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| issue date = 04/15/2014 | | issue date = 04/15/2014 | ||
| title = IR 05000327-14-007, 05000328-14-007; on 01/27/2014 - 03/05/2014; Sequoyah Nuclear Plant Units 1 and 2; Triennial Fire Protection Inspection Report | | title = IR 05000327-14-007, 05000328-14-007; on 01/27/2014 - 03/05/2014; Sequoyah Nuclear Plant Units 1 and 2; Triennial Fire Protection Inspection Report | ||
| author name = Shaeffer S | | author name = Shaeffer S | ||
| author affiliation = NRC/RGN-II/DRS/EB2 | | author affiliation = NRC/RGN-II/DRS/EB2 | ||
| addressee name = Shea J | | addressee name = Shea J | ||
| addressee affiliation = Tennessee Valley Authority | | addressee affiliation = Tennessee Valley Authority | ||
| docket = 05000327, 05000328 | | docket = 05000327, 05000328 | ||
| Line 18: | Line 18: | ||
=Text= | =Text= | ||
{{#Wiki_filter: | {{#Wiki_filter:April 15, 2014 | ||
==SUBJECT:== | |||
SEQUOYAH NUCLEAR PLANT, UNITS 1 AND 2 - NRC TRIENNIAL FIRE | |||
- | |||
PROTECTION INSPECTION REPORT 05000327/2014007 AND | |||
05000328/2014007 | |||
==Dear Mr. Shea:== | ==Dear Mr. Shea:== | ||
On March 5, 2014, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Sequoyah Nuclear Plant, Units 1 and 2. The enclosed inspection report documents the inspection results, which were discussed with Mr. P. | On March 5, 2014, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Sequoyah Nuclear Plant, Units 1 and 2. The enclosed inspection report documents the inspection results, which were discussed with Mr. P. Simmons and other members of your staff on March 5, 2014. Following completion of additional post-inspection analysis of the inspection findings and review of additional information by the NRC in the Region II office, a final exit was held by telephone with Mr. M. McBrearty and other members of your staff on April 17, 2014, to provide an update on changes to the preliminary inspection findings. | ||
The inspection examined activities conducted under your license as they related to safety and compliance with the Commissions rules and regulations and with the conditions of your license. | |||
The team reviewed selected procedures and records, observed activities, and interviewed personnel. | |||
Five NRC-identified findings of very low safety significance (Green) were identified during this inspection. These findings were determined to involve violations of NRC requirements. | |||
However, because of the very low safety significance of these violations and because they were entered into your corrective action program, the NRC is treating these violations as non-cited violations (NCVs) consistent with Section 2.3.2 of the NRC Enforcement Policy. If you contest these NCVs, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator Region II; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident Inspector at the Sequoyah Nuclear Plant. | |||
If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, RII, and the NRC Resident Inspector at the Sequoyah Nuclear Plant. | |||
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov./reading-rm/adams.html (the Public Electronic Reading Room). | |||
Sincerely, RA | |||
Scott M. Shaeffer, Chief Engineering Branch 2 | |||
Division of Reactor Safety | |||
50-327, 50-328 License Nos.: | |||
DPR-77, DPR-79 | Docket Nos.: 50-327, 50-328 License Nos.: DPR-77, DPR-79 | ||
===Enclosure:=== | ===Enclosure:=== | ||
Inspection Reports | Inspection Reports 05000327/2014007, 05000328/2014007 w/Attachment: Supplementary Information | ||
== | REGION II== | ||
Docket Nos: | |||
50-327, 50-328 | |||
License Nos.: | |||
DPR-77, DPR-79 | DPR-77, DPR-79 | ||
Report Nos.: | Report Nos.: | ||
05000327/2014007, 05000328/2014007 | |||
Licensee: | |||
Tennessee Valley Authority (TVA) | |||
Facility: | |||
Sequoyah Nuclear Plant, Units 1 and 2 | |||
Location: | |||
Soddy-Daisy, TN 37379 | |||
Dates: | |||
January 27-31, 2014 | |||
February 10-14, 2014, and March 3-5, 2014 | |||
Inspectors: | |||
J. Dymek, Reactor Inspector | |||
D. Jones, Senior Reactor Inspector | |||
D. Terry-Ward, Construction Inspector | |||
M. Thomas, Senior Reactor Inspector (Lead Inspector) | |||
Approved by: | |||
Scott M. Shaeffer, Chief | |||
Engineering Branch 2 | |||
Division of Reactor Safety | |||
=SUMMARY= | |||
, | IR 05000327/2014007, 05000328/2014007; 01/27/2014 - 03/05/2014; Sequoyah Nuclear Plant, | ||
Units 1 and 2; Fire Protection | |||
The | The report covered an announced two-week triennial fire protection inspection by a team of four regional inspectors. Five Green non-cited violations were identified. The significance of inspection findings is indicated by their color (i.e., greater than Green, or Green, White, Yellow, | ||
Red) and determined using Inspection Manual Chapter (IMC) 0609, Significance Determination Process, dated June 2, 2011. Cross-cutting aspects are determined using IMC 0310, Aspects Within the Cross-Cutting Areas, dated December 19, 2013. All violations of NRC requirements are dispositioned in accordance with the NRCs Enforcement Policy dated July 9, 2013. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process Rev. 4, dated December 2006. | |||
===Cornerstone: Mitigating Systems=== | |||
* | |||
: '''Green.''' | : '''Green.''' | ||
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C | An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, was identified for the licensees failure to ensure that fire dampers were functional, as required by the approved fire protection program (FPP), in the Auxiliary Control Room (fire area FAA-066), Vital Battery Board Room II (fire area FAA-068), and Vital Battery Board Room III (fire area FAA-087) fire area boundaries. The licensee entered this issue into the corrective action program as Problem Evaluation Reports 845913 and 848580, and implemented hourly roving fire watches in the affected fire areas. | ||
.(16) and 2.C | |||
.(13) | The licensees failure to ensure the fire dampers were functional as required by the FPP was determined to be a performance deficiency. This performance deficiency was more than minor because it affected the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it affected the fire protection defense in depth strategies involving the control of fires that do occur and to protect systems important to safety. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding involved the ability to confine a fire. The finding category of Fire Confinement was assigned, based upon that element of the FPP being impacted. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.4.3, Question C, based upon observation that a fully functional automatic sprinkler system was on either side of each affected fire barrier partition. No cross cutting was assigned to this finding because the cause of the finding was not indicative of current licensee performance. | ||
The | The dampers were purchased and installed in 1997. (Section 1R05.02) | ||
* | |||
: '''Green.''' | : '''Green.''' | ||
An NRC-identified Green non-cited violation ( | An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensees failure to properly install an automatic pre-action fire sprinkler system in Auxiliary Control Instrument Room 2A (fire area FAA-090) in accordance with the approved FPP and applicable National Fire Protection Association (NFPA) Standard | ||
. The licensee entered this issue in the corrective action program as Problem Evaluation | |||
No. 13, Automatic Sprinkler Systems. The licensee entered this issue in the corrective action program as Problem Evaluation Report 847948. | |||
The finding was screened in accordance with NRC IMC 0609, | The licensees failure to install the sprinkler heads in accordance with the applicable NFPA Code of Record specified in the approved FPP for Sequoyah is a performance deficiency. This performance deficiency is more than minor because it is associated with the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. The potential delayed actuation of the sprinkler system could affect the fire protection defense in depth strategy involving suppression of fires. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding involved fixed fire suppression systems. | ||
Appendix | |||
Using IMC 0609, Appendix F, Attachment 2, Degradation Rating Guidance Specific to Various Fire Protection Program Elements, a low degradation rating was assigned, based on the fact that four sprinkler heads were installed in a room of 110 ft² and at least one head would be installed within 10 feet of combustibles of concern. Due to their spacing the sprinklers would be within the fire plume zone of influence for the combustibles of concern and the expected heat release rate (HRR) of postulated fires. | |||
Except as noted, the system was considered to be nominally code compliant, and therefore, met the low degradation criteria for water based suppression systems. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green), at Task 1.4.2, Question A. The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed extent of conditions commensurate with their safety significance. (Section 1R05.03) | |||
* | |||
: '''Green.''' | : '''Green.''' | ||
An NRC | An NRC-identified Green non-cited violation (with two examples) of 10 CFR Part 50, Appendix B, Criterion III, Design Control, was identified for the licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified as required by site procedures. The licensee entered this issue in the corrective action program as Problem Evaluation Reports 845951,846017, 848756, and 849220. | ||
-identified Green non-cited violation | |||
The | The licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified in accordance with design control procedures was a performance deficiency. The performance deficiency was more than minor because if left uncorrected it could lead to installation of breakers that may not meet the critical characteristics needed to perform their safety function. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Appendix A, | ||
The Significance Determination Process for Findings At-Power. Using IMC 0609, | |||
Appendix A, Exhibit 2, Mitigating Systems Screening Questions, the finding was determined to have very low safety significance (Green) because it did not represent an actual loss of safety function. No cross-cutting aspect was identified, since the issue was determined to not reflect current licensee performance. (Section 1R05.06) | |||
* | |||
: '''Green.''' | |||
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensee's failure to maintain necessary materials and procedures for cold shutdown repairs, as required by the approved fire protection program. The licensee entered this issue into the corrective action program as Problem Evaluation Reports 845931, 847420, 847428, 847449, and 847462. | |||
Inadequate procedural guidance and the lack of required materials could adversely affect the | The licensees failure to provide adequate guidance for all repairs listed in the Appendix R casualty procedure and failure to maintain the required repair parts for the same procedure was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Inadequate procedural guidance and the lack of required materials could adversely affect the licensees capability to achieve and maintain cold shutdown conditions. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding affected fire protection defense-in-depth strategies involving post-fire safe shutdown. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.3.1, because it was determined that the reactor was able to reach and maintain a hot safe shutdown condition. The cause of this finding was determined to have a cross-cutting aspect of Teamwork (H4) in the Human Performance cross-cutting area because the licensee failed to assure that individuals and work groups communicated and coordinated their activities within and across organizational boundaries to ensure nuclear safety was maintained. Specifically, the coordination between operations department procedure writers, maintenance department procedure writers, and fire operations department personnel was inadequate to ensure the adequacy of cold shutdown repair procedures and the availability of required materials. | ||
, | |||
. Using | |||
. Specifically, the coordination between | |||
(Section 1R05.09) | |||
* | |||
: '''Green.''' | |||
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensee's failure to perform the required reviews when adding fire watches to the fire protection program. The licensee entered the issue into their corrective action program as Problem Evaluation Report 845593. | |||
Specifically, the sole use of fire watches as a mitigation measure for the unavailability of the credited pressurizer power operated relief valve would adversely affect the capability to achieve and maintain safe shutdown during a fire event. The finding was screened in accordance with NRC IMC 0609, | The licensees failure to perform the required evaluation and review prior to revising the fire hazards analysis was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Specifically, the sole use of fire watches as a mitigation measure for the unavailability of the credited pressurizer power operated relief valve would adversely affect the capability to achieve and maintain safe shutdown during a fire event. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD. Using IMC 0609, Appendix F, | ||
Attachment 1, Fire Protection Significance Determination Process Worksheet, the issue screened as having very low safety significance (Green) at Task 1.5.3 because the change in core damage frequency (delta CDF) was less than 1E-6 (i.e., delta CDF calculated to be 6.6E-7). The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the fire hazards analysis. (Section 1R05.11) | |||
, | |||
-6 (i.e., delta CDF calculated to be 6.6E | |||
-7). The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the fire hazards analysis | |||
. (Section 1R05.11 | |||
) | |||
=REPORT DETAILS= | =REPORT DETAILS= | ||
==REACTOR SAFETY== | ==REACTOR SAFETY== | ||
Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity | Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity | ||
{{a|1R05}} | |||
==1R05 Fire Protection== | ==1R05 Fire Protection== | ||
This report documents the results of a triennial fire protection inspection (TFPI) at the Sequoyah Nuclear Plant (SQN) Units 1 and 2. The inspection was conducted in accordance with NRC Inspection Procedure (IP) 71111.05T, Fire Protection (Triennial),issued January 31, 2013. The objective of the inspection was to review a minimum sample of 3 risk-significant fire areas (FAs) to verify implementation of the SQN fire protection program (FPP). An additional objective was to review site specific implementation of a minimum of one mitigating strategy from Section B.5.b of NRC Order EA-02-026, Order for Interim Safeguards and Security Compensatory Measures (commonly referred to as B.5.b), as well as the storage, maintenance, and testing of B.5.b mitigating equipment. The FAs chosen for review were selected based on available risk information as analyzed onsite by a senior reactor analyst from Region II, data obtained in plant walk downs regarding potential ignition sources, location and characteristics of combustibles, and location of equipment needed to achieve and maintain safe shutdown (SSD) of the reactor. Other considerations for selecting the FAs were the relative complexity of the post-fire SSD procedure, information contained in FPP documents, and results of prior NRC TFPIs. In selecting the B.5.b mitigating strategy sample, the inspectors reviewed licensee submittal letters, safety evaluation reports, licensee commitments, B.5.b implementing procedures, and previous NRC inspection reports. Section 71111.05-05 of the IP specifies a minimum sample size of three FAs and one B.5.b mitigating strategy for addressing large fires and explosions. | |||
This | This inspection fulfilled the requirements of the IP by selecting four FAs and one B.5.b mitigating strategy. The FAs chosen were: | ||
* Fire Area FAC-017/Room C12, Unit 1 Main Control Room | |||
* Fire Area FAA-067/Rooms A02 and A09, Unit 1 6.9kV Shutdown Board Room A and Personnel and Equipment Access Room | |||
* Fire Area FAA-069/Room A04, Unit 1 125V DC Vital Battery Board Room I | |||
* Fire Area FAA-073/Room A08, Unit 1 480V Shutdown Board Room 1A2-A | |||
For each FA selected, the inspectors evaluated the licensees FPP against the applicable NRC requirements and licensee design and licensing basis documents. The B.5.b mitigating strategy selected was to manually depressurize the steam generators and use the portable pump. Specific licensing and design basis documents reviewed by the inspectors are listed in the Attachment. | |||
. The B.5.b mitigating strategy selected was to manually depressurize the steam generators and use the portable pump. Specific licensing and design basis documents reviewed by the inspectors are listed in the Attachment. | |||
===.01 Protection of Safe Shutdown Capabilities=== | ===.01 Protection of Safe Shutdown Capabilities=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
For the selected FAs, the inspectors performed physical walkdowns to observe: (1) the material condition of fire protection systems and equipment; (2) the storage of permanent and transient combustibles; (3) the proximity of fire hazards to cables relied upon for SSD; (4) the potential environmental impacts, if any, on credited operator manual actions (OMAs) to the areas adjacent to the FA, and (5) the | For the selected FAs, the inspectors performed physical walkdowns to observe: | ||
: (1) the material condition of fire protection systems and equipment; | |||
: (2) the storage of permanent and transient combustibles; | |||
: (3) the proximity of fire hazards to cables relied upon for SSD; | |||
: (4) the potential environmental impacts, if any, on credited operator manual actions (OMAs) to the areas adjacent to the FA, and | |||
: (5) the licensees implementation of procedures and processes for limiting fire hazards, housekeeping practices, and compensatory measures for inoperable or degraded fire protection systems and credited fire barriers. | |||
monitoring and support functions for post | Methodology For the selected FAs, the inspectors evaluated the potential for the effect from the fire event on credited actions specified by licensee procedures. The inspectors reviewed calculation SQS40127, Equipment Required for Safe Shutdown per 10CFR50 Appendix R, Rev. 51 and conduit and cable tray routing information by FA, as well as, conducted field walkdowns of the cable routing to confirm that at least one train of redundant cables routed in the FA was adequately protected from fire damage or the licensees analysis determined that the fire damage would not prohibit safe plant shutdown. The inspectors reviewed the SQN fire hazards analysis (FHA) for the selected FAs and compared it to the abnormal operating procedures (AOPs) to verify that cables and equipment credited to provide reactivity control, reactor coolant makeup, reactor heat removal, process monitoring and support functions for post-fire SSD in the safe shutdown analysis (SSA)and applicable procedures were adequately protected from fire damage in accordance with the requirements of the sites fire protection report. | ||
-fire SSD in the safe shutdown analysis (SSA) and applicable procedures were adequately protected from fire damage in accordance with the requirements of the | |||
. | |||
Operational Implementation The inspectors reviewed the SQN Fire Protection Report (FPR) and the SSA | Operational Implementation The inspectors reviewed the SQN Fire Protection Report (FPR) and the SSA, and applicable references to other AOPs to verify that the shutdown methodology properly identified the systems and components necessary to achieve and maintain post-fire SSD. The inspectors performed walkdowns of the procedural actions based upon the FAs selected to assess the implementation of the SSD strategy and human factors attributes associated with them. The inspectors reviewed licensee records, which specified the shift staffing from randomly selected dates, to ensure the proper staffing levels existed to implement actions specified by licensee procedures. The inspectors reviewed licensee-training material to ensure licensed and non-licensed operators were being trained based upon the current plant configuration. | ||
, and applicable references to other AOPs to verify that the shutdown methodology properly identified the systems and components necessary to achieve and maintain post | |||
-fire SSD. The inspectors performed walkdowns of the procedural actions based upon the FAs selected to assess the implementation of the SSD strategy and human factors attributes associated with them. The inspectors reviewed licensee records, which specified the shift staffing from randomly selected dates, to ensure the proper staffing levels existed to implement actions specified by licensee procedures. The inspectors reviewed licensee | |||
-training material to ensure licensed and non | |||
-licensed operators were being | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 201: | Line 188: | ||
===.02 Passive Fire Protection=== | ===.02 Passive Fire Protection=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors walked down the selected FAs to evaluate the adequacy of the fire resistance of barrier enclosure reinforced concrete and block walls, ceilings, floors, and electrical raceway fire barrier systems. This evaluation also included fire barrier penetration seals, fire doors, fire dampers, and the Thermo | The inspectors walked down the selected FAs to evaluate the adequacy of the fire resistance of barrier enclosure reinforced concrete and block walls, ceilings, floors, and electrical raceway fire barrier systems. This evaluation also included fire barrier penetration seals, fire doors, fire dampers, and the Thermo-Lag electrical raceway fire barrier systems (ERFBS) to ensure that at least one train of SSD equipment would be maintained free of fire damage. Construction detail drawings were reviewed as necessary. Where applicable, the inspectors observed the installed barrier assemblies and compared the as-built configurations to the approved construction details, supporting fire endurance test data, licensing basis commitments, and standard industry practices. | ||
-Lag electrical raceway fire barrier systems (ERFBS) to ensure that at least one train of SSD equipment would be maintained free of fire damage. Construction detail drawings were reviewed as necessary. Where applicable, the inspectors observed the installed barrier assemblies and compared the as | |||
-built configurations to the approved construction details, supporting fire endurance test data, licensing basis commitments, and standard industry practices. | |||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a Green non | The inspectors identified a Green non-cited violation (NCV) of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, for failure to ensure that fire dampers were functional (as required by the approved FPP) in the Auxiliary Control Room (fire area FAA-066), Vital Battery Board Room II (fire area FAA-068), and Vital Battery Board Room III (fire area FAA-087) fire area boundaries. | ||
-cited violation (NCV) of Sequoyah Operating License | |||
, for failure to ensure that fire dampers were functional (as required by the approved FPP | |||
) in the Auxiliary Control Room (fire area FAA-066), Vital Battery Board Room II (fire area FAA-068), and Vital Battery Board Room III (fire area FAA-087) fire area boundaries. | |||
=====Description:===== | =====Description:===== | ||
During an inspection of the selected fire areas the inspectors noted that several fire dampers in adjoining fire areas to the 6.9Kv Shutdown Board Room A (FAA | During an inspection of the selected fire areas the inspectors noted that several fire dampers in adjoining fire areas to the 6.9Kv Shutdown Board Room A (FAA-067) were installed with their fusible links oriented downward, approximately 18-inches from the floor. This configuration would not allow the fire dampers to close due to an abnormal rise in temperature within the room of fire origin. They were installed in the Auxiliary Control Room, (FAA-066), Vital Battery Board Room II, (FAA-068) and Vital Battery Board Room III, (FAA-087). The below listed fire dampers were noted to have been installed with fusible links oriented downward. | ||
-067) were installed with their fusible links oriented downward, approximately 18 | * 1XFD-313-914, FAA-066 Aux. Control Rm. to FAA-067 6.9Kv Shutdown Bd. Rm. A | ||
-inches from the floor. This configuration would not allow the fire dampers to close due to an abnormal rise in temperature within the room of fire origin. | * 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA-081 6.9Kv Shutdown Bd. Rm. B | ||
* 1XFD-313-918, FAA-066 Aux. Control Rm. to FAA-088 Aux. Control Inst. Rm. 1A | |||
They were installed in the Auxiliary Control Room, (FAA | * 2XFD-313-918, FAA-066 Aux. Control Rm. to FAA-090 Aux. Control Inst. Rm. 2A | ||
-066), Vital Battery Board Room II, (FAA | * 1XFD-313-919, FAA-066 Aux. Control Rm. to FAA-089 Aux. Control Inst. Rm. 1B | ||
-068) and Vital Battery Board Room III, (FAA | * 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA-091 Aux. Control Inst. Rm. 2B | ||
-087). The below listed fire dampers were noted to have been installed with fusible links oriented downward | * 1XFD-313-908, FAA-068 Vital Batt Bd Rm II to FAA-067 6.9Kv Shutdown Bd. Rm. A | ||
. | * 2XFD-313-908, FAA-087 Vital Batt Bd Rm III to FAA-081 6.9Kv Shutdown Bd. Rm. B | ||
1XFD-313-914, FAA-066 Aux. Control Rm. to FAA | |||
-067 6.9Kv Shutdown Bd. Rm. A 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA | |||
-081 6.9Kv Shutdown Bd. Rm. B 1XFD-313-918, FAA-066 Aux. Control Rm. to FAA | |||
-088 Aux. Control Inst. Rm. 1A 2XFD-313-918, FAA-066 Aux. Control Rm. to FAA | |||
-090 Aux. Control Inst. Rm. 2A 1XFD-313-919, FAA-066 Aux. Control Rm. to FAA | |||
-089 Aux. Control Inst. Rm. 1B 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA | |||
-091 Aux. Control Inst. Rm. 2B 1XFD-313-908, FAA-068 Vital Batt Bd Rm II to FAA | |||
-067 6.9Kv Shutdown Bd. Rm. A 2XFD-313-908, FAA-087 Vital Batt Bd Rm III to FAA | |||
-081 6.9Kv Shutdown Bd. Rm. B | |||
Because the dampers were installed with their fusible links oriented downward and only 18-inches from the floor, the hot gases from a fire that would be necessary to melt the fusible link would never reach the fusible link before venting at the top of the damper into the adjacent fire area. Air from the adjacent fire area would be drawn across the bottom of the damper and into the fire room of origin, thus cooling the link itself and preventing it from ever reaching a temperature high enough (165°F) to melt the link and release the damper into a shut position. Failure of these dampers to operate would allow smoke and heat to migrate beyond the fire room of origin and affect multiple adjacent fire zones. | |||
The licensee entered this issue in the corrective action program (CAP) as Problem Evaluation Reports (PERs) 845913 and 848580, and implemented hourly roving fire | The inspectors modeled postulated fires of various sizes for the Auxiliary Control Room using computer programs. The fire modeling provided further confirmation that outside air required for combustion would be drawn across the bottom of the damper and hot fire gases would exit across the top of the damper in a mass balance fire mechanism. The inspectors also compared the installation and orientation characteristics of the fire dampers against the installation requirements and characteristics of similar heat actuated devices such as heat detectors, fusible link sprinkler heads and fusible link actuated fire doors. All of these devices were installed to be in the fires hot gas layer in order to sense the fire and actuate as required. Based upon this information the inspectors concluded that the dampers fusible link would not have melted as required and thus the dampers were not functional. Part II of the FPR (Fire Protection Plan, Section 14.6, Operating Requirements - Fire Barrier Penetrations, Feature Operating Requirement (FOR) 3.7.12) states that All fire barrier penetrations (including cable penetration barriers, fire doors and fire dampers) in fire zone boundaries protecting safety related areas shall be functional. The licensee entered this issue in the corrective action program (CAP) as Problem Evaluation Reports (PERs) 845913 and 848580, and implemented hourly roving fire watches in the affected FAs. | ||
=====Analysis:===== | =====Analysis:===== | ||
The | The licensees failure to ensure the fire dampers were functional as required by the FPR was determined to be a performance deficiency. This performance deficiency was more than minor because it affected the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it affected the fire protection defense in depth strategies involving the control of fires that do occur and to protect systems important to safety. Failure of these dampers to operate could allow smoke and heat to migrate beyond the Auxiliary Control Room or Vital Battery Board Rooms II & III and affect multiple adjacent fire zones. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that, an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review was required as the finding involved the ability to confine a fire. The finding category of Fire Confinement was assigned, based upon that element of the fire protection program being impacted. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green), based upon observation that a fully functional automatic sprinkler system was on either side of each affected fire barrier partition (Task 1.4.3, Question C). No cross cutting was assigned to this finding because the cause of the finding was not indicative of current licensee performance. | ||
. This performance deficiency was more than minor because it affected the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it affected the fire protection defense in depth strategies involving the control of fires that do occur and to protect systems important to safety. Failure of these dampers to operate could allow smoke and heat to migrate beyond the Auxiliary Control Room or Vital | |||
The finding was screened in accordance with NRC IMC 0609, | |||
dated | |||
, | |||
The finding category of | |||
Using IMC 0609, Appendix F, Attachment 1, | |||
based upon observation that a fully functional automatic sprinkler system was on either side of each affected fire barrier partition (Task 1.4.3, Question C) | |||
. No cross cutting was assigned to this finding because the cause of the finding was not | |||
The dampers were purchased and installed in 1997. | The dampers were purchased and installed in 1997. | ||
Enforcement | =====Enforcement:===== | ||
Sequoyah Operating License Condition 2.C(16) and 2.C(13) for Units 1 and 2 respectively, state in part that the licensee shall implement and maintain in effect all provisions of the approved fire protection program referenced in the SQN Updated Final Safety Analysis Report (UFSAR) as approved in NRC Safety Evaluation Reports (SERs) contained in NUREG-0011, Supplements 1,2 and 5 NUREG-1232 Volume 2: | |||
-0011, Supplements 1,2 and 5 NUREG | NRC letters dated May 29 and October 6, 1986, and the Safety Evaluation (SE) issued on August 12, 1997. UFSAR Section 9.5.1.1 states in part that fire protection systems and fire protection features are described in the SQN FPR and the FPR should be referred to for a detailed description of the FPP. The FPR Part II, Section 14.6, Operating Requirements-Fire Barrier Penetrations Feature Operating Requirements (FOR) 3.7.12 states; All fire barrier penetrations (including cable penetration barriers, fire doors and fire dampers) in fire zone boundaries protecting safety related areas shall be functional. | ||
-1232 Volume 2: NRC letters dated May 29 and October 6, 1986, and the Safety Evaluation (SE) issued on August 12, 1997. UFSAR Section 9.5.1.1 states in part that fire protection systems and fire protection features are described in the SQN FPR and the FPR should be referred to for a detailed description of the FPP. The FPR Part II, Section 14.6, Operating Requirements | |||
-Fire Barrier Penetrations Feature Operating Requirements (FOR) 3.7.12 states; | |||
Contrary to the above, since 1997, the licensee did not implement all provisions of the approved fire protection program, in that, due to their orientation, dampers installed in the Auxiliary Control Room (FAA | Contrary to the above, since 1997, the licensee did not implement all provisions of the approved fire protection program, in that, due to their orientation, dampers installed in the Auxiliary Control Room (FAA-066), Vital Battery Board Room II (FAA-068), and Vital Battery Board Room III (FAA-087) were not functional. Because the finding was of very low safety significance (Green) and was entered into the licensees corrective action program (CAP) as problem evaluation reports (PERs) 845913 and 848580, this finding is being treated as a NCV consistent with Section 2.3.2 of the NRC Enforcement policy. | ||
-066), Vital Battery Board Room II (FAA | |||
-068), and Vital Battery Board Room III (FAA | |||
-087) were not functional. Because the finding was of very low safety significance (Green) and was entered into the | |||
This finding is identified as NCV 05000327, 328/2014007 | This finding is identified as NCV 05000327, 328/2014007-01, Improper Orientation of Fire Dampers in Auxiliary Building. | ||
-01, Improper Orientation of Fire Dampers in Auxiliary Building. | |||
===.03 Active Fire Protection=== | ===.03 Active Fire Protection=== | ||
====a. Inspection Scope==== | |||
The inspectors reviewed the redundancy of fire protection water sources and fire pumps to confirm that they were installed in accordance with the National Fire Protection Association (NFPA) codes of record to satisfy the applicable separation, design requirements, and licensing basis requirements of the SQN FPP. Current fire protection system health reports were reviewed and discussed with personnel knowledgeable in the operation and maintenance of these systems. The inspectors performed in-plant observations of the material condition and operational lineup for the operation of the fire water pumps and fire protection water supply distribution piping which included manual fire hose and standpipe systems for the selected FAs. Using operating and valve cycle/alignment procedures as well as engineering drawings, the inspectors examined the fire pumps and accessible portions of the fire main piping system to verify the operational status and the alignment of system valves; and to verify the consistency of as-built configurations with engineering drawings. The inspectors also examined portions of the licensees SSA and select electrical circuit routing drawings outlining the fire water pumps power and pressure start capability to verify that the fire water system would be available to support fire brigade response activities during power block fire events. | |||
The inspectors compared the fire detection and fire suppression systems for the selected FAs to the applicable NFPA Standard(s) by reviewing design documents and observing their as-installed configurations during in-plant walkdowns. The inspectors reviewed selected fire protection vendor equipment specifications, drawings, and engineering calculations to determine whether the fire detection and suppression methods were appropriate for the types of fire hazards that existed in the selected FAs. | |||
The inspectors | |||
During plant walkdowns, the inspectors observed the placement of the fire hose stations, fire extinguishers, fire hose nozzle types, and fire hose lengths, as designated in the firefighting pre-plan strategies, to verify that they were accessible and that adequate reach and coverage was provided. The inspectors reviewed completed periodic surveillance testing and maintenance program procedures for the fire detection and suppression systems and compared them to the operability, testing, and compensatory measures. This review was to assess whether the test program was sufficient to validate proper operation of the fire detection and suppression systems in accordance with their design requirements. | |||
-plan strategies, to verify that they were accessible and that adequate reach and coverage was provided. The inspectors reviewed completed periodic surveillance testing and maintenance program procedures for the fire detection and suppression systems and compared them to the operability, testing, and compensatory measures. This review was to assess whether the test program was sufficient to validate proper operation of the fire detection and suppression systems in accordance with their design requirements. | |||
Aspects of fire brigade readiness were reviewed, including but not limited to, the fire | Aspects of fire brigade readiness were reviewed, including but not limited to, the fire brigades personal protective equipment, self-contained breathing apparatuses, portable communications equipment, and other fire brigade equipment to determine accessibility, material condition, and operational readiness of equipment. During plant walkdowns, the inspectors compared firefighting pre-plan strategies to existing plant layout and equipment configurations and to fire response AOIs for the selected FAs. This was done to verify that firefighting pre-fire plan strategies and drawings were consistent with the fire protection features and potential fire conditions within the area. The inspectors also verify that appropriate information was provided to fire brigade members to facilitate suppression of an exposure fire that could impact the SSD strategy. An operating shift of the fire brigade was randomly selected to confirm that all members were currently qualified with regard to their medical and fire brigade training records. Current mutual aid agreements with local outside fire departments were also reviewed. | ||
-contained breathing apparatuses, portable communications equipment, and other fire brigade equipment to determine accessibility, material condition, and operational readiness of equipment. During plant walkdowns, the inspectors compared firefighting pre | |||
-plan strategies to existing plant layout and equipment configurations and to fire response AOIs for the selected FAs. This was done to verify that firefighting pre | |||
-fire plan strategies and drawings were consistent with the fire protection features and potential fire conditions within the area. The inspectors also verify that appropriate information was provided to fire brigade members to facilitate suppression of an exposure fire that could impact the SSD strategy. An operating shift of the fire brigade was randomly selected to confirm that all members were currently qualified with regard to their medical and fire brigade training records. Current mutual aid agreements with local outside fire departments were also reviewed. | |||
====b. Findings==== | ====b. Findings==== | ||
Introduction | =====Introduction:===== | ||
The inspectors identified a Green NCV of Operating License Conditions 2.C | |||
: (16) and 2.C (13), for Units 1 and 2 respectively, for failure to properly install an automatic pre-action fire sprinkler system in Auxiliary Control Instrument Room 2A (FAA-090) in accordance with the approved FPP and applicable National Fire Protection Association (NFPA) Standard No. 13, Automatic Sprinkler Systems. | |||
The sprinkler heads in FAA-090 were installed approximately 60 | Discussion: During an inspection of the selected FAs, the inspectors noted that the automatic suppression system (Pre-action sprinkler system) in auxiliary building elevation 734.0, Auxiliary Control Instrument Room 2A, (FAA-090) was not installed in accordance with NFPA 13. The sprinklers were located greater than the maximum allowed 12-inch vertical distance from the ceiling, thus delaying their expected response time after fire ignition. The Code of record, NFPA 13, 1975 edition, Section 4-3.1 required that ceiling level sprinklers be installed within 12-inches of smooth ceiling construction. The sprinkler heads in FAA-090 were installed approximately 60-inches below the ceiling which was outside their laboratory tested configuration and NFPA 13 installation requirements. This would lead to a slower sprinkler response time after fire ignition for heads installed under the projected ceiling jet and outside the fire plume. The inspectors noted that previous licensee corrective actions to relocate sprinkler heads to address sprinkler non-conformance in the auxiliary building were performed as part of Design Change Notice (DCN) 22408. PER 147467 required reviews of sprinkler drawings and in-plant walkdowns to confirm if similar conditions existed in any other safety-related areas. The sprinkler non-conformance in Auxiliary Control Instrument Room 2A was not identified during the previous licensee reviews. The licensee most recently addressed this issue in October 2013. | ||
-inches below the ceiling which was outside their laboratory tested configuration and NFPA 13 installation requirements. This would lead to a slower sprinkler response time after fire ignition for heads installed under the projected ceiling jet and outside the fire plume. | |||
The inspectors noted that previous licensee corrective actions to relocate sprinkler heads to address sprinkler non | |||
-conformance in the auxiliary building were performed as part of Design Change Notice (DCN) 22408. PER 147467 required | |||
-plant walkdowns to confirm if similar conditions existed in any other safety-related areas. The sprinkler non | |||
-conformance in Auxiliary Control Instrument Room 2A was not identified during the previous licensee reviews | |||
. The licensee most recently addressed this issue in October 2013. | |||
=====Analysis:===== | =====Analysis:===== | ||
The | The licensees failure to install the sprinkler heads in accordance with the applicable NFPA Code of Record specified in the approved FPP is a performance deficiency. This performance deficiency is more than minor because it is associated with the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. The potential delayed actuation of the sprinkler system could affect the fire protection defense in depth strategy involving suppression of fires. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review was required as the finding involved fixed fire suppression systems. The nature of the degradation of the water based suppression system was related to the response time of the sprinkler system. The installed configuration of these heads would result in a delay in their expected response time after fire ignition. Using IMC 0609, Appendix F, 2, Degradation Rating Guidance Specific to Various Fire Protection Program Elements, dated February 28, 2005, a low degradation rating was assigned. | ||
This was based upon the fact that four sprinkler heads were installed in a room of 110 ft² and at least one head would be installed within 10 feet of combustibles of concern. Due to their spacing the sprinklers would be within the fire plume zone of influence for the combustibles of concern and the expected heat release rate (HRR) of postulated fires. | |||
. | |||
Except as noted, the system was considered to be nominally code compliant, and therefore, met the low degradation criteria for water based suppression systems. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green), at Task 1.4.2, Question A. The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2)in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed extent of conditions commensurate with their safety significance. | |||
=====Enforcement:===== | |||
Sequoyah Operating License Conditions 2.C | |||
: (16) and 2.C | |||
: (13) for Units 1 and 2 respectively, state in part that the licensee shall implement and maintain in effect all provisions of the approved FPP referenced in the SQN UFSAR as approved in NRC SERs contained in NUREG-0011, Supplements 1, 2, and 5, NUREG-1232, Vol. 2, NRC letters dated May 29 and October 6, 1986, and the SE issued August 12, 1997. SQN UFSAR Section 9.5.1.1, states that fire protection systems and fire protection features are described in the SQN FPR and the FPR should be referred to for a detailed description of the FPP. Part IV, Section 3.3 of the FPR states that NFPA 13-1975, Automatic Sprinkler Systems, was the code used to evaluate the adequacy of sprinkler systems. NFPA 13, Section 4-3.1 requires that ceiling level sprinklers be installed within 12-inches of smooth ceiling construction. | |||
Contrary to the above, the licensee failed to implement all provisions of the approved fire protection program in that, sprinklers in the Auxiliary Control Instrument Room 2A, (FAA-090) were not installed in accordance with NFPA 13-1975, Automatic Sprinkler Systems, and the ceiling level sprinklers were not installed within 12-inches of smooth ceiling construction. This condition has existed since original plant licensing. Because the finding was of very low safety significance (Green) and was entered into the licensees CAP as PER 847948, this finding is being treated as a NCV consistent with Section 2.3.2 of the NRC Enforcement policy. This finding is identified as NCV 05000327, 328/2014007-02, Auxiliary Control Instrument Room 2A Sprinklers Not in Compliance with NFPA 13-1975. | |||
Contrary to the above, the licensee failed to implement all provisions of the approved fire protection program in that, sprinklers in the Auxiliary Control Instrument Room 2A, (FAA | |||
-090) were not installed in accordance with NFPA 13-1975, | |||
. This condition has existed since original plant licensing. Because the finding was of very low safety significance (Green) and was entered into the | |||
-02, Auxiliary Control Instrument Room 2A Sprinklers Not in Compliance with NFPA 13-1975. | |||
===.04 Protection from Damage from Fire Suppression Activities=== | ===.04 Protection from Damage from Fire Suppression Activities=== | ||
====a. Inspection Scope==== | |||
The inspectors evaluated whether water-based manual firefighting activities could adversely affect equipment credited for SSD, inhibit access to alternate shutdown equipment, or adversely affect local OMAs required for SSD in the selected FAs. The inspectors reviewed available documentation related to flooding analysis for the rupture and inadvertent operation of fire suppression systems, fire protection activities, and potential flooding through unsealed concrete floor cracks for this assessment. The inspectors also performed independent calculations of inter-area migration of water under fire doors to validate feasibility of selected OMAs in adjacent plant areas. | |||
Firefighting pre-plan strategies; fire brigade training procedures; fire damper locations; heating, ventilation and air conditioning drawings; and fire response procedures were reviewed to verify that inter-area migration of heat and smoke via the ventilation system was addressed such that OMAs would not be inhibited by smoke migration from one area to adjacent plant areas used to accomplish SSD. | |||
Firefighting pre | |||
-plan strategies; fire brigade training procedures; fire damper locations; heating, ventilation and air conditioning drawings; and fire response procedures were reviewed to verify that inter | |||
-area migration of heat and smoke via the ventilation system was addressed such that OMAs would not be inhibited by smoke migration from one area to adjacent plant areas used to accomplish SSD. | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 364: | Line 264: | ||
===.05 Alternative Shutdown Capability=== | ===.05 Alternative Shutdown Capability=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
Methodology The licensee credited an alternative shutdown capability for a postulated fire in fire area FAC-017, Main Control Room (MCR) | Methodology The licensee credited an alternative shutdown capability for a postulated fire in fire area FAC-017, Main Control Room (MCR). The inspectors reviewed UFSAR Section 9.5.1, the SQN FPR, and corresponding AOPs to ensure that appropriate controls provided reasonable assurance that alternative shutdown equipment remained operable, available, and accessible when required. In cases where local OMAs were credited in lieu of cable protection of SSD components, the inspectors performed a walk-through of the procedures to determine if the operators could reasonably be expected to perform the alternative safe shutdown procedure actions and that equipment labeling was consistent with the alternate safe shutdown procedures. The inspectors reviewed applicable process and instrumentation diagrams to gain an understanding of credited equipments flow path and function. The inspectors reviewed applicable licensee calculations to ensure the alternative shutdown methodology properly identified systems and components to achieve and maintain SSD for the FAs selected for review. | ||
. The inspectors reviewed UFSAR Section 9.5.1, the SQN FPR, and corresponding AOPs to ensure that appropriate controls provided reasonable assurance that alternative shutdown equipment remained operable, available, and accessible when required. | |||
In cases where local | |||
-through of the procedures to determine if the operators could reasonably be expected to perform the alternative safe shutdown procedure actions and that equipment labeling was consistent with the alternate safe shutdown procedures. | |||
The inspectors reviewed applicable process and instrumentation diagrams to gain an understanding of credited | |||
The inspectors reviewed applicable licensee calculations to ensure the alternative shutdown methodology properly identified systems and components to achieve and maintain SSD for the FAs selected for review. | |||
Additionally, the team reviewed electrical schematics and one line diagrams to ensure that the transfer of SSD control functions to the alternate shutdown facility included sufficient instrumentation to safely shutdown the reactor. This review also included verification that shutdown from outside the MCR could be performed both with and without the availability of offsite power. | Additionally, the team reviewed electrical schematics and one line diagrams to ensure that the transfer of SSD control functions to the alternate shutdown facility included sufficient instrumentation to safely shutdown the reactor. This review also included verification that shutdown from outside the MCR could be performed both with and without the availability of offsite power. | ||
Operational Implementation The inspectors reviewed procedure AOP-N.01, | Operational Implementation The inspectors reviewed procedure AOP-N.01, Plant Fire, to verify the adequacy of this procedure to mitigate a fire in fire area FAC-017. The inspectors reviewed selected training materials for licensed and non-licensed operators to verify that training reinforced the shutdown methodology that is utilized in the FPP and AOPs for fires. The inspectors also reviewed shift manning and training records to verify that personnel required for SSD using alternative shutdown systems and procedures were trained and available onsite, exclusive of those assigned as fire brigade members. The inspectors performed a walk-through of procedure steps with operations personnel to assess the implementation and human factors adequacy of the procedures and shutdown strategy to evaluate the ambient conditions, difficulty, and operator familiarization associated with each OMA. The inspectors reviewed the systems and components credited for use during this shutdown method to verify that they would remain free from fire damage. | ||
to verify the adequacy of this procedure to mitigate a fire in fire area FAC-017. The inspectors reviewed selected training materials for licensed and non | |||
-licensed operators to verify that training reinforced the shutdown methodology that is utilized in the FPP and AOPs for fires. | |||
The inspectors also reviewed shift manning and training records to verify that personnel required for SSD using alternative shutdown systems and procedures were trained and available onsite, exclusive of those assigned as fire brigade members. | |||
The inspectors performed a walk-through of procedure steps with operations personnel to assess the implementation and human factors adequacy of the procedures and shutdown strategy to evaluate the ambient conditions, difficulty, and operator familiarization associated with each OMA. | |||
The inspectors reviewed the systems and components credited for use during this shutdown method to verify that they would remain free from fire damage. | |||
The inspectors reviewed selected operator actions to verify that the operators could reasonably be expected to perform the specific actions within the time required to maintain plant parameters within specified limits. | The inspectors reviewed selected operator actions to verify that the operators could reasonably be expected to perform the specific actions within the time required to maintain plant parameters within specified limits. | ||
| Line 394: | Line 277: | ||
===.06 Circuit Analysis=== | ===.06 Circuit Analysis=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed SQN FPR, system flow diagrams, and the SQN post | The inspectors reviewed SQN FPR, system flow diagrams, and the SQN post-fire SSA to verify that the licensee had identified required and associated circuits that may impact post-fire SSD for the selected FAs. On a sample basis, the inspectors verified that the cables of equipment specified in the SSA essential equipment list required for achieving and maintaining shutdown conditions, in the event of a fire in the selected FAs, had been properly identified. In addition, the inspectors reviewed cable routing information for credited equipment/components to verify that the cables had either been adequately protected from the potentially adverse effects of fire damage or analyzed to show that fire induced faults (e.g. hot shorts, open circuits, and shorts to ground) would not prevent post-fire SSD. The inspectors reviewed the licensees electrical coordination study to determine if power supplies were susceptible to fire damage, which would potentially affect the credited components for the FAs chosen for review. The inspectors reviewed FHA calculation SQN-26-D054/EPM-ABB-IMPFHA, Appendix A for fire areas FAC-017, FAA-067, FAA-069 and FAA-073. The inspectors selected the 125V DC Vital Battery Board I for inspection, which was a credited power system component for FAs FAA-067 and FAA-073. The inspectors reviewed applicable drawings, circuit breaker selective coordination, overload protection, cable protection, and interrupting capacity of devices to determine if there was reasonable assurance that the circuit breakers would operate and protect the cables as intended for the 125V DC Vital Battery Board I. The specific components reviewed are listed in the Attachment. | ||
-fire SSA to verify that the licensee had identified required and associated circuits that may impact post-fire SSD for the selected FAs. | |||
On a sample basis, the inspectors verified that the cables of equipment specified in the SSA essential equipment list required for achieving and maintaining shutdown conditions, in the event of a fire in the selected FAs, had been properly identified. | |||
In addition, the inspectors reviewed cable routing information for credited equipment/components to verify that the cables had either been adequately protected from the potentially adverse effects of fire damage or analyzed to show that fire induced faults (e.g. hot shorts, open circuits, and shorts to ground) would not prevent post-fire SSD. The inspectors reviewed the | |||
-017, FAA-067, FAA-069 and FAA | |||
-073. The inspectors selected the 125V DC Vital Battery Board I for inspection, which was a credited power system component for FAs FAA-067 and FAA-073. The inspectors reviewed applicable drawings, circuit breaker selective coordination, overload protection, cable protection, and interrupting capacity of devices to determine if there was reasonable assurance that the circuit breakers would operate and protect the cables as intended for the 125V DC Vital Battery Board I. | |||
The specific components reviewed are listed in the Attachment. | |||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a Green NCV (with two examples)of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the | The inspectors identified a Green NCV (with two examples) of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified as required by site procedures. | ||
. | |||
=====Description:===== | =====Description:===== | ||
The inspectors reviewed safety | The inspectors reviewed safety-related calculation SQN-CPS-051, Circuit Protective Device Evaluation, Rev. 51 for the cable fault current withstand evaluation of Westinghouse (W) type HFB 50 Amp (DC molded case) circuit breakers 203 and 206, which are located in the 125V DC Vital Battery Board I. The inspectors noted that cables 1B16I and 1B19I, for circuit breakers 203 and 206, respectively, were documented on the cable fault current withstand evaluation as #2 AWG cables, however, the #2 AWG cable was not plotted on the coordination and cable damage curve with the W type HFB 50 Amp circuit breaker to demonstrate that the cable was evaluated. The inspectors discussed this deficiency with the licensee and PER 846017 was initiated to address the issue. Further review of calculation SQN-CPS-051 and discussion with the licensee revealed that circuit breakers 203 and 206 as identified in the calculation were not the W type HFB 50 Amp circuit breakers. The licensee informed the inspectors that the W circuit breakers were replaced with the Cutler-Hammer type HFD 50 Amp (DC molded case) circuit breakers under Procurement Engineering Group (PEG) Package CMD948E, approved December 2006, because the W breakers were obsolete. A review of PEG Package CMD948E identified a total of 10 work orders that replaced 10 circuit breakers during the SQN Unit 2 Cycle 14 refueling outage, of which two work orders were specific for replacement of the 600V AC/250V DC molded case circuit breakers 203 and 206, which were used in DC circuit applications in the 125V DC Vital Battery Board I. | ||
-related calculation SQN | |||
-CPS-051, Circuit Protective Device Evaluation, Rev. 51 for the cable fault current withstand evaluation of Westinghouse (W) type HFB 50 Amp (DC molded case)circuit breakers 203 and 206 | |||
, which are located in the 125V DC Vital Battery Board I. The inspectors noted that cables 1B16I and 1B19I, for circuit breakers 203 and 206, respectively, were documented on the cable fault current withstand evaluation as #2 AWG | |||
-CPS-051 and discussion with the licensee revealed that circuit breakers 203 and 206 as identified in the calculation were not the W type HFB 50 Amp circuit breakers. | |||
The | The inspectors noted that the licensee failed to revise calculation SQN-CPS-051 to reflect the replacement circuit breakers and the associated time current curve technical details as specified in PEG Package RFQ123122CO and required by procedures NEDP-2, Design Calculation Process Control, Rev. 17 and NEDP-8, Technical Evaluation for Procurement of Materials and Services, Rev. 8. The licensee informed the inspectors that PEG Package CMD948E was initiated as a result of W Technical Bulletin (TB)-04-13, dated 06/28/2004, and additional PEG packages were initiated at SQN to replace various obsolete W type circuit breakers. The inspectors requested the licensee to provide a list of PEG package evaluations that had been prepared, approved and issued specifically for W TB-04-13. The licensee response identified 24 PEG packages for breaker substitution approval without associated calculation updates and initiated PERs 845951 and 848756. | ||
The inspectors noted that the | The inspectors reviewed procedure NEDP-8 in parallel with PEG Package CMD948E and noted that the PEG Package evaluation did not contain adequate documented evidence to support the DC critical characteristics (interrupting capacity) for circuit breakers used in a DC application, as required by NEDP-8 and as defined in Calculation SQN-CPS-051, Section 1.0. The licensee included this deficiency in previously mentioned PER 845951. The licenses further evaluation of PER 848756 identified four of the 24 PEG packages did not specify the DC critical characteristic (interrupting capacity) and initiated PER 849220. | ||
- | |||
. | |||
. | |||
The inspectors | The inspectors compared the 50 Amp Westinghouse HFB series circuit breaker time-current curve with the replacement 50 Amp Cutler-Hammer HFD series circuit breaker time-current curve; and, reviewed the Cutler-Hammer manufacturers specification sheet which provided details on the DC critical characteristic attribute (UL 489 interrupting capacity ratings) for the replacement Cutler-Hammer HFD series DC circuit breakers. | ||
- | |||
Based on these reviews, the inspectors concluded there was reasonable assurance that circuit breakers 203 and 206 would perform their intended safety function in the 125V DC circuit application. | |||
=====Analysis:===== | =====Analysis:===== | ||
The | The licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified in accordance with design control procedures was a performance deficiency. The performance deficiency was more than minor because if left uncorrected it could lead to installation of breakers that may not meet the critical characteristics needed to perform their safety function. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Appendix A, The Significance Determination Process for Findings At-Power, dated June 19, 2012. Using IMC 0609, Appendix A, Exhibit 2, Mitigating Systems Screening Questions, the finding was determined to be of very low safety significance (Green) because it did not represent an actual loss of safety function. No cross-cutting aspect was identified, since the issue was determined to not reflect current licensee performance. | ||
The performance deficiency was more than minor because if left uncorrected it could lead to installation of breakers that may not meet the critical characteristics needed to perform their safety function. | |||
The finding was screened in accordance with NRC IMC 0609, | |||
Using IMC 0609, Appendix A | |||
, Exhibit 2, | |||
the finding was determined to be of very low safety significance (Green) because it did not represent an actual loss of safety function. | |||
No cross-cutting aspect was identified, since the issue was determined to not reflect current licensee performance. | |||
=====Enforcement:===== | =====Enforcement:===== | ||
10 CFR Part 50, Appendix B, Criterion III, Design Control, required, in part, that design control measures shall include provisions to assure that appropriate quality standards are specified and included in design documents, measures shall also be established for the selection and review for suitability of application of materials, parts, equipment, and processes that are essential to the safety | 10 CFR Part 50, Appendix B, Criterion III, Design Control, required, in part, that design control measures shall include provisions to assure that appropriate quality standards are specified and included in design documents, measures shall also be established for the selection and review for suitability of application of materials, parts, equipment, and processes that are essential to the safety-related functions of the structures, systems and components. SQN Procedure NEDP-2, Design Calculation Process Control, Rev. 17, Section 3.1 General Requirements, states, in part, that calculation and calculation revisions shall be issued before or concurrent with issuance of documents, input or output, which they support. Procedure NEDP-8, Technical Evaluation for Procurement of Materials and Services, Rev. 23, Section 5.0, states, in part, that the critical characteristics for design are those properties or attributes which are essential for the items form, fit, and functional performance. These are identifiable and/or measurable attributes of a replacement item which will provide assurance that the replacement item will perform its design function. | ||
-related functions of the structures, systems and components. | |||
SQN Procedure NEDP | |||
-2, Design | |||
-8, Technical Evaluation for Procurement of Materials and Services, Rev. 23, Section 5.0, states, in part, that the critical characteristics for design are those properties or attributes which are essential for the | |||
Contrary to the above, on March 5, 2014, the inspectors identified two examples where the | Contrary to the above, on March 5, 2014, the inspectors identified two examples where the licensees design control measures failed to assure that appropriate quality standards for design were specified and technical details were translated to controlled design documents. The licensee failed to translate from PEG Package CMD948E to applicable safety-related calculations, the manufacturers time current curve analysis along with other technical details, for 600V AC/250V DC replacement circuit breakers; and failed to evaluate the DC interrupting capacity ratings (critical characteristics) for qualification of the replacement Cutler-Hammer 600V AC/250V DC molded case circuit breakers to safety-related applications within the stations 125V DC system. Because the finding was of very low safety significance (Green) and was entered into the licensees CAP as PERs 845951, 846017, 848756, and 849220, this violation is being treated as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. This violation is identified as NCV 05000327, 328/2014007-03, Design Control Requirements not met During Safety-Related Circuit Breaker Replacements. | ||
, the | |||
, for 600V AC/250V DC replacement circuit breakers | |||
; and failed to evaluate the DC interrupting capacity ratings (critical characteristics) for qualification of the replacement Cutler-Hammer 600V AC/250V DC molded case circuit breakers to safety-related applications within the | |||
. Because the finding was of very low safety significance (Green) and was entered into the | |||
-03, Design Control Requirements not met During Safety-Related Circuit Breaker | |||
===.07 Communications=== | ===.07 Communications=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed the | The inspectors reviewed the communications capabilities required to support plant personnel in the performance of OMAs to achieve and maintain SSD, as credited in the SQN FPR. The inspectors performed plant walkdowns with the licensees operations staff to assess the credited method of communications used to complete SSD actions as specified in post-fire SSD procedures for the selected FAs. The inspectors also verified that portable radio communications and fixed emergency communication systems were available, operable, and adequate for the performance of designated activities to support fire event notification and fire brigade firefighting activities. The inspectors reviewed a completed surveillance procedure, 0-PI-OPS-000-708.0, 10CFR50 Appendix R Compliance Verification, Appendix F, Verification of Radio Communications, dated January 23, 2014, to verify that the communication equipment was being properly maintained and tested. | ||
-fire SSD procedures for the selected FAs | |||
. The inspectors also verified that portable radio communications and fixed emergency communication systems were available, operable, and adequate for the performance of designated activities to support fire event notification and fire brigade firefighting activities. The inspectors reviewed a completed surveillance procedure, 0 | |||
-PI-OPS-000-708.0, | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 486: | Line 311: | ||
===.08 Emergency Lighting=== | ===.08 Emergency Lighting=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed maintenance and design aspects of the fixed 8 | The inspectors reviewed maintenance and design aspects of the fixed 8-hour battery pack emergency lighting units (ELUs) required by SQNs approved FPP. The inspectors performed plant walkdowns of the post-fire SSD procedures for the selected FAs to observe the placement and coverage area of the ELUs required to illuminate operator access and egress pathways, and any equipment requiring local operation and/or instrumentation monitoring for post-fire SSD. The inspectors reviewed completed procedure 0-PI-OPS-247-529.1, Emergency Lighting Illumination Test, dated January 2010, to verify that ELUs provided adequate lighting. The inspectors reviewed corrective action documents associated with deficiencies identified in procedure 0-PI-OPS-247-529.1 to verify that adequate compensatory measures had been established pending final resolution of identified deficiencies. The inspectors also reviewed 8-hour test result to verify that adverse trends were being identified and corrected. | ||
-hour battery pack emergency lighting units (ELUs) required by | |||
-fire SSD procedures for the selected FAs to observe the placement and coverage area of the ELUs required to illuminate operator access and egress pathways, and any equipment requiring local operation and/or instrumentation monitoring for post | |||
-fire SSD. The inspectors reviewed completed procedure 0 | |||
-PI-OPS-247-529.1, Emergency Lighting Illumination Test, dated January 2010 | |||
, to verify that ELUs provided adequate lighting. The inspectors reviewed corrective action documents associated with deficiencies identified in procedure 0-PI-OPS-247-529.1 to verify that adequate compensatory measures had been established pending final resolution of identified deficiencies. The inspectors also reviewed 8 | |||
-hour test result to verify that adverse trends were being identified and corrected. | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 500: | Line 318: | ||
===.09 Cold Shutdown Repairs=== | ===.09 Cold Shutdown Repairs=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed the SQN FPP and AOPs to verify that the licensee identified repairs needed to reach and maintain cold shutdown and had dedicated repair procedures, equipment, and materials to accomplish these repairs after a fire event, assuming no offsite power was available. | The inspectors reviewed the SQN FPP and AOPs to verify that the licensee identified repairs needed to reach and maintain cold shutdown and had dedicated repair procedures, equipment, and materials to accomplish these repairs after a fire event, assuming no offsite power was available. The inspectors verified that the fire damage repair procedures were current and adequate. The inspectors reviewed the inventory inspection work order records and compared them to the equipment and tool lists to verify that all required replacement parts and equipment were being accounted for and were available for use. | ||
The inspectors verified that the fire damage repair procedures were current and adequate. The inspectors reviewed the inventory inspection work order records and compared them to the equipment and tool lists to verify that all required replacement parts and equipment were being accounted for and were available for use. | |||
====b. Findings==== | ====b. Findings==== | ||
Introduction | =====Introduction:===== | ||
The inspectors identified a Green NCV of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, for the licensee's failure to maintain necessary materials and procedures for cold shutdown repairs. | |||
.(16) and 2.C.(13) | |||
, for Units 1 and 2 respectively, for the licensee's failure to maintain necessary materials and procedures for cold shutdown repairs | |||
Procedure 0 | =====Description:===== | ||
-PI-FPU-317-538.0, Equipment Inventory, Rev. 7, listed and inventoried the required cold shutdown repair materials. The following deficiencies were identified by the team and entered into the | Procedure SMI-317-18, Appendix R - Casualty Procedures [C.1], Rev. 14, directed cold shutdown repair actions for fires in the auxiliary building, reactor building and annulus. Procedure 0-PI-FPU-317-538.0, Equipment Inventory, Rev. 7, listed and inventoried the required cold shutdown repair materials. The following deficiencies were identified by the team and entered into the licensees corrective action program. | ||
* PER 847449, Deficiencies in Appendix R Repair Procedure documented the following deficiencies: | |||
o Procedure SMI-317-18, Sections 6.17 - 6.26, provided guidance for repairing approximately 25 valves; however, the required repair parts were not listed in procedure 0-PI-FPU-317-538.0. | |||
o Procedure SMI-317-18, Sections 6.11 and 6.13 directed the installation of a temporary three phase power supply for residual heat removal (RHR) pumps and RHR room coolers; however, the procedure did not provide guidance on where to terminate cables inside the breaker cubicles. | |||
PER 847428, Review Section 6.12 of SMI 317-18, documented the lack of adequate instructions for repairing eight flow control valves; however, the procedure did not provide any repair instructions. | o Procedure SMI-317-18 had multiple sections that did not provide terminal block identification numbers for lifting and landing wires. | ||
* PER 847428, Review Section 6.12 of SMI-0-317-18, documented the lack of adequate instructions for repairing eight flow control valves; however, the procedure did not provide any repair instructions. | |||
PERs 644619, 713847, and 823207 documented inadequate procedural guidance and a lack of materials for repairing letdown isolation valves. The issue was identified by the licensee on November 19, 2012, but had not been corrected at the time of the inspection. | * PERs 644619, 713847, and 823207 documented inadequate procedural guidance and a lack of materials for repairing letdown isolation valves. The issue was identified by the licensee on November 19, 2012, but had not been corrected at the time of the inspection. | ||
* PERs 845931, 847420, 847462 documented additional cold shutdown repair procedure discrepancies that were identified during the inspection. | |||
PERs 845931, 847420, 847462 documented additional cold shutdown repair procedure discrepancies that were identified during the inspection. | |||
=====Analysis:===== | =====Analysis:===== | ||
The | The licensees failure to provide adequate guidance for all repairs listed in procedure SMI-317-18, Appendix R - Casualty Procedures; and, failure to maintain the required repair parts for the same procedure was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. | ||
- Casualty Procedures | |||
; | |||
The | Specifically, inadequate procedural guidance and the lack of required materials adversely affected the licensees capability to achieve and maintain cold shutdown conditions. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review, was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.3.1, because it was determined that the reactor was able to reach and maintain a hot safe shutdown condition. The cause of this finding was determined to have a cross-cutting aspect of Teamwork (H4) in the Human Performance cross-cutting area because the licensee failed to assure that individuals and work groups communicated and coordinated their activities within and across organizational boundaries to ensure nuclear safety was maintained. Specifically, the coordination between operations department procedure writers, maintenance department procedure writers, and fire operations department personnel was inadequate to ensure the adequacy of cold shutdown repair procedures and the availability of required materials. | ||
=====Enforcement:===== | |||
Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, state in part, that TVA shall implement and maintain in effect all provisions of the approved FPP referenced in SQN UFSAR. UFSAR Section 9.5.1, Fire Protection System states that the fire protection system and fire protection features are described in the FPR. The FPR, Part IX - Appendix R Compliance Report, states in part, that materials required for cold shutdown repairs will be readily available onsite and procedures will be in effect to implement the repairs such that cold shutdown can be achieved within 72 hours. | |||
, | |||
Contrary to the above, on March 5, 2014, the inspectors identified that the licensee failed to implement and maintain in effect all provisions of the approved FPP relative to the availability of cold shutdown repair materials and failed to provide adequate procedures to implement such repairs. Specifically, the licensee failed to provide adequate guidance for all repairs listed in procedure SMI--317-18, Appendix R - Casualty Procedures; and the licensee failed to maintain the repair parts that would be installed by the same procedure. Because this finding was of very low safety significance (Green), and was entered into the licensees CAP as PERs 845931, 847420, 847428, 847449, and 847462, this violation is being treated as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. This finding is identified as NCV 05000327, 328/2014007-04, Failure to Maintain Necessary Materials and Procedures for Cold Shutdown Repairs. | |||
- | |||
===.10 Compensatory Measures=== | |||
. | ====a. Inspection Scope==== | ||
Compensatory Measures for Degraded Fire Protection Components | |||
The inspectors reviewed the administrative controls for out-of-service, degraded and/or inoperable fire protection features (e.g. detection and suppression systems, and passive fire barriers) to verify that short-term compensatory measures were adequate for the degraded function or feature until appropriate corrective actions could be taken. The inspectors reviewed impairment and compensatory measures forms for fire watch tours to confirm they were being performed within the allowable time frames. | |||
Manual Actions as Compensatory Measures for Safe Shutdown | |||
The inspectors reviewed the FHA, calculation SQS40127, Equipment Required for Safe Shutdown per 10CFR50 Appendix R, Rev. 51, procedure EPM-10, AOP-N.08 Manual Action Reliability Study, Rev. 10 and procedure EPM-11, AOP-C.04 Manual Action Reliability Study, Rev. 5 to identify OMA credited for safe shutdown. In cases where local OMAs were credited in lieu of cable protection or separation of SSD equipment, the inspectors reviewed and performed walkdowns of those applicable OMAs to verify that the OMAs were feasible utilizing the guidance of NRC IP 71111.05T, paragraph 02.02.j.2. | |||
-10, | |||
-11, | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 581: | Line 361: | ||
===.11 Review and Documentation of Fire Protection Program Changes=== | ===.11 Review and Documentation of Fire Protection Program Changes=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed a sample of FPP changes made between July 2011 and January 2014 to determine if the changes to the FPP were in accordance with the fire protection license | The inspectors reviewed a sample of FPP changes made between July 2011 and January 2014 to determine if the changes to the FPP were in accordance with the fire protection license conditions and had no adverse effect on the ability to achieve SSD. | ||
The inspectors reviewed DCN D22547 | The inspectors reviewed DCN D22547 Reactor Head Vents and Pressurizer PORV and Block Valves, System 068, Rev. A, to assess the licensees effectiveness review and to determine if the resulting changes to the FPP were in accordance with the fire protection license conditions. | ||
====b. Findings==== | ====b. Findings==== | ||
=====Introduction:===== | =====Introduction:===== | ||
The inspectors identified a Green non | The inspectors identified a Green non-cited violation (NCV) of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, for the licensee's failure to perform the required reviews when adding fire watches to the fire protection program. | ||
-cited violation (NCV) of Sequoyah Operating | |||
, for Units 1 and 2 respectively, for the licensee's failure to perform the required reviews when adding fire watches to the fire protection program | |||
. | |||
Description | =====Description:===== | ||
In December 2009, the licensee initiated PER 211202, Procedure for Isolation of PORV May Conflict with Fire Safe Shutdown Analysis, when it was identified that the actions taken to mitigate a leaking pressurizer power operated relief valve (PORV) would result in the isolation of the credited PORV for four FAs. Isolation of the PORV occurs when operators close the associated block valve as required by Technical Specifications (TS) and as directed by procedure 0-SO-68-3, Pressurizer Pressure Control System. During a fire event, the credited PORV would remain isolated because the closed block valve could not be opened due to a lack of electrical power. Early in a fire event, the fire safe shutdown procedure de-energizes the electrical bus that provides motive power to the block valve. PER 211202 instituted an interim compensatory measure to establish an hourly or continuous fire watch whenever the applicable PORV was isolated. Procedure 0-SO-68-3 was revised to require fire watches whenever the applicable block valve was closed. Additionally, in March 2010, the licensee initiated PER 223631 Appendix R MSO #18 Review of Pressurizer Letdown Path to Assess the Appendix R SSD concerning the closure of the block valves which conflicted with the Appendix R fire safe shutdown analysis. In 2012, as a corrective action, the licensee revised the FHA to state that a fire watch was required if a leaking PORV was isolated during normal operation. The inspectors identified that the FHA was revised without performing the required evaluations or fire protection program reviews. The FHA was revised on November 4, 2011, during implementation of DCN D22547. The DCN did not discuss or evaluate the use of fire watches as part of an effective safe shutdown strategy. | |||
-SO-68-3, Pressurizer Pressure Control System. During a fire event, the credited PORV would remain isolated because the closed block valve could not be opened due to a lack of electrical power. Early in a fire event, the fire safe shutdown procedure de | |||
-energizes the electrical bus that provides motive power to the block valve. PER 211202 instituted an interim compensatory measure to establish an hourly or continuous fire watch whenever the applicable PORV was isolated. Procedure 0 | |||
-SO-68-3 was revised to require fire watches whenever the applicable block valve was closed. Additionally, in March 2010, the licensee initiated PER 223631 | |||
The inspectors determined that the | The inspectors determined that the licensees sole reliance on fire watches for a SSD deficiency was inadequate, in part, because TS allowed operation with a closed block valve for an unlimited time period. This determination was informed by NRC Regulatory Issue Summary 2005-07, Compensatory Measures to Satisfy the Fire Protection Program Requirements, which states that licensees should consider or implement other appropriate interim compensatory measures, such as briefing operators on degraded post-fire, safe-shutdown-system conditions; temporary repair procedures; temporary fire barriers; or detection or suppression systems. The determination was also based on guidance from NRC Information Notice 97-48, Inadequate or Inappropriate Interim Fire Protection Compensatory Measures, which also discusses compensatory measures related to achieving and maintaining post-fire SSD. The inspectors noted that PERs 211202 and 223631 did not implement any corrective actions to provide reasonable assurance that control room operators could achieve safe shutdown during a fire event. | ||
which states that licensees should consider or implement other appropriate interim compensatory measures, such as briefing operators on degraded post-fire, safe | |||
-shutdown-system conditions; temporary repair procedures; temporary fire barriers; or detection or suppression systems. The determination was also based on guidance from NRC Information Notice 97-48, | |||
The performance deficiency adversely affected the capability to achieve safe shutdown in four FAs: | The performance deficiency adversely affected the capability to achieve safe shutdown in four FAs: FAA-054 (Unit 1 and 2), FAA-067 (Unit 1) and FAA-081 (Unit 2). The licensee entered the issue into their CAP as PER 845593. The inspectors determined that Units 1 and 2 were not in the operational alignment associated with the deficiency; therefore, no immediate actions were required. | ||
; therefore | |||
, no immediate actions were required. | |||
=====Analysis:===== | =====Analysis:===== | ||
The | The licensees failure to perform the required evaluation and review prior to revising the FHA was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Specifically, the sole of use fire watches as a mitigation measure for the unavailability of the credited PORV would adversely affect the capability to achieve and maintain SSD during a fire event. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review, was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD. | ||
Using IMC 0609, Appendix F, Attachment 1, the issue screened as having very low safety significance (Green) at Task 1.5.3 because the change in core damage frequency (CDF) was less than 1E-6 (i.e., delta CDF calculated to be 6.6E-7). The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the FHA. | |||
Using IMC 0609, Appendix F, Attachment 1, the issue screened as having very low safety significance (Green) at Task 1.5.3 because the change in core damage frequency (CDF) was less than 1E | |||
-6 (i.e., delta CDF calculated to be 6.6E | |||
-7). The cause of this finding was determined to have a cross | |||
-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross | |||
-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. | |||
Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the FHA. | |||
=====Enforcement:===== | =====Enforcement:===== | ||
Sequoyah Operating | Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, state in part, that TVA shall implement and maintain in effect all provisions of the approved FPP as referenced in the SQN UFSAR. UFSAR Section 9.5.1, Fire Protection System states that the fire protection system and fire protection features are described in the FPR. The FPR, Part II, Section 8.1, states in part, that changes to the FPR receive a technical and impact review by qualified individuals. | ||
Contrary to the above, on November 4, 2011, the licensee changed the FPR without qualified personnel performing a technical and impact review. Specifically, the licensee revised the FHA, which is part of the FPR, to include fire watches without performing the required evaluations. Because this finding was of very low safety significance (Green)and was entered into the licensees CAP as PER 845593, this violation is being treated as a NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. The violation was entered into the licensees corrective action program as PER 845593. The finding is identified as NCV 05000327, 328/2014007-05, Failure to Perform the Required Reviews when Adding Fire Watches to the Fire Protection Program. | |||
===.12 Control of Transient Combustibles and Ignition Sources=== | |||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors conducted tours of numerous plant areas that were important to reactor safety, including the selected FAs | The inspectors conducted tours of numerous plant areas that were important to reactor safety, including the selected FAs, to verify the licensees implementation of FPP requirements as described in the SQN FPP and administrative procedure NPG-SPP-18.4.7, Control of Transient Combustibles. For the selected FAs, the inspectors evaluated generic fire protection training; fire event history; the potential for fires or explosions; the combustible fire load characteristics; and the potential exposure fire severity to determine if adequate controls were in place to maintain general housekeeping consistent with the FPR, administrative procedures, and other FPP procedures. There were no hot work activities ongoing within the selected FAs during the inspection and observation of this activity could not be performed. | ||
, to verify the | |||
-SPP-18.4.7, | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 655: | Line 395: | ||
===.13 B.5.b Inspection Activities=== | ===.13 B.5.b Inspection Activities=== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed, on a sample basis, the | The inspectors reviewed, on a sample basis, the licensees mitigation measures to manually depressurize the steam generators and use the portable pump for large fires and explosions to verify that the measures were feasible, personnel were trained to implement the strategies, and equipment was properly staged and maintained. The inspectors reviewed the licensees established program, applicable SERs and submittals which supported the elements outlined by the license condition. The inspectors reviewed inventory, surveillance testing, and maintenance records of required equipment. Through discussions with plant staff, documentation review, and plant walkdowns, the inspectors verified the engineering basis to establish reasonable assurance that the makeup capacity could be provided using the specified equipment and water sources. The inspectors reviewed the licensees capability to provide a reliable and available water source and the ability to provide the minimum fuel supply. | ||
, applicable SERs and submittals which supported the elements outlined by the license condition. | |||
The inspectors performed a walk-down of the storage and staging areas for the B.5.b equipment to verify that equipment identified for use in the current procedures was available and maintained. The inspectors reviewed training records of the licensees staff to verify that operations and security personnel training/familiarity with the strategy objectives and implementing guidelines were accomplished according to the established training procedures. | |||
The inspectors performed a walk | |||
-down of the storage and staging areas for the B.5.b equipment to verify that equipment identified for use in the current procedures | |||
====b. Findings==== | ====b. Findings==== | ||
| Line 671: | Line 405: | ||
==OTHER ACTIVITIES== | ==OTHER ACTIVITIES== | ||
{{a|4OA2}} | {{a|4OA2}} | ||
==4OA2 Problem Identification and Resolution== | ==4OA2 Problem Identification and Resolution== | ||
====a. Inspection Scope==== | ====a. Inspection Scope==== | ||
The inspectors reviewed a sample of licensee independent audits, self | The inspectors reviewed a sample of licensee independent audits, self-assessments, and system/program health reports for thoroughness, completeness and conformance to FPP requirements. The inspectors also reviewed CAP documents, including completed corrective actions documented in selected PERs, to verify that fire protection deficiencies were adequately identified, evaluated, and that appropriate corrective actions were implemented. The inspectors reviewed operating experience program documents to ascertain whether industry identified fire protection issues affecting SQN were appropriately entered into the corrective action program for resolution. The documents reviewed are listed in the Attachment. | ||
- assessments, and system/program health | |||
The inspectors also reviewed CAP documents, including completed corrective actions documented in selected PERs | |||
, to verify that fire protection deficiencies were adequately identified, evaluated, and that appropriate corrective actions were implemented. | |||
The inspectors reviewed operating experience program documents to ascertain whether industry identified fire protection issues affecting SQN were appropriately entered into the corrective action program for resolution. | |||
The documents reviewed are listed in the Attachment. | |||
====b. Findings==== | ====b. Findings==== | ||
No findings were identified. | No findings were identified. | ||
{{a|4OA6}} | |||
==4OA6 Meetings, Including Exit== | ==4OA6 Meetings, Including Exit== | ||
On March 5, 2014, the lead inspector presented the preliminary inspection results to Mr. | On March 5, 2014, the lead inspector presented the preliminary inspection results to Mr. | ||
P. Simmons, SQN Plant Manager, and other members of the | P. Simmons, SQN Plant Manager, and other members of the licensees staff, who acknowledged the results. Following completion of additional reviews in the Region II office, another exit meeting was held by telephone with Mr. M. McBrearty, SQN Licensing Manager and other members of the licensees staff on April 17, 2014, to provide an update on changes to the preliminary inspection findings. The licensee acknowledged the findings. Proprietary information is not included in this IR. | ||
ATTACHMENT: | ATTACHMENT: | ||
=SUPPLEMENTARY INFORMATION= | =SUPPLEMENTARY INFORMATION= | ||
==KEY POINTS OF CONTACT== | ==KEY POINTS OF CONTACT== | ||
===Licensee Personnel=== | ===Licensee Personnel=== | ||
: [[contact::J. Alfultis]], Director of Modifications and Projects | : [[contact::J. Alfultis]], Director of Modifications and Projects | ||
: [[contact::L. Amini]], Fire Protection/Appendix R Program Owner | : [[contact::L. Amini]], Fire Protection/Appendix R Program Owner | ||
: [[contact::J. Carlin]], Site Vice President | : [[contact::J. Carlin]], Site Vice President | ||
: [[contact::C. Coriell]], Fire Protection Supervisor | : [[contact::C. Coriell]], Fire Protection Supervisor | ||
: [[contact::J. Cruz]], Electrical/I&C Design Engineering Manager | : [[contact::J. Cruz]], Electrical/I&C Design Engineering Manager | ||
: [[contact::A. Day]], Chemistry/Environmental Manager | : [[contact::A. Day]], Chemistry/Environmental Manager | ||
: [[contact::D. Dimopoulos]], Design Engineering Manager | : [[contact::D. Dimopoulos]], Design Engineering Manager | ||
: [[contact::R. Egli]], TVA Corporate Fire Protection | : [[contact::R. Egli]], TVA Corporate Fire Protection | ||
: [[contact::D. Ensminger]], Fire Marshall | : [[contact::D. Ensminger]], Fire Marshall | ||
: [[contact::G. Garner]], Operations Superintendent | : [[contact::G. Garner]], Operations Superintendent | ||
: [[contact::M. Halter]], Emergency Preparedness | : [[contact::M. Halter]], Emergency Preparedness | ||
: [[contact::M. Henderson]], Engineering Programs Manager | : [[contact::M. Henderson]], Engineering Programs Manager | ||
: [[contact::C. Hoffman]], Operations Support Superintendent | : [[contact::C. Hoffman]], Operations Support Superintendent | ||
: [[contact::T. Marshall]], Operations Manager | : [[contact::T. Marshall]], Operations Manager | ||
: [[contact::M. McBrearty]], Licensing Manager | : [[contact::M. McBrearty]], Licensing Manager | ||
: [[contact::D. Porter]], Operations Procedures | : [[contact::D. Porter]], Operations Procedures | ||
: [[contact::P. Pratt]], Maintenance Manager | : [[contact::P. Pratt]], Maintenance Manager | ||
: [[contact::R. Proffitt]], Technical Assistant to Plant Manager | : [[contact::R. Proffitt]], Technical Assistant to Plant Manager | ||
: [[contact::A. Seaborn]], Maintenance Procedures | : [[contact::A. Seaborn]], Maintenance Procedures | ||
: [[contact::P. Simmons]], Plant Manager | : [[contact::P. Simmons]], Plant Manager | ||
: [[contact::B. Simril]], TVA Corporate Fire Protection Manager | : [[contact::B. Simril]], TVA Corporate Fire Protection Manager | ||
: [[contact::W. Stadder]], Site Engineering | : [[contact::W. Stadder]], Site Engineering | ||
: [[contact::R. Travis]], Licensing Engineer | : [[contact::R. Travis]], Licensing Engineer | ||
: [[contact::E. Turner]], Electrical Engineering Design | : [[contact::E. Turner]], Electrical Engineering Design | ||
: [[contact::R. Williams]], Quality Assurance | : [[contact::R. Williams]], Quality Assurance | ||
===NRC Personnel=== | ===NRC Personnel=== | ||
: [[contact::S. Shaeffer]], Chief, Engineering Branch 2, Division of Reactor Safety, Region II | : [[contact::S. Shaeffer]], Chief, Engineering Branch 2, Division of Reactor Safety, Region II | ||
: [[contact::G. Smith]], Senior Resident Inspector | : [[contact::G. Smith]], Senior Resident Inspector | ||
==LIST OF REPORT ITEMS== | ==LIST OF REPORT ITEMS== | ||
===Opened and Closed=== | |||
: 05000327, 328/2014007-01 NCV | |||
Improper Orientation of Fire Dampers in | |||
Auxiliary Building (Section 1R05.02) | Auxiliary Building (Section 1R05.02) | ||
: 05000327, 328/2014007 | : 05000327, 328/2014007-02 NCV | ||
-02 | |||
Sprinklers Not in Compliance with | Auxiliary Control Instrument Room 2A | ||
NFPA 13-1975 (Section 1R05.03) | |||
: 05000327, 328/2014007 | Sprinklers Not in Compliance with NFPA 13-1975 (Section 1R05.03) | ||
-03 | : 05000327, 328/2014007-03 NCV | ||
During Safety-Related Circuit Breaker | |||
Design Control Requirements not met | |||
During Safety-Related Circuit Breaker | |||
Replacements (Section 1R05.06) | Replacements (Section 1R05.06) | ||
: 05000327, 328/2014007 | : 05000327, 328/2014007-04 NCV | ||
-04 | |||
Failure to Maintain Necessary Materials and Procedures for Cold Shutdown Repairs (Section 1R05.09) | |||
: 05000327, 328/2014007-05 NCV | |||
LIST OF FIRE BARRIERS INSPECTED | |||
Failure to Perform the Required Reviews when Adding Fire Watches to the Fire Protection Program (Section 1R05.11) | |||
- Passive Fire Barriers) | |||
Fire Barrier Floors, Walls | SUPPLEMENTARY INFORMATION LIST OF FIRE BARRIERS INSPECTED (Refer to Report Section 1R05.02 - Passive Fire Barriers) | ||
Description | |||
and Ceiling Identification | Fire Barrier Floors, Walls | ||
Walls, Floor and Ceiling | |||
Main Control Room (FAC-017) | Description and Ceiling Identification Walls, Floor and Ceiling | ||
-067) | |||
480V Shutdown Board Room 1A2 (FAA | Main Control Room (FAC-017) | ||
-073) | |||
Description | 6.9Kv Shutdown Board Room A (FAA-067) | ||
1-XFD-313-914 | |||
-067 1-XFD-313-918 | 25V Vital Battery Board Room I (FAA 069) | ||
-089 2-XFD-313-914 | |||
-081 2-XFD-313-918 | 480V Shutdown Board Room 1A2 (FAA-073) | ||
-090 2-XFD-313-919 | |||
-091 1-XFD-313-908 | Fire Damper Identification | ||
-067 2-XFD-313-908 | |||
-081 | Description 1-XFD-313-914 | ||
Description | |||
FAA-67 to FAA 066 | FAA-066 to FAA-067 1-XFD-313-918 | ||
FAA-067 to FAA 069 | |||
FAA-067 to FAA 070 | FAA-066 to FAA-088 1-XFD-313-919 | ||
FAA-067 to FAA 073 | |||
FAA-067 to FAA | FAA-066 to FAA-089 2-XFD-313-914 | ||
-086 | |||
-087 | FAA-066 to FAA-081 2-XFD-313-918 | ||
FAA-066 to FAA-090 2-XFD-313-919 | |||
FAA-066 to FAA-091 1-XFD-313-908 | |||
FAA-068 to FAA-067 2-XFD-313-908 | |||
FAA-087 to FAA-081 | |||
Fire Door Identification | |||
Description | |||
FAA-67 to FAA 066 | |||
FAA-067 to FAA 069 | |||
FAA-067 to FAA 070 | |||
FAA-067 to FAA 073 | |||
FAA-067 to FAA-086 | |||
FAA-067 to FAA-087 | |||
==LIST OF DOCUMENTS REVIEWED== | ==LIST OF DOCUMENTS REVIEWED== | ||
}} | }} | ||
Latest revision as of 21:32, 10 January 2025
| ML14108A377 | |
| Person / Time | |
|---|---|
| Site: | Sequoyah |
| Issue date: | 04/15/2014 |
| From: | Scott Shaeffer NRC/RGN-II/DRS/EB2 |
| To: | James Shea Tennessee Valley Authority |
| References | |
| IR-14-007 | |
| Download: ML14108A377 (36) | |
Text
April 15, 2014
SUBJECT:
SEQUOYAH NUCLEAR PLANT, UNITS 1 AND 2 - NRC TRIENNIAL FIRE
PROTECTION INSPECTION REPORT 05000327/2014007 AND
Dear Mr. Shea:
On March 5, 2014, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Sequoyah Nuclear Plant, Units 1 and 2. The enclosed inspection report documents the inspection results, which were discussed with Mr. P. Simmons and other members of your staff on March 5, 2014. Following completion of additional post-inspection analysis of the inspection findings and review of additional information by the NRC in the Region II office, a final exit was held by telephone with Mr. M. McBrearty and other members of your staff on April 17, 2014, to provide an update on changes to the preliminary inspection findings.
The inspection examined activities conducted under your license as they related to safety and compliance with the Commissions rules and regulations and with the conditions of your license.
The team reviewed selected procedures and records, observed activities, and interviewed personnel.
Five NRC-identified findings of very low safety significance (Green) were identified during this inspection. These findings were determined to involve violations of NRC requirements.
However, because of the very low safety significance of these violations and because they were entered into your corrective action program, the NRC is treating these violations as non-cited violations (NCVs) consistent with Section 2.3.2 of the NRC Enforcement Policy. If you contest these NCVs, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator Region II; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident Inspector at the Sequoyah Nuclear Plant.
If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, RII, and the NRC Resident Inspector at the Sequoyah Nuclear Plant.
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov./reading-rm/adams.html (the Public Electronic Reading Room).
Sincerely, RA
Scott M. Shaeffer, Chief Engineering Branch 2
Division of Reactor Safety
Docket Nos.: 50-327, 50-328 License Nos.: DPR-77, DPR-79
Enclosure:
Inspection Reports 05000327/2014007, 05000328/2014007 w/Attachment: Supplementary Information
REGION II==
Docket Nos:
50-327, 50-328
License Nos.:
Report Nos.:
05000327/2014007, 05000328/2014007
Licensee:
Tennessee Valley Authority (TVA)
Facility:
Sequoyah Nuclear Plant, Units 1 and 2
Location:
Soddy-Daisy, TN 37379
Dates:
January 27-31, 2014
February 10-14, 2014, and March 3-5, 2014
Inspectors:
J. Dymek, Reactor Inspector
D. Jones, Senior Reactor Inspector
D. Terry-Ward, Construction Inspector
M. Thomas, Senior Reactor Inspector (Lead Inspector)
Approved by:
Scott M. Shaeffer, Chief
Engineering Branch 2
Division of Reactor Safety
SUMMARY
IR 05000327/2014007, 05000328/2014007; 01/27/2014 - 03/05/2014; Sequoyah Nuclear Plant,
Units 1 and 2; Fire Protection
The report covered an announced two-week triennial fire protection inspection by a team of four regional inspectors. Five Green non-cited violations were identified. The significance of inspection findings is indicated by their color (i.e., greater than Green, or Green, White, Yellow,
Red) and determined using Inspection Manual Chapter (IMC) 0609, Significance Determination Process, dated June 2, 2011. Cross-cutting aspects are determined using IMC 0310, Aspects Within the Cross-Cutting Areas, dated December 19, 2013. All violations of NRC requirements are dispositioned in accordance with the NRCs Enforcement Policy dated July 9, 2013. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process Rev. 4, dated December 2006.
Cornerstone: Mitigating Systems
- Green.
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, was identified for the licensees failure to ensure that fire dampers were functional, as required by the approved fire protection program (FPP), in the Auxiliary Control Room (fire area FAA-066), Vital Battery Board Room II (fire area FAA-068), and Vital Battery Board Room III (fire area FAA-087) fire area boundaries. The licensee entered this issue into the corrective action program as Problem Evaluation Reports 845913 and 848580, and implemented hourly roving fire watches in the affected fire areas.
The licensees failure to ensure the fire dampers were functional as required by the FPP was determined to be a performance deficiency. This performance deficiency was more than minor because it affected the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it affected the fire protection defense in depth strategies involving the control of fires that do occur and to protect systems important to safety. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding involved the ability to confine a fire. The finding category of Fire Confinement was assigned, based upon that element of the FPP being impacted. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.4.3, Question C, based upon observation that a fully functional automatic sprinkler system was on either side of each affected fire barrier partition. No cross cutting was assigned to this finding because the cause of the finding was not indicative of current licensee performance.
The dampers were purchased and installed in 1997. (Section 1R05.02)
- Green.
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensees failure to properly install an automatic pre-action fire sprinkler system in Auxiliary Control Instrument Room 2A (fire area FAA-090) in accordance with the approved FPP and applicable National Fire Protection Association (NFPA) Standard
No. 13, Automatic Sprinkler Systems. The licensee entered this issue in the corrective action program as Problem Evaluation Report 847948.
The licensees failure to install the sprinkler heads in accordance with the applicable NFPA Code of Record specified in the approved FPP for Sequoyah is a performance deficiency. This performance deficiency is more than minor because it is associated with the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. The potential delayed actuation of the sprinkler system could affect the fire protection defense in depth strategy involving suppression of fires. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding involved fixed fire suppression systems.
Using IMC 0609, Appendix F, Attachment 2, Degradation Rating Guidance Specific to Various Fire Protection Program Elements, a low degradation rating was assigned, based on the fact that four sprinkler heads were installed in a room of 110 ft² and at least one head would be installed within 10 feet of combustibles of concern. Due to their spacing the sprinklers would be within the fire plume zone of influence for the combustibles of concern and the expected heat release rate (HRR) of postulated fires.
Except as noted, the system was considered to be nominally code compliant, and therefore, met the low degradation criteria for water based suppression systems. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green), at Task 1.4.2, Question A. The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed extent of conditions commensurate with their safety significance. (Section 1R05.03)
- Green.
An NRC-identified Green non-cited violation (with two examples) of 10 CFR Part 50, Appendix B, Criterion III, Design Control, was identified for the licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified as required by site procedures. The licensee entered this issue in the corrective action program as Problem Evaluation Reports 845951,846017, 848756, and 849220.
The licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified in accordance with design control procedures was a performance deficiency. The performance deficiency was more than minor because if left uncorrected it could lead to installation of breakers that may not meet the critical characteristics needed to perform their safety function. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Appendix A,
The Significance Determination Process for Findings At-Power. Using IMC 0609,
Appendix AProperty "Inspection Manual Chapter" (as page type) with input value "NRC Inspection Manual 0609,</br></br>Appendix A" contains invalid characters or is incomplete and therefore can cause unexpected results during a query or annotation process., Exhibit 2, Mitigating Systems Screening Questions, the finding was determined to have very low safety significance (Green) because it did not represent an actual loss of safety function. No cross-cutting aspect was identified, since the issue was determined to not reflect current licensee performance. (Section 1R05.06)
- Green.
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensee's failure to maintain necessary materials and procedures for cold shutdown repairs, as required by the approved fire protection program. The licensee entered this issue into the corrective action program as Problem Evaluation Reports 845931, 847420, 847428, 847449, and 847462.
The licensees failure to provide adequate guidance for all repairs listed in the Appendix R casualty procedure and failure to maintain the required repair parts for the same procedure was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Inadequate procedural guidance and the lack of required materials could adversely affect the licensees capability to achieve and maintain cold shutdown conditions. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding affected fire protection defense-in-depth strategies involving post-fire safe shutdown. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.3.1, because it was determined that the reactor was able to reach and maintain a hot safe shutdown condition. The cause of this finding was determined to have a cross-cutting aspect of Teamwork (H4) in the Human Performance cross-cutting area because the licensee failed to assure that individuals and work groups communicated and coordinated their activities within and across organizational boundaries to ensure nuclear safety was maintained. Specifically, the coordination between operations department procedure writers, maintenance department procedure writers, and fire operations department personnel was inadequate to ensure the adequacy of cold shutdown repair procedures and the availability of required materials.
(Section 1R05.09)
- Green.
An NRC-identified Green non-cited violation of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, was identified for the licensee's failure to perform the required reviews when adding fire watches to the fire protection program. The licensee entered the issue into their corrective action program as Problem Evaluation Report 845593.
The licensees failure to perform the required evaluation and review prior to revising the fire hazards analysis was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Specifically, the sole use of fire watches as a mitigation measure for the unavailability of the credited pressurizer power operated relief valve would adversely affect the capability to achieve and maintain safe shutdown during a fire event. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, Attachment 4, Initial Characterization of Findings, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, review was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD. Using IMC 0609, Appendix F,
Attachment 1, Fire Protection Significance Determination Process Worksheet, the issue screened as having very low safety significance (Green) at Task 1.5.3 because the change in core damage frequency (delta CDF) was less than 1E-6 (i.e., delta CDF calculated to be 6.6E-7). The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the fire hazards analysis. (Section 1R05.11)
REPORT DETAILS
REACTOR SAFETY
Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity
1R05 Fire Protection
This report documents the results of a triennial fire protection inspection (TFPI) at the Sequoyah Nuclear Plant (SQN) Units 1 and 2. The inspection was conducted in accordance with NRC Inspection Procedure (IP) 71111.05T, Fire Protection (Triennial),issued January 31, 2013. The objective of the inspection was to review a minimum sample of 3 risk-significant fire areas (FAs) to verify implementation of the SQN fire protection program (FPP). An additional objective was to review site specific implementation of a minimum of one mitigating strategy from Section B.5.b of NRC Order EA-02-026, Order for Interim Safeguards and Security Compensatory Measures (commonly referred to as B.5.b), as well as the storage, maintenance, and testing of B.5.b mitigating equipment. The FAs chosen for review were selected based on available risk information as analyzed onsite by a senior reactor analyst from Region II, data obtained in plant walk downs regarding potential ignition sources, location and characteristics of combustibles, and location of equipment needed to achieve and maintain safe shutdown (SSD) of the reactor. Other considerations for selecting the FAs were the relative complexity of the post-fire SSD procedure, information contained in FPP documents, and results of prior NRC TFPIs. In selecting the B.5.b mitigating strategy sample, the inspectors reviewed licensee submittal letters, safety evaluation reports, licensee commitments, B.5.b implementing procedures, and previous NRC inspection reports. Section 71111.05-05 of the IP specifies a minimum sample size of three FAs and one B.5.b mitigating strategy for addressing large fires and explosions.
This inspection fulfilled the requirements of the IP by selecting four FAs and one B.5.b mitigating strategy. The FAs chosen were:
- Fire Area FAC-017/Room C12, Unit 1 Main Control Room
- Fire Area FAA-067/Rooms A02 and A09, Unit 1 6.9kV Shutdown Board Room A and Personnel and Equipment Access Room
- Fire Area FAA-069/Room A04, Unit 1 125V DC Vital Battery Board Room I
- Fire Area FAA-073/Room A08, Unit 1 480V Shutdown Board Room 1A2-A
For each FA selected, the inspectors evaluated the licensees FPP against the applicable NRC requirements and licensee design and licensing basis documents. The B.5.b mitigating strategy selected was to manually depressurize the steam generators and use the portable pump. Specific licensing and design basis documents reviewed by the inspectors are listed in the Attachment.
.01 Protection of Safe Shutdown Capabilities
a. Inspection Scope
For the selected FAs, the inspectors performed physical walkdowns to observe:
- (1) the material condition of fire protection systems and equipment;
- (2) the storage of permanent and transient combustibles;
- (3) the proximity of fire hazards to cables relied upon for SSD;
- (4) the potential environmental impacts, if any, on credited operator manual actions (OMAs) to the areas adjacent to the FA, and
- (5) the licensees implementation of procedures and processes for limiting fire hazards, housekeeping practices, and compensatory measures for inoperable or degraded fire protection systems and credited fire barriers.
Methodology For the selected FAs, the inspectors evaluated the potential for the effect from the fire event on credited actions specified by licensee procedures. The inspectors reviewed calculation SQS40127, Equipment Required for Safe Shutdown per 10CFR50 Appendix R, Rev. 51 and conduit and cable tray routing information by FA, as well as, conducted field walkdowns of the cable routing to confirm that at least one train of redundant cables routed in the FA was adequately protected from fire damage or the licensees analysis determined that the fire damage would not prohibit safe plant shutdown. The inspectors reviewed the SQN fire hazards analysis (FHA) for the selected FAs and compared it to the abnormal operating procedures (AOPs) to verify that cables and equipment credited to provide reactivity control, reactor coolant makeup, reactor heat removal, process monitoring and support functions for post-fire SSD in the safe shutdown analysis (SSA)and applicable procedures were adequately protected from fire damage in accordance with the requirements of the sites fire protection report.
Operational Implementation The inspectors reviewed the SQN Fire Protection Report (FPR) and the SSA, and applicable references to other AOPs to verify that the shutdown methodology properly identified the systems and components necessary to achieve and maintain post-fire SSD. The inspectors performed walkdowns of the procedural actions based upon the FAs selected to assess the implementation of the SSD strategy and human factors attributes associated with them. The inspectors reviewed licensee records, which specified the shift staffing from randomly selected dates, to ensure the proper staffing levels existed to implement actions specified by licensee procedures. The inspectors reviewed licensee-training material to ensure licensed and non-licensed operators were being trained based upon the current plant configuration.
b. Findings
No findings were identified.
.02 Passive Fire Protection
a. Inspection Scope
The inspectors walked down the selected FAs to evaluate the adequacy of the fire resistance of barrier enclosure reinforced concrete and block walls, ceilings, floors, and electrical raceway fire barrier systems. This evaluation also included fire barrier penetration seals, fire doors, fire dampers, and the Thermo-Lag electrical raceway fire barrier systems (ERFBS) to ensure that at least one train of SSD equipment would be maintained free of fire damage. Construction detail drawings were reviewed as necessary. Where applicable, the inspectors observed the installed barrier assemblies and compared the as-built configurations to the approved construction details, supporting fire endurance test data, licensing basis commitments, and standard industry practices.
b. Findings
Introduction:
The inspectors identified a Green non-cited violation (NCV) of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, for failure to ensure that fire dampers were functional (as required by the approved FPP) in the Auxiliary Control Room (fire area FAA-066), Vital Battery Board Room II (fire area FAA-068), and Vital Battery Board Room III (fire area FAA-087) fire area boundaries.
Description:
During an inspection of the selected fire areas the inspectors noted that several fire dampers in adjoining fire areas to the 6.9Kv Shutdown Board Room A (FAA-067) were installed with their fusible links oriented downward, approximately 18-inches from the floor. This configuration would not allow the fire dampers to close due to an abnormal rise in temperature within the room of fire origin. They were installed in the Auxiliary Control Room, (FAA-066), Vital Battery Board Room II, (FAA-068) and Vital Battery Board Room III, (FAA-087). The below listed fire dampers were noted to have been installed with fusible links oriented downward.
- 1XFD-313-914, FAA-066 Aux. Control Rm. to FAA-067 6.9Kv Shutdown Bd. Rm. A
- 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA-081 6.9Kv Shutdown Bd. Rm. B
- 1XFD-313-918, FAA-066 Aux. Control Rm. to FAA-088 Aux. Control Inst. Rm. 1A
- 2XFD-313-918, FAA-066 Aux. Control Rm. to FAA-090 Aux. Control Inst. Rm. 2A
- 1XFD-313-919, FAA-066 Aux. Control Rm. to FAA-089 Aux. Control Inst. Rm. 1B
- 2XFD-313-914, FAA-066 Aux. Control Rm. to FAA-091 Aux. Control Inst. Rm. 2B
- 1XFD-313-908, FAA-068 Vital Batt Bd Rm II to FAA-067 6.9Kv Shutdown Bd. Rm. A
- 2XFD-313-908, FAA-087 Vital Batt Bd Rm III to FAA-081 6.9Kv Shutdown Bd. Rm. B
Because the dampers were installed with their fusible links oriented downward and only 18-inches from the floor, the hot gases from a fire that would be necessary to melt the fusible link would never reach the fusible link before venting at the top of the damper into the adjacent fire area. Air from the adjacent fire area would be drawn across the bottom of the damper and into the fire room of origin, thus cooling the link itself and preventing it from ever reaching a temperature high enough (165°F) to melt the link and release the damper into a shut position. Failure of these dampers to operate would allow smoke and heat to migrate beyond the fire room of origin and affect multiple adjacent fire zones.
The inspectors modeled postulated fires of various sizes for the Auxiliary Control Room using computer programs. The fire modeling provided further confirmation that outside air required for combustion would be drawn across the bottom of the damper and hot fire gases would exit across the top of the damper in a mass balance fire mechanism. The inspectors also compared the installation and orientation characteristics of the fire dampers against the installation requirements and characteristics of similar heat actuated devices such as heat detectors, fusible link sprinkler heads and fusible link actuated fire doors. All of these devices were installed to be in the fires hot gas layer in order to sense the fire and actuate as required. Based upon this information the inspectors concluded that the dampers fusible link would not have melted as required and thus the dampers were not functional. Part II of the FPR (Fire Protection Plan, Section 14.6, Operating Requirements - Fire Barrier Penetrations, Feature Operating Requirement (FOR) 3.7.12) states that All fire barrier penetrations (including cable penetration barriers, fire doors and fire dampers) in fire zone boundaries protecting safety related areas shall be functional. The licensee entered this issue in the corrective action program (CAP) as Problem Evaluation Reports (PERs) 845913 and 848580, and implemented hourly roving fire watches in the affected FAs.
Analysis:
The licensees failure to ensure the fire dampers were functional as required by the FPR was determined to be a performance deficiency. This performance deficiency was more than minor because it affected the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it affected the fire protection defense in depth strategies involving the control of fires that do occur and to protect systems important to safety. Failure of these dampers to operate could allow smoke and heat to migrate beyond the Auxiliary Control Room or Vital Battery Board Rooms II & III and affect multiple adjacent fire zones. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that, an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review was required as the finding involved the ability to confine a fire. The finding category of Fire Confinement was assigned, based upon that element of the fire protection program being impacted. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green), based upon observation that a fully functional automatic sprinkler system was on either side of each affected fire barrier partition (Task 1.4.3, Question C). No cross cutting was assigned to this finding because the cause of the finding was not indicative of current licensee performance.
The dampers were purchased and installed in 1997.
Enforcement:
Sequoyah Operating License Condition 2.C(16) and 2.C(13) for Units 1 and 2 respectively, state in part that the licensee shall implement and maintain in effect all provisions of the approved fire protection program referenced in the SQN Updated Final Safety Analysis Report (UFSAR) as approved in NRC Safety Evaluation Reports (SERs) contained in NUREG-0011, Supplements 1,2 and 5 NUREG-1232 Volume 2:
NRC letters dated May 29 and October 6, 1986, and the Safety Evaluation (SE) issued on August 12, 1997. UFSAR Section 9.5.1.1 states in part that fire protection systems and fire protection features are described in the SQN FPR and the FPR should be referred to for a detailed description of the FPP. The FPR Part II, Section 14.6, Operating Requirements-Fire Barrier Penetrations Feature Operating Requirements (FOR) 3.7.12 states; All fire barrier penetrations (including cable penetration barriers, fire doors and fire dampers) in fire zone boundaries protecting safety related areas shall be functional.
Contrary to the above, since 1997, the licensee did not implement all provisions of the approved fire protection program, in that, due to their orientation, dampers installed in the Auxiliary Control Room (FAA-066), Vital Battery Board Room II (FAA-068), and Vital Battery Board Room III (FAA-087) were not functional. Because the finding was of very low safety significance (Green) and was entered into the licensees corrective action program (CAP) as problem evaluation reports (PERs) 845913 and 848580, this finding is being treated as a NCV consistent with Section 2.3.2 of the NRC Enforcement policy.
This finding is identified as NCV 05000327, 328/2014007-01, Improper Orientation of Fire Dampers in Auxiliary Building.
.03 Active Fire Protection
a. Inspection Scope
The inspectors reviewed the redundancy of fire protection water sources and fire pumps to confirm that they were installed in accordance with the National Fire Protection Association (NFPA) codes of record to satisfy the applicable separation, design requirements, and licensing basis requirements of the SQN FPP. Current fire protection system health reports were reviewed and discussed with personnel knowledgeable in the operation and maintenance of these systems. The inspectors performed in-plant observations of the material condition and operational lineup for the operation of the fire water pumps and fire protection water supply distribution piping which included manual fire hose and standpipe systems for the selected FAs. Using operating and valve cycle/alignment procedures as well as engineering drawings, the inspectors examined the fire pumps and accessible portions of the fire main piping system to verify the operational status and the alignment of system valves; and to verify the consistency of as-built configurations with engineering drawings. The inspectors also examined portions of the licensees SSA and select electrical circuit routing drawings outlining the fire water pumps power and pressure start capability to verify that the fire water system would be available to support fire brigade response activities during power block fire events.
The inspectors compared the fire detection and fire suppression systems for the selected FAs to the applicable NFPA Standard(s) by reviewing design documents and observing their as-installed configurations during in-plant walkdowns. The inspectors reviewed selected fire protection vendor equipment specifications, drawings, and engineering calculations to determine whether the fire detection and suppression methods were appropriate for the types of fire hazards that existed in the selected FAs.
During plant walkdowns, the inspectors observed the placement of the fire hose stations, fire extinguishers, fire hose nozzle types, and fire hose lengths, as designated in the firefighting pre-plan strategies, to verify that they were accessible and that adequate reach and coverage was provided. The inspectors reviewed completed periodic surveillance testing and maintenance program procedures for the fire detection and suppression systems and compared them to the operability, testing, and compensatory measures. This review was to assess whether the test program was sufficient to validate proper operation of the fire detection and suppression systems in accordance with their design requirements.
Aspects of fire brigade readiness were reviewed, including but not limited to, the fire brigades personal protective equipment, self-contained breathing apparatuses, portable communications equipment, and other fire brigade equipment to determine accessibility, material condition, and operational readiness of equipment. During plant walkdowns, the inspectors compared firefighting pre-plan strategies to existing plant layout and equipment configurations and to fire response AOIs for the selected FAs. This was done to verify that firefighting pre-fire plan strategies and drawings were consistent with the fire protection features and potential fire conditions within the area. The inspectors also verify that appropriate information was provided to fire brigade members to facilitate suppression of an exposure fire that could impact the SSD strategy. An operating shift of the fire brigade was randomly selected to confirm that all members were currently qualified with regard to their medical and fire brigade training records. Current mutual aid agreements with local outside fire departments were also reviewed.
b. Findings
Introduction:
The inspectors identified a Green NCV of Operating License Conditions 2.C
- (16) and 2.C (13), for Units 1 and 2 respectively, for failure to properly install an automatic pre-action fire sprinkler system in Auxiliary Control Instrument Room 2A (FAA-090) in accordance with the approved FPP and applicable National Fire Protection Association (NFPA) Standard No. 13, Automatic Sprinkler Systems.
Discussion: During an inspection of the selected FAs, the inspectors noted that the automatic suppression system (Pre-action sprinkler system) in auxiliary building elevation 734.0, Auxiliary Control Instrument Room 2A, (FAA-090) was not installed in accordance with NFPA 13. The sprinklers were located greater than the maximum allowed 12-inch vertical distance from the ceiling, thus delaying their expected response time after fire ignition. The Code of record, NFPA 13, 1975 edition, Section 4-3.1 required that ceiling level sprinklers be installed within 12-inches of smooth ceiling construction. The sprinkler heads in FAA-090 were installed approximately 60-inches below the ceiling which was outside their laboratory tested configuration and NFPA 13 installation requirements. This would lead to a slower sprinkler response time after fire ignition for heads installed under the projected ceiling jet and outside the fire plume. The inspectors noted that previous licensee corrective actions to relocate sprinkler heads to address sprinkler non-conformance in the auxiliary building were performed as part of Design Change Notice (DCN) 22408. PER 147467 required reviews of sprinkler drawings and in-plant walkdowns to confirm if similar conditions existed in any other safety-related areas. The sprinkler non-conformance in Auxiliary Control Instrument Room 2A was not identified during the previous licensee reviews. The licensee most recently addressed this issue in October 2013.
Analysis:
The licensees failure to install the sprinkler heads in accordance with the applicable NFPA Code of Record specified in the approved FPP is a performance deficiency. This performance deficiency is more than minor because it is associated with the reactor safety mitigating systems cornerstone attribute of protection against external factors (i.e., fire) and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events to prevent undesirable consequences. The potential delayed actuation of the sprinkler system could affect the fire protection defense in depth strategy involving suppression of fires. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review was required as the finding involved fixed fire suppression systems. The nature of the degradation of the water based suppression system was related to the response time of the sprinkler system. The installed configuration of these heads would result in a delay in their expected response time after fire ignition. Using IMC 0609, Appendix F, 2, Degradation Rating Guidance Specific to Various Fire Protection Program Elements, dated February 28, 2005, a low degradation rating was assigned.
This was based upon the fact that four sprinkler heads were installed in a room of 110 ft² and at least one head would be installed within 10 feet of combustibles of concern. Due to their spacing the sprinklers would be within the fire plume zone of influence for the combustibles of concern and the expected heat release rate (HRR) of postulated fires.
Except as noted, the system was considered to be nominally code compliant, and therefore, met the low degradation criteria for water based suppression systems. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green), at Task 1.4.2, Question A. The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2)in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed extent of conditions commensurate with their safety significance.
Enforcement:
Sequoyah Operating License Conditions 2.C
- (16) and 2.C
- (13) for Units 1 and 2 respectively, state in part that the licensee shall implement and maintain in effect all provisions of the approved FPP referenced in the SQN UFSAR as approved in NRC SERs contained in NUREG-0011, Supplements 1, 2, and 5, NUREG-1232, Vol. 2, NRC letters dated May 29 and October 6, 1986, and the SE issued August 12, 1997. SQN UFSAR Section 9.5.1.1, states that fire protection systems and fire protection features are described in the SQN FPR and the FPR should be referred to for a detailed description of the FPP. Part IV, Section 3.3 of the FPR states that NFPA 13-1975, Automatic Sprinkler Systems, was the code used to evaluate the adequacy of sprinkler systems. NFPA 13, Section 4-3.1 requires that ceiling level sprinklers be installed within 12-inches of smooth ceiling construction.
Contrary to the above, the licensee failed to implement all provisions of the approved fire protection program in that, sprinklers in the Auxiliary Control Instrument Room 2A, (FAA-090) were not installed in accordance with NFPA 13-1975, Automatic Sprinkler Systems, and the ceiling level sprinklers were not installed within 12-inches of smooth ceiling construction. This condition has existed since original plant licensing. Because the finding was of very low safety significance (Green) and was entered into the licensees CAP as PER 847948, this finding is being treated as a NCV consistent with Section 2.3.2 of the NRC Enforcement policy. This finding is identified as NCV 05000327, 328/2014007-02, Auxiliary Control Instrument Room 2A Sprinklers Not in Compliance with NFPA 13-1975.
.04 Protection from Damage from Fire Suppression Activities
a. Inspection Scope
The inspectors evaluated whether water-based manual firefighting activities could adversely affect equipment credited for SSD, inhibit access to alternate shutdown equipment, or adversely affect local OMAs required for SSD in the selected FAs. The inspectors reviewed available documentation related to flooding analysis for the rupture and inadvertent operation of fire suppression systems, fire protection activities, and potential flooding through unsealed concrete floor cracks for this assessment. The inspectors also performed independent calculations of inter-area migration of water under fire doors to validate feasibility of selected OMAs in adjacent plant areas.
Firefighting pre-plan strategies; fire brigade training procedures; fire damper locations; heating, ventilation and air conditioning drawings; and fire response procedures were reviewed to verify that inter-area migration of heat and smoke via the ventilation system was addressed such that OMAs would not be inhibited by smoke migration from one area to adjacent plant areas used to accomplish SSD.
b. Findings
No findings were identified.
.05 Alternative Shutdown Capability
a. Inspection Scope
Methodology The licensee credited an alternative shutdown capability for a postulated fire in fire area FAC-017, Main Control Room (MCR). The inspectors reviewed UFSAR Section 9.5.1, the SQN FPR, and corresponding AOPs to ensure that appropriate controls provided reasonable assurance that alternative shutdown equipment remained operable, available, and accessible when required. In cases where local OMAs were credited in lieu of cable protection of SSD components, the inspectors performed a walk-through of the procedures to determine if the operators could reasonably be expected to perform the alternative safe shutdown procedure actions and that equipment labeling was consistent with the alternate safe shutdown procedures. The inspectors reviewed applicable process and instrumentation diagrams to gain an understanding of credited equipments flow path and function. The inspectors reviewed applicable licensee calculations to ensure the alternative shutdown methodology properly identified systems and components to achieve and maintain SSD for the FAs selected for review.
Additionally, the team reviewed electrical schematics and one line diagrams to ensure that the transfer of SSD control functions to the alternate shutdown facility included sufficient instrumentation to safely shutdown the reactor. This review also included verification that shutdown from outside the MCR could be performed both with and without the availability of offsite power.
Operational Implementation The inspectors reviewed procedure AOP-N.01, Plant Fire, to verify the adequacy of this procedure to mitigate a fire in fire area FAC-017. The inspectors reviewed selected training materials for licensed and non-licensed operators to verify that training reinforced the shutdown methodology that is utilized in the FPP and AOPs for fires. The inspectors also reviewed shift manning and training records to verify that personnel required for SSD using alternative shutdown systems and procedures were trained and available onsite, exclusive of those assigned as fire brigade members. The inspectors performed a walk-through of procedure steps with operations personnel to assess the implementation and human factors adequacy of the procedures and shutdown strategy to evaluate the ambient conditions, difficulty, and operator familiarization associated with each OMA. The inspectors reviewed the systems and components credited for use during this shutdown method to verify that they would remain free from fire damage.
The inspectors reviewed selected operator actions to verify that the operators could reasonably be expected to perform the specific actions within the time required to maintain plant parameters within specified limits.
b. Findings
No findings were identified.
.06 Circuit Analysis
a. Inspection Scope
The inspectors reviewed SQN FPR, system flow diagrams, and the SQN post-fire SSA to verify that the licensee had identified required and associated circuits that may impact post-fire SSD for the selected FAs. On a sample basis, the inspectors verified that the cables of equipment specified in the SSA essential equipment list required for achieving and maintaining shutdown conditions, in the event of a fire in the selected FAs, had been properly identified. In addition, the inspectors reviewed cable routing information for credited equipment/components to verify that the cables had either been adequately protected from the potentially adverse effects of fire damage or analyzed to show that fire induced faults (e.g. hot shorts, open circuits, and shorts to ground) would not prevent post-fire SSD. The inspectors reviewed the licensees electrical coordination study to determine if power supplies were susceptible to fire damage, which would potentially affect the credited components for the FAs chosen for review. The inspectors reviewed FHA calculation SQN-26-D054/EPM-ABB-IMPFHA, Appendix A for fire areas FAC-017, FAA-067, FAA-069 and FAA-073. The inspectors selected the 125V DC Vital Battery Board I for inspection, which was a credited power system component for FAs FAA-067 and FAA-073. The inspectors reviewed applicable drawings, circuit breaker selective coordination, overload protection, cable protection, and interrupting capacity of devices to determine if there was reasonable assurance that the circuit breakers would operate and protect the cables as intended for the 125V DC Vital Battery Board I. The specific components reviewed are listed in the Attachment.
b. Findings
Introduction:
The inspectors identified a Green NCV (with two examples) of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified as required by site procedures.
Description:
The inspectors reviewed safety-related calculation SQN-CPS-051, Circuit Protective Device Evaluation, Rev. 51 for the cable fault current withstand evaluation of Westinghouse (W) type HFB 50 Amp (DC molded case) circuit breakers 203 and 206, which are located in the 125V DC Vital Battery Board I. The inspectors noted that cables 1B16I and 1B19I, for circuit breakers 203 and 206, respectively, were documented on the cable fault current withstand evaluation as #2 AWG cables, however, the #2 AWG cable was not plotted on the coordination and cable damage curve with the W type HFB 50 Amp circuit breaker to demonstrate that the cable was evaluated. The inspectors discussed this deficiency with the licensee and PER 846017 was initiated to address the issue. Further review of calculation SQN-CPS-051 and discussion with the licensee revealed that circuit breakers 203 and 206 as identified in the calculation were not the W type HFB 50 Amp circuit breakers. The licensee informed the inspectors that the W circuit breakers were replaced with the Cutler-Hammer type HFD 50 Amp (DC molded case) circuit breakers under Procurement Engineering Group (PEG) Package CMD948E, approved December 2006, because the W breakers were obsolete. A review of PEG Package CMD948E identified a total of 10 work orders that replaced 10 circuit breakers during the SQN Unit 2 Cycle 14 refueling outage, of which two work orders were specific for replacement of the 600V AC/250V DC molded case circuit breakers 203 and 206, which were used in DC circuit applications in the 125V DC Vital Battery Board I.
The inspectors noted that the licensee failed to revise calculation SQN-CPS-051 to reflect the replacement circuit breakers and the associated time current curve technical details as specified in PEG Package RFQ123122CO and required by procedures NEDP-2, Design Calculation Process Control, Rev. 17 and NEDP-8, Technical Evaluation for Procurement of Materials and Services, Rev. 8. The licensee informed the inspectors that PEG Package CMD948E was initiated as a result of W Technical Bulletin (TB)-04-13, dated 06/28/2004, and additional PEG packages were initiated at SQN to replace various obsolete W type circuit breakers. The inspectors requested the licensee to provide a list of PEG package evaluations that had been prepared, approved and issued specifically for W TB-04-13. The licensee response identified 24 PEG packages for breaker substitution approval without associated calculation updates and initiated PERs 845951 and 848756.
The inspectors reviewed procedure NEDP-8 in parallel with PEG Package CMD948E and noted that the PEG Package evaluation did not contain adequate documented evidence to support the DC critical characteristics (interrupting capacity) for circuit breakers used in a DC application, as required by NEDP-8 and as defined in Calculation SQN-CPS-051, Section 1.0. The licensee included this deficiency in previously mentioned PER 845951. The licenses further evaluation of PER 848756 identified four of the 24 PEG packages did not specify the DC critical characteristic (interrupting capacity) and initiated PER 849220.
The inspectors compared the 50 Amp Westinghouse HFB series circuit breaker time-current curve with the replacement 50 Amp Cutler-Hammer HFD series circuit breaker time-current curve; and, reviewed the Cutler-Hammer manufacturers specification sheet which provided details on the DC critical characteristic attribute (UL 489 interrupting capacity ratings) for the replacement Cutler-Hammer HFD series DC circuit breakers.
Based on these reviews, the inspectors concluded there was reasonable assurance that circuit breakers 203 and 206 would perform their intended safety function in the 125V DC circuit application.
Analysis:
The licensees failure to assure that design documents were controlled and appropriate quality standards for design were specified in accordance with design control procedures was a performance deficiency. The performance deficiency was more than minor because if left uncorrected it could lead to installation of breakers that may not meet the critical characteristics needed to perform their safety function. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Appendix A, The Significance Determination Process for Findings At-Power, dated June 19, 2012. Using IMC 0609, Appendix A, Exhibit 2, Mitigating Systems Screening Questions, the finding was determined to be of very low safety significance (Green) because it did not represent an actual loss of safety function. No cross-cutting aspect was identified, since the issue was determined to not reflect current licensee performance.
Enforcement:
10 CFR Part 50, Appendix B, Criterion III, Design Control, required, in part, that design control measures shall include provisions to assure that appropriate quality standards are specified and included in design documents, measures shall also be established for the selection and review for suitability of application of materials, parts, equipment, and processes that are essential to the safety-related functions of the structures, systems and components. SQN Procedure NEDP-2, Design Calculation Process Control, Rev. 17, Section 3.1 General Requirements, states, in part, that calculation and calculation revisions shall be issued before or concurrent with issuance of documents, input or output, which they support. Procedure NEDP-8, Technical Evaluation for Procurement of Materials and Services, Rev. 23, Section 5.0, states, in part, that the critical characteristics for design are those properties or attributes which are essential for the items form, fit, and functional performance. These are identifiable and/or measurable attributes of a replacement item which will provide assurance that the replacement item will perform its design function.
Contrary to the above, on March 5, 2014, the inspectors identified two examples where the licensees design control measures failed to assure that appropriate quality standards for design were specified and technical details were translated to controlled design documents. The licensee failed to translate from PEG Package CMD948E to applicable safety-related calculations, the manufacturers time current curve analysis along with other technical details, for 600V AC/250V DC replacement circuit breakers; and failed to evaluate the DC interrupting capacity ratings (critical characteristics) for qualification of the replacement Cutler-Hammer 600V AC/250V DC molded case circuit breakers to safety-related applications within the stations 125V DC system. Because the finding was of very low safety significance (Green) and was entered into the licensees CAP as PERs 845951, 846017, 848756, and 849220, this violation is being treated as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. This violation is identified as NCV 05000327, 328/2014007-03, Design Control Requirements not met During Safety-Related Circuit Breaker Replacements.
.07 Communications
a. Inspection Scope
The inspectors reviewed the communications capabilities required to support plant personnel in the performance of OMAs to achieve and maintain SSD, as credited in the SQN FPR. The inspectors performed plant walkdowns with the licensees operations staff to assess the credited method of communications used to complete SSD actions as specified in post-fire SSD procedures for the selected FAs. The inspectors also verified that portable radio communications and fixed emergency communication systems were available, operable, and adequate for the performance of designated activities to support fire event notification and fire brigade firefighting activities. The inspectors reviewed a completed surveillance procedure, 0-PI-OPS-000-708.0, 10CFR50 Appendix R Compliance Verification, Appendix F, Verification of Radio Communications, dated January 23, 2014, to verify that the communication equipment was being properly maintained and tested.
b. Findings
No findings were identified.
.08 Emergency Lighting
a. Inspection Scope
The inspectors reviewed maintenance and design aspects of the fixed 8-hour battery pack emergency lighting units (ELUs) required by SQNs approved FPP. The inspectors performed plant walkdowns of the post-fire SSD procedures for the selected FAs to observe the placement and coverage area of the ELUs required to illuminate operator access and egress pathways, and any equipment requiring local operation and/or instrumentation monitoring for post-fire SSD. The inspectors reviewed completed procedure 0-PI-OPS-247-529.1, Emergency Lighting Illumination Test, dated January 2010, to verify that ELUs provided adequate lighting. The inspectors reviewed corrective action documents associated with deficiencies identified in procedure 0-PI-OPS-247-529.1 to verify that adequate compensatory measures had been established pending final resolution of identified deficiencies. The inspectors also reviewed 8-hour test result to verify that adverse trends were being identified and corrected.
b. Findings
No findings were identified.
.09 Cold Shutdown Repairs
a. Inspection Scope
The inspectors reviewed the SQN FPP and AOPs to verify that the licensee identified repairs needed to reach and maintain cold shutdown and had dedicated repair procedures, equipment, and materials to accomplish these repairs after a fire event, assuming no offsite power was available. The inspectors verified that the fire damage repair procedures were current and adequate. The inspectors reviewed the inventory inspection work order records and compared them to the equipment and tool lists to verify that all required replacement parts and equipment were being accounted for and were available for use.
b. Findings
Introduction:
The inspectors identified a Green NCV of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, for the licensee's failure to maintain necessary materials and procedures for cold shutdown repairs.
Description:
Procedure SMI-317-18, Appendix R - Casualty Procedures [C.1], Rev. 14, directed cold shutdown repair actions for fires in the auxiliary building, reactor building and annulus. Procedure 0-PI-FPU-317-538.0, Equipment Inventory, Rev. 7, listed and inventoried the required cold shutdown repair materials. The following deficiencies were identified by the team and entered into the licensees corrective action program.
- PER 847449, Deficiencies in Appendix R Repair Procedure documented the following deficiencies:
o Procedure SMI-317-18, Sections 6.17 - 6.26, provided guidance for repairing approximately 25 valves; however, the required repair parts were not listed in procedure 0-PI-FPU-317-538.0.
o Procedure SMI-317-18, Sections 6.11 and 6.13 directed the installation of a temporary three phase power supply for residual heat removal (RHR) pumps and RHR room coolers; however, the procedure did not provide guidance on where to terminate cables inside the breaker cubicles.
o Procedure SMI-317-18 had multiple sections that did not provide terminal block identification numbers for lifting and landing wires.
- PER 847428, Review Section 6.12 of SMI-0-317-18, documented the lack of adequate instructions for repairing eight flow control valves; however, the procedure did not provide any repair instructions.
- PERs 644619, 713847, and 823207 documented inadequate procedural guidance and a lack of materials for repairing letdown isolation valves. The issue was identified by the licensee on November 19, 2012, but had not been corrected at the time of the inspection.
- PERs 845931, 847420, 847462 documented additional cold shutdown repair procedure discrepancies that were identified during the inspection.
Analysis:
The licensees failure to provide adequate guidance for all repairs listed in procedure SMI-317-18, Appendix R - Casualty Procedures; and, failure to maintain the required repair parts for the same procedure was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences.
Specifically, inadequate procedural guidance and the lack of required materials adversely affected the licensees capability to achieve and maintain cold shutdown conditions. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review, was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD. Using IMC 0609, Appendix F, Attachment 1, Fire Protection Significance Determination Process Worksheet, dated September 20, 2013, the inspectors determined that the finding was of very low safety significance (Green) at Task 1.3.1, because it was determined that the reactor was able to reach and maintain a hot safe shutdown condition. The cause of this finding was determined to have a cross-cutting aspect of Teamwork (H4) in the Human Performance cross-cutting area because the licensee failed to assure that individuals and work groups communicated and coordinated their activities within and across organizational boundaries to ensure nuclear safety was maintained. Specifically, the coordination between operations department procedure writers, maintenance department procedure writers, and fire operations department personnel was inadequate to ensure the adequacy of cold shutdown repair procedures and the availability of required materials.
Enforcement:
Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, state in part, that TVA shall implement and maintain in effect all provisions of the approved FPP referenced in SQN UFSAR. UFSAR Section 9.5.1, Fire Protection System states that the fire protection system and fire protection features are described in the FPR. The FPR, Part IX - Appendix R Compliance Report, states in part, that materials required for cold shutdown repairs will be readily available onsite and procedures will be in effect to implement the repairs such that cold shutdown can be achieved within 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br />.
Contrary to the above, on March 5, 2014, the inspectors identified that the licensee failed to implement and maintain in effect all provisions of the approved FPP relative to the availability of cold shutdown repair materials and failed to provide adequate procedures to implement such repairs. Specifically, the licensee failed to provide adequate guidance for all repairs listed in procedure SMI--317-18, Appendix R - Casualty Procedures; and the licensee failed to maintain the repair parts that would be installed by the same procedure. Because this finding was of very low safety significance (Green), and was entered into the licensees CAP as PERs 845931, 847420, 847428, 847449, and 847462, this violation is being treated as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. This finding is identified as NCV 05000327, 328/2014007-04, Failure to Maintain Necessary Materials and Procedures for Cold Shutdown Repairs.
.10 Compensatory Measures
a. Inspection Scope
Compensatory Measures for Degraded Fire Protection Components
The inspectors reviewed the administrative controls for out-of-service, degraded and/or inoperable fire protection features (e.g. detection and suppression systems, and passive fire barriers) to verify that short-term compensatory measures were adequate for the degraded function or feature until appropriate corrective actions could be taken. The inspectors reviewed impairment and compensatory measures forms for fire watch tours to confirm they were being performed within the allowable time frames.
Manual Actions as Compensatory Measures for Safe Shutdown
The inspectors reviewed the FHA, calculation SQS40127, Equipment Required for Safe Shutdown per 10CFR50 Appendix R, Rev. 51, procedure EPM-10, AOP-N.08 Manual Action Reliability Study, Rev. 10 and procedure EPM-11, AOP-C.04 Manual Action Reliability Study, Rev. 5 to identify OMA credited for safe shutdown. In cases where local OMAs were credited in lieu of cable protection or separation of SSD equipment, the inspectors reviewed and performed walkdowns of those applicable OMAs to verify that the OMAs were feasible utilizing the guidance of NRC IP 71111.05T, paragraph 02.02.j.2.
b. Findings
No findings were identified.
.11 Review and Documentation of Fire Protection Program Changes
a. Inspection Scope
The inspectors reviewed a sample of FPP changes made between July 2011 and January 2014 to determine if the changes to the FPP were in accordance with the fire protection license conditions and had no adverse effect on the ability to achieve SSD.
The inspectors reviewed DCN D22547 Reactor Head Vents and Pressurizer PORV and Block Valves, System 068, Rev. A, to assess the licensees effectiveness review and to determine if the resulting changes to the FPP were in accordance with the fire protection license conditions.
b. Findings
Introduction:
The inspectors identified a Green non-cited violation (NCV) of Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13), for Units 1 and 2 respectively, for the licensee's failure to perform the required reviews when adding fire watches to the fire protection program.
Description:
In December 2009, the licensee initiated PER 211202, Procedure for Isolation of PORV May Conflict with Fire Safe Shutdown Analysis, when it was identified that the actions taken to mitigate a leaking pressurizer power operated relief valve (PORV) would result in the isolation of the credited PORV for four FAs. Isolation of the PORV occurs when operators close the associated block valve as required by Technical Specifications (TS) and as directed by procedure 0-SO-68-3, Pressurizer Pressure Control System. During a fire event, the credited PORV would remain isolated because the closed block valve could not be opened due to a lack of electrical power. Early in a fire event, the fire safe shutdown procedure de-energizes the electrical bus that provides motive power to the block valve. PER 211202 instituted an interim compensatory measure to establish an hourly or continuous fire watch whenever the applicable PORV was isolated. Procedure 0-SO-68-3 was revised to require fire watches whenever the applicable block valve was closed. Additionally, in March 2010, the licensee initiated PER 223631 Appendix R MSO #18 Review of Pressurizer Letdown Path to Assess the Appendix R SSD concerning the closure of the block valves which conflicted with the Appendix R fire safe shutdown analysis. In 2012, as a corrective action, the licensee revised the FHA to state that a fire watch was required if a leaking PORV was isolated during normal operation. The inspectors identified that the FHA was revised without performing the required evaluations or fire protection program reviews. The FHA was revised on November 4, 2011, during implementation of DCN D22547. The DCN did not discuss or evaluate the use of fire watches as part of an effective safe shutdown strategy.
The inspectors determined that the licensees sole reliance on fire watches for a SSD deficiency was inadequate, in part, because TS allowed operation with a closed block valve for an unlimited time period. This determination was informed by NRC Regulatory Issue Summary 2005-07, Compensatory Measures to Satisfy the Fire Protection Program Requirements, which states that licensees should consider or implement other appropriate interim compensatory measures, such as briefing operators on degraded post-fire, safe-shutdown-system conditions; temporary repair procedures; temporary fire barriers; or detection or suppression systems. The determination was also based on guidance from NRC Information Notice 97-48, Inadequate or Inappropriate Interim Fire Protection Compensatory Measures, which also discusses compensatory measures related to achieving and maintaining post-fire SSD. The inspectors noted that PERs 211202 and 223631 did not implement any corrective actions to provide reasonable assurance that control room operators could achieve safe shutdown during a fire event.
The performance deficiency adversely affected the capability to achieve safe shutdown in four FAs: FAA-054 (Unit 1 and 2), FAA-067 (Unit 1) and FAA-081 (Unit 2). The licensee entered the issue into their CAP as PER 845593. The inspectors determined that Units 1 and 2 were not in the operational alignment associated with the deficiency; therefore, no immediate actions were required.
Analysis:
The licensees failure to perform the required evaluation and review prior to revising the FHA was a performance deficiency. The performance deficiency was more than minor because it was associated with the procedure quality attribute of the Mitigating Systems Cornerstone and it adversely affected the cornerstone objective of ensuring the availability, reliability, and capability of systems that respond to initiating events (fire) to prevent undesirable consequences. Specifically, the sole of use fire watches as a mitigation measure for the unavailability of the credited PORV would adversely affect the capability to achieve and maintain SSD during a fire event. The finding was screened in accordance with NRC IMC 0609, Significance Determination Process, dated June 2, 2011; Attachment 4, Initial Characterization of Findings, dated June 19, 2012, which determined that an IMC 0609, Appendix F, Fire Protection Significance Determination Process, dated September 20, 2013, review, was required as the finding affected fire protection defense-in-depth strategies involving post-fire SSD.
Using IMC 0609, Appendix F, Attachment 1, the issue screened as having very low safety significance (Green) at Task 1.5.3 because the change in core damage frequency (CDF) was less than 1E-6 (i.e., delta CDF calculated to be 6.6E-7). The cause of this finding was determined to have a cross-cutting aspect of Evaluation (P.2) in the Problem Identification and Resolution cross-cutting area, because the licensee did not thoroughly evaluate the issue to ensure that resolutions addressed causes commensurate with their safety significance. Specifically, the establishment of effective corrective actions was adversely affected by the failure to perform an evaluation prior to revising the FHA.
Enforcement:
Sequoyah Operating License Conditions 2.C.(16) and 2.C.(13) for Units 1 and 2 respectively, state in part, that TVA shall implement and maintain in effect all provisions of the approved FPP as referenced in the SQN UFSAR. UFSAR Section 9.5.1, Fire Protection System states that the fire protection system and fire protection features are described in the FPR. The FPR, Part II, Section 8.1, states in part, that changes to the FPR receive a technical and impact review by qualified individuals.
Contrary to the above, on November 4, 2011, the licensee changed the FPR without qualified personnel performing a technical and impact review. Specifically, the licensee revised the FHA, which is part of the FPR, to include fire watches without performing the required evaluations. Because this finding was of very low safety significance (Green)and was entered into the licensees CAP as PER 845593, this violation is being treated as a NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy. The violation was entered into the licensees corrective action program as PER 845593. The finding is identified as NCV 05000327, 328/2014007-05, Failure to Perform the Required Reviews when Adding Fire Watches to the Fire Protection Program.
.12 Control of Transient Combustibles and Ignition Sources
a. Inspection Scope
The inspectors conducted tours of numerous plant areas that were important to reactor safety, including the selected FAs, to verify the licensees implementation of FPP requirements as described in the SQN FPP and administrative procedure NPG-SPP-18.4.7, Control of Transient Combustibles. For the selected FAs, the inspectors evaluated generic fire protection training; fire event history; the potential for fires or explosions; the combustible fire load characteristics; and the potential exposure fire severity to determine if adequate controls were in place to maintain general housekeeping consistent with the FPR, administrative procedures, and other FPP procedures. There were no hot work activities ongoing within the selected FAs during the inspection and observation of this activity could not be performed.
b. Findings
No findings were identified.
.13 B.5.b Inspection Activities
a. Inspection Scope
The inspectors reviewed, on a sample basis, the licensees mitigation measures to manually depressurize the steam generators and use the portable pump for large fires and explosions to verify that the measures were feasible, personnel were trained to implement the strategies, and equipment was properly staged and maintained. The inspectors reviewed the licensees established program, applicable SERs and submittals which supported the elements outlined by the license condition. The inspectors reviewed inventory, surveillance testing, and maintenance records of required equipment. Through discussions with plant staff, documentation review, and plant walkdowns, the inspectors verified the engineering basis to establish reasonable assurance that the makeup capacity could be provided using the specified equipment and water sources. The inspectors reviewed the licensees capability to provide a reliable and available water source and the ability to provide the minimum fuel supply.
The inspectors performed a walk-down of the storage and staging areas for the B.5.b equipment to verify that equipment identified for use in the current procedures was available and maintained. The inspectors reviewed training records of the licensees staff to verify that operations and security personnel training/familiarity with the strategy objectives and implementing guidelines were accomplished according to the established training procedures.
b. Findings
No findings were identified.
OTHER ACTIVITIES
4OA2 Problem Identification and Resolution
a. Inspection Scope
The inspectors reviewed a sample of licensee independent audits, self-assessments, and system/program health reports for thoroughness, completeness and conformance to FPP requirements. The inspectors also reviewed CAP documents, including completed corrective actions documented in selected PERs, to verify that fire protection deficiencies were adequately identified, evaluated, and that appropriate corrective actions were implemented. The inspectors reviewed operating experience program documents to ascertain whether industry identified fire protection issues affecting SQN were appropriately entered into the corrective action program for resolution. The documents reviewed are listed in the Attachment.
b. Findings
No findings were identified.
4OA6 Meetings, Including Exit
On March 5, 2014, the lead inspector presented the preliminary inspection results to Mr.
P. Simmons, SQN Plant Manager, and other members of the licensees staff, who acknowledged the results. Following completion of additional reviews in the Region II office, another exit meeting was held by telephone with Mr. M. McBrearty, SQN Licensing Manager and other members of the licensees staff on April 17, 2014, to provide an update on changes to the preliminary inspection findings. The licensee acknowledged the findings. Proprietary information is not included in this IR.
ATTACHMENT:
SUPPLEMENTARY INFORMATION
KEY POINTS OF CONTACT
Licensee Personnel
- J. Alfultis, Director of Modifications and Projects
- L. Amini, Fire Protection/Appendix R Program Owner
- J. Carlin, Site Vice President
- C. Coriell, Fire Protection Supervisor
- J. Cruz, Electrical/I&C Design Engineering Manager
- A. Day, Chemistry/Environmental Manager
- D. Dimopoulos, Design Engineering Manager
- D. Ensminger, Fire Marshall
- G. Garner, Operations Superintendent
- M. Henderson, Engineering Programs Manager
- C. Hoffman, Operations Support Superintendent
- T. Marshall, Operations Manager
- M. McBrearty, Licensing Manager
- D. Porter, Operations Procedures
- P. Pratt, Maintenance Manager
- R. Proffitt, Technical Assistant to Plant Manager
- A. Seaborn, Maintenance Procedures
- P. Simmons, Plant Manager
- W. Stadder, Site Engineering
- R. Travis, Licensing Engineer
- E. Turner, Electrical Engineering Design
- R. Williams, Quality Assurance
NRC Personnel
- S. Shaeffer, Chief, Engineering Branch 2, Division of Reactor Safety, Region II
- G. Smith, Senior Resident Inspector
LIST OF REPORT ITEMS
Opened and Closed
- 05000327, 328/2014007-01 NCV
Improper Orientation of Fire Dampers in
Auxiliary Building (Section 1R05.02)
- 05000327, 328/2014007-02 NCV
Auxiliary Control Instrument Room 2A
Sprinklers Not in Compliance with NFPA 13-1975 (Section 1R05.03)
- 05000327, 328/2014007-03 NCV
Design Control Requirements not met
During Safety-Related Circuit Breaker
Replacements (Section 1R05.06)
- 05000327, 328/2014007-04 NCV
Failure to Maintain Necessary Materials and Procedures for Cold Shutdown Repairs (Section 1R05.09)
- 05000327, 328/2014007-05 NCV
Failure to Perform the Required Reviews when Adding Fire Watches to the Fire Protection Program (Section 1R05.11)
SUPPLEMENTARY INFORMATION LIST OF FIRE BARRIERS INSPECTED (Refer to Report Section 1R05.02 - Passive Fire Barriers)
Fire Barrier Floors, Walls
Description and Ceiling Identification Walls, Floor and Ceiling
Main Control Room (FAC-017)
6.9Kv Shutdown Board Room A (FAA-067)
25V Vital Battery Board Room I (FAA 069)
480V Shutdown Board Room 1A2 (FAA-073)
Fire Damper Identification
Description 1-XFD-313-914
FAA-066 to FAA-067 1-XFD-313-918
FAA-066 to FAA-088 1-XFD-313-919
FAA-066 to FAA-089 2-XFD-313-914
FAA-066 to FAA-081 2-XFD-313-918
FAA-066 to FAA-090 2-XFD-313-919
FAA-066 to FAA-091 1-XFD-313-908
FAA-068 to FAA-067 2-XFD-313-908
FAA-087 to FAA-081
Fire Door Identification
Description
FAA-67 to FAA 066
FAA-067 to FAA 069
FAA-067 to FAA 070
FAA-067 to FAA 073
FAA-067 to FAA-086
FAA-067 to FAA-087