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{{Adams | |||
| number = ML20244E355 | |||
| issue date = 06/14/1989 | |||
| title = Ack Receipt of 890526 Ltr Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 50-298/89-15 | |||
| author name = Mihoan J | |||
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) | |||
| addressee name = Trevors G | |||
| addressee affiliation = NEBRASKA PUBLIC POWER DISTRICT | |||
| docket = 05000298 | |||
| license number = | |||
| contact person = | |||
| document report number = NUDOCS 8906200287 | |||
| document type = CORRESPONDENCE-LETTERS, NRC TO UTILITY, OUTGOING CORRESPONDENCE | |||
| page count = 2 | |||
}} | |||
See also: [[see also::IR 05000298/1989015]] | |||
=Text= | |||
{{#Wiki_filter:_ _ _ _ _ _ _ _ _ | |||
l " :.,h _ _ | |||
Q' ,. | |||
%; | |||
.W 'f[ ' , gg | |||
H' In' Reply-Refer To:' | |||
' | |||
Docket:~.50-298/89-15 , | |||
" | |||
' | |||
a | |||
< | |||
Nebraska Public Power. District- | |||
' ATTN: -George A.-Trevors | |||
- | |||
. | |||
i | |||
Division Manager Nuclear' Support | |||
--,. P.O. Box.499. | |||
. | |||
, | |||
. Columbus, Nebraska 68602-0499 | |||
Gentlemen:' | |||
Thank you for.your letter of May 26, 1989, in response to our letter and | |||
, | |||
Notice of Violation' dated May 1, 1989.. We have reviewed your reply and find. | |||
it. responsive to the concerns raised in our Notice of Violation. We will' | |||
review the in:plementation of your corrective actions during a future | |||
. inspection to! determine that full compliance has been achieved and will be | |||
maintained. , | |||
' | |||
Sincere | |||
. | |||
l &[& | |||
James L. Milhoan, Director | |||
" | |||
Division of Reactor Projects | |||
cC; | |||
1 ' Cooper Nuclear Station . | |||
- | |||
' ATTN: Guy. Horn, Division Manager | |||
., | |||
of Nuclear Operations | |||
P.0; Box 98 | |||
~Brownville, Nebraska 68321 | |||
Kansas Radiation Control Program Director | |||
Nebraska Radiation Control Program Director | |||
RIV:RI:MQPS* C:MQPS * D:DRS* D:D . | |||
' | |||
LGilbert/cjg IBarnes LJCallan JLMilhoan | |||
/ /89 / /89 / /89 g//1/89 | |||
*previously concurred | |||
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RRI. . r .?. . | |||
R..D. Martin, RA. . | |||
' | |||
' | |||
:) SectionChief(DRP/C).- Lisa Shea, RM/ALF | |||
, 'RPB-DRSSi , | |||
MIS System | |||
', . | |||
RIV: File . | |||
,' | |||
" | |||
Project Engineer (DRP/C)* | |||
'RSTS Operator. < | |||
. . ' DRP | |||
g. . | |||
"i | |||
P. O'Connor, NRR Project Manager (MS: 13-D-18) | |||
+ - .' DRS - - | |||
, m, | |||
,' | |||
' | |||
L. Gilbert' | |||
; ;- | |||
- | |||
- 1. Barnes- | |||
o f' | |||
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' | |||
,-1 | |||
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.q - , | |||
. | |||
_ | |||
_________.__.___._______m _ | |||
_ _ _ . _ _ _ | |||
M' | |||
e ** | |||
, | |||
"" | |||
COOPER NUCLEAR ST ATioN | |||
. | |||
* Nebraska Public Power District ''" * * "A*c"AWs L*L^Y^ "'" | |||
CNSS897271 | |||
. | |||
May 26, 1989 | |||
' ' | |||
JUM - E | |||
. | |||
U.S. Nuclear Regulatory Commission | |||
Attention: Document Control Desk | |||
Washington, DC 20555 | |||
Subject: NPPD Response to Notice of Violation - NRC Inspection Report No. 89-15 | |||
Gentlemen: | |||
This letter is written in response to your letter dated May 1, 1989, | |||
transmitting Inspection Report 50-298/89-15. Thereir. you indicated that | |||
certain of our activities were in violation of NRC requirements. | |||
Following is a statement of the violations and our response in accordance with | |||
10CFR2.201. | |||
STATEMENT OF VIOLATION | |||
Criterion IX of 10CFR Part 50 Appendix B specifies that measures shall be | |||
established to assure that welding is controlled and accomplished by qualified | |||
personnel using qualified procedures in accordance with applicable codes and | |||
other special requirements. | |||
Contrary to the abova: | |||
a. Maintenance Procedure 7.7.15 does not control the hear input within | |||
the limits qualified as required by ASME Section IX, 1983 Edition, | |||
for welding materials requiring impact properties. | |||
b. The post-weld heat treatment specified in Maintenance Prncedure 7.7.16 | |||
was not qualified by the supporting Procedures Qualification Report | |||
(PQR) as required by ASME Section IX, | |||
c. Radiographic examination reports, 173-98061-2 and 173-98061-5, for | |||
double wall radiography of two welder performance qualification | |||
tests recorded that the penetrameters were placed source-side inside | |||
the pipe although the radiographic procedure specified placement of | |||
the penetrameters source-side and outside the pipe. | |||
d. Holding ovens containing E7018 electrodee were outside the | |||
temperature range specified in Maintenance Procedure 7.7.3.2, and | |||
the temperature was not being checked daily as required by the | |||
procedure. | |||
Qz %,m wr ,i /_ | |||
u (7 J/ '8 \ | |||
i | |||
_Ndi l | |||
L | |||
w ww a | |||
.PowerfulPride in Nebraska- | |||
,. w . ._ | |||
. = = + = - - . | |||
. | |||
= = _ | |||
. | |||
.- | |||
i | |||
_ = = _ _ _ _ _ - _ _ _ _ _ __ __ =_ __ .______ __ ~. ~_ __ __ .____=__. = | |||
_ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ . _ _ _ =_ _. __ _ _ _ = _ _ . _ _ | |||
_ _ _ _ . _ _ _ _ _ _ _ _ _ . _______._____._______J | |||
_ _ _ _ _ _ _ _ _ . | |||
i | |||
jU.S.-Nuc1 car Regulatory Commission- | |||
3 ._' ',May 26, 1989 | |||
- | |||
P.nge 2+ | |||
l . | |||
I' e. The temperature range of 150-200*F, specified In Maintenance | |||
l Procedure 7.7.3.2 for electrode holding ovens does not comply with | |||
l AWS Dl.1-85, which states that E7018 electrodes shall be heated to | |||
at least 250'F. | |||
. | |||
REASON TOR THE VIOLATION | |||
l | |||
l' The reason for violation items "a" and "b" was inadequate review of new | |||
L procedures for compliance to applicable codes. As such, Maintenance | |||
l~ | |||
Procedure 7.7.15 and 7.7.16 were net in compliance with ASME Section IX as | |||
indicated in violation items "a" and "b". | |||
The reason for violation item "c" was originally believed to be a | |||
, | |||
typographical error in the NDE contractor's reports. However, it was later | |||
l found that due to an error on the part of the contract NDE technician, actual | |||
misplacement of the penetrameters had occurred with respect to the | |||
l- requirements specified in the applicable revision of the contractor's | |||
! procedure. This error was not subsequently detected by Cooper Nuclear Station | |||
(CNS) personnel. | |||
The reason for violation item "d" was inadequate review of new procedures for | |||
impact upon existing practices. As such, personnel responsible for field | |||
implementation of new welding procedures were not fully aware of required | |||
changes. | |||
The reason for violation item "e" was failure to identify the constraints of | |||
the more limiting code. In lieu of AWS DI.1, CNS had conformed to ASME | |||
Section II and previous manufacturers' recommendations for electrode storage | |||
temperature. The temperature range specified in Maintenance Procedure 7.7.3.2 | |||
adequately meets the recommendations of ASME Section II; however, the | |||
requirements of AWS DI.1 are more limiting than the recommendations of ASME | |||
Section II. | |||
Nebraska Public Power Dictrict admits to the violation as stated. | |||
CORRECTIVE STEPS WICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED | |||
l 1. Item a: Procedural controls were implemented to restrict welding which | |||
i | |||
' | |||
requires notch toughness qualification until existing | |||
procedures are revised to include the necessary controls for | |||
heat input. It should be noted that no welds were made per | |||
Maintenance Procedure 7.7.15 to materials which require impact | |||
testing. | |||
2. Item b: A change to Maintenance Procedure 7.7.16 has been implemented | |||
to remove the non-qualified post-weld heat treatment. This | |||
measure will ensure that processes specified will be qualified | |||
by the supporting PQR. It should be noted that no welds were | |||
made per Maintenance Procedure 7.7.16 which required post-weld | |||
treatment. | |||
l | |||
l | |||
J | |||
. - . _ | |||
,_ lU.S.fNuc1 car Regulatory Commission | |||
- | |||
" | |||
, ;M:y 26, 1989 | |||
,Page 3 | |||
., | |||
.3. ' Item c:' An audit of the . responsible NDE technician's work has been | |||
inftiated by the NDE contractor'e Quality Assurance Department. | |||
The results of this audit will indicate if other of the NDE | |||
technician's inspection practices are in error and require. | |||
further review. If other substantial deviations are noted in | |||
the. technician's practices, the- authorization. for the | |||
technician to continue to perform NDE at CNS will be revoked. | |||
A review of the velder qualification records has been performed- | |||
and welders who have been qualified by the erroneous method | |||
indicated in violation item "c" have been identified; their | |||
authorization to perform the affected welds has been revoked. | |||
This measure precludes further production-of the affected welds | |||
- by personnel whose qualifications are in question. The | |||
appropriate shop supervisors have been directed to identify | |||
affected production welds, if any, wh'ch were made by those | |||
personnel whose qualifications are in question. Either the | |||
appropriate welders will be re-qualified, or NDE will be | |||
performed for affected welds to verify weld acceptability, if | |||
practical. If welders are not available for re-qualification | |||
or if NDE is not possible, the welds will be removed and | |||
performed by qualified personnel. Those actions listed herein | |||
which have not yet been completed will be completed prior to | |||
startup from the 1989 Outage. | |||
4. Item d: Maintenance personnel who are responsible for issuing | |||
electrodes for field use have been instructed to check and log | |||
the holding oven temperature daily. This measure, combined | |||
with the increased Q.C. effort in the welding area, will ensure | |||
compliance with Maintenance Procedure 7.7.3.2. Maintenance | |||
Procedure 7.7.3.2 will be changed to reflect these instructions | |||
prior to startup from the 1989 Outage. | |||
5. Item e: A change to Maintenance Procedure 7.7.3.2 has been implemented | |||
to increase' the holding oven temperature range to 255'F to | |||
295'F. This measure, combined with actions taken in response | |||
to violation item "d" and recently implemented Q.C. checks, | |||
will ensure procedural compliance to AWS DI.1-85 and to | |||
manufacturer's recommendations. | |||
CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER VIOLATIONS | |||
1. A Nonconformance Report (NCR) has been initiated for the mispositioned | |||
penetrameters as described in violation item "c". This action provides | |||
l the means for CNS to document the root cause for this deviation and to | |||
document and track those corrective actions which will be taken to | |||
preclude recurrence. Root cause determination and resolution of field | |||
welds (if any) will be completed prior to startup from the 1989 Outage. | |||
Long term corrective actions which are identified as a result of the | |||
evaluation will be implemented by October, 1989. | |||
l | |||
l | |||
_ _ _ _ _ _ _ _ _ _ | |||
-- _ . | |||
_ - _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _ - - _ _ . _ _ _ - _ _ _ _ - _ _ | |||
u | |||
g _. . U.S.sNuclear.Ragulatory Commission | |||
y,f,..iMzy 26, 1989 | |||
.Page 4 | |||
.,'' | |||
2. . Contract welding engineering services have been obtained from a qualified. | |||
. vendor to review the CNS welding program to verify procedural' adequacy, | |||
: code compliance, and. field implementation. In addition, the contractor | |||
will provide welding program enhancements which will facilitate better | |||
control over the welding program by CNS personnel responsible for welding | |||
program overview. .. The scheduled completion date for this action is | |||
October, 1989. | |||
3. In concert with the' contracted k'elding Engineer's review, recommended- | |||
welding procedure additions, deletions, and changes will be implemented. | |||
The scheduled completion date for this action is October, 1989. | |||
DATE LTEN FULL COMPLIANCE WILL' BE ACHIEVED | |||
The corrective steps noted will be implemented on the dates specified herein, | |||
with full compliance achieved by October, 1989. | |||
If you have any questions regarding this response, please contact G. R. Horn | |||
at the site or me. | |||
Sincerely, | |||
b | |||
G. A. Trevors | |||
Division Manager of | |||
Nuclear Support | |||
GAT:sa | |||
cc: . Nuclear Regulatory Commission | |||
Region IV | |||
Arlington, Texas | |||
NRC Resident Inspector | |||
Cooper Nuclear Station | |||
1 | |||
- _ _ - _ _ - _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ - _ _ . _ _ _ _ _ . _ . _ _ - _ _ _ _ - - - - _ _ _ _ _ - - _ - _ _ -__---______-__--__--_-___----_-_--_-_b | |||
}} |
Revision as of 02:54, 17 February 2021
ML20244E355 | |
Person / Time | |
---|---|
Site: | Cooper |
Issue date: | 06/14/1989 |
From: | Mihoan J NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
To: | Trevors G NEBRASKA PUBLIC POWER DISTRICT |
References | |
NUDOCS 8906200287 | |
Download: ML20244E355 (2) | |
See also: IR 05000298/1989015
Text
_ _ _ _ _ _ _ _ _
l " :.,h _ _
Q' ,.
%;
.W 'f[ ' , gg
H' In' Reply-Refer To:'
'
Docket:~.50-298/89-15 ,
"
'
a
<
Nebraska Public Power. District-
' ATTN: -George A.-Trevors
-
.
i
Division Manager Nuclear' Support
--,. P.O. Box.499.
.
,
. Columbus, Nebraska 68602-0499
Gentlemen:'
Thank you for.your letter of May 26, 1989, in response to our letter and
,
Notice of Violation' dated May 1, 1989.. We have reviewed your reply and find.
it. responsive to the concerns raised in our Notice of Violation. We will'
review the in:plementation of your corrective actions during a future
. inspection to! determine that full compliance has been achieved and will be
maintained. ,
'
Sincere
.
l &[&
James L. Milhoan, Director
"
Division of Reactor Projects
cC;
1 ' Cooper Nuclear Station .
-
' ATTN: Guy. Horn, Division Manager
.,
of Nuclear Operations
P.0; Box 98
~Brownville, Nebraska 68321
Kansas Radiation Control Program Director
Nebraska Radiation Control Program Director
RIV:RI:MQPS* C:MQPS * D:DRS* D:D .
'
LGilbert/cjg IBarnes LJCallan JLMilhoan
/ /89 / /89 / /89 g//1/89
- previously concurred
ff0I
e i
hh ,
_ _- _ - _- -- _ _ _- _-_ - _ __ _- _-
, ._ ._
- _ - - _ - _ - _ _ - - _ -
w
.
a: ,
- . p. v ;;
I IJ t. 'a t :;,
. ' t.gi '. 4 9 / 'i # * '
.; >
m;g;:i . - .
,
. ,
- >
,
. *
-'
ng
,
'
.
' '
..-
. ,
, ,,,- _
,
" '
'
}l g )< ' ,
- l Nebraska Public Power District 1 -2- a
W1 '
' '
. ;, ,
. ! -
'
t . - ,
- f , y;
~'
,
,
. . tcctoDMB(IE01): .4
- t
m
x
. . ,
^ "
bec!distrib. by RIV - ' - ^
e -
'
'
,-
'
RRI. . r .?. .
R..D. Martin, RA. .
'
'
- ) SectionChief(DRP/C).- Lisa Shea, RM/ALF
, 'RPB-DRSSi ,
MIS System
', .
RIV: File .
,'
"
Project Engineer (DRP/C)*
'RSTS Operator. <
. . ' DRP
g. .
"i
P. O'Connor, NRR Project Manager (MS: 13-D-18)
+ - .' DRS - -
, m,
,'
'
L. Gilbert'
- ;-
-
- 1. Barnes-
o f'
4
!t
'
,-1
'$ Y. .
'
%,/ t
[': 9
4
I
i ;
'- "
.
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,.
(-
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4
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.
_
_________.__.___._______m _
_ _ _ . _ _ _
M'
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,
""
COOPER NUCLEAR ST ATioN
.
- Nebraska Public Power District " * * "A*c"AWs L*L^Y^ "'"
CNSS897271
.
May 26, 1989
' '
JUM - E
.
U.S. Nuclear Regulatory Commission
Attention: Document Control Desk
Washington, DC 20555
Subject: NPPD Response to Notice of Violation - NRC Inspection Report No. 89-15
Gentlemen:
This letter is written in response to your letter dated May 1, 1989,
transmitting Inspection Report 50-298/89-15. Thereir. you indicated that
certain of our activities were in violation of NRC requirements.
Following is a statement of the violations and our response in accordance with
STATEMENT OF VIOLATION
Criterion IX of 10CFR Part 50 Appendix B specifies that measures shall be
established to assure that welding is controlled and accomplished by qualified
personnel using qualified procedures in accordance with applicable codes and
other special requirements.
Contrary to the abova:
a. Maintenance Procedure 7.7.15 does not control the hear input within
the limits qualified as required by ASME Section IX, 1983 Edition,
for welding materials requiring impact properties.
b. The post-weld heat treatment specified in Maintenance Prncedure 7.7.16
was not qualified by the supporting Procedures Qualification Report
(PQR) as required by ASME Section IX,
c. Radiographic examination reports, 173-98061-2 and 173-98061-5, for
double wall radiography of two welder performance qualification
tests recorded that the penetrameters were placed source-side inside
the pipe although the radiographic procedure specified placement of
the penetrameters source-side and outside the pipe.
d. Holding ovens containing E7018 electrodee were outside the
temperature range specified in Maintenance Procedure 7.7.3.2, and
the temperature was not being checked daily as required by the
procedure.
Qz %,m wr ,i /_
u (7 J/ '8 \
i
_Ndi l
L
w ww a
.PowerfulPride in Nebraska-
,. w . ._
. = = + = - - .
.
= = _
.
.-
i
_ = = _ _ _ _ _ - _ _ _ _ _ __ __ =_ __ .______ __ ~. ~_ __ __ .____=__. =
_ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ . _ _ _ =_ _. __ _ _ _ = _ _ . _ _
_ _ _ _ . _ _ _ _ _ _ _ _ _ . _______._____._______J
_ _ _ _ _ _ _ _ _ .
i
jU.S.-Nuc1 car Regulatory Commission-
3 ._' ',May 26, 1989
-
P.nge 2+
l .
I' e. The temperature range of 150-200*F, specified In Maintenance
l Procedure 7.7.3.2 for electrode holding ovens does not comply with
l AWS Dl.1-85, which states that E7018 electrodes shall be heated to
at least 250'F.
.
REASON TOR THE VIOLATION
l
l' The reason for violation items "a" and "b" was inadequate review of new
L procedures for compliance to applicable codes. As such, Maintenance
l~
Procedure 7.7.15 and 7.7.16 were net in compliance with ASME Section IX as
indicated in violation items "a" and "b".
The reason for violation item "c" was originally believed to be a
,
typographical error in the NDE contractor's reports. However, it was later
l found that due to an error on the part of the contract NDE technician, actual
misplacement of the penetrameters had occurred with respect to the
l- requirements specified in the applicable revision of the contractor's
! procedure. This error was not subsequently detected by Cooper Nuclear Station
(CNS) personnel.
The reason for violation item "d" was inadequate review of new procedures for
impact upon existing practices. As such, personnel responsible for field
implementation of new welding procedures were not fully aware of required
changes.
The reason for violation item "e" was failure to identify the constraints of
the more limiting code. In lieu of AWS DI.1, CNS had conformed to ASME
Section II and previous manufacturers' recommendations for electrode storage
temperature. The temperature range specified in Maintenance Procedure 7.7.3.2
adequately meets the recommendations of ASME Section II; however, the
requirements of AWS DI.1 are more limiting than the recommendations of ASME
Nebraska Public Power Dictrict admits to the violation as stated.
CORRECTIVE STEPS WICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED
l 1. Item a: Procedural controls were implemented to restrict welding which
i
'
requires notch toughness qualification until existing
procedures are revised to include the necessary controls for
heat input. It should be noted that no welds were made per
Maintenance Procedure 7.7.15 to materials which require impact
testing.
2. Item b: A change to Maintenance Procedure 7.7.16 has been implemented
to remove the non-qualified post-weld heat treatment. This
measure will ensure that processes specified will be qualified
by the supporting PQR. It should be noted that no welds were
made per Maintenance Procedure 7.7.16 which required post-weld
treatment.
l
l
J
. - . _
,_ lU.S.fNuc1 car Regulatory Commission
-
"
, ;M:y 26, 1989
,Page 3
.,
.3. ' Item c:' An audit of the . responsible NDE technician's work has been
inftiated by the NDE contractor'e Quality Assurance Department.
The results of this audit will indicate if other of the NDE
technician's inspection practices are in error and require.
further review. If other substantial deviations are noted in
the. technician's practices, the- authorization. for the
technician to continue to perform NDE at CNS will be revoked.
A review of the velder qualification records has been performed-
and welders who have been qualified by the erroneous method
indicated in violation item "c" have been identified; their
authorization to perform the affected welds has been revoked.
This measure precludes further production-of the affected welds
- by personnel whose qualifications are in question. The
appropriate shop supervisors have been directed to identify
affected production welds, if any, wh'ch were made by those
personnel whose qualifications are in question. Either the
appropriate welders will be re-qualified, or NDE will be
performed for affected welds to verify weld acceptability, if
practical. If welders are not available for re-qualification
or if NDE is not possible, the welds will be removed and
performed by qualified personnel. Those actions listed herein
which have not yet been completed will be completed prior to
startup from the 1989 Outage.
4. Item d: Maintenance personnel who are responsible for issuing
electrodes for field use have been instructed to check and log
the holding oven temperature daily. This measure, combined
with the increased Q.C. effort in the welding area, will ensure
compliance with Maintenance Procedure 7.7.3.2. Maintenance
Procedure 7.7.3.2 will be changed to reflect these instructions
prior to startup from the 1989 Outage.
5. Item e: A change to Maintenance Procedure 7.7.3.2 has been implemented
to increase' the holding oven temperature range to 255'F to
295'F. This measure, combined with actions taken in response
to violation item "d" and recently implemented Q.C. checks,
will ensure procedural compliance to AWS DI.1-85 and to
manufacturer's recommendations.
CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER VIOLATIONS
1. A Nonconformance Report (NCR) has been initiated for the mispositioned
penetrameters as described in violation item "c". This action provides
l the means for CNS to document the root cause for this deviation and to
document and track those corrective actions which will be taken to
preclude recurrence. Root cause determination and resolution of field
welds (if any) will be completed prior to startup from the 1989 Outage.
Long term corrective actions which are identified as a result of the
evaluation will be implemented by October, 1989.
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g _. . U.S.sNuclear.Ragulatory Commission
y,f,..iMzy 26, 1989
.Page 4
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2. . Contract welding engineering services have been obtained from a qualified.
. vendor to review the CNS welding program to verify procedural' adequacy,
- code compliance, and. field implementation. In addition, the contractor
will provide welding program enhancements which will facilitate better
control over the welding program by CNS personnel responsible for welding
program overview. .. The scheduled completion date for this action is
October, 1989.
3. In concert with the' contracted k'elding Engineer's review, recommended-
welding procedure additions, deletions, and changes will be implemented.
The scheduled completion date for this action is October, 1989.
DATE LTEN FULL COMPLIANCE WILL' BE ACHIEVED
The corrective steps noted will be implemented on the dates specified herein,
with full compliance achieved by October, 1989.
If you have any questions regarding this response, please contact G. R. Horn
at the site or me.
Sincerely,
b
G. A. Trevors
Division Manager of
Nuclear Support
GAT:sa
cc: . Nuclear Regulatory Commission
Region IV
Arlington, Texas
NRC Resident Inspector
Cooper Nuclear Station
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