ML18043A411: Difference between revisions

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| issue date = 12/19/1978
| issue date = 12/19/1978
| title = Responds to Deficiency Noted in IE Insp Rept 50-255/78-26. Corrective Actions:Audit & Review of Employee Training Records
| title = Responds to Deficiency Noted in IE Insp Rept 50-255/78-26. Corrective Actions:Audit & Review of Employee Training Records
| author name = HOFFMAN D P
| author name = Hoffman D
| author affiliation = CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.),
| author affiliation = CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.),
| addressee name = KEPPLER J G
| addressee name = Keppler J
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
| docket = 05000255
| docket = 05000255
Line 14: Line 14:
| page count = 3
| page count = 3
}}
}}
See also: [[followed by::IR 05000255/1978026]]


=Text=
=Text=
{{#Wiki_filter:,. ! l ** *
{{#Wiki_filter:,.                                                                                             ~~c/~
Power company General Offices: 212 West Michigan*  
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Avenue, Jackson, Michigan 49201 * Area Code 517 788-0550 December 19, 1978 Mr James G Keppler Office of Inspection  
Power company General Offices: 212 West Michigan* Avenue, Jackson, Michigan 49201
and Enforcement  
* Area Code 517 788-0550 December 19, 1978 Mr James G Keppler Office of Inspection and Enforcement Region III US Nuclear Regulatory Commission 799 Roosevelt Road Glen Eliyn, IL 60137 DOCKET 50-255 - LICENSE DPR   PALISADES PLANT - IE INSPECTION REPORT 78-26 Consumers Power Company's response to IE Inspection Report 78-26 is as follows:
Region III US Nuclear Regulatory  
Item (deficiency) :
Commission  
: 1. Palisades Technical Specifica~ions, Section 6.10.lc requires recor~s of training and qualification for members of plant staff to be retained for five years. Administrative Procedure 13 delineates specific training requirements and records.
799 Roosevelt  
Contrary to the above, records of training for severa.::i_ employees did not exist in the following areas:
Road Glen Eliyn, IL 60137 DOCKET 50-255 -LICENSE DPR-20 -PALISADES  
: a. New employee training orientation within two days of employment as required ~y Administrative Procedure 13.1, Section 5.2a.
PLANT -IE INSPECTION  
: b.     Respiratory protection i~doctrination training for new employees as required by Administrative Procedure 13.l, Section 5.2c.
REPORT 78-26 Consumers  
: c. Annual job-related quality assurance instruction and beinnial training in use o-f -forklift, crane safety, sca-ffolding/rigging as required by Administrative Procedure 13.3.3, Attachment 13.3.3.
Power Company's  
: d. Quarterly job-related Industrial/Fire Safety Training as required by Administrative Procedilre 13.3.6, Attachment 13.3.6.
response to IE Inspection  
: e. Semiannual site em.e!'gencydrill participation as required by Ad.L:J.inis-tratiYe Procedure 13.4, Attachment 13.4b .
Report 78-26 is as follows: Item (deficiency)  
* 7 9 o1 1 7         o o-'..~
: 1. Palisades  
DC:C 211918 at I
Technical  
 
Section 6.10.lc requires  
2
of training and qualification  
 
for members of plant staff to be retained for five years. Administrative  
===Response===
Procedure  
Items la, lb, and ld:
13 delineates  
Corrective Action Tak.en and Results Achieved: The record of the new employee orientation training was found and has been placed in the employee's training record (Item la). The respiratory protection* indoctrination training and quarterly Industrial Safety/Fire Safety training were rescheduled for the affected individuals and their training records have been updated accordingly (Items lb and ld).
specific training requirements  
* In addition, the training records of all prant employees were audited to verify that the completion of General Employee ~raining and Special Employee Training has been properly documented. Some discrepancies were noted and will be corrected by February 15, 1979.
and records. Contrary to the above, records of training for severa.::i_  
Corrective Action to Prevent Recurrence:   The two principal causes of this problem are:
employees  
* Inadequate audits of training records to detect documentation errors.
did not exist in the following  
* Some training not being conducted as scheduled.
areas: a. New employee training orientation  
To alleviate the auditing problems, the following courses of action are being considered. Pne will be implemented.
within two days of employment  
Require the Training Department to periodically conduct audits of training records, or Strengthen existi_ng requirements which have supervisors conducting these audits.
as required Administrative  
To provide greater assurance that traini_ng will be conducted as scheduled, the existing traini_ng requirements will be reviewed with appropriate levels of supervision. The supervisor's role in assuring that their personnel attend scheduled training sessions will be reiterated.
Procedure  
Date When Full Compliance will be Achieved:   The actions described above will be carried out by February 15, 1979.
13.1, Section 5.2a. b. Respiratory  
 
protection  
===Response===
training for new employees  
Item le:
as required by Administrative  
Correction Action Tak.en and Results Achieved: The annual job-related quality assurance training requirement was reviewed, and the determination was made that this training is not necessary. As a result, this training requirement has been deleted.
Procedure  
Forklift, crane safety, and scaffolding/ri_gging training are conducted Company-wide by a single department within the Company. Because of certain programmatic difficulties in establishing traini_ng s.chedules, lesson plans, etc, this training
13.l, Section 5.2c. c. Annual job-related  
 
quality assurance  
3 has fallen behind schedule. To partially alleviate this situation one individual temporarily assigned to the plant is being certified to conduct crane safety ti-aining to clear the backlog in this area.
instruction  
Corrective Action to Prevent Recurrence: The training schedules and lesson plans for the remaim.ng training (forklift and scaffolding/rigging) are near completion, and the backlog is expected to start clearing in early 1979.
and beinnial training in use o-f -forklift, crane safety, sca-ffolding/rigging  
Date When Full Compliance Will be Achieved:   The backlog in the above training is scheduled to be cleared by June 1, 1979.
as required by Administrative  
 
Procedure  
===Response===
13.3.3, Attachment  
Item le:
13.3.3. d. Quarterly  
A.review of the individual's training record was conducted, and documentation of the annual site emergency training was found in the training record. This item appears to have been an error on the part of the inspector. In view of this, and in view of the response to item (a) to correct the generic aspect of this problem, no other action is considered necessary with respect to this item.
job-related  
David P Hoffman Assistant Nuclear Licensing Administrator CC:   Director, Office of Nuclear Reactor Regulation Director, Office of Inspection and Enforcement
Industrial/Fire  
*}}
Safety Training as required by Administrative  
Procedilre  
13.3.6, Attachment  
13.3.6. e. Semiannual  
site em.e!'gencydrill  
participation  
as required by  
tratiYe Procedure  
13.4, Attachment  
13.4b . DC:C 211918 7 9 o 1 1 7 o  
at I
2 Response:
Items la, lb, and ld: Corrective  
Action Tak.en and Results Achieved:  
The record of the new employee orientation  
training was found and has been placed in the employee's  
training record (Item la). The respiratory  
protection*  
indoctrination  
training and quarterly  
Industrial  
Safety/Fire  
Safety training were rescheduled  
for the affected individuals  
and their training records have been updated accordingly (Items lb and ld). * In addition, the training records of all prant employees  
were audited to verify that the completion  
of General Employee  
and Special Employee Training has been properly documented.  
Some discrepancies  
were noted and will be corrected  
by February 15, 1979. Corrective  
Action to Prevent Recurrence:  
The two principal  
causes of this problem are: * Inadequate  
audits of training records to detect documentation  
errors. * Some training not being conducted  
as scheduled.  
To alleviate  
the auditing problems, the following  
courses of action are being considered.  
Pne will be implemented.  
Require the Training Department  
to periodically  
conduct audits of training records, or Strengthen  
existi_ng  
requirements  
which have supervisors  
conducting  
these audits. To provide greater assurance  
that traini_ng  
will be conducted  
as scheduled, the existing traini_ng  
requirements  
will be reviewed with appropriate  
levels of supervision.  
The supervisor's  
role in assuring that their personnel  
attend scheduled  
training sessions will be reiterated.  
Date When Full Compliance  
will be Achieved:  
The actions described  
above will be carried out by February 15, 1979. Response:
Item le: Correction  
Action Tak.en and Results Achieved:  
The annual job-related  
quality assurance  
training requirement  
was reviewed, and the determination  
was made that this training is not necessary.  
As a result, this training requirement  
has been deleted. Forklift, crane safety, and scaffolding/ri_gging  
training are conducted wide by a single department  
within the Company. Because of certain programmatic  
difficulties  
in establishing  
traini_ng  
s.chedules, lesson plans, etc, this training
* 3 has fallen behind schedule.  
To partially  
alleviate  
this situation  
one individual  
temporarily  
assigned to the plant is being certified  
to conduct crane safety ti-aining  
to clear the backlog in this area. Corrective  
Action to Prevent Recurrence:  
The training schedules  
and lesson plans for the remaim.ng  
training (forklift  
and scaffolding/rigging)  
are near completion, and the backlog is expected to start clearing in early 1979. Date When Full Compliance  
Will be Achieved:  
The backlog in the above training is scheduled  
to be cleared by June 1, 1979. Response:
Item le: A.review of the individual's  
training record was conducted, and documentation  
of the annual site emergency  
training was found in the training record. This item appears to have been an error on the part of the inspector.  
In view of this, and in view of the response to item (a) to correct the generic aspect of this problem, no other action is considered  
necessary  
with respect to this item. David P Hoffman Assistant  
Nuclear Licensing  
Administrator  
CC: Director, Office of Nuclear Reactor Regulation  
Director, Office of Inspection  
and Enforcement
}}

Latest revision as of 15:04, 3 February 2020

Responds to Deficiency Noted in IE Insp Rept 50-255/78-26. Corrective Actions:Audit & Review of Employee Training Records
ML18043A411
Person / Time
Site: Palisades Entergy icon.png
Issue date: 12/19/1978
From: Hoffman D
CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.)
To: James Keppler
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
References
NUDOCS 7901170028
Download: ML18043A411 (3)


Text

,. ~~c/~

l consum&r~

Power company General Offices: 212 West Michigan* Avenue, Jackson, Michigan 49201

  • Area Code 517 788-0550 December 19, 1978 Mr James G Keppler Office of Inspection and Enforcement Region III US Nuclear Regulatory Commission 799 Roosevelt Road Glen Eliyn, IL 60137 DOCKET 50-255 - LICENSE DPR PALISADES PLANT - IE INSPECTION REPORT 78-26 Consumers Power Company's response to IE Inspection Report 78-26 is as follows:

Item (deficiency) :

1. Palisades Technical Specifica~ions, Section 6.10.lc requires recor~s of training and qualification for members of plant staff to be retained for five years. Administrative Procedure 13 delineates specific training requirements and records.

Contrary to the above, records of training for severa.::i_ employees did not exist in the following areas:

a. New employee training orientation within two days of employment as required ~y Administrative Procedure 13.1, Section 5.2a.
b. Respiratory protection i~doctrination training for new employees as required by Administrative Procedure 13.l, Section 5.2c.
c. Annual job-related quality assurance instruction and beinnial training in use o-f -forklift, crane safety, sca-ffolding/rigging as required by Administrative Procedure 13.3.3, Attachment 13.3.3.
d. Quarterly job-related Industrial/Fire Safety Training as required by Administrative Procedilre 13.3.6, Attachment 13.3.6.
e. Semiannual site em.e!'gencydrill participation as required by Ad.L:J.inis-tratiYe Procedure 13.4, Attachment 13.4b .
  • 7 9 o1 1 7 o o-'..~

DC:C 211918 at I

2

Response

Items la, lb, and ld:

Corrective Action Tak.en and Results Achieved: The record of the new employee orientation training was found and has been placed in the employee's training record (Item la). The respiratory protection* indoctrination training and quarterly Industrial Safety/Fire Safety training were rescheduled for the affected individuals and their training records have been updated accordingly (Items lb and ld).

  • In addition, the training records of all prant employees were audited to verify that the completion of General Employee ~raining and Special Employee Training has been properly documented. Some discrepancies were noted and will be corrected by February 15, 1979.

Corrective Action to Prevent Recurrence: The two principal causes of this problem are:

  • Inadequate audits of training records to detect documentation errors.
  • Some training not being conducted as scheduled.

To alleviate the auditing problems, the following courses of action are being considered. Pne will be implemented.

Require the Training Department to periodically conduct audits of training records, or Strengthen existi_ng requirements which have supervisors conducting these audits.

To provide greater assurance that traini_ng will be conducted as scheduled, the existing traini_ng requirements will be reviewed with appropriate levels of supervision. The supervisor's role in assuring that their personnel attend scheduled training sessions will be reiterated.

Date When Full Compliance will be Achieved: The actions described above will be carried out by February 15, 1979.

Response

Item le:

Correction Action Tak.en and Results Achieved: The annual job-related quality assurance training requirement was reviewed, and the determination was made that this training is not necessary. As a result, this training requirement has been deleted.

Forklift, crane safety, and scaffolding/ri_gging training are conducted Company-wide by a single department within the Company. Because of certain programmatic difficulties in establishing traini_ng s.chedules, lesson plans, etc, this training

3 has fallen behind schedule. To partially alleviate this situation one individual temporarily assigned to the plant is being certified to conduct crane safety ti-aining to clear the backlog in this area.

Corrective Action to Prevent Recurrence: The training schedules and lesson plans for the remaim.ng training (forklift and scaffolding/rigging) are near completion, and the backlog is expected to start clearing in early 1979.

Date When Full Compliance Will be Achieved: The backlog in the above training is scheduled to be cleared by June 1, 1979.

Response

Item le:

A.review of the individual's training record was conducted, and documentation of the annual site emergency training was found in the training record. This item appears to have been an error on the part of the inspector. In view of this, and in view of the response to item (a) to correct the generic aspect of this problem, no other action is considered necessary with respect to this item.

David P Hoffman Assistant Nuclear Licensing Administrator CC: Director, Office of Nuclear Reactor Regulation Director, Office of Inspection and Enforcement