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| issue date = 09/26/1997
| issue date = 09/26/1997
| title = Responds to NRC 970829 Ltr Re Violations Noted in Insp Repts 50-280/97-01 & 50-281/97-01 on 970113 & 17.Corrective Actions:Recovery Plan Developed to Address Maintenance Rule Program Issues & Redeveloped Program
| title = Responds to NRC 970829 Ltr Re Violations Noted in Insp Repts 50-280/97-01 & 50-281/97-01 on 970113 & 17.Corrective Actions:Recovery Plan Developed to Address Maintenance Rule Program Issues & Redeveloped Program
| author name = OHANLON J P
| author name = Ohanlon J
| author affiliation = VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
| author affiliation = VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
| addressee name = LIEBERMAN J
| addressee name = Lieberman J
| addressee affiliation = NRC OFFICE OF ENFORCEMENT (OE)
| addressee affiliation = NRC OFFICE OF ENFORCEMENT (OE)
| docket = 05000280, 05000281
| docket = 05000280, 05000281
Line 14: Line 14:
| page count = 14
| page count = 14
}}
}}
See also: [[followed by::IR 05000280/1997001]]


=Text=
=Text=
{{#Wiki_filter:* * ---------VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261 Mr. James Lieberman, Director Office of Enforcement  
{{#Wiki_filter:- - - - - - - - -
September
Vu \ol1L
26, 1997 United States Nuclear Regulatory  
(~'tx)r.,,5 VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261 September 26, 1997 Mr. James Lieberman, Director                                             Serial No.              97-516 Office of Enforcement                                                     SPS/BCB                  R2.1 United States Nuclear Regulatory Commission                               Docket Nos.              50-280 One White Flint North                                                                             50-281 11555 Rockville Pike                                                     License Nos.            DPR-32 Rockville, MD 20852-2738                                                                           DPR-37
Commission  
 
One White Flint North 11555 Rockville  
==Dear Mr. Lieberman:==
Pike Rockville, MD 20852-2738  
                                                            *97 OCT ~1 A10 :19 VIRGINIA ELECTRIC AND POWER COMPANY                                     Puuuc DOCU!-i[NT           r:1:
Serial No. SPS/BCB Docket Nos. License Nos. Vu \ol1L (~'tx)r.,,5
SURRY POWER STATION UNITS 1 AND 2 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NOS. 50-280/97-01. 50-281/97-01 We have reviewed Inspection Report Nos. 50-280/97-01 and 50-281/97-01 dated February 20, 1997, and your August 29, 1997 letter and enclosed Notice of Violation for Surry Units 1 and 2. While plant safety and materiel condition have been maintained at a high level, we recognize that our implementation of the Maintenance Rule was not
97-516 R2.1 50-280 50-281 DPR-32 DPR-37 Dear Mr. Lieberman:
* adequate. We have carefully re-examined our approach to the implementation -of the Maintenance Rule program and have conducted an independent assessment of the management factors involved. As discussed at the March 11, 1997, predecisional enforcement conference, we have addressed the identified weaknesses and have implemented a recovery plan to address the specific Maintenance Rule program issues.
*97 OCT ~1 A10 :19 VIRGINIA ELECTRIC AND POWER COMPANY Puuuc DOCU!-i[NT  
In addition, we have clarified the self-assessment program requirements to ensure that identified deviating conditions are resolved through the corrective action program.
r:1: SURRY POWER STATION UNITS 1 AND 2 REPLY TO A NOTICE OF VIOLATION  
As part of the recovery plan, a dedicated team was established to revise and revalidate Virginia Power's Maintenance Rule program. The team essentially redeveloped the entire program to ensure consistency with NUMARC 93-01 and compliance with 10 CFR 50.65. Independent assessments were also performed during the course of the recovery effort to confirm and enhance the program redevelopment. The results of the recovery team effort were discussed with the NRC at the Region II office on August 4, 1997.
NRC INSPECTION  
Additional programmatic corrective actions and enhancements are discussed in the attached violation response, as well as the corrective actions related to the specific examples cited in the violations. These actions have achieved and will enable us to maintain compliance with the Maintenance Rule .
REPORT NOS. 50-280/97-01.  
*                                                    ,~--------- -~
50-281/97-01  
                                                            *&&SC&F*
We have reviewed Inspection  
                                                                                  ~
Report Nos. 50-280/97-01  
I11111111111111111111111111111111 Ill llll
and 50-281/97-01  
 
dated February 20, 1997, and your August 29, 1997 letter and enclosed Notice of Violation  
We have no objection to this letter being made a part of the public record. Please contact us if you have any questions or require additional information.
for Surry Units 1 and 2. While plant safety and materiel condition  
Very truly yours, James P. O'Hanlon Senior Vice President - Nuclear No additional commitments are made in response to the Notice of Violation in NRC Inspection Report Nos. 50-280/97-01 and 50-281/97-01.
have been maintained  
Attachment cc: Regional Administrator U.S. Nuclear Regulatory Commission Region II Atlanta Federal Center
at a high level, we recognize  
* 61 Forsyth Street, SW, Suite 23T85 Atlanta, Georgia 30303 Mr. R. A. Musser NRC Senior Resident Inspector Surry Power Station
that our implementation  
 
of the Maintenance  
REPLY TO A NOTICE OF VIOLATION NRC INSPECTION CONDUCTED JANUARY 13 -17, 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION REPORT NOS. 50-280/97-01, 50-281/97-01 NRC COMMENT:
Rule was not adequate.  
"During an NRC inspection conducted between January 13 and 17, 1997, violations of NRC requirements were identified. In accordance with the 'General Statement of Policy and Procedures for NRC Enforcement Actions,' NUREG 1600, the NRC proposes to impose a civil penalty pursuant to Section 234 of the Atomic Energy Act of 1954, as amended (Act), 42 U.S.C. 2282, and 10 CFR 2.205. The particular violations and associated civil penalty are set forth below:
We have carefully  
A. 10 CFR 50.65(a)(1) requires, in part, that the holders of an operating license shall monitor the performance or condition of structures, systems, or components (SSCs) within the scope of the rule as defined by 10 CFR 50.65(b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such structures, systems, and components, are capable of fulfilling their intended functions. Such goals shall be established commensurate with safety. When the performance or condition of a structure; system, or component does not meet established goals, appropriate corrective action shall be taken.
re-examined  
Contrary to 10 CFR 50.65(a)(1), as of January 13, 1997, the licensee failed to monitor the performance and establish goals commensurate with safety for the emergency switch gear heating ventilation and air conditioning system, as required by 10 CFR 50.65(a)(1), in a manner sufficient to provide reasonable assurance that such a structure, system, and component, was capable of fulfilling its intended functions. The emergency switch gear heating ventilation and air conditioning system is a system required in order for the facility to shut down the reactor and maintain it in a safe shutdown condition. (01013)
our approach to the implementation  
B. 10 CFR 50.65(a)(1) requires, in part, the holders of an operating license shall monitor the performance or condition of SSCs, as defined by 10 CFR 50.65(b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such structures, systems, and components are capable of fulfilling their intended functions. When the performance or condition of a structure, system, or component does not meet established goals, appropriate corrective action shall be taken.
-of the Maintenance  
10 CFR 50.65(a)(2) requires, in part, that monitoring as specified in 10 CFR 50.65 Section (a)(1) is not required where it has been demonstrated that the performance or condition of a structure, system, or
Rule program and have conducted  
 
an independent  
component is being effectively controlled through the performance of appropriate preventive maintenance, such that the structure, system, or component remains capable of performing its intended function.
assessment  
Contrary to 10 CFR 50.65(a)(2), as of July 10, 1996, the time that the licensee elected to not monitor the performance or condition of certain SSCs against licensee-established goals pursuant to the requirements of Section (a)(1 ), the licensee failed to demonstrate that the performance or condition of SSCs within the scope of 10 CFR 50.65 had been effectively controlled through the performance of appropriate preventive maintenance, as evidenced by the following examples, each of which would constitute a separate violation:
of the management  
(1)             The licensee failed to demonstrate that the performance of the risk-significant, direct current power, emergency switch gear heating, ventilation and air conditioning (chillers), and service water systems, and the non-risk-significant emergency lighting and condensate polishing systems, had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).
factors involved.  
Specifically, the licensee failed to evaluate the appropriateness of the performance of preventive maintenance on these systems prior
As discussed  
* to placing these SSCs under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance system failures was not adequate because it failed to consider system failures prior to July 10, 1996. Without an evaluation of the appropriateness of preventive maintenance performed on these systems prior to July 10, 1996, the licensee was unable to demonstrate that the performance or condition of. these systems were effectively controlled through the performance of appropriate preventive maintenance, such that the SSCs remain capable of performing their intended functions.
at the March 11, 1997, predecisional  
(2)             The licensee failed to demonstrate that the performance of the non-risk-significant radiation monitors had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).
enforcement  
Specifically, the licensee failed to adequately evaluate the appropriateness of the performance of preventive maintenance on the radiation monitors prior to placing these SSCs under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance was not adequate because it had failed to identify that maintenance performed on the system had not prevented excessive inoperability and unavailability of the radiation monitors such that the monitors may not have been capable of performing
conference, we have addressed  
    * ~ ,* ., r--~ *, " I, ~ ** * 't_'' :J> - * - * - - ' * *
the identified  
* T ,0 - - * ,.* - ~ * *
weaknesses  
* their intended function of either (1) alerting the licensee that radiological set points had been exceeded, or (2) initiating an automatic safety system actuation.
and have implemented  
(3) The licensee failed to demonstrate that the performance of the risk-significant reactor protection system (RPS) and safety injection actuation system (SIAS) were being effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).
a recovery plan to address the specific Maintenance  
Specifically, the licensee failed to demonstrate it had established adequate measures to evaluate the effectiveness of preventive maintenance on these risk significant SSCs prior to placing these SSCs under Section (a)(2) in that it used a standard that would allow up to three maintenance preventable functional failures (MPFF) per operating cycle. Allowing three MPFFs for the risk-significant RPS and SIAS would not demonstrate that the performance of the SSCs were being effectively controlled through appropriate preventive maintenance.
Rule program issues. In addition, we have clarified  
(4) The licensee failed to demonstrate that the performance of the risk-significant component cooling water pumps and the instrument air compressor had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to establish any measure to evaluate the appropriateness of the performance of preventive maintenance on the component cooling water pumps and the instrument air compressor prior to placing these SSCs under Section (a)(2).
the self-assessment  
Measures to evaluate the appropriateness of the preventive maintenance were necessary to demonstrate that the performance or condition of the components were being effectively controlled through appropriate preventive maintenance such that the component cooling water pumps and the instrument air compressor remain capable of performing their intended function.
program requirements  
(5) The licensee failed to demonstrate that the performance of the risk-significant reactor coolant system code safety valves had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee had failed to establish adequate measures to evaluate the appropriateness of the performance of preventive maintenance on the reactor coolant system code safety valves prior to placing these SSCs under Section (a)(2). The measures used in the evaluation of the appropriateness of the preventive maintenance were not adequate
to ensure that identified  
 
deviating  
because they failed to consider set point drift of the valves.
conditions  
Measures for the evaluation of set point drift were necessary
are resolved through the corrective  
* because, if preventive maintenance fails to preclude change to the set point of the reactor coolant system code. safety valves, the valves may not be capable of performing their intended function of protecting the reactor coolant system from over pressurizing and failing.
action program. As part of the recovery plan, a dedicated  
(6)        The licensee failed to demonstrate that the performance of the risk-significant emergency service water system had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to adequately evaluate the appropriateness of the performance of preventive maintenance on this system prior to placing this SSC under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance system failures was not adequate because it failed to consider failures of periodic tests for system operability prior to July 10, 1996. Without an evaluation of the appropriateness of preventive maintenance performed on this system prior to July 10, 1996, the licensee was unable to demonstrate that the performance of the system was effectively controlled through the performance of appropriate preventive maintenance, such that this SSC remains capable of performing its intended function.
team was established  
(7)        The licensee failed to demonstrate that the performance of standby function of the electro-hydraulic control system, bearing cooling system, boric acid transfer pumps (emergency boration mode),
to revise and revalidate  
auxiliary building heating, ventilation and cooling system, and the control room emergency ventilation system had been effectively controlled through performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to establish any measures to evaluate the appropriateness of the performance of
Virginia Power's Maintenance  
* preventive maintenance on these SSCs prior to placing these SSCs under Section (a)(2). Without any measures to evaluate these standby functions, the licensee was unable to demonstrate that the performance or condition of these SSCs were effectively controlled through the performance of appropriate preventive maintenance, such that these SSCs remain capable of performing their intended function. (01023)
Rule program. The team essentially  
C. Technical Specification (TS) 6.4, Unit Operating Procedures, states in Part A.7, that detailed written procedures with appropriate checkoff lists and instructions shall be provided for preventive or corrective
redeveloped  
      ~~****~**   ~*- :""'* - .... -~ -.- .. - -,* ............ -.~- ~ .. - ... -*.
the entire program to ensure consistency  
 
with NUMARC 93-01 and compliance  
maintenance operations which could have an effect on the safety of the reactor. Part D of TS 6.4 states that all procedures described in Specification 6.4.A shall be followed.
with 10 CFR 50.65. Independent  
Virginia     Power     Station   Administrative     Procedure     VPAP-0815, Maintenance Rule Program, Revision 3, and VPAP-2001, Station Planning and Scheduling, were established to provide instructions for preventive and corrective maintenance operations.
assessments  
(1)   VPAP-0815, Revision 3, included the screening criteria for cause determinations of Maintenance Preventable Functional Failures (MPFF), an activity which could have an effect on the safety of the reactor. Section 4.11 of VPAP-0815 included a requirement that a SSC within the scope of the Rule must experience a failure which resulted in a loss of risk-significant or standby train function and/or loss of a non-risk-significant system function that affected plant level monitoring criteria prior to screening for a MPFF.
were also performed  
Contrary to the above, as of January 13, 1997, the instructions provided in Virginia Power Station Administrative Procedure VPAP-0815, Revision 3, were not appropriate, in that VPAP-0815 did not prescribe adequate instructions regarding cause determinations for
during the course of the recovery effort to confirm and enhance the program redevelopment.  
* MPFFs in the main feedwater, chemical and volume control, and radiation monitoring systems. Specifically, Section 4.11 of VPAP-0815 did not provide instructions to allow for screening of MPFFs for a SSC within the scope of the Rule without experiencing a failure which resulted in a loss of risk-significant or standby train function and/or loss of a non-risk-significant system function that affected plant level monitoring criteria. During the inspection, examples of MPFFs were identified for the main feedwater, chemical and volume control, and radiation monitoring systems which had not been identified by the licensee due to this procedure inadequacy. Limiting the screening of functional failures to failures that actually cause plant transients does not provide assurance that the main feedwater system, the chemical and volume control system, and the radiation monitoring system remain capable of performing their intended function thereby affecting the safety of the reactor. (01033)
The results of the recovery team effort were discussed  
(2)    VPAP-0815, Revision 3, Section 5.12, requires the Maintenance Rule Working Group to develop, review, and approve performance criteria for risk significant and Maintenance Rule structures, systems, and components.
with the NRC at the Region II office on August 4, 1997. Additional  
 
programmatic  
Contrary to the above, the licensee failed to follow VPAP-0815 in that the performance criteria for the reactor protection system, a system where performance has an effect on the safety of the reactor, was changed on January 16, 1997 without approval of the Maintenance Rule Working Group as required by Section 5.12 of VPAP-0815. (01043)
corrective  
(3)           VPAP-2001, Revision 3, Section 6.7.2, requires that the approval of the Assistant Station Manager Operations and Maintenance be obtained whenever two or more risk-significant systems or components are to be unavailable which are not addressed in the site matrix for removing equipment from service during on line operations.
actions and enhancements  
Contrary to the above, the licensee failed to obtain approval from the Assistant Station Manager Operations and Maintenance on October 17, 1996, when one pressurizer power operated relief valve was blocked and an instrument air compressor was unavailable (both risk-significant components whose removal from service would have an effect on the safety of the reactor and not addressed in the site matrix) as required by Section 6.7.2 of VPAP-2001. (01053)
are discussed  
These violations represent a Severity Level Ill problem (Supplement I).
in the attached violation  
Civil Penalty - $55,000"
response, as well as the corrective  
 
actions related to the specific examples cited in the violations.  
- - - - - - ----~-----=--~~ - ~ - .
These actions have achieved and will enable us to maintain compliance  
REPLY TO A NOTICE OF VIOLATION NRC INSPECTION CONDUCTED JANUARY 13 -17. 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION REPORT NOS. 50-280/97-01, 50-281/97-01 Violation A
with the Maintenance  
: 1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed at the predecisional enforcement conference at the NRC Region II office on March 11, 1997, Virginia Power failed to adequately implement the Maintenance Rule. This failure was caused by weaknesses in the development and execution of Virginia Power's Maintenance Rule program that resulted from 1) management's insufficient knowledge of the industry guidelines (i.e., NUMARC 93-01), 2) inadequate management oversight,
Rule . ,~---------
: 3) the lack of program ownership, and 4) the absence of a well defined implementation plari.
-~ ------------I 11111111111111111111111111111111
Due to the development and implementation weaknesses described above, the Maintenance Rule program was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. As a result of these program deficiencies, we failed to properly monitor performance and establish goals for some structures, systems, and components (SSCs), as required by 10 CFR 50.65(a)(1 ), including the emergency switch gear (ESG) heating, ventilation, and air conditioning (HVAC) system.
Ill llll *&&SC&F*
: 2. Corrective Steps Which Have Been Taken and the Results Achieved As discussed at the March 11, 1997, predecisional enforcement conference, a recovery plan was developed to address the Maintenance Rule program issues.
* We have no objection  
As a part of the recovery plan, a dedicated Maintenance Rule Recovery Team was established to revise and revalidate Virginia Power's Maintenance Rule program. The team essentially redeveloped the entire program to ensure consistency with NU MARC 93-01 and compliance with 10 CFR 50.65. The results of the recovery team effort were discussed with the NRC at the Region II office on August 4, 1997.
to this letter being made a part of the public record. Please contact us if you have any questions  
Although normal maintenance and testing ensured the operability of the ESG HVAC system, the specific requirements of 10 CFR 50.65(a)(1) were not satisfied. To address the deficiencies cited in Violation A, appropriate goals and monitoring were established for the ESG HVAC air handling units (AHUs) in accordance with 10 CFR 50.65(a)(1). The (a)(1) goals were subsequently met
or require additional  
* 1, "':" ... - -"f;" 7 - .- - -.- - ** * ............ - .,- .... - * ... - - -
information.  
 
Very truly yours, James P. O'Hanlon Senior Vice President  
and the AHUs were recently returned to the normal (a)(2) performance monitoring category. An evaluation of the performance of the ESG HVAC chillers was also completed. Based on this evaluation, the chillers were placed in the (a)(1) performance monitoring category and appropriate goals and monitoring were established in accordance with 10 CFR 50.65(a)(1). These actions, in conjunction with routine maintenance and testing, provide reasonable assurance that the ESG HVAC system will remain capable* of fulfilling its intended functions.
-Nuclear No additional  
: 3. Corrective Steps Which Will be Taken to Avoid Further Violations As described at the August 4, 1997, meeting with the NRC, the revised Maintenance Rule program presently implemented provides the framework to ensure future compliance with 10 CFR 50.65 and should preclude similar violations.
commitments  
: 4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, *dated July 23, 1997 (Serial No. 97-410) .
are made in response to the Notice of Violation  
 
in NRC Inspection  
Violation B
Report Nos. 50-280/97-01  
: 1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed in Section 1 of the response to Violation A, implementation weaknesses resulted in the development of a Maintenance Rule program that was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. Due to these program deficiencies, we failed to demonstrate that ,
and 50-281/97-01.  
the performance or condition of some SSCs had been effectively controlled through the performance of appropriate preventive maintenance, as required by 10 CFR 50.65(a)(2), including the examples cited in Violation B.
Attachment  
: 2. Corrective Steps Which Have Been Taken and the Results Achieved The Maintenance Rule Recovery Team revised/established the performance criteria for the structures, systems, and components (SSCs) within the scope of the Maintenance Rule. This effort corrected the specific issues identified in the seven examples associated with Violation B and* the related programmatic deficiencies that allowed these examples to occur. The performance criteria were revised/established on a functional level and were validated by the Maintenance Rule Expert Panel to ensure consistency with the latest Probabilistic Safety Analysis models and the NUMARC 93-01 criteria. The Maintenance Rule Recovery Team concurrently conducted a review of the previous three year's internal and external operating experience for the Maintenance Rule SSCs to collect reliability and unavailability data. This data was evaluated relative to the SSC performance criteria and the SSCs were placed in the (a)(1) or (a)(2) performance monitoring category, as appropriate.
cc: Regional Administrator  
The programmatic corrective actions discussed in Section 2 of the response to Violation A are also applicable to Violation B.
U.S. Nuclear Regulatory  
: 3. Corrective Steps Which Will be Taken to Avoid Further Violations As discussed in Section 2 above, the revised Maintenance Rule program provides the framework to ensure future compliance* with 10 CFR 50.65 and should preclude similar violations.
Commission  
: 4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, dated July 23, 1997 (Serial No. 97-410).
Region II Atlanta Federal Center 61 Forsyth Street, SW, Suite 23T85 Atlanta, Georgia 30303 Mr. R. A. Musser NRC Senior Resident Inspector  
 
Surry Power Station
Violation C
REPLY TO A NOTICE OF VIOLATION  
: 1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed in Section 1 of the response to Violation A, implementation weaknesses resulted in the development of a Maintenance Rule program that was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. These program deficiencies were largely responsible for the examples cited in Violation C. The specific causes are discussed below.
NRC INSPECTION  
The procedural inadequacies described in Example No. 1 of Violation C were caused by the improper and non-conservative application of the guidelines of NUMARC 93-01 during the development of the Maintenance Rule program.
CONDUCTED  
Example No. 2 of Violation C was caused by a personnel error. Although the changes to the performance criteria for the reactor protection system had been discussed by the Maintenance Rule Working Group, the changes were not formally approved before the Maintenance Rule database was revised.
JANUARY 13 -17, 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION  
The lack of training with respect to Maintenance Rule program responsibilities and the resulting insufficient knowledge level led to the procedural compliance deviations described in Example No. 3 of Violation C. In addition, we identified that the SSC matrix that was being used to assess on-line maintenance risk was incomplete and did not address certain equipment configurations.
REPORT NOS. 50-280/97-01, 50-281/97-01  
: 2. Corrective Steps Which Have Been Taken and the Results Achieved The corrective actions that addressed the Maintenance Rule program development and implementation weaknesses are discussed in Section 2 of the response to Violation A and are also applicable to Violation C. The specific corrective actions related to the examples cited in Violation C are discussed below.
NRC COMMENT: "During an NRC inspection  
Example No. 1 Station Administrative Procedure VPAP-0815, "Maintenance Rule Program," has been carefully evaluated and revised by the Maintenance Rule Recovery Team to ensure that the program is consistent with NUMARC 93-01. The resulting procedural changes appropriately define maintenance rule functional failures (MRFFs) and maintenance preventable functional failures (MPFFs).           The MRFF/MPFF evaluation forms in VPAP-0815 were also enhanced to ensure that the screening process is performed properly.
conducted  
: 2. Corrective Steps Which Have Been Taken and the Results Achieved (Continued)
between January 13 and 17, 1997, violations  
The corrective steps described in Section 2 of the response to Violation B ensured that MPFFs in the main feedwater, chemical and volume control, and radiation monitoring systems were identified and evaluated with respect to their performance criteria, goals, and monitoring.
of NRC requirements  
Example No. 2 The performance criteria for the reactor protection system was reviewed and approved by the Maintenance Rule Working Group.
were identified.  
Training was conducted for appropriate personnel regarding their responsibilities in the implementation of the Maintenance Rule program, as delineated in VPAP-0815. This corrective action also addressed Example No. 3.
In accordance  
The Senior Vice-President, Nuclear, issued a memorandum to Nuclear Business Unit personnel, reinforcing management's expectations for complete compliance with the Maintenance Rule program. This corrective action also addressed Example No. 3.
with the 'General Statement  
Example No. 3 Station Administrative Procedure VPAP-2001, * "Station Planning and Scheduling," has been revised to improve on-line maintenance practices. The procedural changes clarified the responsibilities for assessing the risk associated with the performance of on-line maintenance and changed the work planning/scheduling processes to ensure that risk is appropriately evaluated and that availability and reliability are reasonably balanced.
of Policy and Procedures  
* To facilitate the assessment of on-line maintenance risk, additional tools have been developed which provide a complete list of PSA risk significant components and an expanded PSA evaluation of on-line maintenance configurations.
for NRC Enforcement  
Appropriate Outage and Planning and Operations Department personnel have been trained in the use of these new tools.
Actions,'  
: 3. Corrective Steps Which Will be Taken to Avoid Further Violations The corrective steps described in Section 2 of the response to Violation C are sufficient to preclude similar violations .
NUREG 1600, the NRC proposes to impose a civil penalty pursuant to Section 234 of the Atomic Energy Act of 1954, as amended (Act), 42 U.S.C. 2282, and 10 CFR 2.205. The particular  
            ... -.. ... . **:.. ' ~ .- - . .,,..... . ........ ' ~ . - . .. *- - ~ . ~ - *- ... ~ . .
violations  
: 4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, dated July 23, 1997 (Serial No. 97-410).
and associated  
          *,, ";"<** * *~.- ~ -.- - *, *T-,, -- *- ~- ,. *}}
civil penalty are set forth below: A. 1 O CFR 50.65(a)(1)  
requires, in part, that the holders of an operating  
license shall monitor the performance  
or condition  
of structures, systems, or components (SSCs) within the scope of the rule as defined by 10 CFR 50.65(b), against licensee-established  
goals, in a manner sufficient  
to provide reasonable  
assurance  
that such structures, systems, and components, are capable of fulfilling  
their intended functions.  
Such goals shall be established  
commensurate  
with safety. When the performance  
or condition  
of a structure;  
system, or component  
does not meet established  
goals, appropriate  
corrective  
action shall be taken. Contrary to 10 CFR 50.65(a)(1), as of January 13, 1997, the licensee failed to monitor the performance  
and establish  
goals commensurate  
with safety for the emergency  
switch gear heating ventilation  
and air conditioning  
system, as required by 10 CFR 50.65(a)(1), in a manner sufficient  
to provide reasonable  
assurance  
that such a structure, system, and component, was capable of fulfilling  
its intended functions.  
The emergency  
switch gear heating ventilation  
and air conditioning  
system is a system required in order for the facility to shut down the reactor and maintain it in a safe shutdown condition.  
(01013) B. 10 CFR 50.65(a)(1)  
requires, in part, the holders of an operating  
license shall monitor the performance  
or condition  
of SSCs, as defined by 10 CFR 50.65(b), against licensee-established  
goals, in a manner sufficient  
to provide reasonable  
assurance  
that such structures, systems, and components  
are capable of fulfilling  
their intended functions.  
When the performance  
or condition  
of a structure, system, or component  
does not meet established  
goals, appropriate  
corrective  
action shall be taken. 10 CFR 50.65(a)(2)  
requires, in part, that monitoring  
as specified  
in 10 CFR 50.65 Section (a)(1) is not required where it has been demonstrated  
that the performance  
or condition  
of a structure, system, or
* * * component  
is being effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, such that the structure, system, or component  
remains capable of performing  
its intended function.  
Contrary to 1 O CFR 50.65(a)(2), as of July 10, 1996, the time that the licensee elected to not monitor the performance  
or condition  
of certain SSCs against licensee-established  
goals pursuant to the requirements  
of Section (a)(1 ), the licensee failed to demonstrate  
that the performance  
or condition  
of SSCs within the scope of 10 CFR 50.65 had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, as evidenced  
by the following  
examples, each of which would constitute  
a separate violation:  
(1) The licensee failed to demonstrate  
that the performance  
of the significant, direct current power, emergency  
switch gear heating, ventilation  
and air conditioning (chillers), and service water systems, and the non-risk-significant  
emergency  
lighting and condensate  
polishing  
systems, had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee failed to evaluate the appropriateness  
of the performance  
of preventive  
maintenance  
on these systems prior to placing these SSCs under Section (a)(2). The evaluation  
of the appropriateness  
of the preventive  
maintenance  
system failures was not adequate because it failed to consider system failures prior to July 10, 1996. Without an evaluation  
of the appropriateness  
of preventive  
maintenance  
performed  
on these systems prior to July 10, 1996, the licensee was unable to demonstrate  
that the performance  
or condition  
of. these systems were effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, such that the SSCs remain capable of performing  
their intended functions.  
(2) The licensee failed to demonstrate  
that the performance  
of the risk-significant  
radiation  
monitors had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee failed to adequately  
evaluate the appropriateness  
of the performance  
of preventive  
maintenance  
on the radiation  
monitors prior to placing these SSCs under Section (a)(2). The evaluation  
of the appropriateness  
of the preventive  
maintenance  
was not adequate because it had failed to identify that maintenance  
performed  
on the system had not prevented  
excessive  
inoperability  
and unavailability  
of the radiation  
monitors such that the monitors may not have been capable of performing  
* ,* ., r--~ *, " I, ** * 't_'' :J> -* -* --' * * * T ,0 --* ,.* -* * * --, 
* (3) (4) (5) their intended function of either (1) alerting the licensee that radiological  
set points had been exceeded, or (2) initiating  
an automatic  
safety system actuation.  
The licensee failed to demonstrate  
that the performance  
of the significant  
reactor protection  
system (RPS) and safety injection  
actuation  
system (SIAS) were being effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee failed to demonstrate  
it had established  
adequate measures to evaluate the effectiveness  
of preventive  
maintenance  
on these risk significant  
SSCs prior to placing these SSCs under Section (a)(2) in that it used a standard that would allow up to three maintenance  
preventable  
functional  
failures (MPFF) per operating  
cycle. Allowing three MPFFs for the significant  
RPS and SIAS would not demonstrate  
that the performance  
of the SSCs were being effectively  
controlled  
through appropriate  
preventive  
maintenance.  
The licensee failed to demonstrate  
that the performance  
of the significant  
component  
cooling water pumps and the instrument  
air compressor  
had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee failed to establish  
any measure to evaluate the appropriateness  
of the performance  
of preventive  
maintenance  
on the component  
cooling water pumps and the instrument  
air compressor  
prior to placing these SSCs under Section (a)(2). Measures to evaluate the appropriateness  
of the preventive  
maintenance  
were necessary  
to demonstrate  
that the performance  
or condition  
of the components  
were being effectively  
controlled  
through appropriate  
preventive  
maintenance  
such that the component  
cooling water pumps and the instrument  
air compressor  
remain capable of performing  
their intended function.  
The licensee failed to demonstrate  
that the performance  
of the significant  
reactor coolant system code safety valves had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee had failed to establish  
adequate measures to evaluate the appropriateness  
of the performance  
of preventive  
maintenance  
on the reactor coolant system code safety valves prior to placing these SSCs under Section (a)(2). The measures used in the evaluation  
of the appropriateness  
of the preventive  
maintenance  
were not adequate
* (6) (7) -----------because they failed to consider set point drift of the valves. Measures for the evaluation  
of set point drift were necessary  
because, if preventive  
maintenance  
fails to preclude change to the set point of the reactor coolant system code. safety valves, the valves may not be capable of performing  
their intended function of protecting  
the reactor coolant system from over pressurizing  
and failing. The licensee failed to demonstrate  
that the performance  
of the significant  
emergency  
service water system had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 10 CFR 50.65(a)(2).  
Specifically, the licensee failed to adequately  
evaluate the appropriateness  
of the performance  
of preventive  
maintenance  
on this system prior to placing this SSC under Section (a)(2). The evaluation  
of the appropriateness  
of the preventive  
maintenance  
system failures was not adequate because it failed to consider failures of periodic tests for system operability  
prior to July 10, 1996. Without an evaluation  
of the appropriateness  
of preventive  
maintenance  
performed  
on this system prior to July 10, 1996, the licensee was unable to demonstrate  
that the performance  
of the system was effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, such that this SSC remains capable of performing  
its intended function.  
The licensee failed to demonstrate  
that the performance  
of standby function of the electro-hydraulic  
control system, bearing cooling system, boric acid transfer pumps (emergency  
boration mode), auxiliary  
building heating, ventilation  
and cooling system, and the control room emergency  
ventilation  
system had been effectively  
controlled  
through performance  
of appropriate  
preventive  
maintenance  
in accordance  
with the requirements  
of 1 O CFR 50.65(a)(2).  
Specifically, the licensee failed to establish  
any measures to evaluate the appropriateness  
of the performance  
of * preventive  
maintenance  
on these SSCs prior to placing these SSCs under Section (a)(2). Without any measures to evaluate these standby functions, the licensee was unable to demonstrate  
that the performance  
or condition  
of these SSCs were effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, such that these SSCs remain capable of performing  
their intended function.  
(01023) C. Technical  
Specification (TS) 6.4, Unit Operating  
Procedures, states in Part A.7, that detailed written procedures  
with appropriate  
checkoff lists and instructions  
shall be provided for preventive  
or corrective  
~~****~**  
~*-:""'* -.... -~ -.-.. --,* ............  
-.~-.. -... -*.
* * maintenance  
operations  
which could have an effect on the safety of the reactor. Part D of TS 6.4 states that all procedures  
described  
in Specification  
6.4.A shall be followed.  
Virginia Power Station Administrative  
Procedure  
VPAP-0815, Maintenance  
Rule Program, Revision 3, and VPAP-2001, Station Planning and Scheduling, were established  
to provide instructions  
for preventive  
and corrective  
maintenance  
operations.  
(1) (2) VPAP-0815, Revision 3, included the screening  
criteria for cause determinations  
of Maintenance  
Preventable  
Functional  
Failures (MPFF), an activity which could have an effect on the safety of the reactor. Section 4.11 of VPAP-0815  
included a requirement  
that a SSC within the scope of the Rule must experience  
a failure which resulted in a loss of risk-significant  
or standby train function and/or loss of a non-risk-significant  
system function that affected plant level monitoring  
criteria prior to screening  
for a MPFF. Contrary to the above, as of January 13, 1997, the instructions  
provided in Virginia Power Station Administrative  
Procedure  
VPAP-0815, Revision 3, were not appropriate, in that VPAP-0815  
did not prescribe  
adequate instructions  
regarding  
cause determinations  
for MPFFs in the main feedwater, chemical and volume control, and radiation  
monitoring  
systems. Specifically, Section 4.11 of VPAP-0815 did not provide instructions  
to allow for screening  
of MPFFs for a SSC within the scope of the Rule without experiencing  
a failure which resulted in a loss of risk-significant  
or standby train function and/or loss of a non-risk-significant  
system function that affected plant level monitoring  
criteria.  
During the inspection, examples of MPFFs were identified  
for the main feedwater, chemical and volume control, and radiation  
monitoring  
systems which had not been identified  
by the licensee due to this procedure  
inadequacy.  
Limiting the screening  
of functional  
failures to failures that actually cause plant transients  
does not provide assurance  
that the main feedwater  
system, the chemical and volume control system, and the radiation  
monitoring  
system remain capable of performing  
their intended function thereby affecting  
the safety of the reactor. (01033) VPAP-0815, Revision 3, Section 5.12, requires the Maintenance  
Rule Working Group to develop, review, and approve performance  
criteria for risk significant  
and Maintenance  
Rule structures, systems, and components.
Contrary to the above, the licensee failed to follow VPAP-0815  
in that the performance  
criteria for the reactor protection  
system, a system where performance  
has an effect on the safety of the reactor, was changed on January 16, 1997 without approval of the Maintenance  
Rule Working Group as required by Section 5.12 of VPAP-0815.  
(01043) (3) VPAP-2001, Revision 3, Section 6.7.2, requires that the approval of the Assistant  
Station Manager Operations  
and Maintenance  
be obtained whenever two or more risk-significant  
systems or components  
are to be unavailable  
which are not addressed  
in the site matrix for removing equipment  
from service during on line operations.  
Contrary to the above, the licensee failed to obtain approval from the Assistant  
Station Manager Operations  
and Maintenance  
on October 17, 1996, when one pressurizer  
power operated relief valve was blocked and an instrument  
air compressor  
was unavailable (both risk-significant  
components  
whose removal from service would have an effect on the safety of the reactor and not addressed  
in the site matrix) as required by Section 6.7.2 of VPAP-2001. (01053) These violations  
represent  
a Severity Level Ill problem (Supplement  
I). Civil Penalty -$55,000" !". ** **.* .. * ** "': *.* * .,_ ** , -.---* 
----------~-----=--~~  
-~-. Violation
A REPLY TO A NOTICE OF VIOLATION  
NRC INSPECTION  
CONDUCTED  
JANUARY 13 -17. 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION  
REPORT NOS. 50-280/97-01, 50-281/97-01  
1. Reason for the Violation, or, if Contested, the Basis for Disputing  
the Violation  
The violation  
is correct as stated. As discussed  
at the predecisional  
enforcement  
conference  
at the NRC Region II office on March 11, 1997, Virginia Power failed to adequately  
implement  
the Maintenance  
Rule. This failure was caused by weaknesses  
in the development  
and execution  
of Virginia Power's Maintenance  
Rule program that resulted from 1) management's  
insufficient  
knowledge  
of the industry guidelines (i.e., NUMARC 93-01), 2) inadequate  
management  
oversight, 3) the lack of program ownership, and 4) the absence of a well defined implementation  
plari. Due to the development  
and implementation  
weaknesses  
described  
above, the Maintenance  
Rule program was not consistent  
with the guidelines  
of NUMARC 93-01 and did not comply with all of the requirements  
of 10 CFR 50.65. As a result of these program deficiencies, we failed to properly monitor performance  
and establish  
goals for some structures, systems, and components (SSCs), as required by 10 CFR 50.65(a)(1  
), including  
the emergency  
switch gear (ESG) heating, ventilation, and air conditioning (HVAC) system. 2. Corrective  
Steps Which Have Been Taken and the Results Achieved As discussed  
at the March 11, 1997, predecisional  
enforcement  
conference, a recovery plan was developed  
to address the Maintenance  
Rule program issues. As a part of the recovery plan, a dedicated  
Maintenance  
Rule Recovery Team was established  
to revise and revalidate  
Virginia Power's Maintenance  
Rule program. The team essentially  
redeveloped  
the entire program to ensure consistency  
with NU MARC 93-01 and compliance  
with 10 CFR 50.65. The results of the recovery team effort were discussed  
with the NRC at the Region II office on August 4, 1997. Although normal maintenance  
and testing ensured the operability  
of the ESG HVAC system, the specific requirements  
of 10 CFR 50.65(a)(1)  
were not satisfied.  
To address the deficiencies  
cited in Violation  
A, appropriate  
goals and monitoring  
were established  
for the ESG HVAC air handling units (AHUs) in accordance  
with 10 CFR 50.65(a)(1).  
The (a)(1) goals were subsequently  
met * 1, "':" ... --"f;" 7 -.---.--** * ............  
-.,-.... -* ... ---  
* and the AHUs were recently returned to the normal (a)(2) performance  
monitoring  
category.  
An evaluation  
of the performance  
of the ESG HVAC chillers was also completed.  
Based on this evaluation, the chillers were placed in the (a)(1) performance  
monitoring  
category and appropriate  
goals and monitoring  
were established  
in accordance  
with 10 CFR 50.65(a)(1).  
These actions, in conjunction  
with routine maintenance  
and testing, provide reasonable  
assurance  
that the ESG HVAC system will remain capable* of fulfilling  
its intended functions.  
3. Corrective  
Steps Which Will be Taken to Avoid Further Violations  
As described  
at the August 4, 1997, meeting with the NRC, the revised Maintenance  
Rule program presently  
implemented  
provides the framework  
to ensure future compliance  
with 10 CFR 50.65 and should preclude similar violations.  
4. The Date When Full Compliance  
Will be Achieved Full compliance  
with the Maintenance  
Rule was achieved on June 30, 1997, and was confirmed  
in our letter to the NRC, * dated July 23, 1997 (Serial No. 97-410) .
Violation  
B 1. Reason for the Violation, or, if Contested, the Basis for Disputing  
the Violation  
The violation  
is correct as stated. As discussed  
in Section 1 of the response to Violation  
A, implementation  
weaknesses  
resulted in the development  
of a Maintenance  
Rule program that was not consistent  
with the guidelines  
of NUMARC 93-01 and did not comply with all of the requirements  
of 10 CFR 50.65. Due to these program deficiencies, we failed to demonstrate  
that , the performance  
or condition  
of some SSCs had been effectively  
controlled  
through the performance  
of appropriate  
preventive  
maintenance, as required by 10 CFR 50.65(a)(2), including  
the examples cited in Violation  
B. 2. Corrective  
Steps Which Have Been Taken and the Results Achieved The Maintenance  
Rule Recovery Team revised/established  
the performance  
criteria for the structures, systems, and components (SSCs) within the scope of the Maintenance  
Rule. This effort corrected  
the specific issues identified  
in the seven examples associated  
with Violation  
B and* the related programmatic  
deficiencies  
that allowed these examples to occur. The performance  
criteria were revised/established  
on a functional  
level and were validated  
by the Maintenance  
Rule Expert Panel to ensure consistency  
with the latest Probabilistic  
Safety Analysis models and the NUMARC 93-01 criteria.  
The Maintenance  
Rule Recovery Team concurrently  
conducted  
a review of the previous three year's internal and external operating  
experience  
for the Maintenance  
Rule SSCs to collect reliability  
and unavailability  
data. This data was evaluated  
relative to the SSC performance  
criteria and the SSCs were placed in the (a)(1) or (a)(2) performance  
monitoring  
category, as appropriate.  
The programmatic  
corrective  
actions discussed  
in Section 2 of the response to Violation  
A are also applicable  
to Violation  
B. 3. Corrective  
Steps Which Will be Taken to Avoid Further Violations  
As discussed  
in Section 2 above, the revised Maintenance  
Rule program provides the framework  
to ensure future compliance*  
with 10 CFR 50.65 and should preclude similar violations.  
4. The Date When Full Compliance  
Will be Achieved Full compliance  
with the Maintenance  
Rule was achieved on June 30, 1997, and was confirmed  
in our letter to the NRC, dated July 23, 1997 (Serial No. 97-410).
Violation  
C 1. Reason for the Violation, or, if Contested, the Basis for Disputing  
the Violation  
The violation  
is correct as stated. As discussed  
in Section 1 of the response to Violation  
A, implementation  
weaknesses  
resulted in the development  
of a Maintenance  
Rule program that was not consistent  
with the guidelines  
of NUMARC 93-01 and did not comply with all of the requirements  
of 10 CFR 50.65. These program deficiencies  
were largely responsible  
for the examples cited in Violation  
C. The specific causes are discussed  
below. The procedural  
inadequacies  
described  
in Example No. 1 of Violation  
C were caused by the improper and non-conservative  
application  
of the guidelines  
of NUMARC 93-01 during the development  
of the Maintenance  
Rule program. Example No. 2 of Violation  
C was caused by a personnel  
error. Although the changes to the performance  
criteria for the reactor protection  
system had been discussed  
by the Maintenance  
Rule Working Group, the changes were not formally approved before the Maintenance  
Rule database was revised. The lack of training with respect to Maintenance  
Rule program responsibilities  
and the resulting  
insufficient  
knowledge  
level led to the procedural  
compliance  
deviations  
described  
in Example No. 3 of Violation  
C. In addition, we identified  
that the SSC matrix that was being used to assess on-line maintenance  
risk was incomplete  
and did not address certain equipment  
configurations.  
2. Corrective  
Steps Which Have Been Taken and the Results Achieved The corrective  
actions that addressed  
the Maintenance  
Rule program development  
and implementation  
weaknesses  
are discussed  
in Section 2 of the response to Violation  
A and are also applicable  
to Violation  
C. The specific corrective  
actions related to the examples cited in Violation  
C are discussed  
below. Example No. 1 Station Administrative  
Procedure  
VPAP-0815, "Maintenance  
Rule Program," has been carefully  
evaluated  
and revised by the Maintenance  
Rule Recovery Team to ensure that the program is consistent  
with NUMARC 93-01. The resulting  
procedural  
changes appropriately  
define maintenance  
rule functional  
failures (MRFFs) and maintenance  
preventable  
functional  
failures (MPFFs). The MRFF/MPFF  
evaluation  
forms in VPAP-0815  
were also enhanced to ensure that the screening  
process is performed  
properly.
2. Corrective  
Steps Which Have Been Taken and the Results Achieved (Continued)  
The corrective  
steps described  
in Section 2 of the response to Violation  
B ensured that MPFFs in the main feedwater, chemical and volume control, and radiation  
monitoring  
systems were identified  
and evaluated  
with respect to their performance  
criteria, goals, and monitoring.  
Example No. 2 The performance  
criteria for the reactor protection  
system was reviewed and approved by the Maintenance  
Rule Working Group. Training was conducted  
for appropriate  
personnel  
regarding  
their responsibilities  
in the implementation  
of the Maintenance  
Rule program, as delineated  
in VPAP-0815.  
This corrective  
action also addressed  
Example No. 3. The Senior Vice-President, Nuclear, issued a memorandum  
to Nuclear Business Unit personnel, reinforcing  
management's  
expectations  
for complete compliance  
with the Maintenance  
Rule program. This corrective  
action also addressed  
Example No. 3. Example No. 3 Station Administrative  
Procedure  
VPAP-2001, * "Station Planning and Scheduling," has been revised to improve on-line maintenance  
practices.  
The procedural  
changes clarified  
the responsibilities  
for assessing  
the risk associated  
with the performance  
of on-line maintenance  
and changed the work planning/scheduling  
processes  
to ensure that risk is appropriately  
evaluated  
and that availability  
and reliability  
are reasonably  
balanced.  
* To facilitate  
the assessment  
of on-line maintenance  
risk, additional  
tools have been developed  
which provide a complete list of PSA risk significant  
components  
and an expanded PSA evaluation  
of on-line maintenance  
configurations.  
Appropriate  
Outage and Planning and Operations  
Department  
personnel  
have been trained in the use of these new tools. 3. Corrective  
Steps Which Will be Taken to Avoid Further Violations  
The corrective  
steps described  
in Section 2 of the response to Violation  
C are sufficient  
to preclude similar violations . ... -.. ... . **: .. ' .--. .,,..... .. ........ ' . -. . . *--. -*-... . .
4. The Date When Full Compliance  
Will be Achieved Full compliance  
with the Maintenance
Rule was achieved on June 30, 1997, and was confirmed
in our letter to the NRC, dated July 23, 1997 (Serial No. 97-410). *,, ";"<** * *~.--.--*, *T-,, --*-~-,. *
}}

Latest revision as of 23:17, 2 February 2020

Responds to NRC 970829 Ltr Re Violations Noted in Insp Repts 50-280/97-01 & 50-281/97-01 on 970113 & 17.Corrective Actions:Recovery Plan Developed to Address Maintenance Rule Program Issues & Redeveloped Program
ML18153A444
Person / Time
Site: Surry  Dominion icon.png
Issue date: 09/26/1997
From: Ohanlon J
VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
To: Lieberman J
NRC OFFICE OF ENFORCEMENT (OE)
References
50-280-97-01, 50-280-97-1, 50-281-97-01, 50-281-97-1, 97-516, NUDOCS 9710020031
Download: ML18153A444 (14)


Text

- - - - - - - - -

Vu \ol1L

(~'tx)r.,,5 VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND, VIRGINIA 23261 September 26, 1997 Mr. James Lieberman, Director Serial No.97-516 Office of Enforcement SPS/BCB R2.1 United States Nuclear Regulatory Commission Docket Nos. 50-280 One White Flint North 50-281 11555 Rockville Pike License Nos. DPR-32 Rockville, MD 20852-2738 DPR-37

Dear Mr. Lieberman:

  • 97 OCT ~1 A10 :19 VIRGINIA ELECTRIC AND POWER COMPANY Puuuc DOCU!-i[NT r:1:

SURRY POWER STATION UNITS 1 AND 2 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NOS. 50-280/97-01. 50-281/97-01 We have reviewed Inspection Report Nos. 50-280/97-01 and 50-281/97-01 dated February 20, 1997, and your August 29, 1997 letter and enclosed Notice of Violation for Surry Units 1 and 2. While plant safety and materiel condition have been maintained at a high level, we recognize that our implementation of the Maintenance Rule was not

  • adequate. We have carefully re-examined our approach to the implementation -of the Maintenance Rule program and have conducted an independent assessment of the management factors involved. As discussed at the March 11, 1997, predecisional enforcement conference, we have addressed the identified weaknesses and have implemented a recovery plan to address the specific Maintenance Rule program issues.

In addition, we have clarified the self-assessment program requirements to ensure that identified deviating conditions are resolved through the corrective action program.

As part of the recovery plan, a dedicated team was established to revise and revalidate Virginia Power's Maintenance Rule program. The team essentially redeveloped the entire program to ensure consistency with NUMARC 93-01 and compliance with 10 CFR 50.65. Independent assessments were also performed during the course of the recovery effort to confirm and enhance the program redevelopment. The results of the recovery team effort were discussed with the NRC at the Region II office on August 4, 1997.

Additional programmatic corrective actions and enhancements are discussed in the attached violation response, as well as the corrective actions related to the specific examples cited in the violations. These actions have achieved and will enable us to maintain compliance with the Maintenance Rule .

  • ,~--------- -~
  • &&SC&F*

~

I11111111111111111111111111111111 Ill llll

We have no objection to this letter being made a part of the public record. Please contact us if you have any questions or require additional information.

Very truly yours, James P. O'Hanlon Senior Vice President - Nuclear No additional commitments are made in response to the Notice of Violation in NRC Inspection Report Nos. 50-280/97-01 and 50-281/97-01.

Attachment cc: Regional Administrator U.S. Nuclear Regulatory Commission Region II Atlanta Federal Center

  • 61 Forsyth Street, SW, Suite 23T85 Atlanta, Georgia 30303 Mr. R. A. Musser NRC Senior Resident Inspector Surry Power Station

REPLY TO A NOTICE OF VIOLATION NRC INSPECTION CONDUCTED JANUARY 13 -17, 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION REPORT NOS. 50-280/97-01, 50-281/97-01 NRC COMMENT:

"During an NRC inspection conducted between January 13 and 17, 1997, violations of NRC requirements were identified. In accordance with the 'General Statement of Policy and Procedures for NRC Enforcement Actions,' NUREG 1600, the NRC proposes to impose a civil penalty pursuant to Section 234 of the Atomic Energy Act of 1954, as amended (Act), 42 U.S.C. 2282, and 10 CFR 2.205. The particular violations and associated civil penalty are set forth below:

A. 10 CFR 50.65(a)(1) requires, in part, that the holders of an operating license shall monitor the performance or condition of structures, systems, or components (SSCs) within the scope of the rule as defined by 10 CFR 50.65(b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such structures, systems, and components, are capable of fulfilling their intended functions. Such goals shall be established commensurate with safety. When the performance or condition of a structure; system, or component does not meet established goals, appropriate corrective action shall be taken.

Contrary to 10 CFR 50.65(a)(1), as of January 13, 1997, the licensee failed to monitor the performance and establish goals commensurate with safety for the emergency switch gear heating ventilation and air conditioning system, as required by 10 CFR 50.65(a)(1), in a manner sufficient to provide reasonable assurance that such a structure, system, and component, was capable of fulfilling its intended functions. The emergency switch gear heating ventilation and air conditioning system is a system required in order for the facility to shut down the reactor and maintain it in a safe shutdown condition. (01013)

B. 10 CFR 50.65(a)(1) requires, in part, the holders of an operating license shall monitor the performance or condition of SSCs, as defined by 10 CFR 50.65(b), against licensee-established goals, in a manner sufficient to provide reasonable assurance that such structures, systems, and components are capable of fulfilling their intended functions. When the performance or condition of a structure, system, or component does not meet established goals, appropriate corrective action shall be taken.

10 CFR 50.65(a)(2) requires, in part, that monitoring as specified in 10 CFR 50.65 Section (a)(1) is not required where it has been demonstrated that the performance or condition of a structure, system, or

component is being effectively controlled through the performance of appropriate preventive maintenance, such that the structure, system, or component remains capable of performing its intended function.

Contrary to 10 CFR 50.65(a)(2), as of July 10, 1996, the time that the licensee elected to not monitor the performance or condition of certain SSCs against licensee-established goals pursuant to the requirements of Section (a)(1 ), the licensee failed to demonstrate that the performance or condition of SSCs within the scope of 10 CFR 50.65 had been effectively controlled through the performance of appropriate preventive maintenance, as evidenced by the following examples, each of which would constitute a separate violation:

(1) The licensee failed to demonstrate that the performance of the risk-significant, direct current power, emergency switch gear heating, ventilation and air conditioning (chillers), and service water systems, and the non-risk-significant emergency lighting and condensate polishing systems, had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).

Specifically, the licensee failed to evaluate the appropriateness of the performance of preventive maintenance on these systems prior

  • to placing these SSCs under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance system failures was not adequate because it failed to consider system failures prior to July 10, 1996. Without an evaluation of the appropriateness of preventive maintenance performed on these systems prior to July 10, 1996, the licensee was unable to demonstrate that the performance or condition of. these systems were effectively controlled through the performance of appropriate preventive maintenance, such that the SSCs remain capable of performing their intended functions.

(2) The licensee failed to demonstrate that the performance of the non-risk-significant radiation monitors had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).

Specifically, the licensee failed to adequately evaluate the appropriateness of the performance of preventive maintenance on the radiation monitors prior to placing these SSCs under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance was not adequate because it had failed to identify that maintenance performed on the system had not prevented excessive inoperability and unavailability of the radiation monitors such that the monitors may not have been capable of performing

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  • their intended function of either (1) alerting the licensee that radiological set points had been exceeded, or (2) initiating an automatic safety system actuation.

(3) The licensee failed to demonstrate that the performance of the risk-significant reactor protection system (RPS) and safety injection actuation system (SIAS) were being effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2).

Specifically, the licensee failed to demonstrate it had established adequate measures to evaluate the effectiveness of preventive maintenance on these risk significant SSCs prior to placing these SSCs under Section (a)(2) in that it used a standard that would allow up to three maintenance preventable functional failures (MPFF) per operating cycle. Allowing three MPFFs for the risk-significant RPS and SIAS would not demonstrate that the performance of the SSCs were being effectively controlled through appropriate preventive maintenance.

(4) The licensee failed to demonstrate that the performance of the risk-significant component cooling water pumps and the instrument air compressor had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to establish any measure to evaluate the appropriateness of the performance of preventive maintenance on the component cooling water pumps and the instrument air compressor prior to placing these SSCs under Section (a)(2).

Measures to evaluate the appropriateness of the preventive maintenance were necessary to demonstrate that the performance or condition of the components were being effectively controlled through appropriate preventive maintenance such that the component cooling water pumps and the instrument air compressor remain capable of performing their intended function.

(5) The licensee failed to demonstrate that the performance of the risk-significant reactor coolant system code safety valves had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee had failed to establish adequate measures to evaluate the appropriateness of the performance of preventive maintenance on the reactor coolant system code safety valves prior to placing these SSCs under Section (a)(2). The measures used in the evaluation of the appropriateness of the preventive maintenance were not adequate

because they failed to consider set point drift of the valves.

Measures for the evaluation of set point drift were necessary

  • because, if preventive maintenance fails to preclude change to the set point of the reactor coolant system code. safety valves, the valves may not be capable of performing their intended function of protecting the reactor coolant system from over pressurizing and failing.

(6) The licensee failed to demonstrate that the performance of the risk-significant emergency service water system had been effectively controlled through the performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to adequately evaluate the appropriateness of the performance of preventive maintenance on this system prior to placing this SSC under Section (a)(2). The evaluation of the appropriateness of the preventive maintenance system failures was not adequate because it failed to consider failures of periodic tests for system operability prior to July 10, 1996. Without an evaluation of the appropriateness of preventive maintenance performed on this system prior to July 10, 1996, the licensee was unable to demonstrate that the performance of the system was effectively controlled through the performance of appropriate preventive maintenance, such that this SSC remains capable of performing its intended function.

(7) The licensee failed to demonstrate that the performance of standby function of the electro-hydraulic control system, bearing cooling system, boric acid transfer pumps (emergency boration mode),

auxiliary building heating, ventilation and cooling system, and the control room emergency ventilation system had been effectively controlled through performance of appropriate preventive maintenance in accordance with the requirements of 10 CFR 50.65(a)(2). Specifically, the licensee failed to establish any measures to evaluate the appropriateness of the performance of

  • preventive maintenance on these SSCs prior to placing these SSCs under Section (a)(2). Without any measures to evaluate these standby functions, the licensee was unable to demonstrate that the performance or condition of these SSCs were effectively controlled through the performance of appropriate preventive maintenance, such that these SSCs remain capable of performing their intended function. (01023)

C. Technical Specification (TS) 6.4, Unit Operating Procedures, states in Part A.7, that detailed written procedures with appropriate checkoff lists and instructions shall be provided for preventive or corrective

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maintenance operations which could have an effect on the safety of the reactor. Part D of TS 6.4 states that all procedures described in Specification 6.4.A shall be followed.

Virginia Power Station Administrative Procedure VPAP-0815, Maintenance Rule Program, Revision 3, and VPAP-2001, Station Planning and Scheduling, were established to provide instructions for preventive and corrective maintenance operations.

(1) VPAP-0815, Revision 3, included the screening criteria for cause determinations of Maintenance Preventable Functional Failures (MPFF), an activity which could have an effect on the safety of the reactor. Section 4.11 of VPAP-0815 included a requirement that a SSC within the scope of the Rule must experience a failure which resulted in a loss of risk-significant or standby train function and/or loss of a non-risk-significant system function that affected plant level monitoring criteria prior to screening for a MPFF.

Contrary to the above, as of January 13, 1997, the instructions provided in Virginia Power Station Administrative Procedure VPAP-0815, Revision 3, were not appropriate, in that VPAP-0815 did not prescribe adequate instructions regarding cause determinations for

  • MPFFs in the main feedwater, chemical and volume control, and radiation monitoring systems. Specifically, Section 4.11 of VPAP-0815 did not provide instructions to allow for screening of MPFFs for a SSC within the scope of the Rule without experiencing a failure which resulted in a loss of risk-significant or standby train function and/or loss of a non-risk-significant system function that affected plant level monitoring criteria. During the inspection, examples of MPFFs were identified for the main feedwater, chemical and volume control, and radiation monitoring systems which had not been identified by the licensee due to this procedure inadequacy. Limiting the screening of functional failures to failures that actually cause plant transients does not provide assurance that the main feedwater system, the chemical and volume control system, and the radiation monitoring system remain capable of performing their intended function thereby affecting the safety of the reactor. (01033)

(2) VPAP-0815, Revision 3, Section 5.12, requires the Maintenance Rule Working Group to develop, review, and approve performance criteria for risk significant and Maintenance Rule structures, systems, and components.

Contrary to the above, the licensee failed to follow VPAP-0815 in that the performance criteria for the reactor protection system, a system where performance has an effect on the safety of the reactor, was changed on January 16, 1997 without approval of the Maintenance Rule Working Group as required by Section 5.12 of VPAP-0815. (01043)

(3) VPAP-2001, Revision 3, Section 6.7.2, requires that the approval of the Assistant Station Manager Operations and Maintenance be obtained whenever two or more risk-significant systems or components are to be unavailable which are not addressed in the site matrix for removing equipment from service during on line operations.

Contrary to the above, the licensee failed to obtain approval from the Assistant Station Manager Operations and Maintenance on October 17, 1996, when one pressurizer power operated relief valve was blocked and an instrument air compressor was unavailable (both risk-significant components whose removal from service would have an effect on the safety of the reactor and not addressed in the site matrix) as required by Section 6.7.2 of VPAP-2001. (01053)

These violations represent a Severity Level Ill problem (Supplement I).

Civil Penalty - $55,000"

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REPLY TO A NOTICE OF VIOLATION NRC INSPECTION CONDUCTED JANUARY 13 -17. 1997 SURRY POWER STATION UNITS 1 AND 2 INSPECTION REPORT NOS. 50-280/97-01, 50-281/97-01 Violation A

1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed at the predecisional enforcement conference at the NRC Region II office on March 11, 1997, Virginia Power failed to adequately implement the Maintenance Rule. This failure was caused by weaknesses in the development and execution of Virginia Power's Maintenance Rule program that resulted from 1) management's insufficient knowledge of the industry guidelines (i.e., NUMARC 93-01), 2) inadequate management oversight,
3) the lack of program ownership, and 4) the absence of a well defined implementation plari.

Due to the development and implementation weaknesses described above, the Maintenance Rule program was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. As a result of these program deficiencies, we failed to properly monitor performance and establish goals for some structures, systems, and components (SSCs), as required by 10 CFR 50.65(a)(1 ), including the emergency switch gear (ESG) heating, ventilation, and air conditioning (HVAC) system.

2. Corrective Steps Which Have Been Taken and the Results Achieved As discussed at the March 11, 1997, predecisional enforcement conference, a recovery plan was developed to address the Maintenance Rule program issues.

As a part of the recovery plan, a dedicated Maintenance Rule Recovery Team was established to revise and revalidate Virginia Power's Maintenance Rule program. The team essentially redeveloped the entire program to ensure consistency with NU MARC 93-01 and compliance with 10 CFR 50.65. The results of the recovery team effort were discussed with the NRC at the Region II office on August 4, 1997.

Although normal maintenance and testing ensured the operability of the ESG HVAC system, the specific requirements of 10 CFR 50.65(a)(1) were not satisfied. To address the deficiencies cited in Violation A, appropriate goals and monitoring were established for the ESG HVAC air handling units (AHUs) in accordance with 10 CFR 50.65(a)(1). The (a)(1) goals were subsequently met

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and the AHUs were recently returned to the normal (a)(2) performance monitoring category. An evaluation of the performance of the ESG HVAC chillers was also completed. Based on this evaluation, the chillers were placed in the (a)(1) performance monitoring category and appropriate goals and monitoring were established in accordance with 10 CFR 50.65(a)(1). These actions, in conjunction with routine maintenance and testing, provide reasonable assurance that the ESG HVAC system will remain capable* of fulfilling its intended functions.

3. Corrective Steps Which Will be Taken to Avoid Further Violations As described at the August 4, 1997, meeting with the NRC, the revised Maintenance Rule program presently implemented provides the framework to ensure future compliance with 10 CFR 50.65 and should preclude similar violations.
4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, *dated July 23, 1997 (Serial No.97-410) .

Violation B

1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed in Section 1 of the response to Violation A, implementation weaknesses resulted in the development of a Maintenance Rule program that was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. Due to these program deficiencies, we failed to demonstrate that ,

the performance or condition of some SSCs had been effectively controlled through the performance of appropriate preventive maintenance, as required by 10 CFR 50.65(a)(2), including the examples cited in Violation B.

2. Corrective Steps Which Have Been Taken and the Results Achieved The Maintenance Rule Recovery Team revised/established the performance criteria for the structures, systems, and components (SSCs) within the scope of the Maintenance Rule. This effort corrected the specific issues identified in the seven examples associated with Violation B and* the related programmatic deficiencies that allowed these examples to occur. The performance criteria were revised/established on a functional level and were validated by the Maintenance Rule Expert Panel to ensure consistency with the latest Probabilistic Safety Analysis models and the NUMARC 93-01 criteria. The Maintenance Rule Recovery Team concurrently conducted a review of the previous three year's internal and external operating experience for the Maintenance Rule SSCs to collect reliability and unavailability data. This data was evaluated relative to the SSC performance criteria and the SSCs were placed in the (a)(1) or (a)(2) performance monitoring category, as appropriate.

The programmatic corrective actions discussed in Section 2 of the response to Violation A are also applicable to Violation B.

3. Corrective Steps Which Will be Taken to Avoid Further Violations As discussed in Section 2 above, the revised Maintenance Rule program provides the framework to ensure future compliance* with 10 CFR 50.65 and should preclude similar violations.
4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, dated July 23, 1997 (Serial No.97-410).

Violation C

1. Reason for the Violation, or, if Contested, the Basis for Disputing the Violation The violation is correct as stated. As discussed in Section 1 of the response to Violation A, implementation weaknesses resulted in the development of a Maintenance Rule program that was not consistent with the guidelines of NUMARC 93-01 and did not comply with all of the requirements of 10 CFR 50.65. These program deficiencies were largely responsible for the examples cited in Violation C. The specific causes are discussed below.

The procedural inadequacies described in Example No. 1 of Violation C were caused by the improper and non-conservative application of the guidelines of NUMARC 93-01 during the development of the Maintenance Rule program.

Example No. 2 of Violation C was caused by a personnel error. Although the changes to the performance criteria for the reactor protection system had been discussed by the Maintenance Rule Working Group, the changes were not formally approved before the Maintenance Rule database was revised.

The lack of training with respect to Maintenance Rule program responsibilities and the resulting insufficient knowledge level led to the procedural compliance deviations described in Example No. 3 of Violation C. In addition, we identified that the SSC matrix that was being used to assess on-line maintenance risk was incomplete and did not address certain equipment configurations.

2. Corrective Steps Which Have Been Taken and the Results Achieved The corrective actions that addressed the Maintenance Rule program development and implementation weaknesses are discussed in Section 2 of the response to Violation A and are also applicable to Violation C. The specific corrective actions related to the examples cited in Violation C are discussed below.

Example No. 1 Station Administrative Procedure VPAP-0815, "Maintenance Rule Program," has been carefully evaluated and revised by the Maintenance Rule Recovery Team to ensure that the program is consistent with NUMARC 93-01. The resulting procedural changes appropriately define maintenance rule functional failures (MRFFs) and maintenance preventable functional failures (MPFFs). The MRFF/MPFF evaluation forms in VPAP-0815 were also enhanced to ensure that the screening process is performed properly.

2. Corrective Steps Which Have Been Taken and the Results Achieved (Continued)

The corrective steps described in Section 2 of the response to Violation B ensured that MPFFs in the main feedwater, chemical and volume control, and radiation monitoring systems were identified and evaluated with respect to their performance criteria, goals, and monitoring.

Example No. 2 The performance criteria for the reactor protection system was reviewed and approved by the Maintenance Rule Working Group.

Training was conducted for appropriate personnel regarding their responsibilities in the implementation of the Maintenance Rule program, as delineated in VPAP-0815. This corrective action also addressed Example No. 3.

The Senior Vice-President, Nuclear, issued a memorandum to Nuclear Business Unit personnel, reinforcing management's expectations for complete compliance with the Maintenance Rule program. This corrective action also addressed Example No. 3.

Example No. 3 Station Administrative Procedure VPAP-2001, * "Station Planning and Scheduling," has been revised to improve on-line maintenance practices. The procedural changes clarified the responsibilities for assessing the risk associated with the performance of on-line maintenance and changed the work planning/scheduling processes to ensure that risk is appropriately evaluated and that availability and reliability are reasonably balanced.

  • To facilitate the assessment of on-line maintenance risk, additional tools have been developed which provide a complete list of PSA risk significant components and an expanded PSA evaluation of on-line maintenance configurations.

Appropriate Outage and Planning and Operations Department personnel have been trained in the use of these new tools.

3. Corrective Steps Which Will be Taken to Avoid Further Violations The corrective steps described in Section 2 of the response to Violation C are sufficient to preclude similar violations .

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4. The Date When Full Compliance Will be Achieved Full compliance with the Maintenance Rule was achieved on June 30, 1997, and was confirmed in our letter to the NRC, dated July 23, 1997 (Serial No.97-410).
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