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{{#Wiki_filter:l(027
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  'O
'O
          c atog                                                               % N D D r*w
c atog
      /                                     UNITED STATES
% N D D r*w
    '
/
      y
c 'k
      ;
UNITED STATES
          ,    c'E'kg              NUCLEAR REGULATORY COMMISSION
y
                .
g
                                          WASHINGTON, D. C. 20555
NUCLEAR REGULATORY COMMISSION
      o,           8                                                                   CCf. EIEi
,
        g ..../                                                                           UNC
'
                                                  September 24, 1985
;
                                                                                    '85 SEP 26 R2:39
'E
            Peter B. Bloch, Esq., Chairman
WASHINGTON, D. C. 20555
            Administrative Judge
.
                                                        Dr. Kenneth A. McCollom
o,
                                                        Administrative Judge
8
                                                                                  $CNE       AN b
CCf. EIEi
                                                                                          ERMCH
g ..../
            Atomic Safety and Licensing Board           Dean, Division of Engineering,
UNC
            U.S. Nuclear Regulatory Commission             Architecture and Technology
September 24, 1985
            Washington, DC 20555                       Oklahoma State University
'85 SEP 26 R2:39
                                                        Stillwater, OK 74078
Peter B. Bloch, Esq., Chairman
            Herbert Grossman, Alternate Chairman       Elizabeth B. Johnson
Dr. Kenneth A. McCollom
            Administrative Judge                       Administrative Judge
$CNE AN b
            Atomic Safety and Licensing Board           Oak Ridge National Laboratory
Administrative Judge
            U.S. Nuclear Regulatory Commission         P.O. Box X, Building 3500
Administrative Judge
            Washington, DC 20555                       Oak Ridge, TN 37830
ERMCH
            Dr. Walter H. Jordan
Atomic Safety and Licensing Board
            Administrative Judge
Dean, Division of Engineering,
            881 W. Outer Drive
U.S. Nuclear Regulatory Commission
            Oak Ridge, TN 37830
Architecture and Technology
                                          In the Matter of
Washington, DC 20555
                            Texas Utilities Generating Electric, et al.
Oklahoma State University
                      (Comanche Peak Steam Electric Station, Units T and 2)
Stillwater, OK 74078
                                  Docket Nos. 50-445 and 50-4460t-
Herbert Grossman, Alternate Chairman
            Dear Administrative Judges:
Elizabeth B. Johnson
            By letter of March 6,1985, NRC Staff counsel transmitted copies of
Administrative Judge
            NRC Inspection Report 84-45 (March 5, 1985) to the Board. Subsequently,
Administrative Judge
            the Staff determined that the discussions for items 6.b.(3), 6.c. and
Atomic Safety and Licensing Board
            d. were incorrect or omitted in pages 14-16 of the inspection report.
Oak Ridge National Laboratory
            The most significant item was the inadvertent omission of item 6.c.,
U.S. Nuclear Regulatory Commission
            which is a discussion on Deviation 445/8415-01. Accordingly, the Staff
P.O. Box X, Building 3500
            has issued new pages 14-17 to replace original pages 14-16. See Enclo-
Washington, DC 20555
            sure 1.   Copies of Inspection Report 84-45 which include new pages 14-17
Oak Ridge, TN 37830
            are enclosed for the information of the Board as Enclosure 2. Hence,
Dr. Walter H. Jordan
            the original version of Inspection Report 84-45 should be discarded.
Administrative Judge
                                                  Sincerely,
881 W. Outer Drive
                                                                        '    *
Oak Ridge, TN 37830
          8509300395 850924
In the Matter of
          PDR      ADOCK050004j5
Texas Utilities Generating Electric, et al.
                              P
(Comanche Peak Steam Electric Station, Units T and 2)
                                                                    .
Docket Nos. 50-445 and 50-4460t-
                                                                        p, - _
Dear Administrative Judges:
            o                                    Gea y S       zuno
By letter of March 6,1985, NRC Staff counsel transmitted copies of
                                                  Counsel for NRC Staff
NRC Inspection Report 84-45 (March 5, 1985) to the Board. Subsequently,
            Enclosures:     As stated
the Staff determined that the discussions for items 6.b.(3), 6.c. and
            cc w/encis.:   Service List
d. were incorrect or omitted in pages 14-16 of the inspection report.
The most significant item was the inadvertent omission of item 6.c.,
which is a discussion on Deviation 445/8415-01. Accordingly, the Staff
has issued new pages 14-17 to replace original pages 14-16. See Enclo-
sure 1.
Copies of Inspection Report 84-45 which include new pages 14-17
are enclosed for the information of the Board as Enclosure 2.
Hence,
the original version of Inspection Report 84-45 should be discarded.
Sincerely,
8509300395 850924
'
*
ADOCK050004j5
p, - _
PDR
.
P
Gea y S
zuno
o
Counsel for NRC Staff
Enclosures:
As stated
cc w/encis.:
Service List


p
p
'
'
                          ENCLOSURE 1
ENCLOSURE 1
  .
.
    _ ENCLOSURE 1
_ ENCLOSURE 1
                  . _ . -   . .-- .
. _ . -
. .-- .


                                              _.                   .   _ __ _ _ - ___
_.
  a
.
  .
_ __ _ _ - ___
    In Reply Refer To:                 SEP 18 25
a
    Dockets:   50-445/84-45
.
    Texas Utilities Generating Company
In Reply Refer To:
    ATTN: Mr. W. G. Counsil
SEP 18 25
            Executive Vice President
Dockets:
    400 North Olive, L.B. 81
50-445/84-45
    Dallas, Texas 75201             .
Texas Utilities Generating Company
ATTN: Mr. W. G. Counsil
Executive Vice President
400 North Olive, L.B. 81
Dallas, Texas 75201
.
Gentlemen:
'
'
    Gentlemen:
This refers to the NRC Inspection Report 50-445/84-45.
    This refers to the NRC Inspection Report 50-445/84-45.         Enclosed are new
Enclosed are new
    pages 14-17 to provide corrections to the report details, Section 6, Applicant
pages 14-17 to provide corrections to the report details, Section 6, Applicant
    Action on Previous Inspection Findings (items 6.a.(3), b.c., and 6.d). Please
Action on Previous Inspection Findings (items 6.a.(3), b.c., and 6.d).
    replace the original pages 14-16 with new pages 14-17.
Please
    Should you have any questions, please contact us.
replace the original pages 14-16 with new pages 14-17.
Should you have any questions, please contact us.
Sincerely,
,
,
                                            Sincerely,
Oricinal signed Byi
'
'
                                                    Oricinal signed Byi
incne.rd P. Denise
                                                      incne.rd P. Denise
R. P. Denise, Director
                                            R. P. Denise, Director
Division of Reactor Safety
                                            Division of Reactor Safety
and Projects
                                                  and Projects
.
.
    Enclosure:
Enclosure:
    As stated
As stated
    cc:
cc:
    Texas Utilities Electric Company
Texas Utilities Electric Company
    ATTN:   J. W. Beck, Manager,
ATTN:
l               Licensing
J. W. Beck, Manager,
l
Licensing
Skyway Tower
'
'
    Skyway Tower
400 North Olive Street
    400 North Olive Street
Lock Box 81
    Lock Box 81
l
l
    Dallas, Texas     75201
Dallas, Texas
    Texas Radiation Control Program Director
75201
Texas Radiation Control Program Director
.
-
-
--.
.
.
-
-


,       - - - _ - - - - - - - - - - - - - - - - - - - - - - - - - -                                                                                 - - . - _ - .
,
      O
- - - _ - - - - - - - - - - - - - - - - - - - - - - - - - -
      -
- - . - _ - .
                                                                                                        14
O
                                                                    b.   (Closed)OpenItem 445/8415-02:                     Minor discrepancies found during NRC
14
                                                                        inspection of station administrative procedures. During a previous
-
                                                                        inspection (445/84-15) of station administrative procedures, the RR1
b.
.                                                                      found several minor discrepancies and made some suggestions to
(Closed)OpenItem 445/8415-02:
Minor discrepancies found during NRC
inspection of station administrative procedures.
During a previous
inspection (445/84-15) of station administrative procedures, the RR1
found several minor discrepancies and made some suggestions to
.
preclude future problems.
The applicant took action on those items
l
l
                                                                        preclude future problems. The applicant took action on those items
that the applicant considered justification for implementing a
                                                                        that the applicant considered justification for implementing a
procedure change.
                                                                        procedure change.     F,or example:
F,or example:
                                                                        (1) STA-401, " Station Operation Review Committee," Revision 5,
(1) STA-401, " Station Operation Review Committee," Revision 5,
                                                                              Section 4.4 did.not fully implement the responsibilities of the
Section 4.4 did.not fully implement the responsibilities of the
                                                                              committee as stated in the CPSES Unit 1 Technical Specifications
committee as stated in the CPSES Unit 1 Technical Specifications
                                                                              (final draft). This was corrected in Revision 8 of STA-401.
(final draft).
                                                                        .(2) STA-203, " Control of Station Manuals," Revision 7. Section 4.3.3
This was corrected in Revision 8 of STA-401.
                                                                              required a notification memo to be sent to each onsite holder of
.(2) STA-203, " Control of Station Manuals," Revision 7. Section 4.3.3
                                                                              controlled station manuals to alert recipients of a revision or
required a notification memo to be sent to each onsite holder of
                                                                              new procedure.   This was not being done for holders of the                       '
controlled station manuals to alert recipients of a revision or
                                                                              manual who incorporate their own changes because they sign a
new procedure.
                                                                              receipt for the changes or new procedures anyway. Revision-9
This was not being done for holders of the
                                                                              clarified this such that the applicant is in compliance with the
'
                                                                              procedure.       ,
manual who incorporate their own changes because they sign a
                                                                        (3) STA-307, " Forms Control," Revision 2, allowed minor changes to
receipt for the changes or new procedures anyway.
                                                                              forms without revising the parent procedure containing a sample
Revision-9
                                                                              of the form as an attachment. However, instead of changing the
clarified this such that the applicant is in compliance with the
                                                                              revision number of the form itself, the office services staff
procedure.
                                                                              misinterpreted Section 4.2.6 of STA-307 and changed the revision
,
  .
(3) STA-307, " Forms Control," Revision 2, allowed minor changes to
                                                                              of the parent procedure attachment page, which caused a conflict
forms without revising the parent procedure containing a sample
I                                                                             with the rest of the parent procedure pages. This was corrected
of the form as an attachment.
                                                                              by the applicant and STA-307 was revised to preclude
However, instead of changing the
                                                                              misinterpretation.
revision number of the form itself, the office services staff
t                                                                       This item is closed.
misinterpreted Section 4.2.6 of STA-307 and changed the revision
                                                                    c. (Clos.ed) Deviation 445/8415-01: Failure of the applicant to use 50RC
.
    i
of the parent procedure attachment page, which caused a conflict
                                                                        approved instructions to perform work on the emergency diesel
I
                                                                        generators.   The CPSES FSAR commits to Regulatory Guide (RG) 1.22,
with the rest of the parent procedure pages.
                                                                        Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI
This was corrected
                                                                        N18.7-1976 to which it refers, requires maintenance to be performed
by the applicant and STA-307 was revised to preclude
                                                                        using procedures / instructions receiving the same review and approval
misinterpretation.
                                                                        as operating instructions, i.e., review and approval by the SORC.
t
                                                                        During two previous inspections (50-445/84-07 and 50-445/84-15), the
This item is closed.
                                                                        NRC inspectors noted that the applicant had defined " instructions" as
c.
                                                                        procedures wnich do not require SORC approval, and had issued
(Clos.ed) Deviation 445/8415-01:
                                                                        " instructions" to perform work on safety-related equipment such as
Failure of the applicant to use 50RC
                                                                                                            . _ - _ _ _ _ .
approved instructions to perform work on the emergency diesel
i
generators.
The CPSES FSAR commits to Regulatory Guide (RG) 1.22,
Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI
N18.7-1976 to which it refers, requires maintenance to be performed
using procedures / instructions receiving the same review and approval
as operating instructions, i.e., review and approval by the SORC.
During two previous inspections (50-445/84-07 and 50-445/84-15), the
NRC inspectors noted that the applicant had defined " instructions" as
procedures wnich do not require SORC approval, and had issued
" instructions" to perform work on safety-related equipment such as
. _ - _ _ _ _ .


-.                                                             -. . ..
-.
  .
-. . ..
  .
.
                                              15
15
              the emergency diesel generator (EDG). The apparent basis was that
.
              EDG work performed by the maintenance department had no significant
the emergency diesel generator (EDG). The apparent basis was that
              impact on other departments, and/or was work unique to the
EDG work performed by the maintenance department had no significant
              maintenance department. Since the above NRC inspections, the issue
impact on other departments, and/or was work unique to the
              has been resolved as evidenced in Station Administrative Procedure
maintenance department.
              STA-707, " Safety Evaluations," (Revision 2) STA-202, " Preparation,
Since the above NRC inspections, the issue
              Review, Approval, and Revision of Station Procedures" (Revision 10),
has been resolved as evidenced in Station Administrative Procedure
              and the final draft'of the CPSES Unit 1 Technical Specifications
STA-707, " Safety Evaluations," (Revision 2) STA-202, " Preparation,
              (TS). In. essence., all. safety-related procedures and instructions
Review, Approval, and Revision of Station Procedures" (Revision 10),
              will receive.a SORC review by virtue of the requirement that the SORC
and the final draft'of the CPSES Unit 1 Technical Specifications
              review the related safety evaluations, as stated in the TS and
(TS).
              STA-401, which both list the responsibilities of the 50RC.
In. essence., all. safety-related procedures and instructions
              This deviation is closed.
will receive.a SORC review by virtue of the requirement that the SORC
        d.   (Closed) Violation 445/8421-02: Failure of preoperational test
review the related safety evaluations, as stated in the TS and
              procedures to provide adequate prerequisites. During a previous
STA-401, which both list the responsibilities of the 50RC.
              inspection (445/84-21), the RRI noted that during conduct of
This deviation is closed.
              preoperational test ICP-PT-29-02,RT1, " Diesel Generator (DG) Control
d.
              Circuit Functional and Start Test" the DG barring device was
(Closed) Violation 445/8421-02:
              connected to a portable air comprassor instead of the Service Air
Failure of preoperational test
procedures to provide adequate prerequisites.
During a previous
inspection (445/84-21), the RRI noted that during conduct of
preoperational test ICP-PT-29-02,RT1, " Diesel Generator (DG) Control
Circuit Functional and Start Test" the DG barring device was
connected to a portable air comprassor instead of the Service Air
System. There was no' prerequisite step in the test procedure to
*
'
'
              System. There was no' prerequisite step in the test procedure to        *
provide either temporary or permanent air for the barring device, yet
              provide either temporary or permanent air for the barring device, yet
it needed air to be tested.
              it needed air to be tested. Also, during testing of the Service
Also, during testing of the Service
              Water System in accordance with ICP-PT-04-01, RT 1, " Station Service
Water System in accordance with ICP-PT-04-01, RT 1, " Station Service
,            Water (SSW)," a Barton D/P gage did not function due to air binding.
Water (SSW)," a Barton D/P gage did not function due to air binding.
,
l
There was no prerequisite in the test procedure to ensure the gage
[
was recently filled and vented to assure accurate test data, nor did
;
the Startup Administrative Procedures for writing the test require
l
it.
This wa:: e notentially generic problem. The applicant has since
i
revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"
l
l
              There was no prerequisite in the test procedure to ensure the gage
to require the appropriate prerequisites.
[            was recently filled and vented to assure accurate test data, nor did
Each organization
;            the Startup Administrative Procedures for writing the test require
l            it.  This wa:: e notentially generic problem. The applicant has since
i            revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"
l            to require the appropriate prerequisites. Each organization
I
I
              responsible for review of preoperational test procedures has been
responsible for review of preoperational test procedures has been
              instructed to ensure that test prerequisites receive a comprehensive
instructed to ensure that test prerequisites receive a comprehensive
              review to ensure system readiness and correct component configuration
review to ensure system readiness and correct component configuration
              to assure validity of the test results.
to assure validity of the test results.
            This item is closed.
This item is closed.
    7. Plant Tours
7.
        During this reporting period, the SRRI and RRI conducted several
Plant Tours
        inspection tours of Unit 1.     In addition to the general housekeeping
During this reporting period, the SRRI and RRI conducted several
        activities and general cleanliness of the facility, specific attention was
inspection tours of Unit 1.
        given to areas where safety-related equipment was installed and where
In addition to the general housekeeping
        activities were in progress involving safety-related equipment.     These
activities and general cleanliness of the facility, specific attention was
        areas were inspected to ensure that:
given to areas where safety-related equipment was installed and where
        *
activities were in progress involving safety-related equipment.
            Work in progress was being accomplished using approved procedures.
These
                                          -__
areas were inspected to ensure that:
*
Work in progress was being accomplished using approved procedures.
-__


                                                            ____ _ _ _ __ _ _____ _
____ _ _ _ __ _ _____ _
  .
.
  -
16
                                            16
-
      *
Special precautions for protection of equipment were implemented, and
            Special precautions for protection of equipment were implemented, and
*
            additional cleanliness requirements were being adhered to for
additional cleanliness requirements were being adhered to for
            maintenance, flushing, and welding activities.
maintenance, flushing, and welding activities.
      *
*
            Installed safety-related equipment and components were being
Installed safety-related equipment and components were being
            protected and maintained to prevent damage and deterioration.
protected and maintained to prevent damage and deterioration.
      Also during these tours,'the SRRI and RRI reviewed the control room and
Also during these tours,'the SRRI and RRI reviewed the control room and
      shift supervisors' log books. Key items in the log review were:
shift supervisors' log books.
      *
Key items in the log review were:
            plant status
plant status
      *
*
            changes in plant status
*
      *
changes in plant status
            tests in progress
*
      *
tests in progress
            documentation of problems which arise during operating shifts
*
      No deviations or violations were found.
documentation of problems which arise during operating shifts
    S. plant Status as of December 31, 1984
No deviations or violations were found.
      a.   The applicant was at the end of the Thermal Expansion Test sequence
S.
            and making preparations to roll the main turbine-generator. Details
plant Status as of December 31, 1984
            of the testing sequence and problems encountered are discussed in
a.
            paragraph 2 of this report.
The applicant was at the end of the Thermal Expansion Test sequence
and making preparations to roll the main turbine-generator.
Details
of the testing sequence and problems encountered are discussed in
paragraph 2 of this report.
;
;
b.
Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332
,
,
      b.    Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332
'
'
            subsystems turned over to operations custody. " Custody" means having
subsystems turned over to operations custody.
            immediate authority and responsibility for operational control of
" Custody" means having
            system or equipment.
immediate authority and responsibility for operational control of
            The applicant has accepted 260 of 332 subsystems for final
system or equipment.
            acceptance.
The applicant has accepted 260 of 332 subsystems for final
      c.   Of the 199 preoperational tests, one is not yet completed on field
acceptance.
            testing, and 21 are pending review and approval of completed data.
c.
l           Eighteen are pending NRC completed data inspections,
Of the 199 preoperational tests, one is not yet completed on field
      d.   The following items related to NRC resident operations office
testing, and 21 are pending review and approval of completed data.
            findings are open pending applicant action and NRC followup
l
            inspection to confirm completion of closure:
Eighteen are pending NRC completed data inspections,
                  Violations                   10
d.
                  Deviations                   0
The following items related to NRC resident operations office
                  Open items                 100
findings are open pending applicant action and NRC followup
                  Unresolved                   7
inspection to confirm completion of closure:
                  Total                     117
Violations
                                          _     _
10
Deviations
0
Open items
100
Unresolved
7
Total
117
_
_


r
r
  .
.
,
,
f*                                       17
f*
17
l
l
l
l
Action is underway to complete these items.
Closure will be
'
'
            Action is underway to complete these items.  Closure will be
documented in future inspection reports.
            documented in future inspection reports.
I
I
      e.   Unit No. 2 is 65% complete. The preoperational test program on
e.
            systems associated with NRC.. inspections has not yet started.
Unit No. 2 is 65% complete. The preoperational test program on
    9. Exit laterview           ,
systems associated with NRC.. inspections has not yet started.
      An exit interv.iew was conducted January 4, 1985, with applicant
9.
      represeatatives identified in paragraph 1.   During this interview, the RRI
Exit laterview
      and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and
,
      discussed the inspection findings. The applicant acknowledged the
An exit interv.iew was conducted January 4, 1985, with applicant
      findings.
represeatatives identified in paragraph 1.
                                  -
During this interview, the RRI
and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and
discussed the inspection findings. The applicant acknowledged the
findings.
-
1
1
-
-
-
--- --
-
-
--
- -
-


2
2
          .
.
          .                                                                      ENCLOSURE 2
ENCLOSURE 2
                                                                    6
.
                                                                      ENCLOSURE 2
6
                                                                                              ;
ENCLOSURE 2
                                                                                              e
;
  ' ' ' -
e
            _ _ _ _ - _ - - - - _ _ _ _ - - - - - - - - - - - - - -
' ' ' -
_ _ _ _ - _ - - - - _ _ _ _ - - - - - - - - - - - - - -


                                                                                                        ~
~
                                                                                                          l
:
                                                                                                          l
.
:                                                                                                         l
.
                                                                                              .
Texas Utilities Electric Company
kR 2 8 %
In Reply Refer To:
Docket:
50-445/84-45
Texas Utilities Electric Company
ATTN:
M. D. Spence, President ,TUGC0
Skyway Tower
400 North Olive Street
'
Lock Box 81
Dallas, Texas
75201
Gentlemen:
This refers to the inspection conducted by Messrs. D. L. Kelley and W. F. Smith
of this office during the period November 1 through December 31, 1984, of
activities authorized by NRC Construction Permit CPPR-126 for the Comanche Peak
Facility, Unit 1, and to the discussion of our findings with Messrs. B. R.
Clements and J. C. Kuykendall and other members of your staff at the conclusion
of the inspection.
Areas examined during the inspection included:
(1)witnessingofthethermal
expansion test conducted in November and December 1984, (2) review of initial
startup test procedures (3) verification of completion of human engineering
deficiencies (4) Review of completed preoperational test data (5) applicant
actions on previous inspection findings (6) plant tours, and (7) plant status.
Within these areas, the inspection consisted of selective examination of
procedures and representative records, interviews with personnel, and
observations by the inspectors.
These findings are documented in the enclosed
inspection report.
During this inspection, it was found that certain of your activities were in
violation of NRC requirements.
Consequently, you are required to respond to
these violations, in writing, in accordance with the provisions of
Section 2.201 of the NRC's " Rules of Practice," Part 2, Title 10, Code of
Federal Regulations.
Your response should be based on the specifics contained
in the Notice cf Violation enclosed with this letter.
This violation maybe related to findings identified by the NRC Technical
Review Team (TRT).
If the issue is considered to be similar, you may respend
to this item separately or as part of the Comanche Peak Response Team Action
Plan.
:
One open item is identified in paragraph 2 and one in paragraph 5 of the
enclosed inspection report, which will require closure by the NRC inspectors at
a later date once the actions are completed by the applicant and a followup
inspection has been completed.
.
_
- _ . - _ _ _ _ . _ _ _ _ , _ . -
_____ _
.
.
  Texas Utilities Electric Company
.
                                                                                                          l
_.
                                                                  kR 2 8 %
_
  In Reply Refer To:
  Docket:    50-445/84-45
  Texas Utilities Electric Company
  ATTN:    M. D. Spence, President ,TUGC0
  Skyway Tower
  400 North Olive Street                                '
  Lock Box 81
  Dallas, Texas    75201
  Gentlemen:
  This refers to the inspection conducted by Messrs. D. L. Kelley and W. F. Smith
  of this office during the period November 1 through December 31, 1984, of
  activities authorized by NRC Construction Permit CPPR-126 for the Comanche Peak
  Facility, Unit 1, and to the discussion of our findings with Messrs. B. R.
  Clements and J. C. Kuykendall and other members of your staff at the conclusion
  of the inspection.
  Areas examined during the inspection included: (1)witnessingofthethermal
  expansion test conducted in November and December 1984, (2) review of initial
  startup test procedures (3) verification of completion of human engineering
  deficiencies (4) Review of completed preoperational test data (5) applicant
  actions on previous inspection findings (6) plant tours, and (7) plant status.
  Within these areas, the inspection consisted of selective examination of
  procedures and representative records, interviews with personnel, and
  observations by the inspectors. These findings are documented in the enclosed
  inspection report.
  During this inspection, it was found that certain of your activities were in
  violation of NRC requirements.                      Consequently, you are required to respond to
  these violations, in writing, in accordance with the provisions of
  Section 2.201 of the NRC's " Rules of Practice," Part 2, Title 10, Code of
  Federal Regulations.    Your response should be based on the specifics contained
  in the Notice cf Violation enclosed with this letter.
  This violation maybe related to findings identified by the NRC Technical
  Review Team (TRT). If the issue is considered to be similar, you may respend
  to this item separately or as part of the Comanche Peak Response Team Action
  Plan.
                                                                                                    :
  One open item is identified in paragraph 2 and one in paragraph 5 of the
  enclosed inspection report, which will require closure by the NRC inspectors at
  a later date once the actions are completed by the applicant and a followup
  inspection has been completed.
                      .  _      - _ . - _ _ _ _ . _ _ _ _ , _ . -          _____ _        .  . _.  _


  .
.
                                                                                              .
.
  .
.
    Texas Utilities Electric Company             -2-
Texas Utilities Electric Company
    The response directed by this letter and the accompanying notice is not
-2-
    subject to the clearance procedures of the Office of Management and Budget as
The response directed by this letter and the accompanying notice is not
    required by the Paperwork Reduction Act of 1980 PL 96-511.
subject to the clearance procedures of the Office of Management and Budget as
    Should you have any questions concerning this inspection, we will be pleased to
required by the Paperwork Reduction Act of 1980 PL 96-511.
    discuss them with you.
Should you have any questions concerning this inspection, we will be pleased to
                                      Sincerely,
discuss them with you.
                                              " Original $igned By:
Sincerely,
                                                D.R. HUNTER"
" Original $igned By:
                                      Dorwin R. Hunter, Chief
D.R. HUNTER"
                                      Reactor Project Branch 2
Dorwin R. Hunter, Chief
    Enclosure:
Reactor Project Branch 2
    Appendix A - Notice of Violation
Enclosure:
    Appencix B - NRC Inspection Report
Appendix A - Notice of Violation
                  50-445/84-45
Appencix B - NRC Inspection Report
                                            '
50-445/84-45
    cc w/ enclosure:
'
    Texas Utilities Electric company
cc w/ enclosure:
    ATTN:   J. W. Beck, Manager
Texas Utilities Electric company
              Licensing
ATTN:
    Skyway Tower
J. W. Beck, Manager
    400 North Olive Street
Licensing
    Lock Box El
Skyway Tower
l   Dallas, Texas     75201                                                                                                                   -
400 North Olive Street
Lock Box El
l
Dallas, Texas
75201
-
l
l
l
Texas Utilities Electric Company
Texas Utilities Electric Company
    ATTN:   B. R. Clements, Vice President, Nuclear
ATTN:
    Skyway Tcwer
B. R. Clements, Vice President, Nuclear
    400 North Olive Street
Skyway Tcwer
400 North Olive Street
Lock Box 81
l
l
    Lock Box 81
Dallas, Texas
75201
'
'
    Dallas, Texas      75201
l
l
                                                                  '
'
[
[
                                                                                                                                              -
-
                                                            e
e
                                                                                      - . , - , - - - - - . --, - - --- . . . --~,- , . . . ---
- - - - - .
                        - - - - - . -- - - -   -     ,     ,   r  . . - --- , ,-n .
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                                                                                        3
-
  -
-
                                                                              -
'
                                                                                          l
i
                                                                                          I
APPENDIX A
  '
,
                                                                                          l
NOTICE OF VIOLATION
                                                                                          i
'
                        ,
Texas Utilities Electric Company
                                          APPENDIX A
Docket:
                                      NOTICE OF VIOLATION                               '
50-445/84-45
    Texas Utilities Electric Company                 Docket: 50-445/84-45
Comanche Peak Steam Electric
    Comanche Peak Steam Electric                     Construction Permit: CPPR-126
Construction Permit: CPPR-126
        Station, Unit 1
Station, Unit 1
    Based on the results of an NRC inspection conducted during the period of
Based on the results of an NRC inspection conducted during the period of
    November 1, 1984, through December 31, 1984, and in accordance with the NRC
November 1, 1984, through December 31, 1984, and in accordance with the NRC
    Enforcement Policy (10 CFR Part 2 Appendix C), 49 FR 8583, dated March 8,
Enforcement Policy (10 CFR Part 2 Appendix C), 49 FR 8583, dated March 8,
    1984, the following violation was identified:
1984, the following violation was identified:
          Failure to provide adeouate procedures appropriate to
Failure to provide adeouate procedures appropriate to
          circumstances
circumstances
          -10 CFR 50, Appendix "B", Criterion V requires that, " activities affecting
-10 CFR 50, Appendix "B", Criterion V requires that, " activities affecting
          quality shall be prescribed by documented instructions, procedures, or
quality shall be prescribed by documented instructions, procedures, or
          drawings, of a type appropriate to the circumstances and shall be
drawings, of a type appropriate to the circumstances and shall be
          accomplished in accordance with these instructions, procedures, or
accomplished in accordance with these instructions, procedures, or
          drawings."
drawings."
          Contrary to the above, an Instrument and Control (I&C) technician
Contrary to the above, an Instrument and Control (I&C) technician
          received a first degree thermal burn on his forearm while attempting to
received a first degree thermal burn on his forearm while attempting to
          fill the reference leg on a pressurizer level detector (1-LT-0460)'during
fill the reference leg on a pressurizer level detector (1-LT-0460)'during
          hot plant conditions using a procedure that did not contain sufficient
hot plant conditions using a procedure that did not contain sufficient
          detail to accomplish the task. The I&C technician was using Instruction
detail to accomplish the task.
          No. 1C1-2007, " Filling and Venting Level Transmitters and Level Indicating
The I&C technician was using Instruction
          Switches (Wet Leg)" which is a generic procedure that provides general
No. 1C1-2007, " Filling and Venting Level Transmitters and Level Indicating
          guidelines for filling and venting level instruments. This use of a
Switches (Wet Leg)" which is a generic procedure that provides general
          generic procec'ure is inappropriate for the circumstances, and appears to
guidelines for filling and venting level instruments.
          have directly contributed to the technician receiving thermal burns
This use of a
          because he connected the low pressure fill equipment incorrectly and
generic procec'ure is inappropriate for the circumstances, and appears to
          manipulated the wrong valves. This action resulted in the low pressure
have directly contributed to the technician receiving thermal burns
          fill equipment being blown off and releasing hot reactor coolant to the
because he connected the low pressure fill equipment incorrectly and
          containment atmosphere. The I&C technician received thermal burns to his
manipulated the wrong valves.
          arm from the hot reactor coolant.
This action resulted in the low pressure
          This is a Severity Level IV Violation.     (Supplement II.E) (445/8445-02)
fill equipment being blown off and releasing hot reactor coolant to the
    Pursuant to the provisions of 10 CFR 2.201. Texas Utilities Electric Company is
containment atmosphere.
    hereby required to submit to this office, within 30 days of the dates of this     -
The I&C technician received thermal burns to his
    Notice, a written statement or explanation in reply, including: (1) the
arm from the hot reactor coolant.
    corrective steps which have been taken and the results achieved; (2) corrective
This is a Severity Level IV Violation.
    steps which will be taken to avoid further violations; and (3) the date when
(Supplement II.E) (445/8445-02)
    full compliance will be achieved. Consideration may be given to extending your
Pursuant to the provisions of 10 CFR 2.201. Texas Utilities Electric Company is
    response time for good cause shown.
hereby required to submit to this office, within 30 days of the dates of this
    Dated:
-
Notice, a written statement or explanation in reply, including: (1) the
corrective steps which have been taken and the results achieved; (2) corrective
steps which will be taken to avoid further violations; and (3) the date when
full compliance will be achieved.
Consideration may be given to extending your
response time for good cause shown.
Dated:
.
- -
-
-
-
.


                                                                                                                          _ _ _ _ _ _ _
_ _ _ _ _ _ _
  ,
,
    .
.
                                                    APPENDIX B
APPENDIX B
                                      U. S. NUCLEAR RE3ULATORY COMMISSION
U. S. NUCLEAR RE3ULATORY COMMISSION
                              -
REGION IV
                                                    REGION IV
-
      NRC Inspection Report: 50-445/84-45                                                                 Construction Permit CPPR-126
NRC Inspection Report: 50-445/84-45
      Docket: 50-445                                                                                       Category: A2
Construction Permit CPPR-126
      Applicant:       Texas Utilities Electric Ccmpany (TVEC)
Docket: 50-445
                        Skyway Tower
Category: A2
                        400 North Olive Street
Applicant:
                        Lock Box 81
Texas Utilities Electric Ccmpany (TVEC)
                        Dallas, Texas         75201
Skyway Tower
      Facility Name:         Comanche Peak Steam Electric Station (CPSES)
400 North Olive Street
                              Unit 1
Lock Box 81
      Inspection At:         Glen Rose, Texas
Dallas, Texas
      Inspection Conducted:             November I through December 31, 1984
75201
      Inspectors:           ' hf MbMcod
Facility Name:
                      D. L. Kelley, Senior Resident Reactor
Comanche Peak Steam Electric Station (CPSES)
                                                                                                                4/5!f8
Unit 1
                                                                                                                  'Date
Inspection At:
                          Inspector (SRRI)
Glen Rose, Texas
                '
Inspection Conducted:
                        (paragraphs 1, 2, 7, and 8)
November I through December 31, 1984
                                                                                                                                          3
Inspectors:
                                                                                                                                          l
' hf MbMcod
                                                                                                                                          I
4/5!f8
                        k k Lwuk
D. L. Kelley, Senior Resident Reactor
                  -- W. - F. Smith, Resident Reactor Inspector
'Date
                                                                                                                  .2hh5
Inspector (SRRI)
                                                                                                                  (Tats
'
                        (RRI)
(paragraphs 1, 2, 7, and 8)
              >
3
                        (paragraphs 1, 2, 3, 4, 5, 6, 7, 8, and 9)
l
      Approved:             k [bwad
I
                      D. M. Hunnicutt, Section Chief,
k k Lwuk
                                                                                                                A/5/55'
.2hh5
                                                                                                                  Oafe
- W. - F. Smith, Resident Reactor Inspector
                        Reactor Project Section B
(Tats
      Inscection Summary
-
      Insoection Conducted:           November 1 through December 31, 1984 (Report                                                     *
(RRI)
      50-445/84-45)
>
      Areas Inspected: Routine, unannounced inspection of (1) the Thermal Expansion
(paragraphs 1, 2, 3, 4, 5, 6, 7, 8, and 9)
      Test conducted during November and December 1984, (2) Initial Startup
Approved:
k [bwad
A/5/55'
D. M. Hunnicutt, Section Chief,
Oafe
Reactor Project Section B
Inscection Summary
Insoection Conducted:
November 1 through December 31, 1984 (Report
*
50-445/84-45)
Areas Inspected:
Routine, unannounced inspection of (1) the Thermal Expansion
Test conducted during November and December 1984, (2) Initial Startup
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                                        -2-
-2-
  Procedures (3) corrected Human Engineering Deficiencies, (4) completed
Procedures (3) corrected Human Engineering Deficiencies, (4) completed
  preoperational ttst data, (5) applicant actions on previous inspection
preoperational ttst data, (5) applicant actions on previous inspection
  findings, (6) plant tours, and (7) plant status. The inspection involved 109
findings, (6) plant tours, and (7) plant status.
  inspector-hours by two NRC inspectors.
The inspection involved 109
  Results:   Within the 7 areas inspected, one violation was identified (failure
inspector-hours by two NRC inspectors.
  to provide adequate procedures, paragraph 2). In addition, two open items
Results:
  exist; one in paragraph 2 and one in paragraph 5 pending applicant action.
Within the 7 areas inspected, one violation was identified (failure
                                          ,
to provide adequate procedures, paragraph 2).
                                                                                  e
In addition, two open items
                                                  e
exist; one in paragraph 2 and one in paragraph 5 pending applicant action.
,
e
e


                                                                    .
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                                            -3-
.
                                          DETAILS
-3-
                  .
DETAILS
    1. Persons Contacted
.
      Acolicant Personnel
1.
      *B. R. Clements, Vice Pres'ident, Nuclear Operations
Persons Contacted
      *J. C. Kuykendall, Manager, Nuclear Operations
Acolicant Personnel
      *C. H. Welch, Quality Assurance Supervisor
*B. R. Clements, Vice Pres'ident, Nuclear Operations
      "J. C. Smith, Quality Assurance
*J. C. Kuykendall, Manager, Nuclear Operations
      *R. B. Seidel, Operations Superintendent
*C. H. Welch, Quality Assurance Supervisor
      *H. A. Lancaster, Startup Quality Assurance Specialist
"J. C. Smith, Quality Assurance
  .    *J. M. Ward, Startup Quality Assurance Specialist
*R. B. Seidel, Operations Superintendent
      *R. E. Camp, Startup Manager
*H. A. Lancaster, Startup Quality Assurance Specialist
      "S. M. Franks, Special Project and Technical Support Lead
*J. M. Ward, Startup Quality Assurance Specialist
        R. R. Wistrand, Administration Superintendent
.
        J. J. Allen, Operations Engineer
*R. E. Camp, Startup Manager
      *R. A. Jones, Manager, Plant Operations
"S. M. Franks, Special Project and Technical Support Lead
      *J. T. Merritt, Assistant Project General   Manager
R. R. Wistrand, Administration Superintendent
      *L. G. Barnes, Operations Supervisor
J. J. Allen, Operations Engineer
      *T. Gosdin, Coordinator, Public Information
*R. A. Jones, Manager, Plant Operations
        D. W. Braswell, Engineering Superintendent
*J. T.
        J. C. Zimmerman, ISU Coordinator
Merritt, Assistant Project General Manager
        D. B. Allen, ISU Test Coordinator
*L. G. Barnes, Operations Supervisor
        B. J. Browning, Thermal Expansion Test Engineer
*T. Gosdin, Coordinator, Public Information
        M. R. Blevins, Maintenance Superintendent
D. W. Braswell, Engineering Superintendent
        B. Taylor, I&C Supervisor
J. C. Zimmerman, ISU Coordinator
        M. D. Deen, Shift Supervisor
D. B. Allen, ISU Test Coordinator
        A. W. Rosette, Operations Engineer
B. J. Browning, Thermal Expansion Test Engineer
      * Denotes those present at exit interview.
M. R. Blevins, Maintenance Superintendent
      The NRC inspectors also interviewed other applicant employees during this
B. Taylor, I&C Supervisor
      inspection period.
M. D. Deen, Shift Supervisor
    2. Witnessina of Thermal Expansion Test
A. W. Rosette, Operations Engineer
      During the period of this inspection the applicant conducted a series of
* Denotes those present at exit interview.
      pre-fuel load initial startup tests at reactor system temperatures and
The NRC inspectors also interviewed other applicant employees during this
      pressures ranging from ambient to hot standby. The principle test
inspection period.
      conducted in the 1984 was Thermal Expansion Testing (and Retesting) that
2.
      was not completed during the 1983 hot functional test (HFT). In addition, '
Witnessina of Thermal Expansion Test
      other retests requiring hot standby conditions were completed thereby
During the period of this inspection the applicant conducted a series of
  .    reducing the extent of hot plant testing that would be deferred until
pre-fuel load initial startup tests at reactor system temperatures and
      after initial fueling. The sequence was of approximately 54 days duration,
pressures ranging from ambient to hot standby.
      as planned by the applicant.
The principle test
                                      .-
conducted in the 1984 was Thermal Expansion Testing (and Retesting) that
was not completed during the 1983 hot functional test (HFT).
In addition,
'
other retests requiring hot standby conditions were completed thereby
reducing the extent of hot plant testing that would be deferred until
.
after initial fueling.
The sequence was of approximately 54 days duration,
as planned by the applicant.
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                    _         _   _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _                     .
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                                                                            -4-
.
,
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          The objectives of this inspection were to establish through observations,
!*
          records rev'fews, and independent checks that the testing was conducted in
-4-
          accordance with approved procedures, and to evaluate the performance of
,
          the applicant's personnel involved in test performance. The final NRC
The objectives of this inspection were to establish through observations,
          inspection of test results will be conducted during a subsequent period
records rev'fews, and independent checks that the testing was conducted in
          after the Station Operations Review Committee (SORC) has completed its
accordance with approved procedures, and to evaluate the performance of
          review of the data. The performance of these objectives were accomplished
the applicant's personnel involved in test performance.
          on a sampling basis. The SRRI and RRI determined that testing appeared
The final NRC
          to be conducted.in a careful and controlled manner, with minimal problems
inspection of test results will be conducted during a subsequent period
          as noted in paragraph 2.b below.
after the Station Operations Review Committee (SORC) has completed its
I         a.   The following tests were conducted:
review of the data.
                (1)   ISU-300A, " Pre-Fuel Load Initial Startup Test Sequence." The
The performance of these objectives were accomplished
                      objectives of this test were to provide an overall sequencing of
on a sampling basis.
                      all the other tests to be conducted, to establish and maintain                                               l
The SRRI and RRI determined that testing appeared
                      the plant conditions for testing, and to verify acceptable                                                   '
to be conducted.in a careful and controlled manner, with minimal problems
                      reactor coolant pump seal flow.                                                                               l
as noted in paragraph 2.b below.
                (2)   ISU-008A, " Thermal Expansion".                           The purpose of this test was to
I
                      verify that the ASME Code Class 1, 2, and 3 systems and other
a.
                      nonsafety class systems which operate at temperatures greater
The following tests were conducted:
                      than 200*F were not restrained during heatup to normal operating
(1)
                      temperature or during cooldown to ambient conditions. This
ISU-300A, " Pre-Fuel Load Initial Startup Test Sequence." The
                      procedure included verification that loads and clearance gaps
objectives of this test were to provide an overall sequencing of
                      of selected piping system snubbers, spring hangers and pipe
all the other tests to be conducted, to establish and maintain
                      rupture restraints were properly set for free pipe movement.
l
                      Component checks consisted of items requiring retest after the
the plant conditions for testing, and to verify acceptable
                      preoperational test conducted during the 1983 HFT (ICP-PT-55-11,
'
                      " Thermal Expansion") and items which were not covered by that
reactor coolant pump seal flow.
                      test. Measurements will be taken at an initial ambient temperature,
l
                      and plateaus of 250'F, 350 F, 450 F and at normal operating
(2)
                      temperature. A final set of readings was taken after cooldown
ISU-008A, " Thermal Expansion".
                      to ambient temperature.
The purpose of this test was to
                (3)   ISU-206A, " Auxiliary Feedwater Performance" The purpose of this
verify that the ASME Code Class 1, 2, and 3 systems and other
                      test was to verify that five consecutive cold quick starts of
nonsafety class systems which operate at temperatures greater
                      Turbine Driven Auxiliary Feedwater (TDAFW) pump could be
than 200*F were not restrained during heatup to normal operating
                      performed and that 1-LV-2383 (condensate drain valve) functioned
temperature or during cooldown to ambient conditions. This
                      properly during each of these starts to drain condensate from
procedure included verification that loads and clearance gaps
                      the steam supply lines.
of selected piping system snubbers, spring hangers and pipe
                      This test also verified that the time delay from receiving a                             ,
rupture restraints were properly set for free pipe movement.
                      start signal until the TDAFW pump delivered rated flow at rated
Component checks consisted of items requiring retest after the
                      pressure was less than 60 seconds.                           The time delay was
preoperational test conducted during the 1983 HFT (ICP-PT-55-11,
                      determined for both trains and will be a summation of all
" Thermal Expansion") and items which were not covered by that
                      system delays including channel sensor and actuation logic.
test. Measurements will be taken at an initial ambient temperature,
      _ ..       ..             ..
and plateaus of 250'F, 350 F, 450 F and at normal operating
                                                                                        .   . .
temperature.
                                                                                                      _.       _ _ _ _ _ _ _ _ _ _
A final set of readings was taken after cooldown
to ambient temperature.
(3)
ISU-206A, " Auxiliary Feedwater Performance" The purpose of this
test was to verify that five consecutive cold quick starts of
Turbine Driven Auxiliary Feedwater (TDAFW) pump could be
performed and that 1-LV-2383 (condensate drain valve) functioned
properly during each of these starts to drain condensate from
the steam supply lines.
This test also verified that the time delay from receiving a
,
start signal until the TDAFW pump delivered rated flow at rated
pressure was less than 60 seconds.
The time delay was
determined for both trains and will be a summation of all
system delays including channel sensor and actuation logic.
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                                      -5-
*
      (4)   ISU-220A, " Turbine Generator Initial Synchronization and
-5-
            O'verspeed Test".   The objectives during this testing sequence
(4)
            were to obtain turbine baseline data and to verify the proper
ISU-220A, " Turbine Generator Initial Synchronization and
            operation and adjustment of the turbine generator system and its
O'verspeed Test".
            associated auxiliary and support systems to the extent
The objectives during this testing sequence
            practicable during noncritical hot plant conditions.
were to obtain turbine baseline data and to verify the proper
      (5)   ISU-234A, " Main Steam Isolation Valves Operability and Response
operation and adjustment of the turbine generator system and its
            Times." The purpose of this test was to verify that the full
associated auxiliary and support systems to the extent
            stroke closure times of the Main Steam Isolation Valves and Main
practicable during noncritical hot plant conditions.
            Steam Isolation Bypass Valves were within the limits specified
(5)
            in the Comanche Peak Steam Electric Station (CPSES) Final Safety
ISU-234A, " Main Steam Isolation Valves Operability and Response
                                        '
Times." The purpose of this test was to verify that the full
            Analysis Report and Technical Specifications for Comanche Peak -
stroke closure times of the Main Steam Isolation Valves and Main
            Unit 1.   This test also was to demonstrate the operability of
Steam Isolation Bypass Valves were within the limits specified
            each Main Steam Isolation Valve and each Main Steam Isolation
in the Comanche Peak Steam Electric Station (CPSES) Final Safety
            Bypass Valve.
'
      (6)   ISU-282A, " Containment & Feed Water (FW) Penetration Room
Analysis Report and Technical Specifications for Comanche Peak -
            Temperature Survey" With the RCS at the normal operating
Unit 1.
            temperature and pressure, the objective of this test was to
This test also was to demonstrate the operability of
            demonstrate that the various cooling systems were maintaining
each Main Steam Isolation Valve and each Main Steam Isolation
            temperatures at or below their design limits in the following
Bypass Valve.
            areas:   (a) reactor coolant pipe penetrations; (b) containment
(6)
            average air temperature; (c) neutron detector wells; (d) each
ISU-282A, " Containment & Feed Water (FW) Penetration Room
            steam generator compartment; (e) the pressurizer room at the
Temperature Survey" With the RCS at the normal operating
            905 foot elevation; and (f) supply air to each reactor vessel
temperature and pressure, the objective of this test was to
            support.
demonstrate that the various cooling systems were maintaining
      (7) EGT-712A, " Reactor Coolant System Pressure Isolation Valve
temperatures at or below their design limits in the following
            Leakage Testing." This was a retest of repaired or replaced
areas:
            Safety Injection System check valves which did not meet the
(a) reactor coolant pipe penetrations; (b) containment
            acceptance criteria while being tested during the original HFT
average air temperature; (c) neutron detector wells; (d) each
            of 1983.
steam generator compartment; (e) the pressurizer room at the
      In addition to the specific tests above, the applicant took the
905 foot elevation; and (f) supply air to each reactor vessel
      opportunity to exercise several integrated plant operation and
support.
      standard operating procedures to confirm or correct their accuracy
(7) EGT-712A, " Reactor Coolant System Pressure Isolation Valve
      and adequacy. Also a few dry runs were conducted on pending initial
Leakage Testing." This was a retest of repaired or replaced
      Startup test procedures to help minimize procedure problems after the
Safety Injection System check valves which did not meet the
      fuel is loaded.
acceptance criteria while being tested during the original HFT
    b. The applicant conducted weekly status and problem review meetings
of 1983.
      between the NRC resident inspectors and key managers including the Manager,
In addition to the specific tests above, the applicant took the
      Plant Operation, Engineering Superintendent, Maintenance Superintendent,
opportunity to exercise several integrated plant operation and
      Operations Superintendent, and Operations Supervisor.
standard operating procedures to confirm or correct their accuracy
                                                                                    I
and adequacy. Also a few dry runs were conducted on pending initial
                                                                                  ;
Startup test procedures to help minimize procedure problems after the
fuel is loaded.
b.
The applicant conducted weekly status and problem review meetings
between the NRC resident inspectors and key managers including the Manager,
Plant Operation, Engineering Superintendent, Maintenance Superintendent,
Operations Superintendent, and Operations Supervisor.
;


.
.
.
.
                                  -6-
-6-
  This meeting provided an opportunity for the RRI and SRRI to assess
This meeting provided an opportunity for the RRI and SRRI to assess
  applic' ant management involvement in the test sequence, and to address
applic' ant management involvement in the test sequence, and to address
  NRC inspection concerns and actions taken by the applicant, and to
NRC inspection concerns and actions taken by the applicant, and to
  keep abreast of management decisions which affect testing plans for
keep abreast of management decisions which affect testing plans for
  the week that followed. The following problems were encountered:
the week that followed.
  (1) Failed Reactor Coolant Pump Motor:     During the early phases of
The following problems were encountered:
        reactor coolant' system (RCS) fill in preparation for this
(1) Failed Reactor Coolant Pump Motor:
        testing sequence, No. 4 reactor coolant pump motor tripped due
During the early phases of
        to arcing in the' stator. This was apparently caused by a
reactor coolant' system (RCS) fill in preparation for this
        foreign piece of metal resembling a washer which may have
testing sequence, No. 4 reactor coolant pump motor tripped due
        damaged the stator insula. tion. This appears to be an unusual,
to arcing in the' stator. This was apparently caused by a
        isolated occurrence provided an electrical path to ground. The
foreign piece of metal resembling a washer which may have
      motor has an open type enclosure.     The motor was replaced and
damaged the stator insula. tion.
        retested.
This appears to be an unusual,
  (2) The No. 1 Residual Heat Removal (RHR) pump tripped upon starting
isolated occurrence provided an electrical path to ground. The
      due to an apparent upper wear ring failure. The applicant is
motor has an open type enclosure.
        reviewing the problem as to cause and will report it as required
The motor was replaced and
      by the regulations.
retested.
  (3) There were two cases of failure to maintain adequate procedural
(2) The No. 1 Residual Heat Removal (RHR) pump tripped upon starting
      control of plant conditions:
due to an apparent upper wear ring failure. The applicant is
        ISU-008, " Thermal Expansion" did not address the required
reviewing the problem as to cause and will report it as required
      charging / letdown path and as such the paths were selected in
by the regulations.
      accordance with the plant operating procedures. As a result,
(3) There were two cases of failure to maintain adequate procedural
      the lineup had to be changed to accommodate the test.     Plant
control of plant conditions:
        temperature stability, as defined in the test, was lost.   The
ISU-008, " Thermal Expansion" did not address the required
      only consequence was about a 4-hour delay in reestablishing
charging / letdown path and as such the paths were selected in
        stable temperature conditions which are prerequisites to the
accordance with the plant operating procedures. As a result,
      test.
the lineup had to be changed to accommodate the test.
        ISU-008 also failed to address the fact that RHR cross
Plant
      connection valve 8716A was to be open for the test, because the
temperature stability, as defined in the test, was lost.
        integrated plant operating procedure used to establish
The
      conditions required the valve to be shut. When it became
only consequence was about a 4-hour delay in reestablishing
      apparent that the valve should be opened, verbal
stable temperature conditions which are prerequisites to the
      miscommunications between test and operating personnel
test.
        resulted in a second delay in establishing stable temperatures
ISU-008 also failed to address the fact that RHR cross
        for the expansion test.
connection valve 8716A was to be open for the test, because the
      These problems were discussed with the ISU Coordinator, as well   ,
integrated plant operating procedure used to establish
      as TUEC management. TUEC committed to ensure that all test
conditions required the valve to be shut. When it became
      procedures will be checked and revised as necessary to identify
apparent that the valve should be opened, verbal
      any valve or breaker positions required that are not normally
miscommunications between test and operating personnel
      provided by the operating procedures referenced by the test
resulted in a second delay in establishing stable temperatures
for the expansion test.
These problems were discussed with the ISU Coordinator, as well
,
as TUEC management.
TUEC committed to ensure that all test
procedures will be checked and revised as necessary to identify
any valve or breaker positions required that are not normally
provided by the operating procedures referenced by the test


                        -  --
,
,
  .
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  .
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                                      -7-
.
            p,rocedures.   The NRC inspectors did not observe this problem any
.
            further and thus considered the corrective action of the
-7-
            applicant to be' adequate in this area.
p,rocedures.
      (4) Main Steam Isolation Valve (MSIV) cycling met the acceptance
The NRC inspectors did not observe this problem any
            criteria, after correcting minor mechanical problems pending
further and thus considered the corrective action of the
            final review and. approval of the data, but the bypass valves
applicant to be' adequate in this area.
            (MSIBV) did not. The' applicant is evaluating and has made
(4) Main Steam Isolation Valve (MSIV) cycling met the acceptance
            informal comments to the RRI that a design change to manual
criteria, after correcting minor mechanical problems pending
          valves will be implemented.
final review and. approval of the data, but the bypass valves
      (5) During thermal expansion ; testing, at the various temperature
(MSIBV) did not.
          plateaus, of ambient, 250*F, 350 F, 450*F, and normal operating
The' applicant is evaluating and has made
          temperature, numerous support snubbers and restraints required
informal comments to the RRI that a design change to manual
            some rework and retesting. By the end of the sequence most had
valves will be implemented.
          been corrected and retested, except in some cases where it was
(5) During thermal expansion ; testing, at the various temperature
            impractical or unsafe (due to hot surfaces) to make adjustments.
plateaus, of ambient, 250*F, 350 F, 450*F, and normal operating
          The latter cases have been identified and will become part of
temperature, numerous support snubbers and restraints required
          what now appears to be a potentially small test deferral package
some rework and retesting.
            for postfueling hot functional testing.
By the end of the sequence most had
      (6) During starting of the Turbine Driven Auxiliary Feedwater
been corrected and retested, except in some cases where it was
          (TDAFW) pump, in accordance with ISU-206A, the pump manual
impractical or unsafe (due to hot surfaces) to make adjustments.
          discharge valve IAF-041 was discovered locked shut. This valve
The latter cases have been identified and will become part of
          was recorded by the operators as " locked open" on the valve
what now appears to be a potentially small test deferral package
          lineup sheet provided by the system operating procedure. The
for postfueling hot functional testing.
          RRI noted this in the shift supervisor's logs about one 8-hour
(6) During starting of the Turbine Driven Auxiliary Feedwater
          shift later,and cuestioned the shift supervisor in charge of the
(TDAFW) pump, in accordance with ISU-206A, the pump manual
          subsequent shift whether or not a deviation report (DR) had been
discharge valve IAF-041 was discovered locked shut. This valve
          initiated, as required by Administrative Procedure STA-404,
was recorded by the operators as " locked open" on the valve
          " Control of Deficiencies." The shift supervisor indicated that
lineup sheet provided by the system operating procedure. The
          he would check into it and if necessary, initiate the
RRI noted this in the shift supervisor's logs about one 8-hour
          appropriate reports.     He further stated that the cause appeared
shift later,and cuestioned the shift supervisor in charge of the
          to be confusion over which way to turn the valve handwheel due
subsequent shift whether or not a deviation report (DR) had been
          to the reach rod linkage, and the valve being overhead, rather
initiated, as required by Administrative Procedure STA-404,
          than a violation of the system operating procedure. IAF-041 is
" Control of Deficiencies." The shift supervisor indicated that
          an 8" rising stem overhead valve with several reach rod links
he would check into it and if necessary, initiate the
          with universal joints to get the handwheel within easy access.
appropriate reports.
          Tne RRI inspected the valve. Although it may be difficult to
He further stated that the cause appeared
          check whether the valve is shut, the operator should not have a
to be confusion over which way to turn the valve handwheel due
          problem checking whether the valve is open by looking for inward
to the reach rod linkage, and the valve being overhead, rather
          stem movement because he can always attempt to shut the valve
than a violation of the system operating procedure.
          and see some stem movement.     There is no apparent reason for     -
IAF-041 is
          this problem, other than failure on the part of the operator
an 8" rising stem overhead valve with several reach rod links
    -
with universal joints to get the handwheel within easy access.
          to check the valve position in a positive manner. Discussions
Tne RRI inspected the valve. Although it may be difficult to
          between the RRI and the applicant brought out a need for the
check whether the valve is shut, the operator should not have a
          applicant to take definitive corrective action to preclude
problem checking whether the valve is open by looking for inward
          future valvt lineup problems and to ensure that all such
stem movement because he can always attempt to shut the valve
                                                                                  l
and see some stem movement.
There is no apparent reason for
-
this problem, other than failure on the part of the operator
-
to check the valve position in a positive manner.
Discussions
between the RRI and the applicant brought out a need for the
applicant to take definitive corrective action to preclude
future valvt lineup problems and to ensure that all such


                                                                                _____________
_____________
      .
.
      .
.
                -
-
                                                                _g.
_g.
                            problems are documented in a timely manner by shift supervisors
problems are documented in a timely manner by shift supervisors
                            with first-hand knowledge of the problems. At the discussion it was
with first-hand knowledge of the problems. At the discussion it was
                            pointed out by the RRI that the shift supervisor appears to be
pointed out by the RRI that the shift supervisor appears to be
                            burdened with an analysis of the problem and possible corrective
burdened with an analysis of the problem and possible corrective
                            actions for the purpose of deciding in what format the problem
actions for the purpose of deciding in what format the problem
                            must be reported, i.e., Deficiency Report, Nonconformance
must be reported, i.e., Deficiency Report, Nonconformance
                            Report, or Problem Report. These reports are controlled by
Report, or Problem Report.
                            three different administrative procedures. The applicant
These reports are controlled by
                            indicated that action will be taken to provide the shift supervisors
three different administrative procedures. The applicant
                            with simpler reporting instructions. Tne applicant has committed
indicated that action will be taken to provide the shift supervisors
                            to the above corrective actions. This is an Open Item
with simpler reporting instructions. Tne applicant has committed
                            (445/8445-01).                       .
to the above corrective actions. This is an Open Item
                        (7) Pressurizer level indicator 1-LT-0460 did not compare favorably
(445/8445-01).
                            with the redundant level channels as RCS pressure increased to
.
                            near normal operating pressure. Troubleshooting the piping for
(7) Pressurizer level indicator 1-LT-0460 did not compare favorably
                            the detector revealed a leaking drain valve which was tightened
with the redundant level channels as RCS pressure increased to
                            thereby stopping the leak, but the reference leg needed to be
near normal operating pressure. Troubleshooting the piping for
                            filled.     Upon attempting to fill the reference leg in accordance
the detector revealed a leaking drain valve which was tightened
                            with a generic " basic guidelines" procedure, an Instrument and
thereby stopping the leak, but the reference leg needed to be
                            Control (I&C) Technician connected low pressure fill equipment
filled.
                            incorrectly to the detector piping and then operated the wrong
Upon attempting to fill the reference leg in accordance
                            instrument valves. This action resulted in the low pressure
with a generic " basic guidelines" procedure, an Instrument and
                            fill tubing being blown off and the I&C technician received
Control (I&C) Technician connected low pressure fill equipment
                            thermal burns to his arm from hot reactor coolant. The
incorrectly to the detector piping and then operated the wrong
                            personnel safety and postulated radiological implications of
instrument valves.
                            this type of problem after initial criticality was discussed
This action resulted in the low pressure
                            with the applicant's representatives. As a result of this
fill tubing being blown off and the I&C technician received
                            discussion, Deficiency Report 84-127 was written. Instruction
thermal burns to his arm from hot reactor coolant.
                            No. ICI-2007, " Filling and Venting Level Transmitters and Level
The
                            Indicating Switches (Wet Leg)" is not adequate to assure proper
personnel safety and postulated radiological implications of
                            controls over quality and radiological safety, and using such a
this type of problem after initial criticality was discussed
                            procedure is in violation of 10 CFR 50, Appendix B, Criterion V.
with the applicant's representatives. As a result of this
                            This is a Violation (445/8445-02).
discussion, Deficiency Report 84-127 was written.
            3.   Review of Initial Startup Test Procedures
Instruction
                  During the month of October, 1984, the RRI conducted a review of test and
No. ICI-2007, " Filling and Venting Level Transmitters and Level
                  administrative procedures to be used in the control of the Thermal
Indicating Switches (Wet Leg)" is not adequate to assure proper
                  Expansion Test and other hot plant tests. The results are listed in NRC
controls over quality and radiological safety, and using such a
                  Inspection Report 445/84-39. The RRI inspected the following procedures
procedure is in violation of 10 CFR 50, Appendix B, Criterion V.
                  during November 1984 to complete the review:
This is a Violation (445/8445-02).
                                                                                                  ~
3.
                  ISU-206A, " Auxiliary Feedwater performance" (Revisicn 2)                         l
Review of Initial Startup Test Procedures
      .
During the month of October, 1984, the RRI conducted a review of test and
                  ISU-282A, " Containment & F.W. Penetration Room Temperature
administrative procedures to be used in the control of the Thermal
                              Survey" (Revision 1)
Expansion Test and other hot plant tests.
                                                                    .
The results are listed in NRC
                                                                                              .
Inspection Report 445/84-39.
.,. _   , .
The RRI inspected the following procedures
                                  .
during November 1984 to complete the review:
                                    . ..   .
ISU-206A, " Auxiliary Feedwater performance" (Revisicn 2)
                                                    _ _ _______
~
l
.
ISU-282A, " Containment & F.W. Penetration Room Temperature
Survey" (Revision 1)
.
.
.,. _
,
.
.
. ..
.
_ _ _______


                                                                                  _ _ _ _
_ _ _ _
.
.
.
.
                                        -g-
-g-
    Attributes checked included assurance that: (1) the procedures were
Attributes checked included assurance that:
    consistent with regulatory requirements, (2) the procedures contained the
(1) the procedures were
    necessary administrative controls, (3) the test objectives would be met
consistent with regulatory requirements, (2) the procedures contained the
    and properly documented, (4) adequate Quality Assurance provisions were
necessary administrative controls, (3) the test objectives would be met
    incorporated as committed in the FSAR, and (5) there were no major
and properly documented, (4) adequate Quality Assurance provisions were
    technical or editorial errors._
incorporated as committed in the FSAR, and (5) there were no major
    No violations or deviations were identified.
technical or editorial errors._
  4 Verification of Completion of Human Engineering Deficiencies
No violations or deviations were identified.
    The Human Factors Control Room Design Review of CPSES, conducted by the
4
    Human.Facter Engineering Branch of the NRC, identified many Human
Verification of Completion of Human Engineering Deficiencies
    Engineering Discrepancies (HEDs).
The Human Factors Control Room Design Review of CPSES, conducted by the
    NRC Inspection Report 445/84-31 reported that as of August 31, 1984, all
Human.Facter Engineering Branch of the NRC, identified many Human
    but 23 prelicensing HEDs had been closed by the Human Factor Engineering
Engineering Discrepancies (HEDs).
    Branch, and that the remaining HEDs will be verified by the resident
NRC Inspection Report 445/84-31 reported that as of August 31, 1984, all
    inspectors and documented in future inspection reports.
but 23 prelicensing HEDs had been closed by the Human Factor Engineering
    As of December 31, 1984, 20 of the 23 remaining HEDs have been verified by
Branch, and that the remaining HEDs will be verified by the resident
    the RRI as satisfactorily completed by personal observation of the
inspectors and documented in future inspection reports.
    installed hardware. There are now 3 HEDs remaining to be closed. The
As of December 31, 1984, 20 of the 23 remaining HEDs have been verified by
    following is a listing of the HEDs remaining to be verified:
the RRI as satisfactorily completed by personal observation of the
    88.   HED DESCRIPTION
installed hardware.
          Trend recorder scale differs from chart paper scale.
There are now 3 HEDs remaining to be closed.
          ACTION
The
          Confirmatory on recorders having paper matching recorder scales (all
following is a listing of the HEDs remaining to be verified:
          recorders should have paper), including Hot Shutdown Panel (HSP).
88.
          Note: HED 122 was closed with exception of " proper paper in
HED DESCRIPTION
          recorders" which will be verified as a part of this HED.
Trend recorder scale differs from chart paper scale.
    181.   HED CESCRIPTION
ACTION
          The nuclear instrumentation system recorder lacks a scale for
Confirmatory on recorders having paper matching recorder scales (all
          differential power.
recorders should have paper), including Hot Shutdown Panel (HSP).
          ACTION
Note: HED 122 was closed with exception of " proper paper in
                                                                                '
recorders" which will be verified as a part of this HED.
          Confirmatory on installation of a scale for differential power.
181.
    184. HED DESCRIPTION
HED CESCRIPTION
          Counters require calculations by the operator when displayed values
The nuclear instrumentation system recorder lacks a scale for
          run past 60 minutes. Other counters require the operator to convert
differential power.
ACTION
Confirmatory on installation of a scale for differential power.
'
184. HED DESCRIPTION
Counters require calculations by the operator when displayed values
run past 60 minutes.
Other counters require the operator to convert


                                                              _ _ _ _ _ _
_ _ _ _ _ _
.
.
.
.
                                        -10-
-10-
          displayed values by multiplication factors other than a multiple of
displayed values by multiplication factors other than a multiple of
                  *
ten.
          ten.
*
          ACTION
ACTION
          Confirmatory on full scale counters replacing 0.5 scale counters on
Confirmatory on full scale counters replacing 0.5 scale counters on
          CPS-01.
CPS-01.
    The following is a listing of the HEDs that have been completed and then
The following is a listing of the HEDs that have been completed and then
    verified by the NRC resident inspector:
verified by the NRC resident inspector:
    3.   HED DESCRIPTION
3.
  -
HED DESCRIPTION
          Annunciator alarms are not visually prioritized.
Annunciator alarms are not visually prioritized.
          ACTICN
-
          Verified completion of annunciator prioritization.
ACTICN
    68.   HED DESCRIPTION
Verified completion of annunciator prioritization.
          No storage space has been allocated for essential material.
68.
          ACTION
HED DESCRIPTION
                                                                                                                      l
No storage space has been allocated for essential material.
          Verified installation of portable storage unit and storage of
ACTION
          equipment at the HSP.
l
    80.   HED DESCRIPTION
Verified installation of portable storage unit and storage of
          Pointers on "J" handle / star / handle switches contrast poorly with
equipment at the HSP.
          handle color.
80.
          ACTION
HED DESCRIPTION
          Verified "J" handle / star handle pointers being painted white.
Pointers on "J" handle / star / handle switches contrast poorly with
    93.   HED DESCRIPTION
handle color.
          No control coding is currently being used for:
ACTION
          o   Mechanical valves, pumps, b.eakers, motors, etc.                                                 ,-
Verified "J"
          o     Throttle valves
handle / star handle pointers being painted white.
          o     Emergency or critical controls
93.
                                                                                                                    .
HED DESCRIPTION
          ACTION
No control coding is currently being used for:
          Verified installation of "T" handles on transfer switches at the HSP
o
          (14 handles).
Mechanical valves, pumps, b.eakers, motors, etc.
                                                                            _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ .
,-
o
Throttle valves
o
Emergency or critical controls
.
ACTION
Verified installation of "T" handles on transfer switches at the HSP
(14 handles).
_ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ .


  .
.
  .
.
                                          -11-
-11-
    106. HED DESCRIPTION
106.
                .
HED DESCRIPTION
        Labels are missing.
.
        ACTION
Labels are missing.
        Verified labels on record.ers on CV-Oi, incore panel, and for lights
ACTION
        on CV-03.
Verified labels on record.ers on CV-Oi, incore panel, and for lights
                                .
on CV-03.
    120. HED DESCRIPTION
.
        Sound powered jack communications are incomplete.
120.
        ACTION                             -
HED DESCRIPTION
        Verified storage of sound powered headset at the HSP (see no. 68
Sound powered jack communications are incomplete.
        above).
ACTION
    122. HED DESCRIPTION
-
        The HSP is in the process of complete redesign.
Verified storage of sound powered headset at the HSP (see no. 68
                                        '
above).
        ACTION
122.
        Verified completion of Hierarchical labeling at HSP and transfer
HED DESCRIPTION
        panels, labeling of light box, proper paper in recorders (sea no. 88
The HSP is in the process of complete redesign.
        above), and sound powered headsets at HSP (see no. 68 above), and
ACTION
        transfer panel.
'
Verified completion of Hierarchical labeling at HSP and transfer
panels, labeling of light box, proper paper in recorders (sea no. 88
above), and sound powered headsets at HSP (see no. 68 above), and
transfer panel.
Note:
" Proper paper in recorders" has not been completed.
This
'
'
        Note:    " Proper paper in recorders" has not been completed. This
action was moved to HED no. 88 so that item 122 could be
                  action was moved to HED no. 88 so that item 122 could be
closed.
                  closed.
130.
    130. HED DESCRIPTION
HED DESCRIPTION
        Controls have unlabeled switch positions.
Controls have unlabeled switch positions.
                                                                        .
.
        ACTION
ACTION
        Verified new escutcheon plates for 1-HS-2491 through 1-HS-2494 on
Verified new escutcheon plates for 1-HS-2491 through 1-HS-2494 on
        CB-09.
CB-09.
    214. HED DESCRIPTION
214.
        A rotary control with clockwise-counter clockwise movement is used to -
HED DESCRIPTION
        control a " lower" and " raise" function.
A rotary control with clockwise-counter clockwise movement is used to -
                                                                                        l
control a " lower" and " raise" function.
                                                                                        l
l
                                                                                        !
,
                    ,    ,, - - _ . .       - _ . . _ . . . _ _ _ _ .   _ _ _ . _ -.
,, -
- _ . .
-
_ . . _ . . . _ _ _ _ .
_
_ _ . _
-.


-
-
                                                                                                                                                          !
.
.
                                                                                                                                                          l
-12-
                                                          -12-
ACTION
          ACTION
.
                .
Verified permanent escutcheon plates on CB-11 (90-1EG2 and 65-1EG2).
          Verified permanent escutcheon plates on CB-11 (90-1EG2 and 65-1EG2).
225.
  225.   HED DESCRIPTION
HED DESCRIPTION
          Thelockingpositionorfbnctionoftheverniercontrollersisnot'
Thelockingpositionorfbnctionoftheverniercontrollersisnot'
                                '
clearly indicated.
          clearly indicated.
'
        ACTION
ACTION
          Verified " LOCK" position labels on Hagan controllers.
Verified " LOCK" position labels on Hagan controllers.
  226.   HED DESCRIPTION
226.
          Setpoint adjustment knob covers on process controllers can be easily
HED DESCRIPTION
          removed.
Setpoint adjustment knob covers on process controllers can be easily
        . ACTION
removed.
          Verified more secure attachment of setpoint adjustment knob covers on
. ACTION
          controllers.
Verified more secure attachment of setpoint adjustment knob covers on
  267.   HED DESCRIPTION
controllers.
          Trend re: orders used frosted glass.
267.
        ACTION
HED DESCRIPTION
          Verified replacement of frosted glass with clear glass on recorders
Trend re: orders used frosted glass.
          on CB-10.
ACTION
  -321   HED DESCRIPTION
Verified replacement of frosted glass with clear glass on recorders
        Annunciator character sizes are inconsistent.
on CB-10.
        ACTION
-321
          Verified re-engraving of annunciator tiles
HED DESCRIPTION
          1-ALB-2:       3.7
Annunciator character sizes are inconsistent.
          1-ALB-3B       2.6
ACTION
          1-ALB-4A       4.4                                                                                                                           -
Verified re-engraving of annunciator tiles
          1-ALB-4B       1.5, 2.6, 3.6
1-ALB-2:
          1-ALB-5B       2.1, 3.4
3.7
          1-ALB-5C.       3.1, 4.2
1-ALB-3B
          1-ALB-6C       1.2, 1.3, 2.1, 2.2, 2.7, 3.2, 3.3, 3.7,
2.6
                          4.2
1-ALB-4A
          1-ALB-60       1.4, 1.10, 1.14, 2.4, 2.13, 2.14, 3.13,
4.4
                          3.14, 4.13
1-ALB-4B
          1-ALB-8         1.13, 2.13, 2.14, 3.14, 4.14
1.5, 2.6, 3.6
          1-ALB-9         1.4, 1.8, 1.11, 4.1, 7.6
-
                                  _ _ _ _ _ _ _ _ _ _ _ -     - _ _ _ _ _ _ _ _ _ - _ _ _ - _ _ _ - _ _ _ _ _ _ _ _ _ _ - _ _ - _ - _ _ _ _ _ _ _ _ _
1-ALB-5B
2.1, 3.4
1-ALB-5C.
3.1, 4.2
1-ALB-6C
1.2, 1.3, 2.1, 2.2, 2.7, 3.2, 3.3, 3.7,
4.2
1-ALB-60
1.4, 1.10, 1.14, 2.4, 2.13, 2.14, 3.13,
3.14, 4.13
1-ALB-8
1.13, 2.13, 2.14, 3.14, 4.14
1-ALB-9
1.4, 1.8, 1.11, 4.1, 7.6
-
-
-
-
-
-
-
-


                                                                                        .
.
  .
.
  .
.
                                            -13-
-13-
      345.   HED DESCRIPTION
345.
              Abbreviations in computer displays do not conform to those in the
HED DESCRIPTION
              Comanche Peak Steam Electric Station (CPSES) " Directory of Acronyms
Abbreviations in computer displays do not conform to those in the
              and Abbreviations."
Comanche Peak Steam Electric Station (CPSES) " Directory of Acronyms
              ACTION                 ,
and Abbreviations."
              Verified revision of point descriptions in P2500 to use CPSES
ACTION
              abbreviations.
,
    5.   Preoperational Test Results Evaluation
Verified revision of point descriptions in P2500 to use CPSES
        The RRI reviewed the followir.g completed test package, ICP-PT-66-01,
abbreviations.
        " Nuclear Instrumentation System," which has been approved by the Joint
5.
        Test Group (JTG). Attributes inspected included: (1) adequacy of the
Preoperational Test Results Evaluation
        evaluation of test results, (2) assurance that test data met acceptance
The RRI reviewed the followir.g completed test package, ICP-PT-66-01,
        criteria, (3) assurance that deviations were properly identified and
" Nuclear Instrumentation System," which has been approved by the Joint
        resolved, and (4) the applicant's administrative practices with respect to
Test Group (JTG). Attributes inspected included: (1) adequacy of the
        test execution and data evaluation were adequate.
evaluation of test results, (2) assurance that test data met acceptance
        The test package met the attributes above, with one apparent exception. A
criteria, (3) assurance that deviations were properly identified and
        Test Procedure Deviation (TPD-03) was written to delete the requirement to
resolved, and (4) the applicant's administrative practices with respect to
    ~
test execution and data evaluation were adequate.
        take data in paragraphs 7.1.7.5 and 7.2.7.5 of the procedure, because the
The test package met the attributes above, with one apparent exception. A
        source range meters that were installed in the Hot Shutdown Panel did not
Test Procedure Deviation (TPD-03) was written to delete the requirement to
        function properly.   The meters did not have the proper signal input
~
        ratings.   This was documented on a Test Deficiency Report (TDR 3014).
take data in paragraphs 7.1.7.5 and 7.2.7.5 of the procedure, because the
        TDR-3014 stated that the retest would be per TDR-3547. TDR-3547 was
source range meters that were installed in the Hot Shutdown Panel did not
        written because when the proper meters finally were installed, they would
function properly.
        load down the circuit and cause erroneous readings. The retest specified
The meters did not have the proper signal input
        on TDR-3547 was lined out, leaving an open-ended paper trail. The
ratings.
        applicant's representative has committed to take action to correct this
This was documented on a Test Deficiency Report (TDR 3014).
        problem. This is an Open Item (445/8445-03).
TDR-3014 stated that the retest would be per TDR-3547.
        No violations or deviations are apparent at this time.
TDR-3547 was
    6.   Acplicant Action on Previous Inspection Findings
written because when the proper meters finally were installed, they would
        a.   (Closed) Unresolved Item 445/8424-02: Apparent conflict between FSAR
load down the circuit and cause erroneous readings. The retest specified
              Figure 6.3-5 and the Safety Injection Pump 01 performance curve.
on TDR-3547 was lined out, leaving an open-ended paper trail.
              During a previous inspection (445/84-24) of the completed test data
The
              of preoperational test procedure ICP-PT-57-01, " Safety Injection Pump
applicant's representative has committed to take action to correct this
              Performance," the NRC inspector noted that the Safety Injection Pump   .
problem. This is an Open Item (445/8445-03).
              01 performance curve in the completed test data did not meet the
No violations or deviations are apparent at this time.
                                                                                          .
6.
                                                                                          l
Acplicant Action on Previous Inspection Findings
              minimum acceptable performance curve of Figure 6.3-5 of the FSAR.
a.
              Since the time of the inspection, Amendment 53 of the FSAR (dated
(Closed) Unresolved Item 445/8424-02: Apparent conflict between FSAR
Figure 6.3-5 and the Safety Injection Pump 01 performance curve.
During a previous inspection (445/84-24) of the completed test data
of preoperational test procedure ICP-PT-57-01, " Safety Injection Pump
Performance," the NRC inspector noted that the Safety Injection Pump
.
01 performance curve in the completed test data did not meet the
.
l
minimum acceptable performance curve of Figure 6.3-5 of the FSAR.
Since the time of the inspection, Amendment 53 of the FSAR (dated
November 5, 1984) changed the pump curve. The performance data and
<
<
              November 5, 1984) changed the pump curve. The performance data and
curves in the completed test package for ICP-PT-57-01 now meet the
              curves in the completed test package for ICP-PT-57-01 now meet the
requirements of the FSAR.
              requirements of the FSAR. This item is closed.
This item is closed.


                                                                  . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
.
  .
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
  .
.
                                      14
14
    b.   (Closed) Open Item 445/8415-02: Minor discrepancies found during NRC
.
        inspection of station administrative procedures. During a previous
b.
        inspection (445/84-15) of station administrative procedures, the RRI
(Closed) Open Item 445/8415-02: Minor discrepancies found during NRC
        found several minor discrepancies and made some suggestions to
inspection of station administrative procedures.
        preclude future problems. The applicant took action on those items
During a previous
        that the applicant consi.dered justification for implementing a
inspection (445/84-15) of station administrative procedures, the RRI
        procedure change. .For example:
found several minor discrepancies and made some suggestions to
        (1) STA-401, " Station.0peration Review Committee," Revision 5,
preclude future problems.
              Section 4.4 did:not fully implement the responsibilities of the
The applicant took action on those items
              committee as stated in the CPSES Unit 1 Technical Specifications
that the applicant consi.dered justification for implementing a
              (final draft). This was corrected in Revision 8 of STA-401.
procedure change. .For example:
        (2) STA-203, " Control of Station Manuals," Revision 7, Section 4.3.3
(1) STA-401, " Station.0peration Review Committee," Revision 5,
              required a notification memo to be sent to each onsite holder of
Section 4.4 did:not fully implement the responsibilities of the
              controlled station manuals to alert recipients of a revision or
committee as stated in the CPSES Unit 1 Technical Specifications
              new procedure.   This was not being done for holders of the
(final draft).
              manual who incorporate their own changes because they sign a
This was corrected in Revision 8 of STA-401.
              receipt for the changes or new procedures anyway. Revision 9
(2) STA-203, " Control of Station Manuals," Revision 7, Section 4.3.3
              clarified this such that the applicant is in compliance with the
required a notification memo to be sent to each onsite holder of
              procedure.       ,,
controlled station manuals to alert recipients of a revision or
        (3)   STA-307, " Forms Control," Revision 2, allowed minor changes to
new procedure.
              forms without revising the parent procedure containing a sample
This was not being done for holders of the
              of the form as an attachment. However, instead of changing the
manual who incorporate their own changes because they sign a
              revision number of the form itself, the office services staff
receipt for the changes or new procedures anyway.
              misinterpreted Section 4.2.6 of STA-307 and changed the revision
Revision 9
              of the parent procedure attachment page, which caused a conflict
clarified this such that the applicant is in compliance with the
              with the rest of the parent procedure pages. This was corrected
procedure.
              by the applicant and STA-307 was revised to preclude
,,
              misinterpretation.
(3)
        This item is closed,
STA-307, " Forms Control," Revision 2, allowed minor changes to
    c. (Closed) Deviation 445/8415-01: Failure of the applicant to use SORC
forms without revising the parent procedure containing a sample
        approved instructions to perform work on the emergency diesel
of the form as an attachment.
        generators.   The CPSES FSAR commits to Regulatory Guide (RG) 1.22,
However, instead of changing the
        Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI
revision number of the form itself, the office services staff
        N18.7-1976 to which it refers, requires maintenance to be performed
misinterpreted Section 4.2.6 of STA-307 and changed the revision
        using procedures / instructions receiving the same review and approval
of the parent procedure attachment page, which caused a conflict
        as operating instructions, i.e., review and approval by the 50RC.
with the rest of the parent procedure pages.
        During two previous inspections (50-445/84-07 and 50-445/84-15), the
This was corrected
        NRC inspectors noted that the applicant had defined " instructions" as
by the applicant and STA-307 was revised to preclude
        procedures which do not require 50RC approval, and had issued
misinterpretation.
        " instructions" to perform work on safety-related equipment such as
This item is closed,
c.
(Closed) Deviation 445/8415-01:
Failure of the applicant to use SORC
approved instructions to perform work on the emergency diesel
generators.
The CPSES FSAR commits to Regulatory Guide (RG) 1.22,
Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI
N18.7-1976 to which it refers, requires maintenance to be performed
using procedures / instructions receiving the same review and approval
as operating instructions, i.e., review and approval by the 50RC.
During two previous inspections (50-445/84-07 and 50-445/84-15), the
NRC inspectors noted that the applicant had defined " instructions" as
procedures which do not require 50RC approval, and had issued
" instructions" to perform work on safety-related equipment such as
l
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l
l
Line 1,080: Line 1,400:
.
.
'
'
                                        15
15
          the emergency diesel generator (EDG). The apparent basis was that
the emergency diesel generator (EDG). The apparent basis was that
          EDG work performed by the maintenance department had no significant
EDG work performed by the maintenance department had no significant
          impact on other departments, and/or was work unique to the
impact on other departments, and/or was work unique to the
          maintenance department. Since the above NRC inspections, the issue
maintenance department.
          has been resolved as evidenced in Station Administrative Procedure
Since the above NRC inspections, the issue
          STA-707, " Safety Evaluations," (Revision 2), STA-202, " Preparation,
has been resolved as evidenced in Station Administrative Procedure
                    ,
STA-707, " Safety Evaluations," (Revision 2), STA-202, " Preparation,
          Review, h,pproval, and Revision of Station Procedures" (Revision 10),
Review, h,pproval, and Revision of Station Procedures" (Revision 10),
          and the final draft'of the CPSES Unit 1 Technical Specifications
,
          (TS). In essence, all safety-related procedures and instructions
and the final draft'of the CPSES Unit 1 Technical Specifications
          will receive a SORC review by virtue of the requirement that the SORC
(TS).
          review the related safety evaluations, as stated in the TS and
In essence, all safety-related procedures and instructions
          STA-401, which both list the responsibilities of the SORC.
will receive a SORC review by virtue of the requirement that the SORC
          This deviation is closed,
review the related safety evaluations, as stated in the TS and
    d.   (Closed) Violation 445/8421-02: Failure of preoperational test
STA-401, which both list the responsibilities of the SORC.
          procedures to provide adequate prerequisites. During a previous
This deviation is closed,
          inspection (445/84-21), the RRI noted that during conduct of
d.
          preoperational test 1CP-PT-29-02,RT1, " Diesel Generator (DG) Control
(Closed) Violation 445/8421-02:
          Circuit Functional and Start Test" the DG barring device was
Failure of preoperational test
          connected to a portable air compressor instead of the Service Air
procedures to provide adequate prerequisites.
          System. There was no' prerequisite step in the test procedure to             '
During a previous
          provide either temporary or permanent air for the barring device, yet
inspection (445/84-21), the RRI noted that during conduct of
          it needed air to be tested.   Also, during testing of the Service
preoperational test 1CP-PT-29-02,RT1, " Diesel Generator (DG) Control
          Water System in accordance with ICP-PT-04-01, RT 1, " Station Service
Circuit Functional and Start Test" the DG barring device was
          Water (SSW)," a Barton D/P gage did not function due to air binding.
connected to a portable air compressor instead of the Service Air
          There was no prerequisite in the test procedure to ensure the gage
System.
          was recently filled and vented to assure accurate test data, nor did
There was no' prerequisite step in the test procedure to
          the Startup Administrative Procedures for writing the test require
'
          it. This was a potentially generic problem. The applicant has since
provide either temporary or permanent air for the barring device, yet
          revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"
it needed air to be tested.
          to require the appropriate prerequisites.     Each organization
Also, during testing of the Service
          responsible for review of preoperational test procedures has been
Water System in accordance with ICP-PT-04-01, RT 1, " Station Service
          instructed to ensure that test prerequisites receive a comprehensive
Water (SSW)," a Barton D/P gage did not function due to air binding.
          review to ensure system readiness and correct component configuration
There was no prerequisite in the test procedure to ensure the gage
          to assure validity of the test results.
was recently filled and vented to assure accurate test data, nor did
          This item is closed.
the Startup Administrative Procedures for writing the test require
  7. Plant Tours
it. This was a potentially generic problem.
    During this reporting period, the SRRI and RRI conducted several
The applicant has since
    inspection tours of Unit 1. In addition to the general housekeeping
revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"
    activities and general cleanliness of the facility, specific attention was
to require the appropriate prerequisites.
    given to areas where safety-related equipment was installed and where
Each organization
    activities were in progress involving safety-related equipment.       These
responsible for review of preoperational test procedures has been
    areas were inspected to ensure that:
instructed to ensure that test prerequisites receive a comprehensive
    *
review to ensure system readiness and correct component configuration
          Work in progress was being accomplished using approved procedures.
to assure validity of the test results.
              _             _.       .     _   _ _           _     ._ _.     _   _ _
This item is closed.
7.
Plant Tours
During this reporting period, the SRRI and RRI conducted several
inspection tours of Unit 1.
In addition to the general housekeeping
activities and general cleanliness of the facility, specific attention was
given to areas where safety-related equipment was installed and where
activities were in progress involving safety-related equipment.
These
areas were inspected to ensure that:
Work in progress was being accomplished using approved procedures.
*
_
_.
.
_
_ _
_
._ _.
_
_ _


    .
  1                                                                                                                l
                                                                                                                  l
    -
                                                        16
.
.
                *
1
                        Special precautions for protection of equipment were imolemented, and
l
                      additional cleanliness requirements were being adhered to for
16
                      maintenance, flushing, and welding activities.
-
                *
.
                        Installed safety-related equipment and components were being
Special precautions for protection of equipment were imolemented, and
                      protected and maintained to prevent damage and deterioration.
*
              . Also during these tours,'the SRRI and RRI reviewed the control room and
additional cleanliness requirements were being adhered to for
                shift supervisors' log books. Key items in the log review were:
maintenance, flushing, and welding activities.
                                      -
Installed safety-related equipment and components were being
                *
*
                      plant status
protected and maintained to prevent damage and deterioration.
                *
. Also during these tours,'the SRRI and RRI reviewed the control room and
                      changes in plant status           *
shift supervisors' log books.
                *
Key items in the log review were:
                      tests in progress
-
                *
plant status
                      documentation of problems which arise during operating shifts
*
                No deviations or violations were found.
*
      8.         plant Status as of December 31, 1984
changes in plant status
                a.   The applicant was at the end of the Thermal Expansion Test sequence
*
                      and making preparations to roll the main turbine-generator. Details
*
                      of the testing sequence and problems encountered are discussed in
tests in progress
                      paragraph 2 of this report.
*
                b.   Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332
documentation of problems which arise during operating shifts
                      subsystems turned over to operations custody. " Custody" means having
No deviations or violations were found.
                      immediate authority and responsibility for operational control of
8.
                      system or equipment.
plant Status as of December 31, 1984
                      The applicant has accepted 260 of 332 subsystems for final
a.
                      acceptance.
The applicant was at the end of the Thermal Expansion Test sequence
                c.   Of the 199 preoperational tests, one is not yet completed on field
and making preparations to roll the main turbine-generator.
                      testing, and 21 are pending review and approval of completed data.
Details
                      Eighteen are pending NRC completed data inspections,
of the testing sequence and problems encountered are discussed in
                d.   Tne following items related to NRC resident operations office
paragraph 2 of this report.
                      findings are open pending applicant action and NRC followup
b.
                      inspection to confirm completion of closure:
Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332
                            Violations                     10
subsystems turned over to operations custody.
                            Deviations                     0
" Custody" means having
                            Open items                   100
immediate authority and responsibility for operational control of
                            Unresolved                     7
system or equipment.
                            Total                         117
The applicant has accepted 260 of 332 subsystems for final
        . _ . .       ,_ _                   _-   ._.     ~ - ._  _ . _ . - - . . . _ _ -_ - - - - - _ _
acceptance.
c.
Of the 199 preoperational tests, one is not yet completed on field
testing, and 21 are pending review and approval of completed data.
Eighteen are pending NRC completed data inspections,
d.
Tne following items related to NRC resident operations office
findings are open pending applicant action and NRC followup
inspection to confirm completion of closure:
Violations
10
Deviations
0
Open items
100
Unresolved
7
Total
117
. _ . .
,_ _
-
._.
~
-
.
.
. - - . . .
-_ - - - - - _ _


r-
r-
  O
O
  -
17
                                            17
-
              Action is underway to complete these items.           Closure will be
Action is underway to complete these items.
              documented in future inspection reports.
Closure will be
        e.   Unit No. 2 is 65% complete. The preoperational test program on
documented in future inspection reports.
              systems associated with NRC inspections has not yet started.
e.
    9. Exit Interview           .
Unit No. 2 is 65% complete. The preoperational test program on
        An exit interview was conducted January 4, 1985, with applicant
systems associated with NRC inspections has not yet started.
        representatives identified in paragraph 1. During this interview, the RRI
9.
        and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and
Exit Interview
        discussed the inspection findings. The applicant acknowledged the
.
        findings.                           '
An exit interview was conducted January 4, 1985, with applicant
                              r
representatives identified in paragraph 1.
                  -,           -       --   ,-,,.---.n.-. , , - , , , - . , -- - . , . , _ , ,,, -c.- ,
During this interview, the RRI
and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and
discussed the inspection findings.
The applicant acknowledged the
findings.
'
r
-,
-
--
,-,,.---.n.-.
, , - , , , - . , --
- . , . , _ ,
,,,
-c.-
,
}}
}}

Latest revision as of 09:54, 12 December 2024

Forwards Insp Rept 50-445/84-45 Containing Corrected Pages 14-17 Due to Inadvertent Omission of Items 6.b.(3) & 6.c. Related Correspondence
ML20132E116
Person / Time
Site: Comanche Peak  
Issue date: 09/24/1985
From: Mizuno G
NRC OFFICE OF THE EXECUTIVE LEGAL DIRECTOR (OELD)
To: Bloch P, Grossman H, Jordan W
Atomic Safety and Licensing Board Panel
References
CON-#385-622 OL, NUDOCS 8509300395
Download: ML20132E116 (28)


See also: IR 05000445/1984045

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UNITED STATES

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NUCLEAR REGULATORY COMMISSION

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WASHINGTON, D. C. 20555

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UNC

September 24, 1985

'85 SEP 26 R2:39

Peter B. Bloch, Esq., Chairman

Dr. Kenneth A. McCollom

$CNE AN b

Administrative Judge

Administrative Judge

ERMCH

Atomic Safety and Licensing Board

Dean, Division of Engineering,

U.S. Nuclear Regulatory Commission

Architecture and Technology

Washington, DC 20555

Oklahoma State University

Stillwater, OK 74078

Herbert Grossman, Alternate Chairman

Elizabeth B. Johnson

Administrative Judge

Administrative Judge

Atomic Safety and Licensing Board

Oak Ridge National Laboratory

U.S. Nuclear Regulatory Commission

P.O. Box X, Building 3500

Washington, DC 20555

Oak Ridge, TN 37830

Dr. Walter H. Jordan

Administrative Judge

881 W. Outer Drive

Oak Ridge, TN 37830

In the Matter of

Texas Utilities Generating Electric, et al.

(Comanche Peak Steam Electric Station, Units T and 2)

Docket Nos. 50-445 and 50-4460t-

Dear Administrative Judges:

By letter of March 6,1985, NRC Staff counsel transmitted copies of

NRC Inspection Report 84-45 (March 5, 1985) to the Board. Subsequently,

the Staff determined that the discussions for items 6.b.(3), 6.c. and

d. were incorrect or omitted in pages 14-16 of the inspection report.

The most significant item was the inadvertent omission of item 6.c.,

which is a discussion on Deviation 445/8415-01. Accordingly, the Staff

has issued new pages 14-17 to replace original pages 14-16. See Enclo-

sure 1.

Copies of Inspection Report 84-45 which include new pages 14-17

are enclosed for the information of the Board as Enclosure 2.

Hence,

the original version of Inspection Report 84-45 should be discarded.

Sincerely,

8509300395 850924

'

ADOCK050004j5

p, - _

PDR

.

P

Gea y S

zuno

o

Counsel for NRC Staff

Enclosures:

As stated

cc w/encis.:

Service List

p

'

ENCLOSURE 1

.

_ ENCLOSURE 1

. _ . -

. .-- .

_.

.

_ __ _ _ - ___

a

.

In Reply Refer To:

SEP 18 25

Dockets:

50-445/84-45

Texas Utilities Generating Company

ATTN: Mr. W. G. Counsil

Executive Vice President

400 North Olive, L.B. 81

Dallas, Texas 75201

.

Gentlemen:

'

This refers to the NRC Inspection Report 50-445/84-45.

Enclosed are new

pages 14-17 to provide corrections to the report details, Section 6, Applicant

Action on Previous Inspection Findings (items 6.a.(3), b.c., and 6.d).

Please

replace the original pages 14-16 with new pages 14-17.

Should you have any questions, please contact us.

Sincerely,

,

Oricinal signed Byi

'

incne.rd P. Denise

R. P. Denise, Director

Division of Reactor Safety

and Projects

.

Enclosure:

As stated

cc:

Texas Utilities Electric Company

ATTN:

J. W. Beck, Manager,

l

Licensing

Skyway Tower

'

400 North Olive Street

Lock Box 81

l

Dallas, Texas

75201

Texas Radiation Control Program Director

.

-

-

--.

.

.

-

-

,

- - - _ - - - - - - - - - - - - - - - - - - - - - - - - - -

- - . - _ - .

O

14

-

b.

(Closed)OpenItem 445/8415-02:

Minor discrepancies found during NRC

inspection of station administrative procedures.

During a previous

inspection (445/84-15) of station administrative procedures, the RR1

found several minor discrepancies and made some suggestions to

.

preclude future problems.

The applicant took action on those items

l

that the applicant considered justification for implementing a

procedure change.

F,or example:

(1) STA-401, " Station Operation Review Committee," Revision 5,

Section 4.4 did.not fully implement the responsibilities of the

committee as stated in the CPSES Unit 1 Technical Specifications

(final draft).

This was corrected in Revision 8 of STA-401.

.(2) STA-203, " Control of Station Manuals," Revision 7. Section 4.3.3

required a notification memo to be sent to each onsite holder of

controlled station manuals to alert recipients of a revision or

new procedure.

This was not being done for holders of the

'

manual who incorporate their own changes because they sign a

receipt for the changes or new procedures anyway.

Revision-9

clarified this such that the applicant is in compliance with the

procedure.

,

(3) STA-307, " Forms Control," Revision 2, allowed minor changes to

forms without revising the parent procedure containing a sample

of the form as an attachment.

However, instead of changing the

revision number of the form itself, the office services staff

misinterpreted Section 4.2.6 of STA-307 and changed the revision

.

of the parent procedure attachment page, which caused a conflict

I

with the rest of the parent procedure pages.

This was corrected

by the applicant and STA-307 was revised to preclude

misinterpretation.

t

This item is closed.

c.

(Clos.ed) Deviation 445/8415-01:

Failure of the applicant to use 50RC

approved instructions to perform work on the emergency diesel

i

generators.

The CPSES FSAR commits to Regulatory Guide (RG) 1.22,

Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI

N18.7-1976Property "ANSI code" (as page type) with input value "ANSI</br></br>N18.7-1976" contains invalid characters or is incomplete and therefore can cause unexpected results during a query or annotation process. to which it refers, requires maintenance to be performed

using procedures / instructions receiving the same review and approval

as operating instructions, i.e., review and approval by the SORC.

During two previous inspections (50-445/84-07 and 50-445/84-15), the

NRC inspectors noted that the applicant had defined " instructions" as

procedures wnich do not require SORC approval, and had issued

" instructions" to perform work on safety-related equipment such as

. _ - _ _ _ _ .

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.

15

.

the emergency diesel generator (EDG). The apparent basis was that

EDG work performed by the maintenance department had no significant

impact on other departments, and/or was work unique to the

maintenance department.

Since the above NRC inspections, the issue

has been resolved as evidenced in Station Administrative Procedure

STA-707, " Safety Evaluations," (Revision 2) STA-202, " Preparation,

Review, Approval, and Revision of Station Procedures" (Revision 10),

and the final draft'of the CPSES Unit 1 Technical Specifications

(TS).

In. essence., all. safety-related procedures and instructions

will receive.a SORC review by virtue of the requirement that the SORC

review the related safety evaluations, as stated in the TS and

STA-401, which both list the responsibilities of the 50RC.

This deviation is closed.

d.

(Closed) Violation 445/8421-02:

Failure of preoperational test

procedures to provide adequate prerequisites.

During a previous

inspection (445/84-21), the RRI noted that during conduct of

preoperational test ICP-PT-29-02,RT1, " Diesel Generator (DG) Control

Circuit Functional and Start Test" the DG barring device was

connected to a portable air comprassor instead of the Service Air

System. There was no' prerequisite step in the test procedure to

'

provide either temporary or permanent air for the barring device, yet

it needed air to be tested.

Also, during testing of the Service

Water System in accordance with ICP-PT-04-01, RT 1, " Station Service

Water (SSW)," a Barton D/P gage did not function due to air binding.

,

l

There was no prerequisite in the test procedure to ensure the gage

[

was recently filled and vented to assure accurate test data, nor did

the Startup Administrative Procedures for writing the test require

l

it.

This wa:: e notentially generic problem. The applicant has since

i

revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"

l

to require the appropriate prerequisites.

Each organization

I

responsible for review of preoperational test procedures has been

instructed to ensure that test prerequisites receive a comprehensive

review to ensure system readiness and correct component configuration

to assure validity of the test results.

This item is closed.

7.

Plant Tours

During this reporting period, the SRRI and RRI conducted several

inspection tours of Unit 1.

In addition to the general housekeeping

activities and general cleanliness of the facility, specific attention was

given to areas where safety-related equipment was installed and where

activities were in progress involving safety-related equipment.

These

areas were inspected to ensure that:

Work in progress was being accomplished using approved procedures.

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16

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Special precautions for protection of equipment were implemented, and

additional cleanliness requirements were being adhered to for

maintenance, flushing, and welding activities.

Installed safety-related equipment and components were being

protected and maintained to prevent damage and deterioration.

Also during these tours,'the SRRI and RRI reviewed the control room and

shift supervisors' log books.

Key items in the log review were:

plant status

changes in plant status

tests in progress

documentation of problems which arise during operating shifts

No deviations or violations were found.

S.

plant Status as of December 31, 1984

a.

The applicant was at the end of the Thermal Expansion Test sequence

and making preparations to roll the main turbine-generator.

Details

of the testing sequence and problems encountered are discussed in

paragraph 2 of this report.

b.

Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332

,

'

subsystems turned over to operations custody.

" Custody" means having

immediate authority and responsibility for operational control of

system or equipment.

The applicant has accepted 260 of 332 subsystems for final

acceptance.

c.

Of the 199 preoperational tests, one is not yet completed on field

testing, and 21 are pending review and approval of completed data.

l

Eighteen are pending NRC completed data inspections,

d.

The following items related to NRC resident operations office

findings are open pending applicant action and NRC followup

inspection to confirm completion of closure:

Violations

10

Deviations

0

Open items

100

Unresolved

7

Total

117

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Action is underway to complete these items.

Closure will be

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documented in future inspection reports.

I

e.

Unit No. 2 is 65% complete. The preoperational test program on

systems associated with NRC.. inspections has not yet started.

9.

Exit laterview

,

An exit interv.iew was conducted January 4, 1985, with applicant

represeatatives identified in paragraph 1.

During this interview, the RRI

and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and

discussed the inspection findings. The applicant acknowledged the

findings.

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ENCLOSURE 2

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ENCLOSURE 2

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Texas Utilities Electric Company

kR 2 8 %

In Reply Refer To:

Docket:

50-445/84-45

Texas Utilities Electric Company

ATTN:

M. D. Spence, President ,TUGC0

Skyway Tower

400 North Olive Street

'

Lock Box 81

Dallas, Texas

75201

Gentlemen:

This refers to the inspection conducted by Messrs. D. L. Kelley and W. F. Smith

of this office during the period November 1 through December 31, 1984, of

activities authorized by NRC Construction Permit CPPR-126 for the Comanche Peak

Facility, Unit 1, and to the discussion of our findings with Messrs. B. R.

Clements and J. C. Kuykendall and other members of your staff at the conclusion

of the inspection.

Areas examined during the inspection included:

(1)witnessingofthethermal

expansion test conducted in November and December 1984, (2) review of initial

startup test procedures (3) verification of completion of human engineering

deficiencies (4) Review of completed preoperational test data (5) applicant

actions on previous inspection findings (6) plant tours, and (7) plant status.

Within these areas, the inspection consisted of selective examination of

procedures and representative records, interviews with personnel, and

observations by the inspectors.

These findings are documented in the enclosed

inspection report.

During this inspection, it was found that certain of your activities were in

violation of NRC requirements.

Consequently, you are required to respond to

these violations, in writing, in accordance with the provisions of

Section 2.201 of the NRC's " Rules of Practice," Part 2, Title 10, Code of

Federal Regulations.

Your response should be based on the specifics contained

in the Notice cf Violation enclosed with this letter.

This violation maybe related to findings identified by the NRC Technical

Review Team (TRT).

If the issue is considered to be similar, you may respend

to this item separately or as part of the Comanche Peak Response Team Action

Plan.

One open item is identified in paragraph 2 and one in paragraph 5 of the

enclosed inspection report, which will require closure by the NRC inspectors at

a later date once the actions are completed by the applicant and a followup

inspection has been completed.

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Texas Utilities Electric Company

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The response directed by this letter and the accompanying notice is not

subject to the clearance procedures of the Office of Management and Budget as

required by the Paperwork Reduction Act of 1980 PL 96-511.

Should you have any questions concerning this inspection, we will be pleased to

discuss them with you.

Sincerely,

" Original $igned By:

D.R. HUNTER"

Dorwin R. Hunter, Chief

Reactor Project Branch 2

Enclosure:

Appendix A - Notice of Violation

Appencix B - NRC Inspection Report

50-445/84-45

'

cc w/ enclosure:

Texas Utilities Electric company

ATTN:

J. W. Beck, Manager

Licensing

Skyway Tower

400 North Olive Street

Lock Box El

l

Dallas, Texas

75201

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l

l

Texas Utilities Electric Company

ATTN:

B. R. Clements, Vice President, Nuclear

Skyway Tcwer

400 North Olive Street

Lock Box 81

l

Dallas, Texas

75201

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APPENDIX A

,

NOTICE OF VIOLATION

'

Texas Utilities Electric Company

Docket:

50-445/84-45

Comanche Peak Steam Electric

Construction Permit: CPPR-126

Station, Unit 1

Based on the results of an NRC inspection conducted during the period of

November 1, 1984, through December 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 violation was identified:

Failure to provide adeouate procedures appropriate to

circumstances

-10 CFR 50, Appendix "B", Criterion V requires that, " 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."

Contrary to the above, an Instrument and Control (I&C) technician

received a first degree thermal burn on his forearm while attempting to

fill the reference leg on a pressurizer level detector (1-LT-0460)'during

hot plant conditions using a procedure that did not contain sufficient

detail to accomplish the task.

The I&C technician was using Instruction

No. 1C1-2007, " Filling and Venting Level Transmitters and Level Indicating

Switches (Wet Leg)" which is a generic procedure that provides general

guidelines for filling and venting level instruments.

This use of a

generic procec'ure is inappropriate for the circumstances, and appears to

have directly contributed to the technician receiving thermal burns

because he connected the low pressure fill equipment incorrectly and

manipulated the wrong valves.

This action resulted in the low pressure

fill equipment being blown off and releasing hot reactor coolant to the

containment atmosphere.

The I&C technician received thermal burns to his

arm from the hot reactor coolant.

This is a Severity Level IV Violation.

(Supplement II.E) (445/8445-02)

Pursuant to the provisions of 10 CFR 2.201. Texas Utilities Electric Company is

hereby required to submit to this office, within 30 days of the dates of this

-

Notice, a written statement or explanation in reply, including: (1) the

corrective steps which have been taken and the results achieved; (2) corrective

steps which will be taken to avoid further violations; and (3) the date when

full compliance will be achieved.

Consideration may be given to extending your

response time for good cause shown.

Dated:

.

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APPENDIX B

U. S. NUCLEAR RE3ULATORY COMMISSION

REGION IV

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NRC Inspection Report: 50-445/84-45

Construction Permit CPPR-126

Docket: 50-445

Category: A2

Applicant:

Texas Utilities Electric Ccmpany (TVEC)

Skyway Tower

400 North Olive Street

Lock Box 81

Dallas, Texas

75201

Facility Name:

Comanche Peak Steam Electric Station (CPSES)

Unit 1

Inspection At:

Glen Rose, Texas

Inspection Conducted:

November I through December 31, 1984

Inspectors:

' hf MbMcod

4/5!f8

D. L. Kelley, Senior Resident Reactor

'Date

Inspector (SRRI)

'

(paragraphs 1, 2, 7, and 8)

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k k Lwuk

.2hh5

- W. - F. Smith, Resident Reactor Inspector

(Tats

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(RRI)

>

(paragraphs 1, 2, 3, 4, 5, 6, 7, 8, and 9)

Approved:

k [bwad

A/5/55'

D. M. Hunnicutt, Section Chief,

Oafe

Reactor Project Section B

Inscection Summary

Insoection Conducted:

November 1 through December 31, 1984 (Report

50-445/84-45)

Areas Inspected:

Routine, unannounced inspection of (1) the Thermal Expansion

Test conducted during November and December 1984, (2) Initial Startup

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Procedures (3) corrected Human Engineering Deficiencies, (4) completed

preoperational ttst data, (5) applicant actions on previous inspection

findings, (6) plant tours, and (7) plant status.

The inspection involved 109

inspector-hours by two NRC inspectors.

Results:

Within the 7 areas inspected, one violation was identified (failure

to provide adequate procedures, paragraph 2).

In addition, two open items

exist; one in paragraph 2 and one in paragraph 5 pending applicant action.

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DETAILS

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1.

Persons Contacted

Acolicant Personnel

  • B. R. Clements, Vice Pres'ident, Nuclear Operations
  • J. C. Kuykendall, Manager, Nuclear Operations
  • C. H. Welch, Quality Assurance Supervisor

"J. C. Smith, Quality Assurance

  • R. B. Seidel, Operations Superintendent
  • H. A. Lancaster, Startup Quality Assurance Specialist
  • J. M. Ward, Startup Quality Assurance Specialist

.

  • R. E. Camp, Startup Manager

"S. M. Franks, Special Project and Technical Support Lead

R. R. Wistrand, Administration Superintendent

J. J. Allen, Operations Engineer

  • R. A. Jones, Manager, Plant Operations
  • J. T.

Merritt, Assistant Project General Manager

  • L. G. Barnes, Operations Supervisor
  • T. Gosdin, Coordinator, Public Information

D. W. Braswell, Engineering Superintendent

J. C. Zimmerman, ISU Coordinator

D. B. Allen, ISU Test Coordinator

B. J. Browning, Thermal Expansion Test Engineer

M. R. Blevins, Maintenance Superintendent

B. Taylor, I&C Supervisor

M. D. Deen, Shift Supervisor

A. W. Rosette, Operations Engineer

  • Denotes those present at exit interview.

The NRC inspectors also interviewed other applicant employees during this

inspection period.

2.

Witnessina of Thermal Expansion Test

During the period of this inspection the applicant conducted a series of

pre-fuel load initial startup tests at reactor system temperatures and

pressures ranging from ambient to hot standby.

The principle test

conducted in the 1984 was Thermal Expansion Testing (and Retesting) that

was not completed during the 1983 hot functional test (HFT).

In addition,

'

other retests requiring hot standby conditions were completed thereby

reducing the extent of hot plant testing that would be deferred until

.

after initial fueling.

The sequence was of approximately 54 days duration,

as planned by the applicant.

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The objectives of this inspection were to establish through observations,

records rev'fews, and independent checks that the testing was conducted in

accordance with approved procedures, and to evaluate the performance of

the applicant's personnel involved in test performance.

The final NRC

inspection of test results will be conducted during a subsequent period

after the Station Operations Review Committee (SORC) has completed its

review of the data.

The performance of these objectives were accomplished

on a sampling basis.

The SRRI and RRI determined that testing appeared

to be conducted.in a careful and controlled manner, with minimal problems

as noted in paragraph 2.b below.

I

a.

The following tests were conducted:

(1)

ISU-300A, " Pre-Fuel Load Initial Startup Test Sequence." The

objectives of this test were to provide an overall sequencing of

all the other tests to be conducted, to establish and maintain

l

the plant conditions for testing, and to verify acceptable

'

reactor coolant pump seal flow.

l

(2)

ISU-008A, " Thermal Expansion".

The purpose of this test was to

verify that the ASME Code Class 1, 2, and 3 systems and other

nonsafety class systems which operate at temperatures greater

than 200*F were not restrained during heatup to normal operating

temperature or during cooldown to ambient conditions. This

procedure included verification that loads and clearance gaps

of selected piping system snubbers, spring hangers and pipe

rupture restraints were properly set for free pipe movement.

Component checks consisted of items requiring retest after the

preoperational test conducted during the 1983 HFT (ICP-PT-55-11,

" Thermal Expansion") and items which were not covered by that

test. Measurements will be taken at an initial ambient temperature,

and plateaus of 250'F, 350 F, 450 F and at normal operating

temperature.

A final set of readings was taken after cooldown

to ambient temperature.

(3)

ISU-206A, " Auxiliary Feedwater Performance" The purpose of this

test was to verify that five consecutive cold quick starts of

Turbine Driven Auxiliary Feedwater (TDAFW) pump could be

performed and that 1-LV-2383 (condensate drain valve) functioned

properly during each of these starts to drain condensate from

the steam supply lines.

This test also verified that the time delay from receiving a

,

start signal until the TDAFW pump delivered rated flow at rated

pressure was less than 60 seconds.

The time delay was

determined for both trains and will be a summation of all

system delays including channel sensor and actuation logic.

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(4)

ISU-220A, " Turbine Generator Initial Synchronization and

O'verspeed Test".

The objectives during this testing sequence

were to obtain turbine baseline data and to verify the proper

operation and adjustment of the turbine generator system and its

associated auxiliary and support systems to the extent

practicable during noncritical hot plant conditions.

(5)

ISU-234A, " Main Steam Isolation Valves Operability and Response

Times." The purpose of this test was to verify that the full

stroke closure times of the Main Steam Isolation Valves and Main

Steam Isolation Bypass Valves were within the limits specified

in the Comanche Peak Steam Electric Station (CPSES) Final Safety

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Analysis Report and Technical Specifications for Comanche Peak -

Unit 1.

This test also was to demonstrate the operability of

each Main Steam Isolation Valve and each Main Steam Isolation

Bypass Valve.

(6)

ISU-282A, " Containment & Feed Water (FW) Penetration Room

Temperature Survey" With the RCS at the normal operating

temperature and pressure, the objective of this test was to

demonstrate that the various cooling systems were maintaining

temperatures at or below their design limits in the following

areas:

(a) reactor coolant pipe penetrations; (b) containment

average air temperature; (c) neutron detector wells; (d) each

steam generator compartment; (e) the pressurizer room at the

905 foot elevation; and (f) supply air to each reactor vessel

support.

(7) EGT-712A, " Reactor Coolant System Pressure Isolation Valve

Leakage Testing." This was a retest of repaired or replaced

Safety Injection System check valves which did not meet the

acceptance criteria while being tested during the original HFT

of 1983.

In addition to the specific tests above, the applicant took the

opportunity to exercise several integrated plant operation and

standard operating procedures to confirm or correct their accuracy

and adequacy. Also a few dry runs were conducted on pending initial

Startup test procedures to help minimize procedure problems after the

fuel is loaded.

b.

The applicant conducted weekly status and problem review meetings

between the NRC resident inspectors and key managers including the Manager,

Plant Operation, Engineering Superintendent, Maintenance Superintendent,

Operations Superintendent, and Operations Supervisor.

.

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This meeting provided an opportunity for the RRI and SRRI to assess

applic' ant management involvement in the test sequence, and to address

NRC inspection concerns and actions taken by the applicant, and to

keep abreast of management decisions which affect testing plans for

the week that followed.

The following problems were encountered:

(1) Failed Reactor Coolant Pump Motor:

During the early phases of

reactor coolant' system (RCS) fill in preparation for this

testing sequence, No. 4 reactor coolant pump motor tripped due

to arcing in the' stator. This was apparently caused by a

foreign piece of metal resembling a washer which may have

damaged the stator insula. tion.

This appears to be an unusual,

isolated occurrence provided an electrical path to ground. The

motor has an open type enclosure.

The motor was replaced and

retested.

(2) The No. 1 Residual Heat Removal (RHR) pump tripped upon starting

due to an apparent upper wear ring failure. The applicant is

reviewing the problem as to cause and will report it as required

by the regulations.

(3) There were two cases of failure to maintain adequate procedural

control of plant conditions:

ISU-008, " Thermal Expansion" did not address the required

charging / letdown path and as such the paths were selected in

accordance with the plant operating procedures. As a result,

the lineup had to be changed to accommodate the test.

Plant

temperature stability, as defined in the test, was lost.

The

only consequence was about a 4-hour delay in reestablishing

stable temperature conditions which are prerequisites to the

test.

ISU-008 also failed to address the fact that RHR cross

connection valve 8716A was to be open for the test, because the

integrated plant operating procedure used to establish

conditions required the valve to be shut. When it became

apparent that the valve should be opened, verbal

miscommunications between test and operating personnel

resulted in a second delay in establishing stable temperatures

for the expansion test.

These problems were discussed with the ISU Coordinator, as well

,

as TUEC management.

TUEC committed to ensure that all test

procedures will be checked and revised as necessary to identify

any valve or breaker positions required that are not normally

provided by the operating procedures referenced by the test

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p,rocedures.

The NRC inspectors did not observe this problem any

further and thus considered the corrective action of the

applicant to be' adequate in this area.

(4) Main Steam Isolation Valve (MSIV) cycling met the acceptance

criteria, after correcting minor mechanical problems pending

final review and. approval of the data, but the bypass valves

(MSIBV) did not.

The' applicant is evaluating and has made

informal comments to the RRI that a design change to manual

valves will be implemented.

(5) During thermal expansion ; testing, at the various temperature

plateaus, of ambient, 250*F, 350 F, 450*F, and normal operating

temperature, numerous support snubbers and restraints required

some rework and retesting.

By the end of the sequence most had

been corrected and retested, except in some cases where it was

impractical or unsafe (due to hot surfaces) to make adjustments.

The latter cases have been identified and will become part of

what now appears to be a potentially small test deferral package

for postfueling hot functional testing.

(6) During starting of the Turbine Driven Auxiliary Feedwater

(TDAFW) pump, in accordance with ISU-206A, the pump manual

discharge valve IAF-041 was discovered locked shut. This valve

was recorded by the operators as " locked open" on the valve

lineup sheet provided by the system operating procedure. The

RRI noted this in the shift supervisor's logs about one 8-hour

shift later,and cuestioned the shift supervisor in charge of the

subsequent shift whether or not a deviation report (DR) had been

initiated, as required by Administrative Procedure STA-404,

" Control of Deficiencies." The shift supervisor indicated that

he would check into it and if necessary, initiate the

appropriate reports.

He further stated that the cause appeared

to be confusion over which way to turn the valve handwheel due

to the reach rod linkage, and the valve being overhead, rather

than a violation of the system operating procedure.

IAF-041 is

an 8" rising stem overhead valve with several reach rod links

with universal joints to get the handwheel within easy access.

Tne RRI inspected the valve. Although it may be difficult to

check whether the valve is shut, the operator should not have a

problem checking whether the valve is open by looking for inward

stem movement because he can always attempt to shut the valve

and see some stem movement.

There is no apparent reason for

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this problem, other than failure on the part of the operator

-

to check the valve position in a positive manner.

Discussions

between the RRI and the applicant brought out a need for the

applicant to take definitive corrective action to preclude

future valvt lineup problems and to ensure that all such

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problems are documented in a timely manner by shift supervisors

with first-hand knowledge of the problems. At the discussion it was

pointed out by the RRI that the shift supervisor appears to be

burdened with an analysis of the problem and possible corrective

actions for the purpose of deciding in what format the problem

must be reported, i.e., Deficiency Report, Nonconformance

Report, or Problem Report.

These reports are controlled by

three different administrative procedures. The applicant

indicated that action will be taken to provide the shift supervisors

with simpler reporting instructions. Tne applicant has committed

to the above corrective actions. This is an Open Item

(445/8445-01).

.

(7) Pressurizer level indicator 1-LT-0460 did not compare favorably

with the redundant level channels as RCS pressure increased to

near normal operating pressure. Troubleshooting the piping for

the detector revealed a leaking drain valve which was tightened

thereby stopping the leak, but the reference leg needed to be

filled.

Upon attempting to fill the reference leg in accordance

with a generic " basic guidelines" procedure, an Instrument and

Control (I&C) Technician connected low pressure fill equipment

incorrectly to the detector piping and then operated the wrong

instrument valves.

This action resulted in the low pressure

fill tubing being blown off and the I&C technician received

thermal burns to his arm from hot reactor coolant.

The

personnel safety and postulated radiological implications of

this type of problem after initial criticality was discussed

with the applicant's representatives. As a result of this

discussion, Deficiency Report 84-127 was written.

Instruction

No. ICI-2007, " Filling and Venting Level Transmitters and Level

Indicating Switches (Wet Leg)" is not adequate to assure proper

controls over quality and radiological safety, and using such a

procedure is in violation of 10 CFR 50, Appendix B, Criterion V.

This is a Violation (445/8445-02).

3.

Review of Initial Startup Test Procedures

During the month of October, 1984, the RRI conducted a review of test and

administrative procedures to be used in the control of the Thermal

Expansion Test and other hot plant tests.

The results are listed in NRC

Inspection Report 445/84-39.

The RRI inspected the following procedures

during November 1984 to complete the review:

ISU-206A, " Auxiliary Feedwater performance" (Revisicn 2)

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ISU-282A, " Containment & F.W. Penetration Room Temperature

Survey" (Revision 1)

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Attributes checked included assurance that:

(1) the procedures were

consistent with regulatory requirements, (2) the procedures contained the

necessary administrative controls, (3) the test objectives would be met

and properly documented, (4) adequate Quality Assurance provisions were

incorporated as committed in the FSAR, and (5) there were no major

technical or editorial errors._

No violations or deviations were identified.

4

Verification of Completion of Human Engineering Deficiencies

The Human Factors Control Room Design Review of CPSES, conducted by the

Human.Facter Engineering Branch of the NRC, identified many Human

Engineering Discrepancies (HEDs).

NRC Inspection Report 445/84-31 reported that as of August 31, 1984, all

but 23 prelicensing HEDs had been closed by the Human Factor Engineering

Branch, and that the remaining HEDs will be verified by the resident

inspectors and documented in future inspection reports.

As of December 31, 1984, 20 of the 23 remaining HEDs have been verified by

the RRI as satisfactorily completed by personal observation of the

installed hardware.

There are now 3 HEDs remaining to be closed.

The

following is a listing of the HEDs remaining to be verified:

88.

HED DESCRIPTION

Trend recorder scale differs from chart paper scale.

ACTION

Confirmatory on recorders having paper matching recorder scales (all

recorders should have paper), including Hot Shutdown Panel (HSP).

Note: HED 122 was closed with exception of " proper paper in

recorders" which will be verified as a part of this HED.

181.

HED CESCRIPTION

The nuclear instrumentation system recorder lacks a scale for

differential power.

ACTION

Confirmatory on installation of a scale for differential power.

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184. HED DESCRIPTION

Counters require calculations by the operator when displayed values

run past 60 minutes.

Other counters require the operator to convert

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displayed values by multiplication factors other than a multiple of

ten.

ACTION

Confirmatory on full scale counters replacing 0.5 scale counters on

CPS-01.

The following is a listing of the HEDs that have been completed and then

verified by the NRC resident inspector:

3.

HED DESCRIPTION

Annunciator alarms are not visually prioritized.

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ACTICN

Verified completion of annunciator prioritization.

68.

HED DESCRIPTION

No storage space has been allocated for essential material.

ACTION

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Verified installation of portable storage unit and storage of

equipment at the HSP.

80.

HED DESCRIPTION

Pointers on "J" handle / star / handle switches contrast poorly with

handle color.

ACTION

Verified "J"

handle / star handle pointers being painted white.

93.

HED DESCRIPTION

No control coding is currently being used for:

o

Mechanical valves, pumps, b.eakers, motors, etc.

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o

Throttle valves

o

Emergency or critical controls

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ACTION

Verified installation of "T" handles on transfer switches at the HSP

(14 handles).

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106.

HED DESCRIPTION

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Labels are missing.

ACTION

Verified labels on record.ers on CV-Oi, incore panel, and for lights

on CV-03.

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120.

HED DESCRIPTION

Sound powered jack communications are incomplete.

ACTION

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Verified storage of sound powered headset at the HSP (see no. 68

above).

122.

HED DESCRIPTION

The HSP is in the process of complete redesign.

ACTION

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Verified completion of Hierarchical labeling at HSP and transfer

panels, labeling of light box, proper paper in recorders (sea no. 88

above), and sound powered headsets at HSP (see no. 68 above), and

transfer panel.

Note:

" Proper paper in recorders" has not been completed.

This

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action was moved to HED no. 88 so that item 122 could be

closed.

130.

HED DESCRIPTION

Controls have unlabeled switch positions.

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ACTION

Verified new escutcheon plates for 1-HS-2491 through 1-HS-2494 on

CB-09.

214.

HED DESCRIPTION

A rotary control with clockwise-counter clockwise movement is used to -

control a " lower" and " raise" function.

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ACTION

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Verified permanent escutcheon plates on CB-11 (90-1EG2 and 65-1EG2).

225.

HED DESCRIPTION

Thelockingpositionorfbnctionoftheverniercontrollersisnot'

clearly indicated.

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ACTION

Verified " LOCK" position labels on Hagan controllers.

226.

HED DESCRIPTION

Setpoint adjustment knob covers on process controllers can be easily

removed.

. ACTION

Verified more secure attachment of setpoint adjustment knob covers on

controllers.

267.

HED DESCRIPTION

Trend re: orders used frosted glass.

ACTION

Verified replacement of frosted glass with clear glass on recorders

on CB-10.

-321

HED DESCRIPTION

Annunciator character sizes are inconsistent.

ACTION

Verified re-engraving of annunciator tiles

1-ALB-2:

3.7

1-ALB-3B

2.6

1-ALB-4A

4.4

1-ALB-4B

1.5, 2.6, 3.6

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1-ALB-5B

2.1, 3.4

1-ALB-5C.

3.1, 4.2

1-ALB-6C

1.2, 1.3, 2.1, 2.2, 2.7, 3.2, 3.3, 3.7,

4.2

1-ALB-60

1.4, 1.10, 1.14, 2.4, 2.13, 2.14, 3.13,

3.14, 4.13

1-ALB-8

1.13, 2.13, 2.14, 3.14, 4.14

1-ALB-9

1.4, 1.8, 1.11, 4.1, 7.6

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345.

HED DESCRIPTION

Abbreviations in computer displays do not conform to those in the

Comanche Peak Steam Electric Station (CPSES) " Directory of Acronyms

and Abbreviations."

ACTION

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Verified revision of point descriptions in P2500 to use CPSES

abbreviations.

5.

Preoperational Test Results Evaluation

The RRI reviewed the followir.g completed test package, ICP-PT-66-01,

" Nuclear Instrumentation System," which has been approved by the Joint

Test Group (JTG). Attributes inspected included: (1) adequacy of the

evaluation of test results, (2) assurance that test data met acceptance

criteria, (3) assurance that deviations were properly identified and

resolved, and (4) the applicant's administrative practices with respect to

test execution and data evaluation were adequate.

The test package met the attributes above, with one apparent exception. A

Test Procedure Deviation (TPD-03) was written to delete the requirement to

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take data in paragraphs 7.1.7.5 and 7.2.7.5 of the procedure, because the

source range meters that were installed in the Hot Shutdown Panel did not

function properly.

The meters did not have the proper signal input

ratings.

This was documented on a Test Deficiency Report (TDR 3014).

TDR-3014 stated that the retest would be per TDR-3547.

TDR-3547 was

written because when the proper meters finally were installed, they would

load down the circuit and cause erroneous readings. The retest specified

on TDR-3547 was lined out, leaving an open-ended paper trail.

The

applicant's representative has committed to take action to correct this

problem. This is an Open Item (445/8445-03).

No violations or deviations are apparent at this time.

6.

Acplicant Action on Previous Inspection Findings

a.

(Closed) Unresolved Item 445/8424-02: Apparent conflict between FSAR

Figure 6.3-5 and the Safety Injection Pump 01 performance curve.

During a previous inspection (445/84-24) of the completed test data

of preoperational test procedure ICP-PT-57-01, " Safety Injection Pump

Performance," the NRC inspector noted that the Safety Injection Pump

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01 performance curve in the completed test data did not meet the

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minimum acceptable performance curve of Figure 6.3-5 of the FSAR.

Since the time of the inspection, Amendment 53 of the FSAR (dated

November 5, 1984) changed the pump curve. The performance data and

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curves in the completed test package for ICP-PT-57-01 now meet the

requirements of the FSAR.

This item is closed.

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b.

(Closed) Open Item 445/8415-02: Minor discrepancies found during NRC

inspection of station administrative procedures.

During a previous

inspection (445/84-15) of station administrative procedures, the RRI

found several minor discrepancies and made some suggestions to

preclude future problems.

The applicant took action on those items

that the applicant consi.dered justification for implementing a

procedure change. .For example:

(1) STA-401, " Station.0peration Review Committee," Revision 5,

Section 4.4 did:not fully implement the responsibilities of the

committee as stated in the CPSES Unit 1 Technical Specifications

(final draft).

This was corrected in Revision 8 of STA-401.

(2) STA-203, " Control of Station Manuals," Revision 7, Section 4.3.3

required a notification memo to be sent to each onsite holder of

controlled station manuals to alert recipients of a revision or

new procedure.

This was not being done for holders of the

manual who incorporate their own changes because they sign a

receipt for the changes or new procedures anyway.

Revision 9

clarified this such that the applicant is in compliance with the

procedure.

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(3)

STA-307, " Forms Control," Revision 2, allowed minor changes to

forms without revising the parent procedure containing a sample

of the form as an attachment.

However, instead of changing the

revision number of the form itself, the office services staff

misinterpreted Section 4.2.6 of STA-307 and changed the revision

of the parent procedure attachment page, which caused a conflict

with the rest of the parent procedure pages.

This was corrected

by the applicant and STA-307 was revised to preclude

misinterpretation.

This item is closed,

c.

(Closed) Deviation 445/8415-01:

Failure of the applicant to use SORC

approved instructions to perform work on the emergency diesel

generators.

The CPSES FSAR commits to Regulatory Guide (RG) 1.22,

Revision 2, February 1978 with no exceptions. RG 1.33 and ANSI

N18.7-1976Property "ANSI code" (as page type) with input value "ANSI</br></br>N18.7-1976" contains invalid characters or is incomplete and therefore can cause unexpected results during a query or annotation process. to which it refers, requires maintenance to be performed

using procedures / instructions receiving the same review and approval

as operating instructions, i.e., review and approval by the 50RC.

During two previous inspections (50-445/84-07 and 50-445/84-15), the

NRC inspectors noted that the applicant had defined " instructions" as

procedures which do not require 50RC approval, and had issued

" instructions" to perform work on safety-related equipment such as

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the emergency diesel generator (EDG). The apparent basis was that

EDG work performed by the maintenance department had no significant

impact on other departments, and/or was work unique to the

maintenance department.

Since the above NRC inspections, the issue

has been resolved as evidenced in Station Administrative Procedure

STA-707, " Safety Evaluations," (Revision 2), STA-202, " Preparation,

Review, h,pproval, and Revision of Station Procedures" (Revision 10),

,

and the final draft'of the CPSES Unit 1 Technical Specifications

(TS).

In essence, all safety-related procedures and instructions

will receive a SORC review by virtue of the requirement that the SORC

review the related safety evaluations, as stated in the TS and

STA-401, which both list the responsibilities of the SORC.

This deviation is closed,

d.

(Closed) Violation 445/8421-02:

Failure of preoperational test

procedures to provide adequate prerequisites.

During a previous

inspection (445/84-21), the RRI noted that during conduct of

preoperational test 1CP-PT-29-02,RT1, " Diesel Generator (DG) Control

Circuit Functional and Start Test" the DG barring device was

connected to a portable air compressor instead of the Service Air

System.

There was no' prerequisite step in the test procedure to

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provide either temporary or permanent air for the barring device, yet

it needed air to be tested.

Also, during testing of the Service

Water System in accordance with ICP-PT-04-01, RT 1, " Station Service

Water (SSW)," a Barton D/P gage did not function due to air binding.

There was no prerequisite in the test procedure to ensure the gage

was recently filled and vented to assure accurate test data, nor did

the Startup Administrative Procedures for writing the test require

it. This was a potentially generic problem.

The applicant has since

revised CP-SAP-7, " Format and Content of Test Instruction / Procedures"

to require the appropriate prerequisites.

Each organization

responsible for review of preoperational test procedures has been

instructed to ensure that test prerequisites receive a comprehensive

review to ensure system readiness and correct component configuration

to assure validity of the test results.

This item is closed.

7.

Plant Tours

During this reporting period, the SRRI and RRI conducted several

inspection tours of Unit 1.

In addition to the general housekeeping

activities and general cleanliness of the facility, specific attention was

given to areas where safety-related equipment was installed and where

activities were in progress involving safety-related equipment.

These

areas were inspected to ensure that:

Work in progress was being accomplished using approved procedures.

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Special precautions for protection of equipment were imolemented, and

additional cleanliness requirements were being adhered to for

maintenance, flushing, and welding activities.

Installed safety-related equipment and components were being

protected and maintained to prevent damage and deterioration.

. Also during these tours,'the SRRI and RRI reviewed the control room and

shift supervisors' log books.

Key items in the log review were:

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plant status

changes in plant status

tests in progress

documentation of problems which arise during operating shifts

No deviations or violations were found.

8.

plant Status as of December 31, 1984

a.

The applicant was at the end of the Thermal Expansion Test sequence

and making preparations to roll the main turbine-generator.

Details

of the testing sequence and problems encountered are discussed in

paragraph 2 of this report.

b.

Unit No. 1 is 99% complete with 403 of 422 areas and 323 and 332

subsystems turned over to operations custody.

" Custody" means having

immediate authority and responsibility for operational control of

system or equipment.

The applicant has accepted 260 of 332 subsystems for final

acceptance.

c.

Of the 199 preoperational tests, one is not yet completed on field

testing, and 21 are pending review and approval of completed data.

Eighteen are pending NRC completed data inspections,

d.

Tne following items related to NRC resident operations office

findings are open pending applicant action and NRC followup

inspection to confirm completion of closure:

Violations

10

Deviations

0

Open items

100

Unresolved

7

Total

117

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Action is underway to complete these items.

Closure will be

documented in future inspection reports.

e.

Unit No. 2 is 65% complete. The preoperational test program on

systems associated with NRC inspections has not yet started.

9.

Exit Interview

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An exit interview was conducted January 4, 1985, with applicant

representatives identified in paragraph 1.

During this interview, the RRI

and Mr. D. M. Hunnicutt of the Region IV NRC office reviewed the scope and

discussed the inspection findings.

The applicant acknowledged the

findings.

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