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| number = ML18152B319
| number = ML18152B319
| issue date = 12/09/1988
| issue date = 12/09/1988
| title = Responds to NRC 881109 Ltr Re Violations Noted in Insp Repts 50-280/88-35 & 50-281/88-35.Corrective Actions:Respiratory Equipment in Question Removed from Svc,Refurbished W/Hoses & Recalibr to Ensure Required Discharge Flow
| title = Responds to NRC Re Violations Noted in Insp Repts 50-280/88-35 & 50-281/88-35.Corrective Actions:Respiratory Equipment in Question Removed from Svc,Refurbished W/Hoses & Recalibr to Ensure Required Discharge Flow
| author name = CARTWRIGHT W R
| author name = Cartwright W
| author affiliation = VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
| author affiliation = VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
| addressee name =  
| addressee name =  
Line 11: Line 11:
| contact person =  
| contact person =  
| document report number = 88-755, NUDOCS 8812200067
| document report number = 88-755, NUDOCS 8812200067
| title reference date = 11-09-1988
| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE, UTILITY TO NRC
| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE, UTILITY TO NRC
| page count = 4
| page count = 4
}}
}}
See also: [[followed by::IR 05000280/1988035]]


=Text=
=Text=
{{#Wiki_filter:e e VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261 ** R.CAHTWRJ:GHT  
{{#Wiki_filter:e e
VICB PRBSIDENT  
VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261
NUCLEAR December 9, 1988 U.S. Nuclear Regulatory  
* R.CAHTWRJ:GHT VICB PRBSIDENT NUCLEAR December 9, 1988 U.S. Nuclear Regulatory Commission Attn:
Commission  
Document Control Desk Washington, D. C.
Attn: Document Control Desk Washington, D. C. 20555 Gentlemen:  
20555 Gentlemen:
VIRGINIA ELECTRIC AND POWER COMPANY SURRY POWER STATION UNITS 1 AND 2 Serial No. NO/GDM:pmk  
VIRGINIA ELECTRIC AND POWER COMPANY SURRY POWER STATION UNITS 1 AND 2 Serial No.
Docket Nos. License Nos. NRC INSPECTION  
NO/GDM:pmk Docket Nos.
REPORT NOS. 50-280/88-35  
License Nos.
AND 50-281/88-35  
NRC INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 REPLY TO A NOTICE OF VIOLATION 88-755 50-280 50-281 DPR-32 DPR-37 We have reviewed your letter of November*9, 1988 in reference to the inspection conducted at Surry Power Station from September 19-23, 1988 and reported in Inspection Report Nos.
REPLY TO A NOTICE OF VIOLATION  
50-280/88-35 and 50-281/88-35.* Our response to the violations described in the Notice of Violation is provided in the attachment.
88-755 50-280 50-281 DPR-32 DPR-37 We have reviewed your letter of November*9, 1988 in reference  
We have no objection to this inspection repo~t being made a matter of public disclosure.
to the inspection  
If you-have any further questions, please contact us.
conducted  
Attachments cc:
at Surry Power Station from September  
U. S. Nuclear Regulatory Commission Region II  
19-23, 1988 and reported in Inspection  
-** ~...... : *-..:
Report Nos. 50-280/88-35  
101 Marietta Street, N.W.
and 50-281/88-35.*  
Suite 2900 Atlanta, GA 30323 Mr. W. E. Holland
Our response to the violations  
(
described  
NRC Senior Resident Inspector Surry Power Station I
in the Notice of Violation  
* NRC Comment:
is provided in the attachment.  
e RESPONSE TO NOTICE OF VIOLATION REPORTED DURING THE NRC INSPECTION CONDUCTED ON SEPTEMBER 19-23, 1988 INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 During the Nuclear Regulatory Commission (NRC) inspection conducted on September 19-23, 1988, violations of NRC requirements were identified.
We have no objection  
In accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions, 11 10 CFR 2, Appendix C (1988), the violations are listed below.
to this inspection  
A.
repo~t being made a matter of public disclosure.  
10 CFR 20.103(c) requires that the licensee use equipment that is certified or had certification extended by the National Institute for Occupational Safety and Health/Mine Safety and Health Administration (NIOSH/MSHA) when respiratory protective equipment is used to limit the inhalation of airborne radioactive material.
If you-have any further questions, please contact us. Attachments  
30 CFR 11, Subchapt~r B, Subpart A, Section 11.2(a) states respirators, combinations of respirators, and gas masks shall be approved for use in hazardous atmospheres where they are maintained in an approved condition and are the same in all aspects as those devices for which a certificate of approval has been issued under this part.
cc: U. S. Nuclear Regulatory  
Contrary to the above, prior to September 20, 1988, the licensee failed to meet the NIOSH/MSHA approval requirements for the tyre C supplied air res~irators (hoods) in use, in that, the licensee used air supply hoses different from those specified in NIOSH/MSHA Certificate of Approval Number TC=19C-140 and operated the air distribution system at pressures below the range specified in the same certificate of approval.
Commission  
This is a Severi_ty Level IV violation (Supplement IV).
Region II -** . _ ..... : *-. . : 101 Marietta Street, N.W. Suite 2900 Atlanta, GA 30323 Mr. W. E. Holland ( NRC Senior Resident Inspector  
B.
Surry Power Station ' . , . '', '* ' ;, I * ,. 
Technical Specification 6.4.D requires that radiation control procedures be followed.
* NRC Comment: e -RESPONSE TO NOTICE OF VIOLATION  
Health Physics Procedure Radioactjve Material Control Program, dated August 29,
REPORTED DURING THE NRC INSPECTION  
: 1988, requires that radioactive material be appropriately stored in such a way that control over the material is maintained and access is only to authorized individuals. This procedure also specifies the bagging and labeling requirements for contaminated material.
CONDUCTED  
Contrary to the above, the licensee failed to adhere to radiation control procedures in that several contaminated items were found September 19,
ON SEPTEMBER  
: 1988, inside an unlocked radioactive material gang box that were not properly controlled, bagged, labeled, and secured to prevent unauthorized access.
19-23, 1988 INSPECTION  
This is a Severity Level V violation (Supplement IV).
REPORT NOS. 50-280/88-35  
I  
AND 50-281/88-35  
, I  
During the Nuclear Regulatory  
'*~ '*  
Commission (NRC) inspection  
 
conducted  
e e
on September  
RESPONSE TO NOTICE OF VIOLATION INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 RESPONSE TO ITEM A:
19-23, 1988, violations  
(1)
of NRC requirements  
ADMISSION OR DENIAL OF THE ALLEGED VIOLATION:
were identified.  
The violation is correct as stated.
In accordance  
(2)
with the "General Statement  
REASONS FOR VIOLATION:
of Policy and Procedure  
The violation resulted from an oversight on the part of individuals responsible for respiratory protection equipment operation and maintenance, and inadequate procedural guidance related to review of NIOSH Certification requirements.
for NRC Enforcement  
(3)
Actions, 11 10 CFR 2, Appendix C (1988), the violations  
CORRECTIVE STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:
are listed below. A. 10 CFR 20.103(c)  
The respiratory equipment in question was removed from
requires that the licensee use equipment  
: service, refurbished with proper supply hoses, as specified on the NIOSH certification, and recalibrated to ensure required discharge flow.
that is certified  
The calibration verified required minimum air flow for the recommended  
or had certification  
. pressure readings corresponding *to maximum hose lengths.
extended by the National Institute  
Additionally, a
for Occupational  
recheck of the air distribution units with the non-approved hose was performed to determine whether the required minimum 6 cfm flow had been provided at the lower pressure settings. This was confirmed and was found to be due to the non-approved hose having a larger diameter than the approved hose.
Safety and Health/Mine  
The remaining units available for service were confirmed to be maintained per NIOSH certification or refurbished.
Safety and Health Administration (NIOSH/MSHA)  
These units were then recalibrated and relabeled to indicate use of approved hoses in proper pressure ranges.
when respiratory  
(4)
protective  
CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER VIOLATIONS:
equipment  
The procedure governing respiratory protection equipment calibration and performance verification will be revised to ensure a complete review of NIOSH certification requirements and appropriate documentation for equipment prior to its use.
is used to limit the inhalation  
(5)
of airborne radioactive  
THE DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED:
material.  
Full comp.liance has been achieved with regard to the specific respiratory equipment problem identified in the Notice of Violation.
30 CFR 11, Subchapt~r  
The procedure revision discussed in item (4) above will be complete by January 31, 1989.  
B, Subpart A, Section 11.2(a) states respirators, combinations  
. *~,,
of respirators, and gas masks shall be approved for use in hazardous  
I I  
atmospheres  
.... ~.... -*~,.., ~...  
where they are maintained  
 
in an approved condition  
,-l e
and are the same in all aspects as those devices for which a certificate  
RESPONSE TO NOTICE OF VIOLATION INSPECTION REPORT NOS. 50/280/88-35 AND 50-281/88-35 RESPONSE TO ITEM B:
of approval has been issued under this part. Contrary to the above, prior to September  
(1)
20, 1988, the licensee failed to meet the NIOSH/MSHA  
ADMISSION OR DENIAL OF THE ALLEGED VIOLATION:
approval requirements  
The violation is cofrect as stated.
for the tyre C supplied air res~irators (hoods) in use, in that, the licensee used air supply hoses different  
(2)
from those specified  
REASON FOR VIOLATION:
in NIOSH/MSHA  
The violation occurred when radioactively contaminated tools and testing equipment were placed in* a labeled storage container without proper authorization by Health Physics.
Certificate  
The station personnel who placed the materiql into the container were not fully aware of the requirements for packaging, labeling, and surveying radioactive material for storage.
of Approval Number TC=19C-140  
Additionally, Health Physics was not notified of these activities.
and operated the air distribution  
(3)* CORRECTIVE STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:
system at pressures  
The improperly stored radioactive materials were immediately surveyed, packaged and labeled in accordance with station procedures. Additionally, surveys of radioactive material storage containers located within uncontaminated areas of the station were initiated to ensure. no further cases of improper storage existed.
below the range specified  
No additional cases were identified.
in the same certificate  
As an interim measure to prevent recurrence of this problem, Health 11 Physics controlled locks.were installed on these storage containers and instructions were posted to notify individuals that Health Physics would be required to provide access to the containers.
of approval.  
(4)
This is a Severi_ty  
CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER.VIOLATIONS:
Level IV violation (Supplement  
The interim controls established by use of Health Physics* locks will be maintained until such time as additional radioactive material controls training has been completed by appropriate station radiation workers.
IV). B. Technical  
This training will be provided during General Employee Training and Retraining and will review and e~phasize the procedural. requirements for proper handling and storage "of radioactive materials.
Specification  
(5)
6.4.D requires that radiation  
THE DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED:
control procedures  
Full compliance has been achieved.
be followed.  
General Employee Training and Retraining will be revised.by 1/31/89.
Health Physics Procedure  
f..,...... _**~~ !~")',,  
Radioactjve  
.,,**"' ** *,.,-.*** \\,,"'......:_~ ~.,_.. *_.. ~~~.____'._ ** _,  
Material Control Program, dated August 29, 1988, requires that radioactive  
. *., ~*-i... **,,*:,~*-~ t.;*.~ **,~ *,, l,,*,*.,.**:; I~'.-*'".'.',,, *.. *:, *,*,*, _ ~~*:.".:'.'.  
material be appropriately  
**:, * *-;,,* -::.*~:.. *,",!'';.**'*** *11****~ : -*. **;-r:*: **.,**- '! ''"':',  
stored in such a way that control over the material is maintained  
* 'It  
and access is only to authorized  
~,  
individuals.  
! I;  
This procedure  
,.}}
also specifies  
the bagging and labeling requirements  
for contaminated  
material.  
Contrary to the above, the licensee failed to adhere to radiation  
control procedures  
in that several contaminated  
items were found September  
19, 1988, inside an unlocked radioactive  
material gang box that were not properly controlled, bagged, labeled, and secured to prevent unauthorized  
access. This is a Severity Level V violation (Supplement  
IV). I , I '*~ '*
e e RESPONSE TO NOTICE OF VIOLATION  
INSPECTION  
REPORT NOS. 50-280/88-35  
AND 50-281/88-35  
RESPONSE TO ITEM A: (1) ADMISSION  
OR DENIAL OF THE ALLEGED VIOLATION:  
The violation  
is correct as stated. (2) REASONS FOR VIOLATION:  
The violation  
resulted from an oversight  
on the part of individuals  
responsible  
for respiratory  
protection  
equipment  
operation  
and maintenance, and inadequate  
procedural  
guidance related to review of NIOSH Certification  
requirements.  
(3) CORRECTIVE  
STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:  
The respiratory  
equipment  
in question was removed from service, refurbished  
with proper supply hoses, as specified  
on the NIOSH certification, and recalibrated  
to ensure required discharge  
flow. The calibration  
verified required minimum air flow for the recommended . pressure readings corresponding  
*to maximum hose lengths. Additionally, a recheck of the air distribution  
units with the non-approved  
hose was performed  
to determine  
whether the required minimum 6 cfm flow had been provided at the lower pressure settings.  
This was confirmed  
and was found to be due to the non-approved  
hose having a larger diameter than the approved hose. The remaining  
units available  
for service were confirmed  
to be maintained  
per NIOSH certification  
or refurbished.  
These units were then recalibrated  
and relabeled  
to indicate use of approved hoses in proper pressure ranges. (4) CORRECTIVE  
STEPS WHICH WILL BE TAKEN TO AVOID FURTHER VIOLATIONS:  
* -The procedure  
governing  
respiratory  
protection  
equipment  
calibration  
and performance  
verification  
will be revised to ensure a complete review of NIOSH certification  
requirements  
and appropriate  
documentation  
for equipment  
prior to its use. (5) THE DATE WHEN FULL COMPLIANCE  
WILL BE ACHIEVED:  
Full comp.liance  
has been achieved with regard to the specific respiratory  
equipment  
problem identified  
in the Notice of Violation.  
The procedure  
revision discussed  
in item (4) above will be complete by January 31, 1989. . *~ ,, I I .. .... ~. . .. -*~, .. , ...
,-l e RESPONSE TO NOTICE OF VIOLATION  
INSPECTION  
REPORT NOS. 50/280/88-35  
AND 50-281/88-35  
RESPONSE TO ITEM B: (1) ADMISSION  
OR DENIAL OF THE ALLEGED VIOLATION:  
The violation  
is cofrect as stated. (2) REASON FOR VIOLATION:  
The violation  
occurred when radioactively  
contaminated  
tools and testing equipment  
were placed in* a labeled storage container  
without proper authorization  
by Health Physics. The station personnel  
who placed the materiql into the container  
were not fully aware of the requirements  
for packaging, labeling, and surveying  
radioactive  
material for storage. Additionally, Health Physics was not notified of these activities.  
(3)* CORRECTIVE  
STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:  
The improperly  
stored radioactive  
materials  
were immediately  
surveyed, packaged and labeled in accordance  
with station procedures.  
Additionally, surveys of radioactive  
material storage containers  
located within uncontaminated  
areas of the station were initiated  
to ensure. no further cases of improper storage existed. No additional  
cases were identified.  
As an interim measure to prevent recurrence  
of this problem, Health 1 1 Physics controlled  
locks.were  
installed  
on these storage containers  
and instructions  
were posted to notify individuals  
that Health Physics would be required to provide access to the containers.  
* (4) CORRECTIVE  
STEPS WHICH WILL BE TAKEN TO AVOID FURTHER.VIOLATIONS:  
The interim controls established  
by use of Health Physics* locks will be maintained  
until such time as additional  
radioactive  
material controls training has been completed  
by appropriate  
station radiation  
workers. This training will be provided during General Employee Training and Retraining  
and will review and e~phasize  
the procedural . requirements  
for proper handling and storage "of radioactive  
materials.  
(5) THE DATE WHEN FULL COMPLIANCE  
WILL BE ACHIEVED:  
Full compliance  
has been achieved.  
General Employee Training and Retraining  
will be revised.by  
1/31/89. f.. , ...... _**~~ !~")' , , * .,,**"' ** * ,.,-.*** \, ,"'......:_~  
~.,_ .. *_ .. ~~~.____'._  
** _, . *., ~*-i ... **,,*:,~*-~  
t.;* .~ ** ,~ * ,, l, ,* ,*.,.**:;  
I~'.-*'".'.',,, * .. *:, *,*,*, _ ~~*:.".:'.' . **:, * *-;,,* -:: .*~:.. * ,",!'';.**'***  
*11****~ : -*. **;-r:*: ** .,**-'! ''"':' , * 'It '* ' . ~, ! I; ,.
}}

Latest revision as of 19:40, 5 January 2025

Responds to NRC Re Violations Noted in Insp Repts 50-280/88-35 & 50-281/88-35.Corrective Actions:Respiratory Equipment in Question Removed from Svc,Refurbished W/Hoses & Recalibr to Ensure Required Discharge Flow
ML18152B319
Person / Time
Site: Surry  
Issue date: 12/09/1988
From: Cartwright W
VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
To:
NRC OFFICE OF ADMINISTRATION & RESOURCES MANAGEMENT (ARM)
References
88-755, NUDOCS 8812200067
Download: ML18152B319 (4)


Text

e e

VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261

  • R.CAHTWRJ:GHT VICB PRBSIDENT NUCLEAR December 9, 1988 U.S. Nuclear Regulatory Commission Attn:

Document Control Desk Washington, D. C.

20555 Gentlemen:

VIRGINIA ELECTRIC AND POWER COMPANY SURRY POWER STATION UNITS 1 AND 2 Serial No.

NO/GDM:pmk Docket Nos.

License Nos.

NRC INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 REPLY TO A NOTICE OF VIOLATION 88-755 50-280 50-281 DPR-32 DPR-37 We have reviewed your letter of November*9, 1988 in reference to the inspection conducted at Surry Power Station from September 19-23, 1988 and reported in Inspection Report Nos.

50-280/88-35 and 50-281/88-35.* Our response to the violations described in the Notice of Violation is provided in the attachment.

We have no objection to this inspection repo~t being made a matter of public disclosure.

If you-have any further questions, please contact us.

Attachments cc:

U. S. Nuclear Regulatory Commission Region II

-** ~...... : *-..:

101 Marietta Street, N.W.

Suite 2900 Atlanta, GA 30323 Mr. W. E. Holland

(

NRC Senior Resident Inspector Surry Power Station I

  • NRC Comment:

e RESPONSE TO NOTICE OF VIOLATION REPORTED DURING THE NRC INSPECTION CONDUCTED ON SEPTEMBER 19-23, 1988 INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 During the Nuclear Regulatory Commission (NRC) inspection conducted on September 19-23, 1988, violations of NRC requirements were identified.

In accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions, 11 10 CFR 2, Appendix C (1988), the violations are listed below.

A.

10 CFR 20.103(c) requires that the licensee use equipment that is certified or had certification extended by the National Institute for Occupational Safety and Health/Mine Safety and Health Administration (NIOSH/MSHA) when respiratory protective equipment is used to limit the inhalation of airborne radioactive material.

30 CFR 11, Subchapt~r B, Subpart A, Section 11.2(a) states respirators, combinations of respirators, and gas masks shall be approved for use in hazardous atmospheres where they are maintained in an approved condition and are the same in all aspects as those devices for which a certificate of approval has been issued under this part.

Contrary to the above, prior to September 20, 1988, the licensee failed to meet the NIOSH/MSHA approval requirements for the tyre C supplied air res~irators (hoods) in use, in that, the licensee used air supply hoses different from those specified in NIOSH/MSHA Certificate of Approval Number TC=19C-140 and operated the air distribution system at pressures below the range specified in the same certificate of approval.

This is a Severi_ty Level IV violation (Supplement IV).

B.

Technical Specification 6.4.D requires that radiation control procedures be followed.

Health Physics Procedure Radioactjve Material Control Program, dated August 29,

1988, requires that radioactive material be appropriately stored in such a way that control over the material is maintained and access is only to authorized individuals. This procedure also specifies the bagging and labeling requirements for contaminated material.

Contrary to the above, the licensee failed to adhere to radiation control procedures in that several contaminated items were found September 19,

1988, inside an unlocked radioactive material gang box that were not properly controlled, bagged, labeled, and secured to prevent unauthorized access.

This is a Severity Level V violation (Supplement IV).

I

, I

'*~ '*

e e

RESPONSE TO NOTICE OF VIOLATION INSPECTION REPORT NOS. 50-280/88-35 AND 50-281/88-35 RESPONSE TO ITEM A:

(1)

ADMISSION OR DENIAL OF THE ALLEGED VIOLATION:

The violation is correct as stated.

(2)

REASONS FOR VIOLATION:

The violation resulted from an oversight on the part of individuals responsible for respiratory protection equipment operation and maintenance, and inadequate procedural guidance related to review of NIOSH Certification requirements.

(3)

CORRECTIVE STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:

The respiratory equipment in question was removed from

service, refurbished with proper supply hoses, as specified on the NIOSH certification, and recalibrated to ensure required discharge flow.

The calibration verified required minimum air flow for the recommended

. pressure readings corresponding *to maximum hose lengths.

Additionally, a

recheck of the air distribution units with the non-approved hose was performed to determine whether the required minimum 6 cfm flow had been provided at the lower pressure settings. This was confirmed and was found to be due to the non-approved hose having a larger diameter than the approved hose.

The remaining units available for service were confirmed to be maintained per NIOSH certification or refurbished.

These units were then recalibrated and relabeled to indicate use of approved hoses in proper pressure ranges.

(4)

CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER VIOLATIONS:

The procedure governing respiratory protection equipment calibration and performance verification will be revised to ensure a complete review of NIOSH certification requirements and appropriate documentation for equipment prior to its use.

(5)

THE DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED:

Full comp.liance has been achieved with regard to the specific respiratory equipment problem identified in the Notice of Violation.

The procedure revision discussed in item (4) above will be complete by January 31, 1989.

. *~,,

I I

.... ~.... -*~,.., ~...

,-l e

RESPONSE TO NOTICE OF VIOLATION INSPECTION REPORT NOS. 50/280/88-35 AND 50-281/88-35 RESPONSE TO ITEM B:

(1)

ADMISSION OR DENIAL OF THE ALLEGED VIOLATION:

The violation is cofrect as stated.

(2)

REASON FOR VIOLATION:

The violation occurred when radioactively contaminated tools and testing equipment were placed in* a labeled storage container without proper authorization by Health Physics.

The station personnel who placed the materiql into the container were not fully aware of the requirements for packaging, labeling, and surveying radioactive material for storage.

Additionally, Health Physics was not notified of these activities.

(3)* CORRECTIVE STEPS WHICH HAVE BEEN TAKEN AND THE RESULTS ACHIEVED:

The improperly stored radioactive materials were immediately surveyed, packaged and labeled in accordance with station procedures. Additionally, surveys of radioactive material storage containers located within uncontaminated areas of the station were initiated to ensure. no further cases of improper storage existed.

No additional cases were identified.

As an interim measure to prevent recurrence of this problem, Health 11 Physics controlled locks.were installed on these storage containers and instructions were posted to notify individuals that Health Physics would be required to provide access to the containers.

(4)

CORRECTIVE STEPS WHICH WILL BE TAKEN TO AVOID FURTHER.VIOLATIONS:

The interim controls established by use of Health Physics* locks will be maintained until such time as additional radioactive material controls training has been completed by appropriate station radiation workers.

This training will be provided during General Employee Training and Retraining and will review and e~phasize the procedural. requirements for proper handling and storage "of radioactive materials.

(5)

THE DATE WHEN FULL COMPLIANCE WILL BE ACHIEVED:

Full compliance has been achieved.

General Employee Training and Retraining will be revised.by 1/31/89.

f..,...... _**~~ !~")',,

.,,**"' ** *,.,-.*** \\,,"'......:_~ ~.,_.. *_.. ~~~.____'._ ** _,

. *., ~*-i... **,,*:,~*-~ t.;*.~ **,~ *,, l,,*,*.,.**:; I~'.-*'".'.',,, *.. *:, *,*,*, _ ~~*:.".:'.'.

    • , * *-;,,* -::.*~:.. *,",!;.**'*** *11****~ : -*. **;-r:*: **.,**- '! "':',
  • 'It

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