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| S nio V ce President Alabania Power December 17, 1987 Ure southern ekttre systern I | | S nio V ce President Alabania Power December 17, 1987 Ure southern ekttre systern I |
| Docket Nos. 50-348 50-364 Director, Office of Enforcement U. S. fluclear Regulatory Commi.:sion ATTH: Document Control Desk Washington, DC 20555 Gentlemen: | | Docket Nos. 50-348 50-364 Director, Office of Enforcement U. S. fluclear Regulatory Commi.:sion ATTH: Document Control Desk Washington, DC 20555 Gentlemen: |
| Joseph M. Farley Huclear Plant Units - 1 and 2 July 27, 1987 Inspection Report Inaccuracies By letter dated December 17, 1987, Alaban,a Power Company provided its response to the November 3,1987 NRC tlotice of Violation and Proposed Imposition of Civil Penalties (NOV). This NOV is based on information presented in a July 27, 1987 Inspection Report. The Inspection Report contains inaccuracies which have been documented and commented upon in the enclosure to this letter. Alabama Power Company believes that these inaccuracies contributed to the context of the NRC's findings which resulted in the assessment of a Severity Level III Violation. It is therefore requested that due consideration be given to the comments contained in the enclosure to this letter during your evaluation of our response to the November 3,1987 fl0V. | | Joseph M. Farley Huclear Plant Units - 1 and 2 July 27, 1987 Inspection Report Inaccuracies By {{letter dated|date=December 17, 1987|text=letter dated December 17, 1987}}, Alaban,a Power Company provided its response to the November 3,1987 NRC tlotice of Violation and Proposed Imposition of Civil Penalties (NOV). This NOV is based on information presented in a July 27, 1987 Inspection Report. The Inspection Report contains inaccuracies which have been documented and commented upon in the enclosure to this letter. Alabama Power Company believes that these inaccuracies contributed to the context of the NRC's findings which resulted in the assessment of a Severity Level III Violation. It is therefore requested that due consideration be given to the comments contained in the enclosure to this letter during your evaluation of our response to the November 3,1987 fl0V. |
| If you have any questions, please advise. | | If you have any questions, please advise. |
| Respectfully ubmitted, b | | Respectfully ubmitted, b |
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| : 30. Report 22 3 "This problem may have been aggravated by the ' | | : 30. Report 22 3 "This problem may have been aggravated by the ' |
| lack of formal identification of incoming Part 21 notifications..." There does not appear to be sufficient support to justify this statement. | | lack of formal identification of incoming Part 21 notifications..." There does not appear to be sufficient support to justify this statement. |
| : 31. Report 23 1 The program implemented by Alabama Power Company for safety-related systems was submitted to the NRC by letter dated February 15, 1984. This program was discussed in detail during the audit. At no time did Alabama Power Company imply that it decided not to implement the program as described in the February 15, 1984 letter. | | : 31. Report 23 1 The program implemented by Alabama Power Company for safety-related systems was submitted to the NRC by {{letter dated|date=February 15, 1984|text=letter dated February 15, 1984}}. This program was discussed in detail during the audit. At no time did Alabama Power Company imply that it decided not to implement the program as described in the February 15, 1984 letter. |
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| - . Enclosure July 27, 1987 Inspection Report Inaccuracies Page 10 PARA./ | | - . Enclosure July 27, 1987 Inspection Report Inaccuracies Page 10 PARA./ |
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Category:CORRESPONDENCE-LETTERS
MONTHYEARL-99-035, Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld1999-10-18018 October 1999 Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld ML20217G0801999-10-0707 October 1999 Informs That on 990930,staff Conducted mid-cycle PPR of Farley & Did Not Identify Any Areas in Which Performance Warranted More than Core Insp Program.Nrc Will Conduct Regional Insps Associated with SG Removal & Installation ML20217P0661999-10-0606 October 1999 Requests Withholding of Proprietary Rept NSD-SAE-ESI-99-389, Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs ML20217B1891999-10-0404 October 1999 Submits Clarification Re Development of Basis for Determining Limiting Internal Pressure Loads Re Review of NRC SE for Cycle 16 Extension Request.Util Intends to Use Guidelines When Evaluating SG Tube Structural Integrity ML20212J8391999-09-30030 September 1999 Forwards RAI Re Request for Amends to Ts.Addl Info Needed to Complete Review to Verify That Proposed TS Are Consistent with & Validate Design Basis Analysis.Request Discussed with H Mahan on 990930.Info Needed within 10 Days of This Ltr ML20212J8801999-09-30030 September 1999 Discusses GL 98-01,suppl 1, Y2K Readiness of Computer Sys at Npps. Util 980731,990607 & 03 Ltrs Provided Requested Info in Subj Gl.Nrc Considers Subj GL to Be Closed for Unit 1 L-99-032, Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 21999-09-23023 September 1999 Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 2 L-99-034, Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 21999-09-23023 September 1999 Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 2 ML20212F8861999-09-23023 September 1999 Forwards Revised Relief Request Number 32 for NRC Approval. Approval Requested by 991231 to Support Activities to Be Performed During Unit 1 Refueling Outage Scheduled for Spring of 2000 ML20212E7031999-09-23023 September 1999 Responds to GL 98-01, Year 2000 Readiness of Computer Sys at Npps. Util Requested to Submit Plans & Schedules for Resolving Y2K-related Issues ML20212F1111999-09-21021 September 1999 Discusses Closeout of GL 97-06, Degradation of Steam Generator Internals ML20212C2351999-09-16016 September 1999 Submits Corrected Info Concerning Snoc Response to NRC GL 99-02, Lab Testing of Nuclear-Grade Activated Charcoal ML20212D0101999-09-15015 September 1999 Informs That Submittal of clean-typed Copy of ITS & ITS Bases Will Be Delayed.Delay Due to Need for Resolution of Two Issues Raised by NRC staff.Clean-typed Copy of ITS Will Be Submitted within 4 Wks Following Resolution of Issues ML20212C4641999-09-13013 September 1999 Forwards Info Requested in Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams L-99-031, Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed1999-09-13013 September 1999 Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed ML20212C8041999-09-10010 September 1999 Responds to to D Rathbun Requesting Review of J Sherman Re Y2K Compliance.Latest NRC Status Rept on Y2K Activities Encl ML20212D4581999-09-10010 September 1999 Responds to to D Rathbun,Requesting Review of J Sherman Expressing Concerns That Plant & Other Nuclear Plants Not Yet Y2K Compliant ML20212A6951999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20212A8341999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20211N8041999-09-0808 September 1999 Informs That on 990930 NRC Issued GL 96-06, Assurance of Equipment Operability & Containment Integrity During Design-Basis Accident Condition, to Holders of Nuclear Plant Operating Licenses ML20211N4301999-09-0808 September 1999 Discusses Proposed Meeting to Discuss Kaowool Fire Barriers. Staff Requesting That Affected Licensees Take Issue on Voluntary Initative & Propose Approach for Resolving Issues ML20212C0071999-09-0202 September 1999 Forwards Insp Repts 50-348/99-05 & 50-364/99-05 on 990627- 0807.No Violations Noted.Licensee Conduct of Activities at Farley Plant Facilities Generally Characterized by safety-conscious Operations & Sound Engineering ML20211Q4801999-09-0101 September 1999 Informs That on 990812-13,Region II Hosted Training Managers Conference on Recent Changes to Operator Licensing Program. List of Attendees,Copy of Slide Presentations & List of Questions Received from Participants Encl ML20211K2131999-08-31031 August 1999 Informs That Snoc Has Conducted Review of Reactor Vessel Integrity Database,Version 2 (RVID2) & Conclude That Latest Data Submitted for Farley Units Has Not Been Incorporated Into RVID2 ML20211K4101999-08-31031 August 1999 Resubmits Relief Requests Q1P16-RR-V-5 & Q2P16-RR-V-5 That Seek to Group V661 Valves from Each Unit Into Sample Disassembly & Insp Group,Per 990525 Telcon with NRC L-99-030, Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS1999-08-30030 August 1999 Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS ML20211G6851999-08-26026 August 1999 Informs That During Insp,Technical Issues Associated with Design,Installation & fire-resistive Performance of Kaowool Raceway fire-barriers Installed at Farley Nuclear Plant Were Identified L-99-029, Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 07271999-08-19019 August 1999 Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 0727 ML20211B9431999-08-17017 August 1999 Forwards Fitness for Duty Performance Data for six-month Reporting Period 990101-990630,IAW 10CFR26.71(d).Rept Covers Employees at Jm Farley Nuclear Plant & Southern Nuclear Corporate Headquarters ML20211B9211999-08-17017 August 1999 Responds to NRC Re Violations Noted in Insp Rept 50-348/99-09 & 50-364/99-09.Corrective Actions:Security Response Plan Was Revised to Address Vulnerabilities Identified During NRC Insp ML20210R5101999-08-12012 August 1999 Forwards Revised Page 6 to 990430 LAR to Operate Farley Nuclear Plant,Unit 1,for Cycle 16 Only,Based on risk- Informed Approach for Evaluation of SG Tube Structural Integrity,As Result of Staff Comments ML20212C8141999-08-0909 August 1999 Forwards Correspondence Received from Jm Sherman.Requests Review of Info Re Established Policies & Procedures ML20210T2021999-08-0606 August 1999 Forwards Draft SE Accepting Licensee Proposed Conversion of Plant,Units 1 & 2 Current TSs to Its.Its Based on Listed Documents ML20210Q4641999-08-0505 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Authorized Representative of Facility Must Submit Ltr to La Reyes,As Listed,With List of Individuals to Take exam,30 Days Before Exam Date ML20210J8341999-07-30030 July 1999 Forwards Second Request for Addl Info Re Util 990430 Amend Request to Allow Util to Operate Unit 1,for Cycle 16 Based on risk-informed Probability of SG Tube Rupture & Nominal accident-induced primary-to-second Leakage ML20210G4901999-07-30030 July 1999 Responds to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, Issued 990603.Ltr Contains NRC License Commitment to Utilize ASTM D3803-1989 with Efficiency Acceptance Criteria Utilizing Safety Factor of 2 L-99-028, Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines1999-07-30030 July 1999 Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines L-99-027, Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.51999-07-27027 July 1999 Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.5 ML20210G8181999-07-26026 July 1999 Forwards Insp Repts 50-348/99-04 & 50-364/99-04 on 990516- 0626.One Violation Identified & Being Treated as Noncited Violation IR 05000348/19990091999-07-23023 July 1999 Discusses Insp Repts 50-348/99-09 & 50-364/99-09 on 990308- 10 & Forwards Notice of Violation Re Failure to Intercept Adversary During Drills,Contrary to 10CFR73 & Physical Security Plan Requirements ML20210E4071999-07-22022 July 1999 Responds to NRC 990702 RAI Re Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described in NEI 97-06, SG Program Guidelines L-99-026, Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments1999-07-19019 July 1999 Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments L-99-264, Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 20011999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20209H4721999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20196J6191999-07-0202 July 1999 Forwards Final Dam Audit Rept of 981008 of Category 1 Cooling Water Storage Pond Dam.Requests Response within 120 Days of Date of Ltr 05000364/LER-1999-001, Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed1999-07-0202 July 1999 Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed ML20196J7471999-07-0202 July 1999 Forwards RAI Re Cycle 16 Extension Request.Response Requested within 30 Days of Date of Ltr ML20196J5781999-07-0202 July 1999 Forwards RAI Re 981201 & s Requesting Amend to TS Associated with Replacing Existing Westinghouse Model 51 SG with Westinghouse Model 54F Generators.Respond within 30 Days of Ltr Date ML20196J6571999-07-0202 July 1999 Discusses Closure to TAC MA0543 & MA0544 Re GL 92-01 Rev 1, Suppl 1,RV Structural Integrity.Nrc Has Revised Rvid & Releasing It as Rvid,Version 2 as Result of Review of Responses ML20196J3591999-06-30030 June 1999 Forwards SE of TR WCAP-14750, RCS Flow Verification Using Elbow Taps at Westinghouse 3-Loop Pwrs 1999-09-09
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARL-99-035, Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld1999-10-18018 October 1999 Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld ML20217P0661999-10-0606 October 1999 Requests Withholding of Proprietary Rept NSD-SAE-ESI-99-389, Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs ML20217B1891999-10-0404 October 1999 Submits Clarification Re Development of Basis for Determining Limiting Internal Pressure Loads Re Review of NRC SE for Cycle 16 Extension Request.Util Intends to Use Guidelines When Evaluating SG Tube Structural Integrity L-99-034, Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 21999-09-23023 September 1999 Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 2 L-99-032, Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 21999-09-23023 September 1999 Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 2 ML20212F8861999-09-23023 September 1999 Forwards Revised Relief Request Number 32 for NRC Approval. Approval Requested by 991231 to Support Activities to Be Performed During Unit 1 Refueling Outage Scheduled for Spring of 2000 ML20212C2351999-09-16016 September 1999 Submits Corrected Info Concerning Snoc Response to NRC GL 99-02, Lab Testing of Nuclear-Grade Activated Charcoal ML20212D0101999-09-15015 September 1999 Informs That Submittal of clean-typed Copy of ITS & ITS Bases Will Be Delayed.Delay Due to Need for Resolution of Two Issues Raised by NRC staff.Clean-typed Copy of ITS Will Be Submitted within 4 Wks Following Resolution of Issues L-99-031, Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed1999-09-13013 September 1999 Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed ML20212C4641999-09-13013 September 1999 Forwards Info Requested in Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams ML20211K2131999-08-31031 August 1999 Informs That Snoc Has Conducted Review of Reactor Vessel Integrity Database,Version 2 (RVID2) & Conclude That Latest Data Submitted for Farley Units Has Not Been Incorporated Into RVID2 ML20211K4101999-08-31031 August 1999 Resubmits Relief Requests Q1P16-RR-V-5 & Q2P16-RR-V-5 That Seek to Group V661 Valves from Each Unit Into Sample Disassembly & Insp Group,Per 990525 Telcon with NRC L-99-030, Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS1999-08-30030 August 1999 Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS L-99-029, Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 07271999-08-19019 August 1999 Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 0727 ML20211B9431999-08-17017 August 1999 Forwards Fitness for Duty Performance Data for six-month Reporting Period 990101-990630,IAW 10CFR26.71(d).Rept Covers Employees at Jm Farley Nuclear Plant & Southern Nuclear Corporate Headquarters ML20211B9211999-08-17017 August 1999 Responds to NRC Re Violations Noted in Insp Rept 50-348/99-09 & 50-364/99-09.Corrective Actions:Security Response Plan Was Revised to Address Vulnerabilities Identified During NRC Insp ML20210R5101999-08-12012 August 1999 Forwards Revised Page 6 to 990430 LAR to Operate Farley Nuclear Plant,Unit 1,for Cycle 16 Only,Based on risk- Informed Approach for Evaluation of SG Tube Structural Integrity,As Result of Staff Comments ML20212C8141999-08-0909 August 1999 Forwards Correspondence Received from Jm Sherman.Requests Review of Info Re Established Policies & Procedures ML20210G4901999-07-30030 July 1999 Responds to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, Issued 990603.Ltr Contains NRC License Commitment to Utilize ASTM D3803-1989 with Efficiency Acceptance Criteria Utilizing Safety Factor of 2 L-99-028, Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines1999-07-30030 July 1999 Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines L-99-027, Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.51999-07-27027 July 1999 Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.5 ML20210E4071999-07-22022 July 1999 Responds to NRC 990702 RAI Re Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described in NEI 97-06, SG Program Guidelines L-99-026, Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments1999-07-19019 July 1999 Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments L-99-264, Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 20011999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20209H4721999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 05000364/LER-1999-001, Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed1999-07-0202 July 1999 Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed L-99-024, Responds to NRC RAI Re Conversion to ITS for Chapters 3.4, 3.5,3.6,3.7,3.9 & 5.0,per 990419-20 Meetings with NRC1999-06-30030 June 1999 Responds to NRC RAI Re Conversion to ITS for Chapters 3.4, 3.5,3.6,3.7,3.9 & 5.0,per 990419-20 Meetings with NRC L-99-025, Forwards Rev 2 to Jfnp Security plan,FNP-0-M-99,IAW 10CFR50.4(b)(4).Attachment 1 Contains Summary of Changes & Amended Security Plan Pages.Encl Withheld from Public Disclosure Per 10CFR73.211999-06-30030 June 1999 Forwards Rev 2 to Jfnp Security plan,FNP-0-M-99,IAW 10CFR50.4(b)(4).Attachment 1 Contains Summary of Changes & Amended Security Plan Pages.Encl Withheld from Public Disclosure Per 10CFR73.21 ML20196J8631999-06-30030 June 1999 Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA L-99-249, Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA1999-06-30030 June 1999 Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA L-99-224, Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments1999-06-0707 June 1999 Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments ML20195F1731999-06-0707 June 1999 Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld L-99-217, Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld1999-06-0707 June 1999 Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld L-99-225, Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants1999-06-0707 June 1999 Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants ML20195F0621999-06-0707 June 1999 Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments ML20195E9581999-06-0707 June 1999 Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants ML20195C6941999-05-28028 May 1999 Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program L-99-021, Forwards Response to RAI Re Conversion to ITSs for Chapter 3.3.Attachment II Includes Proposed Revs to Previously Submitted LAR Re Rais,Grouped by RAI number.Clean-typed Copies of Affected ITS Pages Not Included1999-05-28028 May 1999 Forwards Response to RAI Re Conversion to ITSs for Chapter 3.3.Attachment II Includes Proposed Revs to Previously Submitted LAR Re Rais,Grouped by RAI number.Clean-typed Copies of Affected ITS Pages Not Included L-99-203, Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program1999-05-28028 May 1999 Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program ML20195F2101999-05-24024 May 1999 Requests That Farley Nuclear Plant Proprietary Responses to NRC RAI Re W WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs, Be Withheld from Public Disclosure Per 10CFR2.790 L-99-180, Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI1999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI ML20206F4321999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI L-99-017, Forwards Responses to NRC RAI Questions for Chapters 3.1, 3.2,3.5,3.7 & 3.9 of Ts.Attached Pages Include Proposed Revs Previously Submitted LAR to Rais,Grouped by Chapters & RAI Numbers1999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapters 3.1, 3.2,3.5,3.7 & 3.9 of Ts.Attached Pages Include Proposed Revs Previously Submitted LAR to Rais,Grouped by Chapters & RAI Numbers ML20206C8021999-04-26026 April 1999 Forwards 1998 Annual Rept, for Alabama Power Co.Encls Contain Financial Statements for 1998,unaudited Financial Statements for Quarter Ending 990331 & Cash Flow Projections for 990101-991231 05000348/LER-1998-007, Forwards SG-99-04-001, Farley-1:Final Cycle 16 Freespan ODSCC Operational Assessment, as Committed to in Licensee & LER 98-007-00.Util Is Revising Plant Administrative SG Operating Leakage Requirements as Listed1999-04-23023 April 1999 Forwards SG-99-04-001, Farley-1:Final Cycle 16 Freespan ODSCC Operational Assessment, as Committed to in Licensee & LER 98-007-00.Util Is Revising Plant Administrative SG Operating Leakage Requirements as Listed L-99-015, Forwards Rev 1 to Jfnp Security plan,FNP-O-M-99,resulting from Implementation of Biometrics Sys.Changes Incorporate Changes Previously Submitted to NRC as Rev 28 by Licensee .Encl Withheld,Per 10CFR73.211999-04-21021 April 1999 Forwards Rev 1 to Jfnp Security plan,FNP-O-M-99,resulting from Implementation of Biometrics Sys.Changes Incorporate Changes Previously Submitted to NRC as Rev 28 by Licensee .Encl Withheld,Per 10CFR73.21 ML20206B4391999-04-21021 April 1999 Forwards Corrected ITS Markup Pages to Replace Pages in 981201 License Amend Requests for SG Replacement L-99-172, Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.21999-04-21021 April 1999 Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.2 ML20205S9501999-04-21021 April 1999 Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.2 ML20205R0431999-04-13013 April 1999 Forwards Correction to 960212 GL 95-07 180 Day Response. Level 3 Evaluation for Pressure Locking Utilized Analytical Models.Encl Page Has Been Amended to Correct Error 1999-09-23
[Table view] Category:UTILITY TO NRC
MONTHYEARML20064A7131990-09-17017 September 1990 Advises That Due to Reassignment,Jj Clark No Longer Needs to Maintain Senior Reactor Operator Licenses ML20059J2811990-09-14014 September 1990 Forwards List of Key Radiation Monitors Which Will Be Used as Inputs to Top Level Radioactivity Status Bar Re Spds.List Identifies Monitors Which Would Provide Concise & Meaningful Info About Radioactivity During Accidents ML20065D5961990-09-13013 September 1990 Responds to Violations Noted in Insp Repts 50-348/90-19 & 50-364/90-19.Response Withheld ML20059J1661990-09-13013 September 1990 Forwards Monthly Operating Rept for Aug 1990 for Jm Farley Nuclear Plant & Rev 10 to ODCM ML20059L0751990-09-12012 September 1990 Forwards Revised Pages to Rev 3 to, Second 10-Yr Interval Inservice Insp Program for ASME Code Class 1,2 & 3 Components ML20059J2911990-09-12012 September 1990 Forwards Operator Licensing Natl Exam Schedules for FY91 Through FY94,per Generic Ltr 90-07.Requalification Schedules & Estimated Number of Candidates Expected to Participate in Generic Fundamental Exam,Also Encl ML20064A7111990-09-12012 September 1990 Forwards Rev 1 to Relief Request RR-1, Second 10-Yr Interval Inservice Insp Program for ASME Code Class 1,2 & 3 Components ML20059J2891990-09-12012 September 1990 Confirms Rescheduling of Response to Fitness for Duty Program Notice of Violation 90-18-02,per 900907 Telcon ML20065D6621990-09-12012 September 1990 Forwards NPDES Permit AL0024619 Effective 900901.Limits for Temp & Residual Chlorine Appealed & Stayed ML20064A3431990-08-28028 August 1990 Forwards Corrected Insertion Instructions to Rev 8 to Updated FSAR for Jm Farley Nuclear Plant ML20059D4711990-08-22022 August 1990 Forwards Fitness for Duty Performance Data for Jan-June 1990 ML20059B5101990-08-22022 August 1990 Forwards Semiannual Radioactive Effluent Release Rept for Jan-June 1990.No Changes to Process Control Program for First Semiannual Period of 1990 Exists ML20056B2751990-08-20020 August 1990 Forwards Relief Requests from Second 10-yr Interval Inservice Testing Program for Class 1,2 & 3 Pumps & Valves. Request Incorporates Commitments in 891222 Response to Notice of Violation ML20056B2741990-08-20020 August 1990 Forwards Rev 2 to Unit Inservice Testing Program,For Review & Approval.Rev Incorporates Commitments Addressed in Util 891222 Response to Notice of Violation & Other Editorial & Technical Changes ML20058Q1481990-08-15015 August 1990 Forwards Rev 3 to FNP-1-M-043, Jm Farley Nuclear Plant Unit 1 Second 10-Yr Inservice Insp Program,Asme Code Class 1,2 & 3 Components ML20058P6201990-08-15015 August 1990 Forwards Rev 1 to FNP-2-M-068, Ten-Yr Inservice Insp Program for ASME Code Class 1,2 & 3 Components, Per 891207 & 900412 Responses to NRC Request for Addl Info ML20055G7701990-07-18018 July 1990 Updates 900713 Response to NRC Bulletin 90-001, Loss of Fill-Oil in Transmitters Mfg by Rosemount ML20055F7411990-07-11011 July 1990 Forwards Monthly Operating Rept for June 1990 & Corrected Monthly Operating Repts for Nov 1989 Through May 1990.Repts Revised to Correct Typo on Value of Cumulative Number of Hours Reactor Critical ML20055F3781990-07-10010 July 1990 Submits Final Response to Generic Ltr 83-28,Items 4.2.3 & 4.2.4.Util Position That Procedures Currently Utilized by Plant Constitute Acceptable Ongoing Life Testing Program for Reactor Trip Breakers & Components ML20055D4861990-07-0202 July 1990 Requests Authorization to Use Encl ASME Boiler & Pressure Vessel Code Case N-395 Re Laser Welding for Sleeving Process Described by Oct 1990,per 10CFR50.55a,footnote 6 ML20055D1001990-06-26026 June 1990 Responds to Violations Noted in Insp Repts 50-348/90-12 & 50-364/90-12 on 900411-0510.Corrective Actions:Electrolyte Level Raised in Lights Identified by Inspector to Have Low Electrolyte Level ML20044A6191990-06-26026 June 1990 Suppls 900530 Ltr Containing Results of SPDS Audit,Per Suppl 1 to NUREG-0737.One SPDS Console,Located in Control Room,Will Be Modified So That Only SPDS Info Can Be Displayed by Monitor.Console Will Be Reconfigured ML20043G4741990-06-11011 June 1990 Submits Addl Info Re 900219 Worker Respiratory Protection Apparatus Exemption Rev Request.Proposed Exemption Rev Involves Features Located Entirely within Restricted Area as Defined in 10CFR20 ML20043C1851990-05-29029 May 1990 Forwards Proposed Schedules for Submission & Requested Approval of Licensing Items ML20043B5941990-05-25025 May 1990 Provides Rept of Unsatisfactory Performance Testing,Per 10CFR26,App A.Error Caused by Olympus Analyzer Which Allowed Same Barcode to Be Assigned to Two Different Samples. Smithkline Taken Action to Prevent Recurrence of Scan Error ML20042G7461990-05-10010 May 1990 Certifies That Plant Licensed Operator Requalification Program Accredited & Based Upon Sys Approach to Training,Per Generic Ltr 87-07.Program in Effect Since 890109 ML20042F0831990-05-0101 May 1990 Forwards Rev 18 to Security Plan.Rev Withheld ML20042G3081990-04-25025 April 1990 Forwards Alabama Power Co Annual Rept 1989, Unaudited Financial Statements for Quarter Ending 900331 & Cash Flow Projections for 1990 ML20042E4121990-04-12012 April 1990 Provides Addl Info Re Review of Second 10-yr Inservice Insp Program,Per NRC 890803 Request.Relief Request RR-30 Requested Reduced Holding Time for Hydrostatically Testing Steam Generator Secondary Side ML20012E9571990-03-27027 March 1990 Forwards Annual Diesel Generator Reliability Data Rept,Per Tech Spec 6.9.1.12.Rept Provides Number of Tests (Valid or Invalid),Number of Failures for Each Diesel Generator at Plant for 1989 & Info Identified in Reg Guide 1.108 ML20012D9661990-03-22022 March 1990 Forwards Annual ECCS Evaluation Model Changes Rept,Per Revised 10CFR50.46.Info Includes Effect of ECCS Evaluation Model Mods on Peak Cladding Temp Results & Summary of Plant Change Safety Evaluations ML20012D8901990-03-20020 March 1990 Clarifies 891130 Response to Generic Ltr 83-28,Item 2.2.1 Re Use of Q-List at Plant,Per NRC Request.Fnpims Data Base Utilized as Aid for Procurement,Maint,Operations & Daily Planning ML20012C4701990-03-15015 March 1990 Responds to NRC 900201 Ltr Re Emergency Planning Weaknesses Identified in Insp Repts 50-348/89-32 & 50-364/89-21. Corrective Actions:Cited Procedures Revised.Direct Line Network Notification to State Agencies Being Implemented ML20012C6241990-03-14014 March 1990 Informs of Resolution of USI A-47,per Generic Ltr 89-19 ML20012C4651990-03-13013 March 1990 Provides Verification of Nuclear Insurance Reporting Requirements Specified in 10CFR50.54 w(2) ML20012C2051990-03-0505 March 1990 Forwards SPDS Critical Function Status Trees,Per G West Request During 900206 SPDS Audit at Plant.W/O Encl ML20012A1621990-03-0202 March 1990 Forwards Addl Info Inadvertently Omitted from Jul-Dec 1989 Semiannual Radioactive Effluent Release Rept,Including Changes to Process Control Program ML20012A1301990-03-0101 March 1990 Responds to Generic Ltr 90-01 Re Request for Voluntary Participation in NRC Regulatory Impact Survey.Completed Questionnaire Encl ML20043A7481990-02-0202 February 1990 Forwards Util Exam Rept for Licensed Operator Requalification Written Exams on 900131 ML20006D2311990-01-31031 January 1990 Responds to NRC Bulletin 89-003 Re Potential Loss of Required Shutdown Margin During Refueling Operations. Refueling Procedures Will Be Revised to Incorporate Guidance That Will Preclude Inadvertent Loss of Shutdown ML20006A9091990-01-23023 January 1990 Forwards Response to Generic Ltr 89-13 Re Svc Water Sys Problems Affecting safety-related Equipment.Util Has Program to Perform Visual Insps & Cleanings of Plant Svc Water Intake Structure by Means of Scuba Divers ML20005E4931989-12-28028 December 1989 Provides Certification That fitness-for-duty Program Meets 10CFR26 Requirements.Testing Panel & cut-off Levels in Program Listed in Encl ML20005E3681989-12-28028 December 1989 Responds to Violations Noted in Insp Repts 50-348/89-28 & 50-364/89-28 on 891002-06.Corrective Actions:All Piping Preparation for Inservice Insp Work in Containment Stopped & All Participants Assembled to Gather Facts on Incident ML20005E1971989-12-27027 December 1989 Responds to Violations Noted in Insp Repts 50-348/89-22 & 50-364/89-22 on 890911-1010.Corrective Actions:Steam Generator Atmospheric Relief Valve Closed & Core Operations Suspended.Shift Supervisor Involved in Event Counseled ML20011D5041989-12-22022 December 1989 Responds to Violations Noted in Insp Repts 50-348/89-26 & 50-364/89-26.Corrective Actions:Personnel Involved in Preparation of Inservice Test Procedures Counseled. Violation B Re Opening of Pressurizer PORV Denied ML19332F2111989-12-0707 December 1989 Forwards Final Response to NRC 890803 Request for Addl Info Re Review of Updated Inservice Insp Program,Summarizing Results of Addl Reviews & Providing Exam Listing Info ML19332F0791989-12-0707 December 1989 Responds to Violations Noted in Insp Repts 50-348/89-22 & 50-364/89-22.Corrective Actions:All Managers Retrained on Intent of Overtime Procedures & Sys Established to Provide Independent Check of All Time Sheets Each Pay Period ML19332F1141989-12-0707 December 1989 Forwards Description of Instrumentation Sys Selected in Response to Generic Ltr 88-17, Loss of DHR, Per Licensee 890127 Commitment.Hardware Changes Will Be Implemented During Unit 1 Tenth & Unit 2 Seventh Refueling Outages ML19332F1241989-12-0707 December 1989 Forwards Response to NRC 890803 Request for Addl Info Re Review of Second 10-yr Inservice Insp Program,Per 891005 Ltr ML19353B0071989-12-0606 December 1989 Forwards Rev 1 to Safeguards Security Contingency Plan.Rev Withheld 1990-09-17
[Table view] |
Text
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Alabama Power Company 600 North 18th Street Post Office Box 2641 dirmingham, Alabama 35291-0400 Telephone 205 250-1835 m
S nio V ce President Alabania Power December 17, 1987 Ure southern ekttre systern I
Docket Nos. 50-348 50-364 Director, Office of Enforcement U. S. fluclear Regulatory Commi.:sion ATTH: Document Control Desk Washington, DC 20555 Gentlemen:
Joseph M. Farley Huclear Plant Units - 1 and 2 July 27, 1987 Inspection Report Inaccuracies By letter dated December 17, 1987, Alaban,a Power Company provided its response to the November 3,1987 NRC tlotice of Violation and Proposed Imposition of Civil Penalties (NOV). This NOV is based on information presented in a July 27, 1987 Inspection Report. The Inspection Report contains inaccuracies which have been documented and commented upon in the enclosure to this letter. Alabama Power Company believes that these inaccuracies contributed to the context of the NRC's findings which resulted in the assessment of a Severity Level III Violation. It is therefore requested that due consideration be given to the comments contained in the enclosure to this letter during your evaluation of our response to the November 3,1987 fl0V.
If you have any questions, please advise.
Respectfully ubmitted, b
R. P. ftcDonald RPM /J AR : ds t-T. S .7 Enclosure cc: fir. L. B. Long Dr. J. N. Grace Mr. S. A. Varga g Mr. E. A. Reeves go ttr. W. H. Bradford 8712220309 871217 PDR ADOCK 05000348.
O PDR
ENCLOSURE JULY 27,1987 INSPECTION REPORT INACCURACIES PARA./
DOCUMENT PAGE ITEM COMMENTS
- 1. Cover Latter 1 3 The assertion that the two control room fire dampers were inoperable is incorrect.
Alabama Power Company considers these dampers to have been operable; thus, no reporting was required.
VETIP is a program, not a " source" as the NRC appears to imply. Since 1984, vendor information has been processed via this program. The NRC statement that information was received " fortuitously" is thus inappropriate. Indeed, the NRC acknowledges, in the same sentence, that no instances were found in which information had not been received. '
"The Alabama Power Company vendor interface program appears to lack the rigor and formality necessary to achieve its intent."
There does not appear to be sufficient support to justify this statement.
"These findings ... indicate a lack of systematic attention to detail." There does not appear to be sufficient support to justify this statement.
- 2. Potential 1 1 Six instances of inadequate corrective action Enforcement are stated; however, only five are detailed.
Findings
- 3. Potential 1 2 There were 6 circuit breckers installed in Enforcement safety-related MCCs not 9 as cocumented by Findings the NRC. The statement that no testing or analyses were performed to qualify the ;
breakers is not correct. Both testing and '
analysis were performed by Satin American and its subcontractor to qualify the use of the breakers in 600V applications. Neither Ecotech nor Satin American performed any seismic qualification tests for these breakers on the basis that the breakers provided by Satin American were like-for-like replacements of the original breakers and the use of the replacement breakers would not
Enclosure July 27, 1987 Inspection Report Inaccuracies Page 2 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 3. Potential 1 2 degrade the seismic characteristics of the Enforcement (cont'd) MCCs in which they are placed. Satin Findings American's subcontractor performed similarity analyses and other evaluations in the dedication of the breakers. Satin American performed a dielectric voltage-withstand test on each breaker, a calibration test on one breaker of each amperage rating and a short circuit test on the smallest and largest amperage rating of both the magnetic trip only breakers and the thermal-magnetic trip breakers. Additionally, Alabama Power Company performed trip tests on each breaker prior to installation.
The use of the word " questionable" with regards to seismic qualification is inappropriate since, at the time of installat' , Alabama Power Company had no reason to .Jestion the qualification.
- 4. Potential 2 4 The statement that the two dampers were Enforcement non-functional is incorrect. Alabama Power Findings Company did not consider the dampers to be non-functional solely on the basis that they would not close with air flow. Procedures existed to shut off the air handling unit (a.h.u.) from the control room upon indication of fire (smoke entering the control roo;a, alarm in the control room, etc.). With the a.h.u. shut off, the dampers had been demonstrated to close and perform their function. The design to have a damper close with air flow was not a requirement but an enhancement. Nothing precluded manual action to shut off the a.h.u. Accordingly, an LC0 was not declared and a special report was not required to be submitted.
- Enclosure July 27,1987 Inspection Report Inaccuracies Page 3 PARA./
DOC'JMENT PAGE ITEM COMMENTS _
- 5. Report 2 Results See item 4 above for comments regarding the fire dampers.
It is stated that Alabama Power Company failed to report 15 potentially cracked battery cells as inoperable. In this particular case, two battery cells of the 15 were replaced immediately and the remaining cells were replaced as recommended by the manufacturer. Upon replacement, the potentially cracked cells were stored in the :
Turbine Building Battery Room for approximately two months and then transported by truck to the Farley Nuclear Plant salvage yard and manually unloaded. This resulted in several of the cells being dropped from the truck by personnel. The cells remained in the salvage yard from June 1986 until June ,
1987 at which time four of the cells, I including one of the worst cells were shipped to an independent testing laboratory for seismic testing. These four cells subsequently passed the seismic test and were therefore proven to be capable of withstanding a seismic event even after being exposed to the weather and being unprotected for over a year. Al so, electrical operability never appeared to have been an issue. No evidence of leakage from the cracks was observed prior to, during, and I subsequent to the seismic test.
The lack of a formal process to contact key vendors is still an open item with Alabama j Power Company for Section 2.2.2 of Generic Letter 83-28. The NRC position was stated in 1 the SER to Alabama Power Company for Section 2.2.2 dated December 15, 1986. Alabama Power Company has noted its disagreement with the NRC position and on March 17, 1987 f ormally notified the NRC of such. This is one of several instances in the Report (we note this as an example) in which the NRC appears to have applied the provisions of Section 2.2.2. Alabama Power Company intends to j continue working with the NRC Staff to I resolve this open issue. !
Enclosure July 27,1987 Inspection Report Inaccuracies Page 4 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 6. Report 6 3 The Nuclear Support Group screens appropriate vendor information, both controlled and uncontrolled, as described in Nuclear Generation procedures.
- 7. Report 7 1 Contrary to what was stated, UVTI is processed by the Farley Nuclear Plant and ,
Nuclear Maintenance Support Staff when !
received. As it is unsolicited, it could enter at any point; therefore, by definition, UVTI has no designated recipient. l
- 8. Report 7 4 The critique of the Fad ey Nuclear Plant NRC Information Notice tracking system is without basis. No substantiation is provided that ,
the tracking system inspected was inadequate '
in any respect. !
l
- 9. Report 8 2 The only new vendor technical information received through these contacts was from '
Target Rock. The information from Target s l Rock had not been issued to the industry 3 because it was still being evaluated by l Target Rock. Other contacts concerned procurement questions and obtaining '
documentation or verification of previous actions, etc. s s "Many of these problems could have been s resolved at an earlier date if a :.ure ,
rigorous vendor interface program !wd been establi shed. " There doeihnot appear; to be f sufficient support to justify th!s statetent.
s
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Enclosure July 27, 1987 Inspection Report Inaccuracies Page 5 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 10. Report 9 3 The NRC inspectors were not the motivating force as suggested here, rather the Farley Nuclear Plant Staff were the ones who suggested that the inspector see the valves. I
- 11. Report 9 5 It should also be noted here that although the key had slipped 3/4", approximately 2 1/4" remained engaged.
- 12. Report 10 1 The criticism of the Farley Nuclear Plant only inspecting butterfly valves is misleading since these valves have been found to be the only type valve at Farley Nuclear Plant involved.
- 13. ' Report 10 (2)4 The citation that Farley Nuclear Plant failed to inspect Anchor / Darling check valves in other safety-related systems is misleading since no affected valves were located in
, other safety-related systems.
- 14. eport ,
12 5 Problems in determining the status of several S
of these reports resulted from the fact that
- n. '
the reports were issued prior to Generic
'N Letter 83-28 or the Farley Nuclear Plant 1 VETIP. These items were found to be
' satisfactorily addressed and completed.
1 Therefore, difficulties in determining the status of these reports had nothing to do with vendor interface; rather, it took more 4
time to retrieve documentation of actions for these reports than was required to obtain documentation for reports being tracked as a part of VETIP.
"The licensee's difficulties in determining what changes affected their equipment and the s status of these changes provide an example of the problems which can arise from a less than rigorous vendor interf ace program." There does not appear to be sufficient support to justify this statement.
Enclosure July 27, 1987 Inspection Report Inaccuracies Page 6 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 15. Report 16 (10)4 "On the basis of the data presented during the inspection, the licensee's review of this issue was not based on sufficient technical information to accomplish its intent." There does not appear to be sufficient support to justify this statement.
- 16. Report 17 2 The NRC's listing of paint and the subsequent removal of such paint with a solvent is conjecture only. Testing conducted by two independent laboratories on samples taken from the cell has failed to positively identify any trace of solvent. The test results did indicate that latex paint was present on one of the samples. The battery manufacturer, however, has verbally informed j Alabama Power Company that latex paint would not cause the cell to crack. The test results also indicated that one of the samples contained cracks which could have been caused by chemical crazing. However, the source or cause of the chemical crazing could not be determined. In addition, test results from another sample indicated that the cracks could have been initiated by stress.
- 17. Report 17 4 Four of the 15 potentially cracked battery cells, even after rough handling and exposure to the elements, passed a shake test for seismic qualification and thus should not be classified as degraded.
- 18. Report 18 (12)1 See item 5 above.
- 19. Report 18 (12)2 The statement that the dampers failed to operate as required by system design is not correct. The dampers are required to isolate a fire from spreading to adjacent plant areas. The design does not require them to
Enclosure .
July 27.1987 :nspection Report Inaccuracies
..Page 7 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 19. Report 18 (12)2 close against flow. It is considered good (cont'd) engineering design either to have the . dampers close against air flow or to have the air flow automatically shut off during a fire so that the dampers can close and perform their function. Alabama Power Company has not identified any requirement which would not be met by manual action to shut off the air flow so the dampers could close. Additionally, Alabama Power Company has a procedure which has been in place since September 9,1980 that covers the manual shutdown of the control room' air handling unit in the event of the indication of fire.
- 20. Report 19 1. This section is not applicable. The dampers were not declared non-functional until the issue was raised during the audit, at which time they were conservatively declared inoperable.
- 21. Report 19 2 There does not appear to be sufficient support to justify the statement that the operators might not be able to make_ a timely response, especially in light of the procedural guidance that was available.
- 22. Report 19 3 The correct MWR Number is 48429, not 48439.
- 23. Report 20 (13) Contrary to what was stated, the date of the evaluation cover letter sheet and the letter representing the disposition are the same.
Contrary to the NRC statement, Alabama Power Company considered this to be a significant safety concern as indica >d by the actions taken. These actions to 4- place prior to the establishment of the Farley Nuclear Plant VETIP. After the program was established, TB 83-04 was screened "not significant" because all actions had already been completed as l- documented in the screening. Therefore, there was no inappropriate action.
1 I
Enclosure July 27,1987 Inspection Report Inaccuracies Page 8 l
PARA./
DOCUMENT PAGE ITEM COMMENTS
- 24. Report 20 (14)2 Farley Nuclear Plant currently employs a systematic documentation of receipt, evaluation and remedial actions taken as a result of Part 21 notifications. Since the Eberline Report was issued prior to issuance of Generic Letter 83-28, it is incorrect to imply that the Farley Nuclear Plant VETIP is deficient in this resp 6Ct.
- 25. Report 21 (16)3 The Part 21 burden in this case should be placed on the supplier, not on Alabama Power Company. Since Farley Nuclear Plant was not affected by this report, Pacific Scientific was not required to notify Farley Nuclear Plant, per Part 21. Farley Nuclear Plant action to verify that the report was not applicable to Farley Nuclear Plant went beyond the requirements of Part 21.
Furthermore, this is the only (not "another")
example provided of " indirect" receipt of information.
- 26. Report 21 E The lack of a contracted program does not make Alabama Power Company's program informal. Alabama Power Company s program has been shown to be adequate. No requirement exists for all vendors of key components to be contacted frequently or contracted with to establish a basis for notification.
These statements are based solely on the provisions of Generic Letter 83-28 and do not address the success or failure of the Farley Nuclear Plant VETIP. The NRC in Paragraph 3 of the July 27, 1987 letter stated "no instances were found where Alabama Power Company failed to receive information".
Since no case could be found where Farley Nuclear Plant did not receive information, no weakness exists.
Despite NRC implications, no new technical i information was received during this audit except the Target Rock Report which had not been issued to the industry.
w _ _ _ _ _______-_ _ - - - _ _ - _ _ _ ____ - _ _ _ _ _ _ _ _ _ _
Enclosure July 27, 1987 Inspection Report Inaccuracies Page 9 PARA./
DOCUMENT PAGE ITEM COMMENTS
- 27. Report 22 1 Terry Turbine information was not received from a second hand source. It was received from Bechtel, Alabama Power Company's Architect Engineer.
- 28. Report 22 2 "The evaluation of vendor information is weak and in some cases untimely, as evidenced by the less-then-rigorous [ sic] evaluations performed ... The weak evaluations contributed to subsequent problems in these areas." There does not appear to be sufficient support to justify this statement.
- 29. Report 22 2&3 Colt SIL A-2 was properly evaluated but not completely implemented. Other Colt issues were not reported by Colt, despite formal vendor contact. The inference from this report is that this issue was closed; however, this issue was considered open by Alabama Power Company, l Corrective action for the Eberline issue was complete, but documentation was inadequate.
This issue was pre-VETIP.
- 30. Report 22 3 "This problem may have been aggravated by the '
lack of formal identification of incoming Part 21 notifications..." There does not appear to be sufficient support to justify this statement.
- 31. Report 23 1 The program implemented by Alabama Power Company for safety-related systems was submitted to the NRC by letter dated February 15, 1984. This program was discussed in detail during the audit. At no time did Alabama Power Company imply that it decided not to implement the program as described in the February 15, 1984 letter.
- . Enclosure July 27, 1987 Inspection Report Inaccuracies Page 10 PARA./
DOCUMENT PAGE ITEM COMMEllTS
- 32. Report 24 C.1 Alabama Power Company actually purchased 206 safety-related breakers, not 200 as stated in ;
this report. l
- The statement that there was no basis and no testing to show the acceptability of the breakers in 600VAC systems is not correct. '
Alabama Power Company had a basis that l included testing and analysis.
With regard to the approval of Satin American as a source, an audit was subsequently performed which verified Satin American to be an acceptable source. The prior approval of !
Satin American as a supplier based on a i review of their QA manual is an acceptable j action.
The NRC is suggesting that a requirement exists to perform the following tests:
overload at rated voltage, overcurrent trip, rated load and endurance. To maintain a UL listing of the breakers, these tests would be required. Alabama Power Company did not intend to obtain a UL listing of these breakers at 600V. Additionally, Alabama 1 Power Company is not aware of any regulatory requirement to maintain a 600V UL listing of these breakers. In order to have obtained the 480V UL listing, all of these tests must have been satisfactorily completed. The dedication process of the breakers demonstrated similarity and did not require UL approval. The tests performed were additional assurance.
- 33. Report 24 C.2 The statement that no testing, auditing or inspection was performed to determine the ef fect of manufacturing changes is misleading. Refer to Item 3, above.
-Entlosure July 27,1987 inspection Report Inaccuracies !
Page 11 1
i l
PARA./ i DOCUMENT PAGE ITEM COMMENTS I i
- 34. Report 25 1 Three of the nine breakers noted by the NRC !
to have been installed in safety-related MCCs were not installed in safety-related MCCs.
These breakers were installed in non )
safety-related MCCs IC, 2E and 2M at i locations FCLO3, FEE 3 and FMH2.
The statement that the breakers were removed or disconnected because acceptability questions "could not be resolved" would more accurately read "could not be immediately resol ved" . Once the NRC questioned the qualification of the breakers, Alabama Power Company immediately removed the breakers from service solely for the purpose of resolving any potential operability questions. The current wording fails to give credit to the commitment tn safety by Farley Nuclear Plant.
- 35. Report 28 1 Results of testing that confirmed operability were provided to the NRC prior to the issuance of this report; however, the results '
of these tests were not incorporated into the report.
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