shift Manager NRC personnel Dave Dumbacker, NRC Senior Resident Inspector

FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS

A complete text of the licensees post-examination comments can be found in ADAMS under

Accession Number ML13191A882.

Item #1: Walk-Through - Job Performance Measure (JPM) Administrative Topic b, SR-2

Operator Logs in Mode 5

Comment

The licensee recommended that Steps 5 and 8 of this JPM were NOT critical steps.

  • The licensees basis for why JPM Step 5 was not a critical step was that the applicability

listed in SR-2, Instrument Checks and Observations, Table 4.5, Mode Switch Position,

was:

o Mode 5 with the Reactor Mode Switch in the REFUEL position and any control rod

withdrawn OR

o Mode 4 when in Special Operation LCO 3.10.4

Because the actual plant condition presented to the applicants (on the simulator) was

that the Mode Switch was locked in the REFUEL (Mode 5) position, with all rods fully

inserted, the licensee contended that the applicant could record either SAT or NOT

APPLICABLE for JPM Step 5.

  • The licensees basis for why JPM Step 8 was not a critical step was that the actual plant

condition presented to the applicants (on the simulator) was the vessel head removed

and the cavity flooded to greater than 22 feet above the RPV flange. The licensee

contended that the potential for thermal stratification could not, and did not, exist;

therefore, performing the RPV differential temperature calculation in JPM Step 8 was not

critical.

NRC Resolution

The licensees recommendation was accepted.

For this administrative JPM, the applicant was expected to perform operator logs in accordance

with SR-2, Instrument Checks and Observations, for Tables 4.1 through 4.7 while the unit was

in Mode 5, Refueling, and use the table notes to determine whether acceptance criteria was

satisfied. The following items were required to be logged and identified by the applicant:

  • Table 4.1, IRM Instrumentation
  • Table 4.3, Level Instrumentation

o write All Rods In for Column A (critical step)

o write not applicable for Column B (critical step because local observation of

hydraulic control unit (HCU) pressure indicator was not required when all rods

were inserted)

  • JPM Step 5: Table 4.5, Mode Switch Position
  • Table 4.6, Reactor Coolant Conductivity (record between 4 - 6 µmhos; critical step)

critical step)

  • JPM Step 8: Table 4.7, Part 2, Vessel Differential Temperature (Record the bottom and

top RPV temperatures, then subtract to obtain the overall RPV temperature difference)

NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,

Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step

that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the

proper time) in order to accomplish the task standard shall be identified as a critical step. The

task standard was to perform operator logs in accordance with SR-2, Instrument Checks and

Observations, for log tables 4.1 through 4.7 and to verify acceptance criteria were satisfied in

accordance with notes.

For JPM Step 5, because no control rods were withdrawn, Table 4.5, Mode Switch Position was

not required to be performed. Therefore, completion of JPM Step 5 was not required to

accomplish the task standard because, with all rods fully inserted, Table 4.5 was not applicable.

For JPM Step 8, the actual plant condition presented to the applicants (on the simulator) was

the vessel head as removed and the cavity flooded to greater than 22 feet above the RPV

flange. The actual temperature difference across the RPV (bottom to top) was 10.9 °F. Based

on Note 6, a temperature differential 50°F was indicative of inadequate mixing and

stratification of the water in the RPV; however, this value was impossible to achieve since the

vessel head was removed and cavity flooded. Because the plant condition presented to the

applicants (on the simulator) was not affiliated with a situation where thermal stratification could

ever occur, performance of JPM Step 8 was determined to be not critical.

Item #2: Walk-Through - Job Performance Measure (JPM) Administrative Topic a, Work Hour

Limitations - SRO Version

Comment

The licensee recommended that a typographical error existed in the standard for JPM Step 1.

The basis for the licensees recommendation was that the operator first exceeded the 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br />

in a 7 day period work limitation on April 20 at 15:00. The licensee contended that standard for

this JPM step incorrectly listed that the operator first exceeded this work hour limitation on April

at 11:00.

NRC Resolution

The licensees recommendation was accepted.

For this administrative JPM, the applicant was expected to analyze two operators work

schedules and identify the date and time that one reactor operator exceeded 72 work hours in a

day period (critical step). Additionally, the applicant was expected to identify the date and

time that the same operator also failed to meet the requirement for 3 days off in a 15 day period

(critical step).

After identifying the date and times of the reactor operators non-compliance with the Fatigue

Rule, the applicant was expected to:

  • Notify the Nuclear Fatigue Rule (NFR) Administrator, Operations Manager, and Site NFR

Subject Matter Expert (critical step).

  • Generate a problem evaluation report (PER) (critical step)
  • Determine that Tech Spec 5.2.2, Unit Staff, required another operator to replace the

operator within 2 hours2.314815e-5 days <br />5.555556e-4 hours <br />3.306878e-6 weeks <br />7.61e-7 months <br />, because control room staffing was below minimum (critical step).

The examiners verified, based on the work schedules presented to the applicants, the operator

first exceeded the 72 work hour in a 7 day period work limitation on April 20th at 15:00 and the

same operator also failed to meet the requirement for 3 days off in a 15 day period on April 20th

at 07:00. Therefore, the licensees recommendation that the standard for JPM Step 1 contained

a typographical error was accepted.

Item #3: Walk-Through - Job Performance Measure (JPM) Systems - Control Room Topic e,

Verify Traversing Incore Probe (TIP) Isolation

Comment

The licensee recommended that Steps 6 and 12 of this JPM were NOT critical steps.

For JPM Step 6, the licensee contended that placing the Manual TIP Drive Control Switch to the

OFF position, after the TIP had been manually retracted, was not a critical step because the in-

shield limit switch turned off the detector drive motor. Because the detector drive motor was

stopped by the in-shield limit switch, the licensee contended that JPM Step 6 was not a critical

step.

For JPM Step 12, the licensee contended that placing the TIP C & E Manual Valve Control

Switches to the CLOSED position was not critical because the ball valve had already

automatically closed for TIP C and because the shear valve was activated for TIP E.

NRC Resolution

The licensees recommendation was accepted.

For this JPM, the applicant was expected to recognize that TIP detectors A, B, D, and E failed to

automatically retract (TIP C did auto-retract) and then manually retract and isolate TIPs in

accordance with 2-AOI-64-2E, Traversing Incore Probe Isolation. The applicant was also

expected to identify that TIP E failed to manually retract and then activate its associated

explosive shear valve. The following expected actions were designated as critical steps in the

JPM:

  • Place Mode Switch to the MANUAL position for TIP drives A, B, D, and E
  • Place the Manual Switch to the REV position for TIP drives A, B, D, and E (identifying

TIP E fails to retract)

  • JPM Step 6: Return the Manual Switch to the OFF position for TIP drives A, B, D, and E
  • Place Man Valve Control Switch to the CLOSED position for TIP drives A, B, and D
  • Obtain key PA-235
  • Insert key into the key lock switch for the TIP E shear valve and turn the key to the FIRE

position

  • JPM Step 12: Place all five TIP MAN VALVE CONTROL switches in CLOSED position

NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Rev.9,

Supplement 1, Appendix C, JPM Guidelines, Section B.3 requires that every procedural step

that the examinee must perform correctly (i.e., accurately, in the proper sequence, and at the

proper time) in order to accomplish the task standard shall be identified as a critical step. The

task standard was 1) TIPs A, B, and D are manually driven inward and their associated ball

isolation valves closed after the TIP was moved to the In-Shield position and 2) the TIP E shear

valve was activated.

For JPM Step 6, an in-shield position limit switch de-energized the detector drive motor.

Therefore, placing the Manual Switch to the OFF position was not required to complete the task.

JPM Step 6 was not a critical step.

For JPM Step 12, placing the MAN VALVE CONTROL switch to the CLOSED position for TIP C

was not critical because TIP C had already automatically retracted and its ball isolation valve

was already closed, based on the initial plant conditions (on the simulator) presented to the

applicants. Placing the MAN VALVE CONTROL switch to the CLOSED position for TIP E was

not critical because TIP E was manually isolated via the explosive shear valve, which effectively

isolates the TIP penetration. TIPs A, B, and D MAN VALVE CONTROL switches had already

been placed to the CLOSED position in a previous procedure step. Therefore, JPM Step 12 was

not a critical step.

SIMULATOR FIDELITY REPORT

Facility Licensee: Browns Ferry Nuclear Plant

Facility Docket No.: 50-259, 50-260, AND 50-296

Operating Test Administered: June 3 - 7, 2013

This form is to be used only to report observations. These observations do not constitute audit

or inspection findings and, without further verification and review in accordance with Inspection

Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee

action is required in response to these observations.

During the onsite preparatory visit during the period of May 6 - 10, 2013, the examiners

observed the following:

Item Description

Problem Report # 5348 U2 simulator FW flow oscillations at low

power during scenario validation

3