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{{#Wiki_filter:CATEGORYj.REGULATORY
{{#Wiki_filter:CATEGORY j.REGULATORY
INFORMATION
INFORMATION
DISTRIBUTION
DISTRIBUTION
SYSTEM(RIDS)ACCESSION
SYSTEM (RIDS)ACCESSION NBR:9902120166
NBR:9902120166
DOC.DATE: 99/02/04 NOTARIZED:
DOC.DATE:
99/02/04NOTARIZED:
NO~~~~~~~~~~FACIL:50-389
NO~~~~~~~~~~FACIL:50-389
St.LuciePlant,Unit2,FloridaPower6LightCo.AUTH.NAME.AUTHORAFFILIATION
St.Lucie Plant, Unit 2, Florida Power 6 Light Co.AUTH.NAME.AUTHOR AFFILIATION
PLUNKETT,T.F.'lorida
PLUNKETT,T.F.'lorida
PowerSLightCo.RECIP.NAME'ECIPIENT
Power S Light Co.RECIP.NAME'ECIPIENT AFFILIATION
AFFILIATION
Records Management
RecordsManagement
Branch (Document Control Desk)SUBJECT: Forwards response to violations
Branch(Document
noted in insp rept 50-389/98-11.Corrective
ControlDesk)SUBJECT:Forwardsresponsetoviolations
notedininsprept50-389/98-11.Corrective
actions:addi
actions:addi
procedural
procedural
guidancedeveloped
guidance developed for ECCS containment
forECCScontainment
sump insps for Units 1&2.Mode 1 walkdown of Unit 1 also performed.
sumpinspsforUnits1&2.Mode1walkdownofUnit1alsoperformed.
DISTRIBUTION
DISTRIBUTION
CODE:IE01DCOPIESRECEIVED:LTR
CODE: IE01D COPIES RECEIVED:LTR
ENCLSIZE:TITLE:General(50Dkt)-Insp
ENCL SIZE: TITLE: General (50 Dkt)-Insp Rept/Notice
Rept/Notice
of Violation Response DOCKET¹05000389 NOTES: RECIPIENT ID CODE/NAME PD2-3 PD COPIES LTTR ENCL 1 1 RECIPIENT ID CODE/NAME GLEAVES,W COPIES LTTR ENCL 1 1 INTERNAL: ACRS AEOD/TTC CENT NRR/DRPM/PECB
ofViolation
ResponseDOCKET¹05000389NOTES:RECIPIENT
IDCODE/NAME
PD2-3PDCOPIESLTTRENCL11RECIPIENT
IDCODE/NAME
GLEAVES,W
COPIESLTTRENCL11INTERNAL:
ACRSAEOD/TTCCENTNRR/DRPM/PECB
NUDOCS-ABSTRACT
NUDOCS-ABSTRACT
OGC/HDS3EXTERNAL:
OGC/HDS3 EXTERNAL: LITCO BRYCE,J H NRC PDR 2 2 1 1 1 1 1 1 1~1 1 1 1 1 1 1 AEOD/SPD/RAB
LITCOBRYCE,JHNRCPDR221111111~1111111AEOD/SPD/RAB
DEDRO NRR/DRCH/HOHB
DEDRONRR/DRCH/HOHB
NRR/DRPM/PERB
NRR/DRPM/PERB
OEDIRRGN2FILE01NOACNUDOCSFULLTEXT111111111111YNOTETOALL"RIDS"RECIPIENTS:
OE DIR RGN2 FILE 01 NOAC NUDOCS FULLTEXT 1 1 1 1 1 1 1 1 1 1 1 1 Y NOTE TO ALL"RIDS" RECIPIENTS:
PLEASEHELPUSTOREDUCEWASTETHTOHAVEYOURNAMEORORGANIZATION
PLEASE HELP US TO REDUCE WASTETH TO HAVE YOUR NAME OR ORGANIZATION
REMOVEDFROMDISTRIBUTION
REMOVED FROM DISTRIBUTION
LISTSORREDUCETHENUMBEROFCOPIESRECEIVEDBYYOUORYOURORGANIZATION,
LISTS OR REDUCE THE NUMBER OF COPIES RECEIVED BY YOU OR YOUR ORGANIZATION, CONTACT THE DOCUMENT CONTROZ DESK (DCD)ON EXTENSION 415-2083 TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19
CONTACTTHEDOCUMENTCONTROZDESK(DCD)ONEXTENSION
Florida Power&Light Company, P.0.Box14000,Juno
415-2083TOTALNUMBEROFCOPIESREQUIRED:
Beach, FL33408.0420
LTTR19ENCL19
February 4, 1999 L-99-028 10 CFR 2.201 U.S.Nuclear Regulatory
FloridaPower&LightCompany,P.0.Box14000,Juno
Beach,FL33408.0420
February4,1999L-99-02810CFR2.201U.S.NuclearRegulatory
Commission
Commission
Attn:DocumentControlDeskWashington,
Attn: Document Control Desk Washington, D.C.20555 Re: St.Lucie Unit 2 Docket No.50-389 Reply to a Notice of Violation NRC Ins ection Re ort 98-11 Florida Power and Light Company (FPL)has reviewed the subject Notice of Violation and, pursuant to 10 CFR$2.201, the response to the violation is attached.As discussed in the violation response, the Unit 2 Spring 1997 refueling outage sump screen repair and disposition
D.C.20555Re:St.LucieUnit2DocketNo.50-389ReplytoaNoticeofViolation
NRCInsectionReort98-11FloridaPowerandLightCompany(FPL)hasreviewedthesubjectNoticeofViolation
and,pursuantto10CFR$2.201,theresponsetotheviolation
isattached.
Asdiscussed
intheviolation
response,
theUnit2Spring1997refueling
outagesumpscreenrepairanddisposition
activities
activities
failedtoadequately
failed to adequately
considerthegenericimplications
consider the generic implications
oftheidentified
of the identified
discrepancies.
discrepancies.
St.Luciesitepersonnel
St.Lucie site personnel are being trained to reinforce the requirements
arebeingtrainedtoreinforce
of the St.Lucie corrective
therequirements
action program.Please contact us with questions on the enclosed violation response.Very truly yours, Thomas F.Plunkett President Nuclear Division TFP/JAS/E JW Attachment
oftheSt.Luciecorrective
cc: Regional Administrator, USNRC, Region II Senior Resident Inspector, USNRC, St.Lucie Plant 9902120i66
actionprogram.Pleasecontactuswithquestions
990204 PDR ADOCK 05000389 P PDR an FPL Group company
ontheenclosedviolation
response.
Verytrulyyours,ThomasF.PlunkettPresident
NuclearDivisionTFP/JAS/E
JWAttachment
cc:RegionalAdministrator,
USNRC,RegionIISeniorResidentInspector,
USNRC,St.LuciePlant9902120i66
990204PDRADOCK05000389PPDRanFPLGroupcompany
   
   
L-99-028Attachment
L-99-028 Attachment
Page1of5VIOLATION
Page 1 of 5 VIOLATION Part 50 of Title 10 of the Code of Federal Regulations
Part50ofTitle10oftheCodeofFederalRegulations
(10 CFR 50), Appendix B, Criterion XVI requires that measures shall be established
(10CFR50),AppendixB,Criterion
to assure that conditions
XVIrequiresthatmeasuresshallbeestablished
adverse to quality, such as failures, malfunctions, deficiencies, deviations, defective material and equipment, and nonconformances
toassurethatconditions
are promptly identified
adversetoquality,suchasfailures,
and corrected.
malfunctions,
Contrary to the above, as of November 15, 1998, conditions
deficiencies,
adverse to quality were not promptly identified
deviations,
and corrected involving the Unit 2 emergency core cooling systems (ECCS)containment
defective
sump.Specifically, in May 1997, corrective
materialandequipment,
actions were implemented
andnonconformances
to address gaps and openings in the ECCS containment
arepromptlyidentified
sump screens in excess of design requirements
andcorrected.
described in the Updated Final Safety Analysis Report.However, as evidenced by the identification.
Contrarytotheabove,asofNovember15,1998,conditions
of approximately
adversetoqualitywerenotpromptlyidentified
100 additional
andcorrected
involving
theUnit2emergency
corecoolingsystems(ECCS)containment
sump.Specifically,
inMay1997,corrective
actionswereimplemented
toaddressgapsandopeningsintheECCScontainment
sumpscreensinexcessofdesignrequirements
described
intheUpdatedFinalSafetyAnalysisReport.However,asevidenced
bytheidentification.
ofapproximately
100additional
discrepancies
discrepancies
inNovember1998,thecorrective
in November 1998, the corrective
actionsinMay1997werenoteffective
actions in May 1997 were not effective in identifying
inidentifying
and correcting
andcorrecting
the deficiencies, and the sump was not restored to design requirements.
thedeficiencies,
This is a Severity IV Level violation (Supplement
andthesumpwasnotrestoredtodesignrequirements.
1).RESPONSE 1.A reement with or Denial o the Violation FPL concurs with the violation.
ThisisaSeverityIVLevelviolation
Reason for the Violation The failure of the corrective
(Supplement
actions performed in May 1997 to effectively
1).RESPONSE1.AreementwithorDenialotheViolation
identify and correct deficiencies, and to restore the ECCS containment
FPLconcurswiththeviolation.
sump to design requirements, is primarily the result of inadequate
ReasonfortheViolation
Thefailureofthecorrective
actionsperformed
inMay1997toeffectively
identifyandcorrectdeficiencies,
andtorestoretheECCScontainment
sumptodesignrequirements,
isprimarily
theresultofinadequate
consideration
consideration
ofgenericimplications
of generic implications
ofthedocumented
of the documented
deficiencies
deficiencies (i.e., consideration
(i.e.,consideration
of the potential for deficiencies
ofthepotential
in all areas of the Unit 2 sump screens).In May 1997, near the end of the Spring 1997 Unit 2 refueling outage (SL2-10), the NRC Resident Inspector noted discrepancies
fordeficiencies
in the construction
inallareasoftheUnit2sumpscreens).
of the ECCS containment
InMay1997,neartheendoftheSpring1997Unit2refueling
sump screen.These discrepancies
outage(SL2-10),
involved gaps between the divider screen and the outer vertical screen, and between the divider screen and the concrete wall.Condition Report 97-1102 was written to document these discrepancies, and Plant Change/Modification (PC/M)97-037 was written for the implementation
theNRCResidentInspector
of required repairs.FPL performed additional
noteddiscrepancies
intheconstruction
oftheECCScontainment
sumpscreen.Thesediscrepancies
involvedgapsbetweenthedividerscreenandtheouterverticalscreen,andbetweenthedividerscreenandtheconcretewall.Condition
Report97-1102waswrittentodocumentthesediscrepancies,
andPlantChange/Modification
(PC/M)97-037waswrittenfortheimplementation
ofrequiredrepairs.FPLperformed
additional
inspections
inspections
ofthedividerscreen,andnotedadditional
of the divider screen, and noted additional
discrepancies.
discrepancies.
Duringtheimplementation
During the implementation
of  
of  
L-99-028Attachment
L-99-028 Attachment
Page2of5therequiredrepairs,otherminorgapswerenotedinthedividerscreenandinthehorizontal
Page 2 of 5 the required repairs, other minor gaps were noted in the divider screen and in the horizontal
screenatthetopofthesump;thesegapswerealsodocumented
screen at the top of the sump;these gaps were also documented
inCondition
in Condition Report 97-1102 and repaired pursuant to PC/M 97-037.During this period, FPL efforts were focused on the repair of the gaps noted at the divider screen and the horizontal
Report97-1102andrepairedpursuanttoPC/M97-037.Duringthisperiod,FPLeffortswerefocusedontherepairofthegapsnotedatthedividerscreenandthehorizontal
screen.The areas of concern noted by the NRC Resident dealt with gaps between the divider screen and the outer screen, and between the divider screen and the concrete wall (i.e., discrepancies
screen.TheareasofconcernnotedbytheNRCResidentdealtwithgapsbetweenthedividerscreenandtheouterscreen,andbetweenthedividerscreenandtheconcretewall(i.e.,discrepancies
that would allow the passage of debris from one side of the sump to the other side, thus potentially
thatwouldallowthepassageofdebrisfromonesideofthesumptotheotherside,thuspotentially
affecting both ECCS trains).Additional
affecting
bothECCStrains).Additional
inspections
inspections
performed
performed by FPL during the SL2-10 refueling outage to address generic concerns for Unit 2 were originally
byFPLduringtheSL2-10refueling
limited to the divider screen;aAer discrepancies
outagetoaddressgenericconcernsforUnit2wereoriginally
were observed in the horizontal
limitedtothedividerscreen;aAerdiscrepancies
screens, the scope of inspections
wereobservedinthehorizontal
was increased to include the horizontal
screens,thescopeofinspections
screens.A commitment
wasincreased
was made (and fulfilled)
toincludethehorizontal
to prepare guidelines
screens.Acommitment
for inspection
wasmade(andfulfilled)
of the sump screens for both Units 1 and 2 during future outages.However, St.Lucie did not recognize that the scope of generic concerns to be addressed during the SL2-10 outage should have been expanded to include the vertical outer screens, to provide complete assurance (a)that all sump screen deficiencies
toprepareguidelines
were identified
forinspection
and corrected and (b)that the design requirements
ofthesumpscreensforbothUnits1and2duringfutureoutages.However,St.Luciedidnotrecognize
for'the ECCS containment
thatthescopeofgenericconcernstobeaddressed
sump were satisfied.
duringtheSL2-10outageshouldhavebeenexpandedtoincludetheverticalouterscreens,toprovidecompleteassurance
The gaps in the divider screen were discovered
(a)thatallsumpscreendeficiencies
during the Spring 1997 Mode 4 containment
wereidentified
closeout walkdown.The implicit awareness by personnel of the schedule for unit re-start (inherent during refueling outages)was a factor in the.narrow focus of corrective
andcorrected
action which failed to identify the need for additional
and(b)thatthedesignrequirements
for'theECCScontainment
sumpweresatisfied.
Thegapsinthedividerscreenwerediscovered
duringtheSpring1997Mode4containment
closeoutwalkdown.
Theimplicitawareness
bypersonnel
ofthescheduleforunitre-start(inherent
duringrefueling
outages)wasafactorinthe.narrowfocusofcorrective
actionwhichfailedtoidentifytheneedforadditional
inspections
inspections
tobeperformed
to be performed to address generic concerns.During the disposition
toaddressgenericconcerns.
of these discrepancies, generic implications
Duringthedisposition
for Unit 1 were considered.
ofthesediscrepancies,
Since the design of the Unit 1 screens has a completely
genericimplications
different configuration
forUnit1wereconsidered.
than Unit 2 (with no divider screen), FPL determined
SincethedesignoftheUnit1screenshasacompletely
that no immediate actions were required for Unit l.A subsequent
different
Mode 1 power entry was performed as described below in corrective
configuration
action 3.b.Detailed inspections
thanUnit2(withnodividerscreen),FPLdetermined
and repairs of the Unit 1 screens were performed during the, Fall 1997 Unit 1 refueling outage (SL1-15).Based on these facts, FPL has determined
thatnoimmediate
that the reason for this violation (ineffective
actionswererequiredforUnitl.Asubsequent
Mode1powerentrywasperformed
asdescribed
belowincorrective
action3.b.Detailedinspections
andrepairsoftheUnit1screenswereperformed
duringthe,Fall1997Unit1refueling
outage(SL1-15).
Basedonthesefacts,FPLhasdetermined
thatthereasonforthisviolation
(ineffective
corrective
corrective
actions)wasthefactthatinsufficient
actions)was the fact that insufficient
attention
attention and consideration
andconsideration
were given to generic concerns (i.e., the potential for discrepancies
weregiventogenericconcerns(i.e.,thepotential
in the vertical outer screeris and the horizontal
fordiscrepancies
intheverticalouterscreerisandthehorizontal
screens)subsequent
screens)subsequent
tothediscovery
to the discovery of gaps in the divider screen.  
ofgapsinthedividerscreen.  
L-99-028 Attachment
L-99-028Attachment
Page 3 of 5 3.Corrective
Page3of53.Corrective
Ste s Taken and Results Achieved Subsequent
StesTakenandResultsAchievedSubsequent
to the SL2-10 refueling outage, additional
totheSL2-10refueling
outage,additional
procedural
procedural
guidancewasdeveloped
guidance was developed for ECCS containment
forECCScontainment
sump inspections
sumpinspections
for Units 1 and 2 to provide specific inspection
forUnits1and2toprovidespecificinspection
requirements
requirements
forgapsinthesumpscreenaswellasforverification
for gaps in the sump screen as well as for verification
ofsumpareacleanliness.
of sump area cleanliness.
Theprocedural
The procedural
guidanceisintendedtoensurethatthephysicalcondition
guidance is intended to ensure that the physical condition of the sump screens meets the design requirements.
ofthesumpscreensmeetsthedesignrequirements.
The required guidance was issued via Maintenance
TherequiredguidancewasissuedviaMaintenance
Surveillance
Surveillance
Procedure
Procedure MSP-68.01 (" Containment
MSP-68.01
Sump Inspection")and PSL Nuclear Assurance Quality Control Technique Sheet 10.54 (" Unit 1 and Unit 2 Containment
("Containment
Sump Inspection").Subsequent
SumpInspection"
to the SL2-10 refueling outage, a Mode 1 walkdown of Unit 1 was performed to inspect the accessible
)andPSLNuclearAssurance
areas of the Unit 1 ECCS containment
QualityControlTechnique
sump screens.Only the horizontal
Sheet10.54("Unit1andUnit2Containment
screen at the top of the sump could be inspected during this walkdown.Eight minor discrepant
SumpInspection"
).Subsequent
totheSL2-10refueling
outage,aMode1walkdownofUnit1wasperformed
toinspecttheaccessible
areasoftheUnit1ECCScontainment
sumpscreens.Onlythehorizontal
screenatthetopofthesumpcouldbeinspected
duringthiswalkdown.
Eightminordiscrepant
conditions
conditions
werefound;anengineering
were found;an engineering
evaluation
evaluation
concluded
concluded that there were no operability
thattherewerenooperability
concerns associated
concernsassociated
with these conditions.
withtheseconditions.
Two of these discrepancies
Twoofthesediscrepancies
were repaired immediately.
wererepairedimmediately.
The remaining six discrepancies
Theremaining
were repaired during the next Unit 1 refueling outage (SL1-15);see paragraph c, below.These discrepancies, and the evaluation
sixdiscrepancies
of the as-found condition, were documented
wererepairedduringthenextUnit1refueling
in Condition Report No.97-1465, Supplement
outage(SL1-15);seeparagraph
1.C.During the SL1-15 refueling outage (the first outage subsequent
c,below.Thesediscrepancies,
to the issuance of the procedural
andtheevaluation
guidance discussed in paragraph a, above), the Unit 1 ECCS containment
oftheas-foundcondition,
sump screens were inspected in detail in accordance
weredocumented
with MSP-68.01 and Technique Sheet 10.54.No , discrepancies
inCondition
were observed on the inner screens.Several discrepancies
ReportNo.97-1465,Supplement
were documented
1.C.DuringtheSL1-15refueling
with regard to the outer screens and the sump itself.These discrepancies
outage(thefirstoutagesubsequent
were documented
totheissuanceoftheprocedural
and evaluated in Condition Report No.97-2225 and Plant Management
guidancediscussed
inparagraph
a,above),theUnit1ECCScontainment
sumpscreenswereinspected
indetailinaccordance
withMSP-68.01
andTechnique
Sheet10.54.No,discrepancies
wereobservedontheinnerscreens.Severaldiscrepancies
weredocumented
withregardtotheouterscreensandthesumpitself.Thesediscrepancies
weredocumented
andevaluated
inCondition
ReportNo.97-2225andPlantManagement
Action-Item
Action-Item
No.97-12-166.
No.97-12-166.
FPLconcluded
FPL concluded that there were no outstanding
thattherewerenooutstanding
operability
operability
concernsorreportability
concerns or reportability
issues.Requiredrepairstothesumpscreenswereperformed
issues.Required repairs to the sump screens were performed in accordance
inaccordance
with PC/M 97-058.During the Fall 1998 Unit 2 refueling outage (SL2-11), a detailed,.comprehensive
withPC/M97-058.DuringtheFall1998Unit2refueling
outage(SL2-11),
adetailed,
.comprehensive
inspection
inspection
oftheUnit2ECCScontainment
of the Unit 2 ECCS containment
sumpscreenswasperformed
sump screens was performed in accordance
inaccordance
with MSP-68.01 and Technique Sheet 10.54.This was the first Unit 2 outage subsequent
withMSP-68.01
to the issuance of the detailed procedural
andTechnique
guidance discussed in paragraph a, above.A total of 101 discrepant
Sheet10.54.ThiswasthefirstUnit2outagesubsequent
conditions, along with a limited number of inaccessible
totheissuanceofthedetailedprocedural
areas, were identified
guidancediscussed
during this inspection.
inparagraph
These conditions
a,above.Atotalof101discrepant
were documented
conditions,
~r 0
alongwithalimitednumberofinaccessible
L-99-028 Attachment
areas,wereidentified
Page 4 of 5 and evaluated in Condition Report No.98-1766 and 98-1766 (Supplements
duringthisinspection.
1 and 2).The sump screen discrepancies
Theseconditions
which required repair were corrected in accordance
weredocumented
with PC/M 98-029.All other identified
~r0
sump screen discrepancies, including any potential deficiencies
L-99-028Attachment
Page4of5andevaluated
inCondition
ReportNo.98-1766and98-1766(Supplements
1and2).Thesumpscreendiscrepancies
whichrequiredrepairwerecorrected
inaccordance
withPC/M98-029.Allotheridentified
sumpscreendiscrepancies,
including
anypotential
deficiencies
associated
associated
withtheinaccessible
with the inaccessible
sumpscreenareas,weredispositioned
sump screen areas, were dispositioned
asanacceptable
as an acceptable
configuration.
configuration.
FPLconcluded
FPL concluded (a)that there were no operability
(a)thattherewerenooperability
concerns associated
concernsassociated
with the as-found condition (with the unit off line), and (b)that the evaluation
withtheas-foundcondition
for safety significance
(withtheunitoffline),and(b)thattheevaluation
provided for the discrepancies
forsafetysignificance
providedforthediscrepancies
discovered
discovered
duringtheSL2-10refueling
during the SL2-10 refueling outage bounded the newly discovered
outageboundedthenewlydiscovered
anomalies.
anomalies.
FPLdetermined
FPL determined
thatthediscrepancies
that the discrepancies
werereportable
were reportable
under10CFR50.73as"acondition
under 10 CFR 50.73 as"a condition outside the design basis of the plant".FPL issued a revision to LER 50-389/97-02, in which the discrepancies
outsidethedesignbasisoftheplant".FPLissuedarevisiontoLER50-389/97-02,
were attributed
inwhichthediscrepancies
to (a)a failure to properly implement the design requirements
wereattributed
during original construction
to(a)afailuretoproperlyimplement
and (b)inadequate
thedesignrequirements
duringoriginalconstruction
and(b)inadequate
inspections.
inspections.
4.Corrective
4.Corrective
StestoAvoidFutureViolations
Ste s to Avoid Future Violations
St.LucieUnit2Technical
St.Lucie Unit 2 Technical Specification
Specification
4.5.2.e.2 requires a visual inspection
4.5.2.e.2
of the containment
requiresavisualinspection
sump at least once per 18 months for verification
ofthecontainment
that the screens show no evidence of structural
sumpatleastonceper18monthsforverification
distress or corrosion.
thatthescreensshownoevidenceofstructural
A similar inspection
distressorcorrosion.
is required by Unit 1 Technical Specification
Asimilarinspection
isrequiredbyUnit1Technical
Specification
4.5.2.d.2.
4.5.2.d.2.
Asdiscussed
As discussed above, Maintenance
above,Maintenance
Surveillance
Surveillance
Procedure
Procedure MSP-68.01 (" Containment
MSP-68.01
Sump Inspection")and PSL Nuclear Assurance Quality Control Technique Sheet 10.54 (" Unit 1 and Unit 2 Containment
("Containment
Sump Inspection")have been issued to provide additional
SumpInspection"
)andPSLNuclearAssurance
QualityControlTechnique
Sheet10.54("Unit1andUnit2Containment
SumpInspection"
)havebeenissuedtoprovideadditional
procedural
procedural
guidanceforECCScontainment
guidance for ECCS containment
sumpinspections.
sump inspections.
Thesedocuments
These documents provide specific inspection
providespecificinspection
requirements
requirements
forgapsinthesumpscreensaswellasforverification
for gaps in the sump screens as well as for verification
ofsumpareacleanliness.
of sump area cleanliness.
Satisfactory
Satisfactory
completion
completion
oftheseprocedures
of these procedures
willensurethatthephysicalcondition
will ensure that the physical condition of the sump screens meets the design requirements.
ofthesumpscreensmeetsthedesignrequirements.
Inspection
Inspection
personnel
personnel will utilize these documents during future refueling outages to satisfy the Technical Specification
willutilizethesedocuments
duringfuturerefueling
outagestosatisfytheTechnical
Specification
requirements.
requirements.
Inordertoprovideassurance
In order to provide assurance that the problem noted (inadequate
thattheproblemnoted(inadequate
consideration
consideration
ofgenericconcerns)
of generic concerns)will not recur, a Technical Alert addressing
willnotrecur,aTechnical
this concern has been issued to Engineering
Alertaddressing
personnel Formalized
thisconcernhasbeenissuedtoEngineering
training for re-emphasis
personnel
of existing procedural
Formalized
guidance will be provided as part of scheduled Engineering
trainingforre-emphasis
Support Personnel (ESP)training;this training will be completed by March 26, 1999.In order to provide assurance that future condition reports will not be approved without adequate consideration
ofexistingprocedural
of generic concerns, a training
guidancewillbeprovidedaspartofscheduled
L-99-028 Attachment
Engineering
Page 5 of 5 bulletin for re-emphasis
SupportPersonnel
of existing procedural
(ESP)training;
guidance was issued to St.Lucie management
thistrainingwillbecompleted
personnel responsible
byMarch26,1999.Inordertoprovideassurance
for approving Condition Report dispositions.
thatfuturecondition
d.Future pre-outage
reportswillnotbeapprovedwithoutadequateconsideration
Employee Communication
ofgenericconcerns,
meetings will re-emphasize
atraining
L-99-028Attachment
Page5of5bulletinforre-emphasis
ofexistingprocedural
guidancewasissuedtoSt.Luciemanagement
personnel
responsible
forapproving
Condition
Reportdispositions.
d.Futurepre-outage
EmployeeCommunication
meetingswillre-emphasize
management
management
expectations
expectations
concerning
concerning
theneedtothoroughly
the need to thoroughly
investigate
investigate
outagediscovery
outage discovery items, including the consideration
items,including
of generic implications
theconsideration
as part of the corrective
ofgenericimplications
action plan.Date of Full Com liance Full compliance
aspartofthecorrective
was achieved on December 2, 1998, upon implementation
actionplan.DateofFullComlianceFullcompliance
of PC/M 98-029 which included modifications
wasachievedonDecember2,1998,uponimplementation
to the ECCS containment
ofPC/M98-029whichincludedmodifications
sump screens necessary to meet design requirements.
totheECCScontainment
This PC/M was completed prior to the Unit 2 startup following the SL2-11 refueling outage.
sumpscreensnecessary
tomeetdesignrequirements.
ThisPC/Mwascompleted
priortotheUnit2startupfollowing
theSL2-11refueling
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}}

Revision as of 16:41, 7 July 2018

Forwards Response to Violations Noted in Insp Rept 50-389/98-11.Corrective Actions:Addl Procedural Guidance Developed for ECCS Containment Sump Insps for Units 1 & 2. Mode 1 Walkdown of Unit 1 Also Performed
ML17229B004
Person / Time
Site: Saint Lucie NextEra Energy icon.png
Issue date: 02/04/1999
From: PLUNKETT T F
FLORIDA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
50-389-98-11, L-99-028, L-99-28, NUDOCS 9902120166
Download: ML17229B004 (9)


See also: IR 05000389/1998011

Text

CATEGORY j.REGULATORY

INFORMATION

DISTRIBUTION

SYSTEM (RIDS)ACCESSION NBR:9902120166

DOC.DATE: 99/02/04 NOTARIZED:

NO~~~~~~~~~~FACIL:50-389

St.Lucie Plant, Unit 2, Florida Power 6 Light Co.AUTH.NAME.AUTHOR AFFILIATION

PLUNKETT,T.F.'lorida

Power S Light Co.RECIP.NAME'ECIPIENT AFFILIATION

Records Management

Branch (Document Control Desk)SUBJECT: Forwards response to violations

noted in insp rept 50-389/98-11.Corrective

actions:addi

procedural

guidance developed for ECCS containment

sump insps for Units 1&2.Mode 1 walkdown of Unit 1 also performed.

DISTRIBUTION

CODE: IE01D COPIES RECEIVED:LTR

ENCL SIZE: TITLE: General (50 Dkt)-Insp Rept/Notice

of Violation Response DOCKET¹05000389 NOTES: RECIPIENT ID CODE/NAME PD2-3 PD COPIES LTTR ENCL 1 1 RECIPIENT ID CODE/NAME GLEAVES,W COPIES LTTR ENCL 1 1 INTERNAL: ACRS AEOD/TTC CENT NRR/DRPM/PECB

NUDOCS-ABSTRACT

OGC/HDS3 EXTERNAL: LITCO BRYCE,J H NRC PDR 2 2 1 1 1 1 1 1 1~1 1 1 1 1 1 1 AEOD/SPD/RAB

DEDRO NRR/DRCH/HOHB

NRR/DRPM/PERB

OE DIR RGN2 FILE 01 NOAC NUDOCS FULLTEXT 1 1 1 1 1 1 1 1 1 1 1 1 Y NOTE TO ALL"RIDS" RECIPIENTS:

PLEASE HELP US TO REDUCE WASTETH TO HAVE YOUR NAME OR ORGANIZATION

REMOVED FROM DISTRIBUTION

LISTS OR REDUCE THE NUMBER OF COPIES RECEIVED BY YOU OR YOUR ORGANIZATION, CONTACT THE DOCUMENT CONTROZ DESK (DCD)ON EXTENSION 415-2083 TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19

Florida Power&Light Company, P.0.Box14000,Juno

Beach, FL33408.0420

February 4, 1999 L-99-028 10 CFR 2.201 U.S.Nuclear Regulatory

Commission

Attn: Document Control Desk Washington, D.C.20555 Re: St.Lucie Unit 2 Docket No.50-389 Reply to a Notice of Violation NRC Ins ection Re ort 98-11 Florida Power and Light Company (FPL)has reviewed the subject Notice of Violation and, pursuant to 10 CFR$2.201, the response to the violation is attached.As discussed in the violation response, the Unit 2 Spring 1997 refueling outage sump screen repair and disposition

activities

failed to adequately

consider the generic implications

of the identified

discrepancies.

St.Lucie site personnel are being trained to reinforce the requirements

of the St.Lucie corrective

action program.Please contact us with questions on the enclosed violation response.Very truly yours, Thomas F.Plunkett President Nuclear Division TFP/JAS/E JW Attachment

cc: Regional Administrator, USNRC, Region II Senior Resident Inspector, USNRC, St.Lucie Plant 9902120i66

990204 PDR ADOCK 05000389 P PDR an FPL Group company

L-99-028 Attachment

Page 1 of 5 VIOLATION Part 50 of Title 10 of the Code of Federal Regulations

(10 CFR 50), Appendix B, Criterion XVI requires that measures shall be established

to assure that conditions

adverse to quality, such as failures, malfunctions, deficiencies, deviations, defective material and equipment, and nonconformances

are promptly identified

and corrected.

Contrary to the above, as of November 15, 1998, conditions

adverse to quality were not promptly identified

and corrected involving the Unit 2 emergency core cooling systems (ECCS)containment

sump.Specifically, in May 1997, corrective

actions were implemented

to address gaps and openings in the ECCS containment

sump screens in excess of design requirements

described in the Updated Final Safety Analysis Report.However, as evidenced by the identification.

of approximately

100 additional

discrepancies

in November 1998, the corrective

actions in May 1997 were not effective in identifying

and correcting

the deficiencies, and the sump was not restored to design requirements.

This is a Severity IV Level violation (Supplement

1).RESPONSE 1.A reement with or Denial o the Violation FPL concurs with the violation.

Reason for the Violation The failure of the corrective

actions performed in May 1997 to effectively

identify and correct deficiencies, and to restore the ECCS containment

sump to design requirements, is primarily the result of inadequate

consideration

of generic implications

of the documented

deficiencies (i.e., consideration

of the potential for deficiencies

in all areas of the Unit 2 sump screens).In May 1997, near the end of the Spring 1997 Unit 2 refueling outage (SL2-10), the NRC Resident Inspector noted discrepancies

in the construction

of the ECCS containment

sump screen.These discrepancies

involved gaps between the divider screen and the outer vertical screen, and between the divider screen and the concrete wall.Condition Report 97-1102 was written to document these discrepancies, and Plant Change/Modification (PC/M)97-037 was written for the implementation

of required repairs.FPL performed additional

inspections

of the divider screen, and noted additional

discrepancies.

During the implementation

of

L-99-028 Attachment

Page 2 of 5 the required repairs, other minor gaps were noted in the divider screen and in the horizontal

screen at the top of the sump;these gaps were also documented

in Condition Report 97-1102 and repaired pursuant to PC/M 97-037.During this period, FPL efforts were focused on the repair of the gaps noted at the divider screen and the horizontal

screen.The areas of concern noted by the NRC Resident dealt with gaps between the divider screen and the outer screen, and between the divider screen and the concrete wall (i.e., discrepancies

that would allow the passage of debris from one side of the sump to the other side, thus potentially

affecting both ECCS trains).Additional

inspections

performed by FPL during the SL2-10 refueling outage to address generic concerns for Unit 2 were originally

limited to the divider screen;aAer discrepancies

were observed in the horizontal

screens, the scope of inspections

was increased to include the horizontal

screens.A commitment

was made (and fulfilled)

to prepare guidelines

for inspection

of the sump screens for both Units 1 and 2 during future outages.However, St.Lucie did not recognize that the scope of generic concerns to be addressed during the SL2-10 outage should have been expanded to include the vertical outer screens, to provide complete assurance (a)that all sump screen deficiencies

were identified

and corrected and (b)that the design requirements

for'the ECCS containment

sump were satisfied.

The gaps in the divider screen were discovered

during the Spring 1997 Mode 4 containment

closeout walkdown.The implicit awareness by personnel of the schedule for unit re-start (inherent during refueling outages)was a factor in the.narrow focus of corrective

action which failed to identify the need for additional

inspections

to be performed to address generic concerns.During the disposition

of these discrepancies, generic implications

for Unit 1 were considered.

Since the design of the Unit 1 screens has a completely

different configuration

than Unit 2 (with no divider screen), FPL determined

that no immediate actions were required for Unit l.A subsequent

Mode 1 power entry was performed as described below in corrective

action 3.b.Detailed inspections

and repairs of the Unit 1 screens were performed during the, Fall 1997 Unit 1 refueling outage (SL1-15).Based on these facts, FPL has determined

that the reason for this violation (ineffective

corrective

actions)was the fact that insufficient

attention and consideration

were given to generic concerns (i.e., the potential for discrepancies

in the vertical outer screeris and the horizontal

screens)subsequent

to the discovery of gaps in the divider screen.

L-99-028 Attachment

Page 3 of 5 3.Corrective

Ste s Taken and Results Achieved Subsequent

to the SL2-10 refueling outage, additional

procedural

guidance was developed for ECCS containment

sump inspections

for Units 1 and 2 to provide specific inspection

requirements

for gaps in the sump screen as well as for verification

of sump area cleanliness.

The procedural

guidance is intended to ensure that the physical condition of the sump screens meets the design requirements.

The required guidance was issued via Maintenance

Surveillance

Procedure MSP-68.01 (" Containment

Sump Inspection")and PSL Nuclear Assurance Quality Control Technique Sheet 10.54 (" Unit 1 and Unit 2 Containment

Sump Inspection").Subsequent

to the SL2-10 refueling outage, a Mode 1 walkdown of Unit 1 was performed to inspect the accessible

areas of the Unit 1 ECCS containment

sump screens.Only the horizontal

screen at the top of the sump could be inspected during this walkdown.Eight minor discrepant

conditions

were found;an engineering

evaluation

concluded that there were no operability

concerns associated

with these conditions.

Two of these discrepancies

were repaired immediately.

The remaining six discrepancies

were repaired during the next Unit 1 refueling outage (SL1-15);see paragraph c, below.These discrepancies, and the evaluation

of the as-found condition, were documented

in Condition Report No.97-1465, Supplement

1.C.During the SL1-15 refueling outage (the first outage subsequent

to the issuance of the procedural

guidance discussed in paragraph a, above), the Unit 1 ECCS containment

sump screens were inspected in detail in accordance

with MSP-68.01 and Technique Sheet 10.54.No , discrepancies

were observed on the inner screens.Several discrepancies

were documented

with regard to the outer screens and the sump itself.These discrepancies

were documented

and evaluated in Condition Report No.97-2225 and Plant Management

Action-Item

No.97-12-166.

FPL concluded that there were no outstanding

operability

concerns or reportability

issues.Required repairs to the sump screens were performed in accordance

with PC/M 97-058.During the Fall 1998 Unit 2 refueling outage (SL2-11), a detailed,.comprehensive

inspection

of the Unit 2 ECCS containment

sump screens was performed in accordance

with MSP-68.01 and Technique Sheet 10.54.This was the first Unit 2 outage subsequent

to the issuance of the detailed procedural

guidance discussed in paragraph a, above.A total of 101 discrepant

conditions, along with a limited number of inaccessible

areas, were identified

during this inspection.

These conditions

were documented

~r 0

L-99-028 Attachment

Page 4 of 5 and evaluated in Condition Report No.98-1766 and 98-1766 (Supplements

1 and 2).The sump screen discrepancies

which required repair were corrected in accordance

with PC/M 98-029.All other identified

sump screen discrepancies, including any potential deficiencies

associated

with the inaccessible

sump screen areas, were dispositioned

as an acceptable

configuration.

FPL concluded (a)that there were no operability

concerns associated

with the as-found condition (with the unit off line), and (b)that the evaluation

for safety significance

provided for the discrepancies

discovered

during the SL2-10 refueling outage bounded the newly discovered

anomalies.

FPL determined

that the discrepancies

were reportable

under 10 CFR 50.73 as"a condition outside the design basis of the plant".FPL issued a revision to LER 50-389/97-02, in which the discrepancies

were attributed

to (a)a failure to properly implement the design requirements

during original construction

and (b)inadequate

inspections.

4.Corrective

Ste s to Avoid Future Violations

St.Lucie Unit 2 Technical Specification 4.5.2.e.2 requires a visual inspection

of the containment

sump at least once per 18 months for verification

that the screens show no evidence of structural

distress or corrosion.

A similar inspection

is required by Unit 1 Technical Specification 4.5.2.d.2.

As discussed above, Maintenance

Surveillance

Procedure MSP-68.01 (" Containment

Sump Inspection")and PSL Nuclear Assurance Quality Control Technique Sheet 10.54 (" Unit 1 and Unit 2 Containment

Sump Inspection")have been issued to provide additional

procedural

guidance for ECCS containment

sump inspections.

These documents provide specific inspection

requirements

for gaps in the sump screens as well as for verification

of sump area cleanliness.

Satisfactory

completion

of these procedures

will ensure that the physical condition of the sump screens meets the design requirements.

Inspection

personnel will utilize these documents during future refueling outages to satisfy the Technical Specification

requirements.

In order to provide assurance that the problem noted (inadequate

consideration

of generic concerns)will not recur, a Technical Alert addressing

this concern has been issued to Engineering

personnel Formalized

training for re-emphasis

of existing procedural

guidance will be provided as part of scheduled Engineering

Support Personnel (ESP)training;this training will be completed by March 26, 1999.In order to provide assurance that future condition reports will not be approved without adequate consideration

of generic concerns, a training

L-99-028 Attachment

Page 5 of 5 bulletin for re-emphasis

of existing procedural

guidance was issued to St.Lucie management

personnel responsible

for approving Condition Report dispositions.

d.Future pre-outage

Employee Communication

meetings will re-emphasize

management

expectations

concerning

the need to thoroughly

investigate

outage discovery items, including the consideration

of generic implications

as part of the corrective

action plan.Date of Full Com liance Full compliance

was achieved on December 2, 1998, upon implementation

of PC/M 98-029 which included modifications

to the ECCS containment

sump screens necessary to meet design requirements.

This PC/M was completed prior to the Unit 2 startup following the SL2-11 refueling outage.