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M%Ei$*E Omaha Public Power District 1623 Harney Omaha. Nebraska 68102 402/536 4000 December 10, 1984 LIC-84-419 Mr. Richard P. Denise, Director                          3 ] g )) g ] hl Division of Resident, Reactor Project and Engineering Pro.; rams                                                  l U. S. Nuclear Regulatery Commission                        A
[][C l 4 @
Region IV                                                                        j 611 Ryan Plaza Drive, Suite 1000                          .                      J Arlington, Texas 76011
 
==Reference:==
Docket No. 50-285
 
==Dear Mr. Denise:==
 
Notice of Violation inspection Report 84-21 The Omaha Public Power District received the Commission's letter dated October 25, 1984 which forwarded two Notices of Violation:              Item 285/8421-01,
        " Failure to Follow Procedures," and Item 285/8421-02, " Lack of Adequate Pro-cedures." Pursuant to 10 CFR 2.201, please find attached the District's response to these Notices of Violation.
l Sincerely,                                              l
                                                .!          J,!j'D '
l                                    fy L, Ry    . Andrews Division Manager Nuclear Production RLA/JJF/dao l
Attachment I
cc: LeBoeuf, Lamb, Leiby & MacRae 1333 New Hampshire Avenue, N.W.
Washington, DC 20036 l
l l
Mr. E. G. Tourigny, NRC Project Manager Mr. L. A. Yandell, Senior Resident Inspector 8502200362 850215 PDR    ADOCK 05000285 O                  PDR l
l 455 24                                Employment with Equal Opportunity Male. F emale
 
Attachment Based on the results of an NRC inspection conducted during the period of August 28-31, 1984, and in accordance with the NRC Enforcement Policy (10 CFR Part 2, Appendix C), 49 FR 8583, dated March 8, 1984, the following violations were identified:
: 1. Failure to Follow Procedures Criterion V of Appendix B to 10 CFR Part 50 requires, in part,
        " Activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings.      . ."
: a. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, ".  . . When inspection and testing equip-ment is found to be out of calibration due to use or damage, or when out of limits at recalibration, all items inspected, tested or measured with that equipment since the latest valid calibration shall be considered as being potentially unacceptable. Resolution of those cases shall be determined on a case by case basis treating them as a nonconformance."
FCS Standing Order No. M-28, paragraph 6.8, states, in part, "Any instruments found to be out-of-calibration, or that require repair, shall have a ' Defective /Rejective Test Equipment Analysis Sheet' completed upon recalibration.    . ."
Contrary to the above, two secondary standards (I&C#1 and I&C#28) were found to be out of tolerance at calibration and were not identified on a " Defective / Rejected Test Equipment Analysis Sheet" as required and no investigation made to determine the effect of the out of tolerance condition (285/8421-02a).
: b. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, " Calibration activities being performed by OPPD personnel are in accordance with Standing Orders."
FCS Standing Order No. M-28, paragraph 5.2, states, in part,
              " Minimum schedules for performing calibration and certifica-tion are established in Appendix A.    . ."
Contrary to the above, minimum calibration schedules had not been established in Schedule A for oscilloscopes and electri-cal current measuring standards as required (285/8421-02b).
This is a Severity Level IV Violation.      (Supplement I)
 
,                                                                    Response (1) The corrective steps which have been taken and the results achieved.
: a. The disposition of the two secondary standards is as follows: A "Defcctive/ Rejected Test Equipment Analysis Sheet" was properly filled out for I&C#1 and I&C#28.
The appropriate analyses were performed on the equipment that was calibrated using I&C#1 and I&C#28 to determine the effect of the out of tolerance condition. The results of these analyses indicates that the equipment calibrated with I&C#1 and I&C#28 were within acceptable tolerance, consequently no additional action was taken. By completing the above mentioned forms and performing the necessary analyses it has been verified that the out of tolerance condition is not of safety significance.
: b. It has been District policy not to use oscilloscopes for calibrating Station instrument loops. In the past, they have been used for trcubleshooting only and not to make quantitative measurements. However, the District has, in the recent past, developed calibration procedures for oscilloscopes and has decided to include them in Appendix A. Electrical current measuring standards are included in Appendix A by virture of the fact that cur-rent measuring standards are the same piece of equipment as voltage measuring standards. Appendix A has been changed to clarify the category of test equipment to read " voltage / current measuring equipment". By making the above mentioned changes or clarification to Appendix A has assured that schedules are established for the calibration of oscilloscopes and electrical current measuring standards.
(2) Corrective steps which will be taken to avoid further violations,
: a. The procedure governing the disposition and resolution of problems in the measuring and test equipment will be re-written to include comprehensive procedures to be followed when a piece of measuring and test equipment is found to be out of calibration.
: b. No further action is required.
(3) The date when full compliance will be achieved.
: a. The District will be in full compliance by January 31, 1985.
: b. The District is presently in full compliance.
 
7-                                                                          1
: 2. Lack of Adequate Procedures Criterion V of Appendix B to 10 CFR Part 50 requires, in part,
            " Activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances. . ."
: a. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, ". . . When inspection and testing equip-ment is found to be out of calibration due to use or damage, or when out of limits at recalibration, all items inspected, tested, or measured with that equipment since the latest valid calibration shall be considered as being potentially unacceptabic. Resolution of those cases shall be determined on a case by case basis treating them as a nonconformance."
Contrary to the above, FCS procedures did not provide for the identification of equipment and subsequent resolution of possible nonconformances associated with plant process instru-mentation, surveillance test instrumentation, and pressure gauges when found to be out of tolerance at calibration (285/8421-01a).
: b. The OPPD Quality Assurance Program Manual, paragraph A.1 states, in part, "The program is based on . . . the guidance provided in American National Standard ANSI 45.2 . . . and its associated daughter standards.  . ."
ANSI N45.2.1-1973, paragraph 2.2 states, in part, " Cleaning procedures as well as procedures or work instructions for cleanliness control practices and inspections, examinations or test to verify cleanliness of items shall be prepared. . ."
Contrary to the above, procedures had not been prepared to impicment the cleaning requirements for fluid systems and associated components (285/8421-Olb).
This is a Severity Level V Violation.    (Supp1 ment I)
Responso (1) The corrective steps which have been taken and the results achieved.
: a. The instrument and control group has impicmented a test equipment checkout log that provides for track-ing of test equipment. The addition of the above mentioned log has provided a mechnanism to ensure that when test equipment is found in an out of tolerance condition the necessary review can be done in a timely manner.
 
r
: b. At present, cles 111 ness of safety related systems is ensured by having Quality control inspectors perform close-out inspection of systems where practical. The close-out inspection requirement is included either on the maintenance order or in the procedure which governs the maintenance or modification activity.
(2) Corrective steps which will be taken to avoid further violations.
: a. The District intends to rewrite the procedure governing the disposition of a piece of test equipment found to be out of calibration. Included in the procedure will be timely noti-fication of appropriate management personnel of a deficiency to ensure prompt corrective action is taken.
: b. The standing orders which govern the maintenance or modifi-cation of plant systems will be reviewed and revised as appropriate to formally address the requirements of Quality Assurance Manual Plan 6.3 on Cleanliness Controls.
(3) The date when full compliance will be achieved,
: n. The District will be in full compliance by January 31, 1985.
: b. The review and revision of standing orders will be completed by June 30, 1985.
                                                                                  -}}

Revision as of 21:16, 13 July 2020

Responds to NRC 841025 Ltr Re Violations Noted in Insp Rept 50-285/84-21.Corrective Actions:Procedure Governing Disposition & Resolution of Problems in Measuring & Test Equipment Rewritten to Include Comprehensive Details
ML20107B361
Person / Time
Site: Fort Calhoun Omaha Public Power District icon.png
Issue date: 12/10/1984
From: Andrews R
OMAHA PUBLIC POWER DISTRICT
To: Denise R
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV)
Shared Package
ML20107B353 List:
References
LIC-84-419, NUDOCS 8502200362
Download: ML20107B361 (5)


Text

'

//

M%Ei$*E Omaha Public Power District 1623 Harney Omaha. Nebraska 68102 402/536 4000 December 10, 1984 LIC-84-419 Mr. Richard P. Denise, Director 3 ] g )) g ] hl Division of Resident, Reactor Project and Engineering Pro.; rams l U. S. Nuclear Regulatery Commission A

[][C l 4 @

Region IV j 611 Ryan Plaza Drive, Suite 1000 . J Arlington, Texas 76011

Reference:

Docket No. 50-285

Dear Mr. Denise:

Notice of Violation inspection Report 84-21 The Omaha Public Power District received the Commission's letter dated October 25, 1984 which forwarded two Notices of Violation: Item 285/8421-01,

" Failure to Follow Procedures," and Item 285/8421-02, " Lack of Adequate Pro-cedures." Pursuant to 10 CFR 2.201, please find attached the District's response to these Notices of Violation.

l Sincerely, l

.! J,!j'D '

l fy L, Ry . Andrews Division Manager Nuclear Production RLA/JJF/dao l

Attachment I

cc: LeBoeuf, Lamb, Leiby & MacRae 1333 New Hampshire Avenue, N.W.

Washington, DC 20036 l

l l

Mr. E. G. Tourigny, NRC Project Manager Mr. L. A. Yandell, Senior Resident Inspector 8502200362 850215 PDR ADOCK 05000285 O PDR l

l 455 24 Employment with Equal Opportunity Male. F emale

Attachment Based on the results of an NRC inspection conducted during the period of August 28-31, 1984, and in accordance with the NRC Enforcement Policy (10 CFR Part 2, Appendix C), 49 FR 8583, dated March 8, 1984, the following violations were identified:

1. Failure to Follow Procedures Criterion V of Appendix B to 10 CFR Part 50 requires, in part,

" Activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings. . ."

a. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, ". . . When inspection and testing equip-ment is found to be out of calibration due to use or damage, or when out of limits at recalibration, all items inspected, tested or measured with that equipment since the latest valid calibration shall be considered as being potentially unacceptable. Resolution of those cases shall be determined on a case by case basis treating them as a nonconformance."

FCS Standing Order No. M-28, paragraph 6.8, states, in part, "Any instruments found to be out-of-calibration, or that require repair, shall have a ' Defective /Rejective Test Equipment Analysis Sheet' completed upon recalibration. . ."

Contrary to the above, two secondary standards (I&C#1 and I&C#28) were found to be out of tolerance at calibration and were not identified on a " Defective / Rejected Test Equipment Analysis Sheet" as required and no investigation made to determine the effect of the out of tolerance condition (285/8421-02a).

b. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, " Calibration activities being performed by OPPD personnel are in accordance with Standing Orders."

FCS Standing Order No. M-28, paragraph 5.2, states, in part,

" Minimum schedules for performing calibration and certifica-tion are established in Appendix A. . ."

Contrary to the above, minimum calibration schedules had not been established in Schedule A for oscilloscopes and electri-cal current measuring standards as required (285/8421-02b).

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

, Response (1) The corrective steps which have been taken and the results achieved.

a. The disposition of the two secondary standards is as follows: A "Defcctive/ Rejected Test Equipment Analysis Sheet" was properly filled out for I&C#1 and I&C#28.

The appropriate analyses were performed on the equipment that was calibrated using I&C#1 and I&C#28 to determine the effect of the out of tolerance condition. The results of these analyses indicates that the equipment calibrated with I&C#1 and I&C#28 were within acceptable tolerance, consequently no additional action was taken. By completing the above mentioned forms and performing the necessary analyses it has been verified that the out of tolerance condition is not of safety significance.

b. It has been District policy not to use oscilloscopes for calibrating Station instrument loops. In the past, they have been used for trcubleshooting only and not to make quantitative measurements. However, the District has, in the recent past, developed calibration procedures for oscilloscopes and has decided to include them in Appendix A. Electrical current measuring standards are included in Appendix A by virture of the fact that cur-rent measuring standards are the same piece of equipment as voltage measuring standards. Appendix A has been changed to clarify the category of test equipment to read " voltage / current measuring equipment". By making the above mentioned changes or clarification to Appendix A has assured that schedules are established for the calibration of oscilloscopes and electrical current measuring standards.

(2) Corrective steps which will be taken to avoid further violations,

a. The procedure governing the disposition and resolution of problems in the measuring and test equipment will be re-written to include comprehensive procedures to be followed when a piece of measuring and test equipment is found to be out of calibration.
b. No further action is required.

(3) The date when full compliance will be achieved.

a. The District will be in full compliance by January 31, 1985.
b. The District is presently in full compliance.

7- 1

2. Lack of Adequate Procedures Criterion V of Appendix B to 10 CFR Part 50 requires, in part,

" Activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances. . ."

a. The OPPD Quality Assurance Program Manual, paragraph A.13 states, in part, ". . . When inspection and testing equip-ment is found to be out of calibration due to use or damage, or when out of limits at recalibration, all items inspected, tested, or measured with that equipment since the latest valid calibration shall be considered as being potentially unacceptabic. Resolution of those cases shall be determined on a case by case basis treating them as a nonconformance."

Contrary to the above, FCS procedures did not provide for the identification of equipment and subsequent resolution of possible nonconformances associated with plant process instru-mentation, surveillance test instrumentation, and pressure gauges when found to be out of tolerance at calibration (285/8421-01a).

b. The OPPD Quality Assurance Program Manual, paragraph A.1 states, in part, "The program is based on . . . the guidance provided in American National Standard ANSI 45.2 . . . and its associated daughter standards. . ."

ANSI N45.2.1-1973, paragraph 2.2 states, in part, " Cleaning procedures as well as procedures or work instructions for cleanliness control practices and inspections, examinations or test to verify cleanliness of items shall be prepared. . ."

Contrary to the above, procedures had not been prepared to impicment the cleaning requirements for fluid systems and associated components (285/8421-Olb).

This is a Severity Level V Violation. (Supp1 ment I)

Responso (1) The corrective steps which have been taken and the results achieved.

a. The instrument and control group has impicmented a test equipment checkout log that provides for track-ing of test equipment. The addition of the above mentioned log has provided a mechnanism to ensure that when test equipment is found in an out of tolerance condition the necessary review can be done in a timely manner.

r

b. At present, cles 111 ness of safety related systems is ensured by having Quality control inspectors perform close-out inspection of systems where practical. The close-out inspection requirement is included either on the maintenance order or in the procedure which governs the maintenance or modification activity.

(2) Corrective steps which will be taken to avoid further violations.

a. The District intends to rewrite the procedure governing the disposition of a piece of test equipment found to be out of calibration. Included in the procedure will be timely noti-fication of appropriate management personnel of a deficiency to ensure prompt corrective action is taken.
b. The standing orders which govern the maintenance or modifi-cation of plant systems will be reviewed and revised as appropriate to formally address the requirements of Quality Assurance Manual Plan 6.3 on Cleanliness Controls.

(3) The date when full compliance will be achieved,

n. The District will be in full compliance by January 31, 1985.
b. The review and revision of standing orders will be completed by June 30, 1985.

-