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| issue date = 12/22/2016 | | issue date = 12/22/2016 | ||
| title = NRC Initial License Examination Report 05000373/2016301; 05000374/2016301 (Jls) | | title = NRC Initial License Examination Report 05000373/2016301; 05000374/2016301 (Jls) | ||
| author name = Orlikowski R | | author name = Orlikowski R | ||
| author affiliation = NRC/RGN-III/DRS/OB | | author affiliation = NRC/RGN-III/DRS/OB | ||
| addressee name = Hanson B | | addressee name = Hanson B | ||
| addressee affiliation = Exelon Generation Co, LLC, Exelon Nuclear | | addressee affiliation = Exelon Generation Co, LLC, Exelon Nuclear | ||
| docket = 05000373, 05000374 | | docket = 05000373, 05000374 | ||
Line 18: | Line 18: | ||
=Text= | =Text= | ||
{{#Wiki_filter:UNITED STATES | {{#Wiki_filter:UNITED STATES ber 22, 2016 | ||
SUBJECT: LASALLE COUNTY STATION, UNITS 1 AND 2 | ==SUBJECT:== | ||
LASALLE COUNTY STATION, UNITS 1 AND 2 - NRC INITIAL LICENSE EXAMINATION REPORT 05000373/2016301; 05000374/2016301 | |||
==Dear Mr. Hanson:== | ==Dear Mr. Hanson:== | ||
On November 16, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed the initial operator licensing examination process for license applicants employed at your LaSalle County Station, Units 1 and 2. The enclosed report documents the results of those | On November 16, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed the initial operator licensing examination process for license applicants employed at your LaSalle County Station, Units 1 and 2. The enclosed report documents the results of those examinations. Preliminary observations noted during the examination process were discussed on November 4, 2016, with Mr. W. Trafton and other members of your staff. An exit meeting was conducted by telephone on December 1, 2016, between Mr. Trafton of your staff, and Mr. Zoia, Chief Operator Licensing Examiner, to review the proposed final grading of the written examination for the license applicants. During the telephone conversation, NRC resolutions of the stations post examination comments, initially received by the NRC on November 16, 2016, were discussed. | ||
. An exit meeting was conducted by telephone on December 1, 2016 | |||
, between Mr. Trafton of your staff , and Mr. Zoia , Chief Operator Licensing Examiner, to review the proposed final grading of the written examination for the license applicants. | |||
The NRC examiners administered an initial license examination operating test during the weeks of October 17, October 24, and October 31, 2016. The written examination was administered by training department personnel on November 4, 2016. Thirteen Senior Reactor Operator and eleven Reactor Operator applicants were administered license examinations. The results of the examinations were finalized on December 13, 2016. Three applicants failed one or more sections of the administered examination and were issued proposed license denial letters. | |||
, were | |||
Twenty-one applicants passed all sections of their respective examinations and twelve were issued senior operator licenses and seven were issued operator licenses. In accordance with NRC policy, the licenses for the remaining two applicants are being withheld pending the outcome of any written examination appeal that may be initiated. | |||
The written examination and other related written examination documentation will be withheld from public disclosure for 24 months per your request. However, if an applicant received a proposed license denial letter | The written examination and other related written examination documentation will be withheld from public disclosure for 24 months per your request. However, if an applicant received a proposed license denial letter, because of a written examination grade that is less than 80.0 percent, the applicant will be provided a copy of the written examination. For examination security purposes, your staff should consider that written examination uncontrolled and exposed to the public. In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS) | ||
, because of a written examination grade that is less than 80.0 percent, the applicant will be provided a copy of the written examination. For examination security purposes, your staff should consider that written examination uncontrolled and exposed to the public. In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, | component of the NRC's Agencywide Documents Access and Management System (ADAMS). | ||
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room). | |||
Sincerely, | |||
/RA/ | |||
- November 16, 2016 Inspectors: | Robert J. Orlikowski, Chief Operations Branch Division of Reactor Safety Docket Nos. 05000373; 05000374 License Nos. NPF-11; NPF-18 | ||
C. Zoia, Chief Examiner J. Seymour, Examiner/ | |||
Chief Examiner | ===Enclosures:=== | ||
-in-Training M. Bielby, Examiner Approved by: | 1. OL Examination Report 05000373/2016301; 05000374/2016301 2. Simulation Facility Fidelity Report | ||
R. Orlikowski, Chief Operations Branch Division of Reactor Safety | |||
REGION III== | |||
Docket Nos: 05000373; 05000374 License Nos: NPF-11; NPF-18 Report No: 05000373/2016301; 05000374/2016301 Licensee: Exelon Generation Company, LLC Facility: LaSalle County Station, Units 1 and 2 Location: Marseilles, IL Dates: October 17 - November 16, 2016 Inspectors: C. Zoia, Chief Examiner J. Seymour, Examiner/ Chief Examiner-in-Training M. Bielby, Examiner Approved by: R. Orlikowski, Chief Operations Branch Division of Reactor Safety Enclosure 1 | |||
=SUMMARY= | =SUMMARY= | ||
Examination Report | Examination Report 05000373/2016301; 05000374/2016301; 10/17/2016 - 11/16/2016; | ||
Exelon Generation Company, LLC; LaSalle County Station; Units 1 and 2; Initial License Examination Report. | |||
- | The announced initial operator licensing examination was conducted by regional Nuclear Regulatory Commission examiners in accordance with the guidance of NUREG-1021, | ||
Operator Licensing Examination Standards for Power Reactors, Revision 10, Supplement 1. | |||
Examination Summary Twenty-one of twenty-four applicants passed all sections of their respective examinations. | |||
Twelve applicants were issued senior operator licenses and seven applicants were issued operator licenses. Three applicants failed one or more sections of the administered examination and were issued proposed license denials. The licenses for the remaining two applicants are being held and may be issued pending the outcome of any written examination appeal. (Section 4OA5.1). | |||
=REPORT DETAILS= | =REPORT DETAILS= | ||
Line 70: | Line 65: | ||
====a. Examination Scope==== | ====a. Examination Scope==== | ||
The U.S. Nuclear Regulatory Commission (NRC) examiners and members of the facility | The U.S. Nuclear Regulatory Commission (NRC) examiners and members of the facility licensees staff used the guidance prescribed in NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 10, to develop, validate, administer, and grade the written examination and operating test. Members of the facility licensees staff prepared the outline and developed the written examination and operating test. The NRC examiners validated the proposed examination during the week of September 19, 2016, with the assistance of members of the facility licensees staff. During the on-site validation week, the examiners audited three license applications for accuracy. The NRC examiners, with the assistance of members of the facility licensees staff, administered the operating test, consisting of job performance measures (JPMs) and dynamic simulator scenarios, during the period of October 17, 2016, through November 3, 2016. The facility licensee administered the written examination on November 4, 2016. | ||
-1021, | |||
-site validation week, the examiners audited three license | |||
. | |||
====b. Findings==== | ====b. Findings==== | ||
: (1) Written Examination The NRC examiners determined that the written examination as proposed by the licensee, was within the range of acceptability expected for a proposed examination. Less than 20 percent of the proposed examination questions were determined to be unsatisfactory and required modification or replacement. | : (1) Written Examination The NRC examiners determined that the written examination as proposed by the licensee, was within the range of acceptability expected for a proposed examination. | ||
Less than 20 percent of the proposed examination questions were determined to be unsatisfactory and required modification or replacement. | |||
All changes made to the proposed written examination, were made in accordance with NUREG-1021, "Operator Licensing Examination Standards for Power Reactors, | All changes made to the proposed written examination, were made in accordance with NUREG-1021, "Operator Licensing Examination Standards for Power Reactors, and documented on Form ES-401-9, Written Examination Review Worksheet. On November 16, 2016, the licensee submitted documentation noting that there were eight post-examination comments for consideration by the NRC examiners when grading the written examination. The post-examination comments and the NRC resolution for the post-examination comments are included with this report. The Form ES-401-9, the written examination outlines (ES-401-2 and ES-401-3), and both the proposed and final written examinations will be available electronically in the NRC Public Document Room or from the Publicly Available Records component of NRC's Agencywide Documents Access and Management System (ADAMS) in 24 months. (ADAMS Accession Numbers ML15274A405 and ML15274A403). | ||
, the licensee submitted documentation noting that there were eight post-examination | |||
The | The NRC examiners graded the written examination on November 29, 2016, and conducted a review of each missed question to determine the accuracy and validity of the examination questions. | ||
: (2) Operating Test The NRC examiners determined that the operating test, as originally proposed by the licensee, was within the range of acceptability expected for a proposed examination. | |||
Changes made to the operating test, documented in a document titled, Operating Test Comments, as well as the final as administered dynamic simulator scenarios and JPMs, are available electronically in the NRC Public Document Room or from the Publicly Available Records component of NRC's ADAMS. | |||
The NRC examiners completed operating test grading on December 13, 2016. | |||
: (3) Examination Results Thirteen applicants at the Senior Reactor Operator level and eleven applicants at the Reactor Operator level were administered written examinations and operating tests. | |||
Nineteen applicants passed all portions of their examinations and were issued their respective operating licenses on December 13, 2016. | |||
Three applicants failed one or more sections of the administered examination and were issued proposed license denials. Two applicants passed all portions of the license examination, but received a written test grade below 82 percent. In accordance with NRC policy, the applicants licenses will be withheld until any written examination appeal possibilities by other applicants have been resolved. If the applicants grade is still equal to or greater than 80 percent after any appeal resolution, the applicant will be issued an operating license. If the applicants grade has declined below 80 percent, the applicant will be issued a proposed license denial letter and offered the opportunity to appeal any questions the applicant feels were graded incorrectly. | |||
===.2 Examination Security=== | ===.2 Examination Security=== | ||
====a. Scope==== | ====a. Scope==== | ||
The NRC examiners reviewed and observed the licensee's implementation of examination security requirements during the examination validation and administration to assure compliance with | The NRC examiners reviewed and observed the licensee's implementation of examination security requirements during the examination validation and administration to assure compliance with Title10 of the Code of Federal Regulations, Section 55.49, Integrity of Examinations and Tests. The examiners used the guidelines provided in NUREG-1021, "Operator Licensing Examination Standards for Power Reactors, to determine acceptability of the licensees examination security activities. | ||
, | |||
====b. Findings==== | ====b. Findings==== | ||
No findings were identified. | No findings were identified. | ||
{{a|4OA6}} | |||
{{a|4OA6}} | |||
==4OA6 Management Meetings== | ==4OA6 Management Meetings== | ||
===.1 Debrief | ===.1 Debrief=== | ||
, to W. Trafton, Site Vice | The chief examiner presented the examination team's preliminary observations and findings on November 4, 2016, to W. Trafton, Site Vice-President, and other members of the LaSalle County Station Operations and Training Department staff. | ||
-President , and other members of the LaSalle County Station Operations and Training Department staff. | |||
===.2 Exit Meeting=== | ===.2 Exit Meeting=== | ||
The chief examiner conducted an exit meeting on December 1, 2016, with Mr. W. Trafton, Site Vice President , by telephone. The | The chief examiner conducted an exit meeting on December 1, 2016, with Mr. W. Trafton, Site Vice President, by telephone. The NRCs final disposition of the stations post-examination comments were disclosed and discussed with Mr. Trafton during the telephone discussion. The examiners asked the licensee whether any of the material used to develop or administer the examination should be considered proprietary. No proprietary or sensitive information was identified during the examination or debrief/exit meetings. | ||
ATTACHMENT: | ATTACHMENT: | ||
=SUPPLEMENTAL INFORMATION= | =SUPPLEMENTAL INFORMATION= | ||
SUPPLEMENTAL INFORMATION KEY POINTS OF | SUPPLEMENTAL INFORMATION | ||
KEY POINTS OF CONTACT | |||
: [[contact::W. Trafton]], Site Vice President | Licensee | ||
: [[contact::W. Trafton]], Site Vice President | |||
: [[contact::H. Vinyard]], Plant Manager | : [[contact::H. Vinyard]], Plant Manager | ||
: [[contact::G. Ford]], Regulatory Assurance Manager | : [[contact::G. Ford]], Regulatory Assurance Manager | ||
: [[contact::T. Lanc]], Regulatory Assurance | : [[contact::T. Lanc]], Regulatory Assurance | ||
: [[contact::J. Keenan]], Operations Director | : [[contact::J. Keenan]], Operations Director | ||
: [[contact::M. Smith]], Operations Shift Manager | : [[contact::M. Smith]], Operations Shift Manager | ||
: [[contact::J. Lindsey]], Training Director | : [[contact::J. Lindsey]], Training Director | ||
: [[contact::D. Wright]], Operations Training Manager | : [[contact::D. Wright]], Operations Training Manager | ||
Line 140: | Line 124: | ||
: [[contact::M. Fakhreddine]], Chemistry | : [[contact::M. Fakhreddine]], Chemistry | ||
: [[contact::B. Roy]], Fleet Assessment | : [[contact::B. Roy]], Fleet Assessment | ||
U.S. Nuclear Regulatory | U.S. Nuclear Regulatory Commission | ||
Commission | |||
: [[contact::R. Ruiz]], Senior Resident Inspector | : [[contact::R. Ruiz]], Senior Resident Inspector | ||
: [[contact::C. Hunt ]], Acting Resident Inspector | : [[contact::C. Hunt]], Acting Resident Inspector | ||
: [[contact::C. Zoia]], Chief Examiner | : [[contact::C. Zoia]], Chief Examiner | ||
: [[contact::J. Seymour]], Examiner | : [[contact::J. Seymour]], Examiner/ Chief Examiner-in-Training | ||
/ Chief Examiner | |||
-in-Training | |||
: [[contact::M. Bielby]], Examiner | : [[contact::M. Bielby]], Examiner | ||
ITEMS OPENED, CLOSED, AND DISCUSSED | ITEMS OPENED, CLOSED, AND DISCUSSED | ||
Opened, Closed, and Discussed | Opened, Closed, and Discussed | ||
None LIST OF ACRONYMS USED | None | ||
ADAMS Agencywide Document Access and Management System | LIST OF ACRONYMS USED | ||
JPM Job Performance Measure | ADAMS Agencywide Document Access and Management System | ||
LPRM Local Power Range Monitor | JPM Job Performance Measure | ||
NRC U.S. Nuclear Regulatory Commission | LPRM Local Power Range Monitor | ||
PARS | NRC U.S. Nuclear Regulatory Commission | ||
RCMS Rod Control Management System | PARS Publicly Available Records System | ||
SWR Simulator Work Request | RCMS Rod Control Management System | ||
SWR Simulator Work Request | |||
SIMULATION FACILITY | SIMULATION FACILITY FIDELITY REPORT | ||
FIDELITY REPORT Facility Licensee: | Facility Licensee: LaSalle County Station, Units 1 and 2 | ||
LaSalle County Station, Units 1 and 2 | Facility Docket Nos: 50-373; 50-374 | ||
Facility Docket | Operating Tests Administered: October 17, 2016, - November 3, 2016 | ||
The following documents observations made by the NRC examination team during the initial | |||
October 17, 2016 | operator license examination. These observations do not constitute audit or inspection findings | ||
, - November 3, 2016 | and are not, without further verification and review, indicative of non-compliance with Title 10 of | ||
The following documents observations made by the NRC examination team during the initial operator license examination. These observations do not constitute audit or inspection findings and are not, without further verification and review, indicative of | the Code of Federal Regulations 55.45(b). These observations do not affect NRC certification | ||
or approval of the simulation facility other than to provide information which may be used in | |||
55.45(b). These observations do not affect NRC certification or approval of the simulation facility other than to provide information which may be used in future evaluations. No licensee action is required in response to these observations. | future evaluations. No licensee action is required in response to these observations. | ||
During the conduct of the simulator portion of the operating tests, the following items were observed: ITEM DESCRIPTION | During the conduct of the simulator portion of the operating tests, the following items were | ||
Exelon Nuclear | observed: | ||
failed to correctly position an LPRM bypass switch according to the lineup that was required for the scenario guide. This human performance error was not detected by the simulator | ITEM DESCRIPTION | ||
operator due to the use of an override function in the simulator software that permitted the simulator to be reset for the next scenario with the switch remaining out of position. As a result, a malfunction inserted during the subsequent scenario did not present itself to the applicants. | Exelon Nuclear While performing a simulator reset during NRC exam simulator | ||
The NRC examiners removed the crew of applicants from the simulator and sequestered them while facility staff investigated and corrected the | Issue #02733595 scenarios, a simulator operator failed to correctly position an LPRM | ||
issue. Following a delay of approximately 45 minutes, the applicants were returned to the simulator and the scenario | bypass switch according to the lineup that was required for the scenario | ||
was resumed. The scenario was then completed without further simulator issues. SWR #0132672 | guide. This human performance error was not detected by the simulator | ||
During a JPM that required synchronizing an emergency diesel generator to a bus, there was one instance in which the associated | operator due to the use of an override function in the simulator software | ||
output breaker failed to close. The applicant was removed from the simulator and sequestered by an NRC examiner during facility | that permitted the simulator to be reset for the next scenario with the | ||
investigation of the issue. Facility simulator staff were unable to reproduce the issue. Following a brief delay, the applicant was returned to the simulator and the JPM was resumed. The JPM was then completed without further simulator issues. | switch remaining out of position. As a result, a malfunction inserted | ||
during the subsequent scenario did not present itself to the applicants. | |||
SWR #0132673 | The NRC examiners removed the crew of applicants from the simulator | ||
During a JPM that required synchronizing an emergency diesel generator to a bus, there was one instance in which the associated sync selector switch failed to turn on the synchroscope. The applicant was removed from the simulator and sequestered by an NRC examiner during facility investigation of the issue. Facility simulator staff were unable to reproduce the issue. Following a brief delay, the applicant was returned to the simulator and | and sequestered them while facility staff investigated and corrected the | ||
the JPM was resumed. The JPM was then completed without further simulator issues. | issue. Following a delay of approximately 45 minutes, the applicants | ||
SWR #0132673 | were returned to the simulator and the scenario was resumed. The | ||
During the operating portion of the NRC exam, there were multiple instances of the 1H13 | scenario was then completed without further simulator issues. | ||
-P601 silence and test buttons sticking. This resulted in applicants | SWR #0132672 During a JPM that required synchronizing an emergency diesel | ||
being unable to silence annunciators from this location and necessitated the silencing of annunciators from another location in the simulator. | generator to a bus, there was one instance in which the associated | ||
N/A During multiple simulator scenarios, a persistent RCMS-related annunciator was present. This was not an expected alarm for the conditions established by the scenario | output breaker failed to close. The applicant was removed from the | ||
simulator and sequestered by an NRC examiner during facility | |||
, and the potential impacts of repairs on simulator availability, facility simulator staff deferred repair of the issue until after the operating portion of the NRC exam had been completed. | investigation of the issue. Facility simulator staff were unable to | ||
reproduce the issue. Following a brief delay, the applicant was returned | |||
to the simulator and the JPM was resumed. The JPM was then | |||
completed without further simulator issues. | |||
SWR #0132673 During a JPM that required synchronizing an emergency diesel | |||
generator to a bus, there was one instance in which the associated sync | |||
selector switch failed to turn on the synchroscope. The applicant was | |||
removed from the simulator and sequestered by an NRC examiner | |||
during facility investigation of the issue. Facility simulator staff were | |||
unable to reproduce the issue. Following a brief delay, the applicant | |||
was returned to the simulator and the JPM was resumed. The JPM | |||
was then completed without further simulator issues. | |||
SWR #0132673 During the operating portion of the NRC exam, there were multiple | |||
instances of the 1H13-P601 silence and test buttons sticking. This | |||
resulted in applicants being unable to silence annunciators from this | |||
location and necessitated the silencing of annunciators from another | |||
location in the simulator. | |||
N/A During multiple simulator scenarios, a persistent RCMS-related | |||
annunciator was present. This was not an expected alarm for the | |||
conditions established by the scenario guides. The presence of this | |||
alarm did not interfere with the execution of the simulator scenarios or | |||
cause distraction to the applicants. Due to the nature of the underlying | |||
simulator issue, and the potential impacts of repairs on simulator | |||
availability, facility simulator staff deferred repair of the issue until after | |||
the operating portion of the NRC exam had been completed. | |||
POST EXAM COMMENTS AND RESOLUTIONS | POST EXAM COMMENTS AND RESOLUTIONS | ||
RO Question 18 | RO Question 18 (Post-Exam Comment #1) | ||
Original Question: | Original Question: | ||
Unit 1 is at 100% power. The NSO starts 1A CD/CB pump and secures 1B CD/CB pump. One minute later, Annunciator | Unit 1 is at 100% power. | ||
1H13-P601-F402, MSL A/B Radiation Monitor HI alarms. (1) Is the MSL A/B Radiation Monitor High | The NSO starts 1A CD/CB pump and secures 1B CD/CB pump. | ||
alarm expected or unexpected? | One minute later, Annunciator 1H13-P601-F402, MSL A/B Radiation Monitor HI alarms. | ||
(1) Is the MSL A/B Radiation Monitor High alarm expected or unexpected? | |||
(2) What is the correct operator action, if any? | |||
A. (1) Unexpected. | |||
to stay clear of Turbine Building Elevation 768. C. (1) Expected. (2) No additional action required. Monitor parameters | (2) Commence power reduction per LGP 3-1. | ||
and trends; annunciator | B. (1) Unexpected. | ||
1N62-P600-B502, OFF GAS PRE-TREATMENT RADIATION HI may alarm. D. (1) Expected. (2) No additional action | (2) Direct all nonessential personal to stay clear of Turbine Building Elevation 768. | ||
required. Monitor parameters | C. (1) Expected. | ||
and trends; annunciator | (2) No additional action required. Monitor parameters and trends; annunciator | ||
1N62-P600-B304, STATION VENT STACK RAD HI may alarm. Answer: | 1N62-P600-B502, OFF GAS PRE-TREATMENT RADIATION HI may alarm. | ||
Answers A and C are both correct and supported by procedures | D. (1) Expected. | ||
and engineering changes. Additionally, per Exelon standards per OP | (2) No additional action required. Monitor parameters and trends; annunciator | ||
- | 1N62-P600-B304, STATION VENT STACK RAD HI may alarm. | ||
A review of OP | Answer: C | ||
-AA-103-102 does state that if an alarm is not previously discussed then the alarm should be considered unexpected. | Applicant Feedback: | ||
Also a recent plant modification per EC 364641 to relocate the hydrogen injection | Answers A and C are both correct and supported by procedures and engineering changes. | ||
points in the condensate header has been successful at reducing the frequency of the MSL Rad Monitor Hl alarms following CD/CB pump lineup changes. The question provides the | Additionally, per Exelon standards per OP-AA-103-102, Section 4.5.5, alarms that are not | ||
candidate with having to determine if the alarm was an expected alarm based on the definition from OP | previously flagged with LOR's reviewed are not expected which eliminate answers (C) and (D). | ||
-AA-103-102 without clarifying information in the stem. Without this information and the engineering change reducing the frequency of the alarm then | Facility Response: | ||
A review of OP-AA-103-102 does state that if an alarm is not previously discussed then the | |||
Since both C and D state EXPECTED , they can be considered incorrect per procedural process. In addition | alarm should be considered unexpected. Also a recent plant modification per EC 364641 | ||
, the student could make the assumption that the alarm was caused by a fuel failure, due to the engineering change, and therefore the alarm would be unexpected and require a power reduction as stated in answer | to relocate the hydrogen injection points in the condensate header has been successful at | ||
A. | reducing the frequency of the MSL Rad Monitor Hl alarms following CD/CB pump lineup | ||
STATION RECOMMENDATION: | changes. The question provides the candidate with having to determine if the alarm was an | ||
There is NO correct answer | expected alarm based on the definition from OP-AA-103-102 without clarifying information in the | ||
stem. Without this information and the engineering change reducing the frequency of the alarm | |||
then the correct answer is no longer valid since the 1st part of the two parts states EXPECTE | |||
: [[contact::D. | |||
Since both C and D state EXPECTED]], they can be considered incorrect per procedural | |||
process. In addition, the student could make the assumption that the alarm was caused by a | |||
fuel failure, due to the engineering change, and therefore the alarm would be unexpected and | |||
require a power reduction as stated in answer A. | |||
STATION RECOMMENDATION: There is NO correct answer | |||
References: | References: | ||
OP-AA-103-102, Watch | OP-AA-103-102, Watch-Standing Practices, Revision 16 | ||
-Standing Practices, Revision 16 | (reference withheld from public disclosure due to proprietary content) | ||
EC 364639, Mitigate MSL Rad Monitor Spikes, Revision 2 | |||
EC 364639, Mitigate MSL Rad Monitor Spikes , Revision 2 | |||
This reference states, in part, that: | This reference states, in part, that: | ||
LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into the reactor feedwater, the Hydrogen Water Chemistry (HW) system. | LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into | ||
The purpose of the | the reactor feedwater, the Hydrogen Water Chemistry (HW) system. The purpose of the | ||
modifications was to protect the Reactor Internals and Reactor Recirculation Piping by | modifications was to protect the Reactor Internals and Reactor Recirculation Piping by | ||
reduction of Intergranular Stress Corrosion Cracking (IGSCC). | reduction of Intergranular Stress Corrosion Cracking (IGSCC). | ||
This modification (EC 364639) will relocate the current point of hydrogen injection into line | This modification (EC 364639) will relocate the current point of hydrogen injection into line | ||
1CD07A-30" suction piping, from between | 1CD07A-30" suction piping, from between 1CBO1PB (1B) and 1CBO1PC (1C) Condensate | ||
Booster (CB) pumps to a point in line 1CD07A-30" upstream of all four Condensate Booster | |||
Booster (CB) pumps to a point in line 1CD07A | pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by providing | ||
-30" upstream of all four Condensate Booster | |||
pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by | |||
providing | |||
a more uniform mixing of hydrogen in the Condensate Booster system. | a more uniform mixing of hydrogen in the Condensate Booster system. | ||
EC 364641, Mitigate MSL Rad Monitor Spikes , Revision 0 | EC 364641, Mitigate MSL Rad Monitor Spikes, Revision 0 | ||
This reference states, in part, that: | This reference states, in part, that: | ||
LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into the | LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into the | ||
reactor feedwater, the Hydrogen Water Chemistry (HW) system. | reactor feedwater, the Hydrogen Water Chemistry (HW) system. The purpose of the | ||
The purpose of the | modifications was to protect the Reactor Internals and Reactor Recirculation Piping by | ||
modifications was to protect the Reactor Internals and Reactor Recirculation Piping | reduction of Intergranular Stress Corrosion Cracking (IGSCC). | ||
This modification (EC 364641) will relocate the current point of hydrogen injection into line | This modification (EC 364641) will relocate the current point of hydrogen injection into line | ||
2CD07 A-30" suction piping, from between 2CB01PB (2B) and 2CB01PC (2C) Condensate | 2CD07 A-30" suction piping, from between 2CB01PB (2B) and 2CB01PC (2C) Condensate | ||
Booster (CB) pumps to a point in line 2CD07 A | Booster (CB) pumps to a point in line 2CD07 A-30" upstream of all four Condensate Booster | ||
-30" upstream of all four Condensate Booster | pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by providing | ||
pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by | a more uniform mixing of hydrogen in the Condensate Booster system. | ||
LOR-2H13-P601-F402, MSL A/B Radiation Monitor Downscale/INOP/Hl, Revision 3 | LOR-2H13-P601-F402, MSL A/B Radiation Monitor Downscale/INOP/Hl, Revision 3 | ||
This reference states in section C.2 that: | This reference states in section C.2 that: | ||
During CP changes and CD/CB Pump swaps MSL Rad monitor Hl alarms have | During CP changes and CD/CB Pump swaps MSL Rad monitor Hl alarms have spuriously | ||
annunciated in the past when HWC is online. This phenomenon is an actual radiation level | |||
This phenomenon is an actual | change induced by N-16 production, which is a normal by-product of H2 gas injection into the | ||
radiation level change induced by N | reactor. The suspect cause is a release of H2 gas within the CD/CB piping from a pocketed | ||
-16 production, which is a normal by | location. When this finite amount of gas reaches the reactor, it results in the formation of N-16 | ||
-product of H2 | and is detected as a spike on the MSL and OG Pretreatment Rad monitors. | ||
gas injection into the reactor. The suspect cause is a release of H2 gas within the | LOR-1N62-P600-B502, Off Gas Pre-Treatment Radiation Monitor High Radiation, Revision 8 | ||
CD/CB piping from a pocketed location. When this finite amount of gas reaches the | This reference states in section C that: | ||
reactor , it results in the formation of N | During CP changes and CD/CB pump swaps, OG Pretreatment Rad Monitor Hl alarms have | ||
-16 and is detected as a spike on the MSL and OG | spuriously annunciated in the past when HWC is on-line. This phenomenon is an actual | ||
Pretreatment Rad monitors. | radiation level change induced by N-16 production, which is a normal by product of H2 gas | ||
injection into the reactor. The suspect cause is a release of H2 gas within the CD/CB piping | |||
LOR-1N62-P600-B502, Off Gas Pre-Treatment Radiation Monitor High Radiation, Revision | from a pocketed location. When this finite amount of gas reaches the reactor, it results in the | ||
This reference states in section C that: During CP changes and CD/CB pump swaps, OG Pretreatment Rad Monitor | formation of N-16 and is detected as a spike on the MSL and OG Pretreatment Rad Monitors. | ||
Hl alarms have spuriously annunciated in the past when HWC is on-line. This phenomenon is an actual radiation level change induced by N-16 production, which is a normal by product | |||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material related to this question. The NRC agreed with the facility position concerning how this question should be dispositioned. It was noted that | The NRC reviewed the aforementioned material related to this question. The NRC agreed with | ||
the facility position concerning how this question should be dispositioned. It was noted that the | |||
possible high radiation alarm condition. | LOR procedures still discuss a possible high radiation alarm condition. It was also noted that | ||
It was also noted that | an engineering change was made to prevent such high radiation alarms. The definition of | ||
an engineering change was made to prevent such high radiation alarms. | expected alarm as it relates to the question was determined to add further ambiguity. Based | ||
The definition of | upon these considerations, the NRC concluded that no correct answer exists for this question. | ||
further ambiguity. | Therefore, RO question #18 has been deleted from the exam. | ||
RO Question 27 (Post-Exam Comment #2) | |||
RO Question 27 | |||
Original Question: | Original Question: | ||
Unit 1 is in a LOCA (3) Drywell pressure is 10 psig and rising slowly (4) Drywell and Suppression | Unit 1 is in a LOCA | ||
Chamber Hydrogen is 1% (5) Drywell and Suppression | (3) Drywell pressure is 10 psig and rising slowly | ||
Chamber Oxygen is 2% What action is required? The Hydrogen Recombiner | (4) Drywell and Suppression Chamber Hydrogen is 1% | ||
must be | (5) Drywell and Suppression Chamber Oxygen is 2% | ||
was that drywell pressure of 10 | What action is required? | ||
psig and rising slowly does not adequately describe the time to reach 15.3 | The Hydrogen Recombiner must be.. | ||
psig which is the point at which the Hydrogen Recombiner will trip. The Hydrogen Recombiner should be stopped manually prior to reaching 15.3 psig which makes (A) also correct. | A. STOPPED manually | ||
B. STARTED manually | |||
C. Verified to have AUTO-TRIPPED | |||
D. Verified to have AUTO-STARTED | |||
Answer: B | |||
Applicant Feedback: | |||
The comment made was that drywell pressure of 10 psig and rising slowly does not adequately | |||
describe the time to reach 15.3 psig which is the point at which the Hydrogen Recombiner will | |||
trip. The Hydrogen Recombiner should be stopped manually prior to reaching 15.3 psig which | |||
makes (A) also correct. | |||
Facility Response: | Facility Response: | ||
LGA-003 lesson plan states | LGA-003 lesson plan states if LGA-003 is entered then parallel execution is also required | ||
if LGA-003 is entered then parallel execution is also required because of the symptomatic approach to emergency response precludes the prioritization of any one action path since independence for initiating events and transients must be maintained. | because of the symptomatic approach to emergency response precludes the prioritization of | ||
Therefore , the Hydrogen leg of LGA | any one action path since independence for initiating events and transients must be maintained. | ||
-003 is entered because the stem of the question states that Hydrogen is 1%, which leads to entering LGA | Therefore, the Hydrogen leg of LGA-003 is entered because the stem of the question states that | ||
-011 and starting the Hydrogen Recombiner. | Hydrogen is 1%, which leads to entering LGA-011 and starting the Hydrogen Recombiner. | ||
There is procedure guidance in LGA | There is procedure guidance in LGA-HG-101 to shutdown the Hydrogen Recombiner when | ||
-HG-101 to shutdown the Hydrogen Recombiner when drywell pressure exceeds 15.3 psig, but the Hydrogen Recombiner does not have an auto start feature , and therefore would not be running to require STOPPING Manually. | drywell pressure exceeds 15.3 psig, but the Hydrogen Recombiner does not have an auto start | ||
The LGA-HG-101 indicates that the Hydrogen Recombiner will trip at 15.3 psig of drywell pressure and direct the operator to use containment sprays to reduce drywell pressure before restarting the Hydrogen Recombiner. | feature, and therefore would not be running to require STOPPING Manually. The LGA-HG-101 | ||
indicates that the Hydrogen Recombiner will trip at 15.3 psig of drywell pressure and direct the | |||
operator to use containment sprays to reduce drywell pressure before restarting the Hydrogen | |||
Recombiner. | |||
STATION RECOMMENDATION: ACCEPT ONLY (B) as the correct answer | STATION RECOMMENDATION: ACCEPT ONLY (B) as the correct answer | ||
References: | References: | ||
LGA-HG-101, Operation of the Hydrogen Recombiner as a Mixing System, Revision 1 | LGA-HG-101, Operation of the Hydrogen Recombiner as a Mixing System, Revision 1 | ||
This reference states in section E.1.b that | This reference states in section E.1.b that: | ||
This reference states in section F.2 that: | |||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material related to this question. The NRC agreed with the facility position concerning how this question should be dispositioned. The stem of | The NRC reviewed the aforementioned material related to this question. The NRC agreed | ||
with the facility position concerning how this question should be dispositioned. The stem of | |||
the question is clear that drywell pressure is currently 10 psig with a slowly rising trend. Per | |||
LGA-HG-101, the recombiner is manually stopped after 15.3 psig is exceeded, which also | |||
RO Question 40 | corresponds to the automatic trip setpoint. Based upon these considerations, the NRC | ||
concluded that there should be no change to key for RO question #27. | |||
RO Question 40 (Post-Exam Comment #3) | |||
Original Question: | Original Question: | ||
RCIC is operating in the PRESSURE CONTROL MODE with the RCIC Pump Discharge Flow Controller | RCIC is operating in the PRESSURE CONTROL MODE with the RCIC Pump Discharge Flow | ||
in AUTO set to 600 GPM. Which of the following set of RCIC system control | Controller in AUTO set to 600 GPM. | ||
manipulations | Which of the following set of RCIC system control manipulations would result in the FASTEST RATE of | ||
would result in the FASTEST RATE of RISE in Suppression Pool | RISE in Suppression Pool water temperature? | ||
water temperature? | Throttle 1E51-F022, Full Flow Test Upstream Valve, (1) , in order to (2) . | ||
Throttle 1E51-F022, Full Flow Test Upstream | A. (1) Open | ||
Valve, | * Maximize pump flowrate | ||
Closing the 1E51 | B. (1) Closed | ||
-F022 causes the turbine to spin faster and output more heat to the suppression pool. | * Maximize pump flowrate | ||
Flow will remain at the maximum of 600 GPM. In automatic 600 GPM | C. (1) Open | ||
* Maximize pump discharge pressure | |||
D. (1) Closed | |||
* Maximize pump discharge pressure | |||
Answer: D | |||
Applicant Feedback: | |||
Closing the 1E51-F022 causes the turbine to spin faster and output more heat to the | |||
suppression pool. Flow will remain at the maximum of 600 GPM. In automatic 600 GPM | |||
is the maximum and flow will go no higher which makes (B) also correct. | is the maximum and flow will go no higher which makes (B) also correct. | ||
Facility Response: | Facility Response: | ||
Station's Response: | Station's Response: The RCIC operating procedure for the pressure control mode per | ||
The RCIC operating procedure for the pressure control mode per LOP-RI-09 indicates that the parameter controlled when throttling 1E51 | LOP-RI-09 indicates that the parameter controlled when throttling 1E51-F022 is RCIC discharge | ||
-F022 is RCIC discharge pressure and RCIC flowrate will be automatically maintained at the flow controller setpoint when operated in AUTO. The RCIC system lesson plan states LE51 | pressure and RCIC flowrate will be automatically maintained at the flow controller setpoint when | ||
-F022 is throttled (to increase pressure and the turbine (pump) speed is automatically adjusted to achieve the flow specified. | operated in AUTO. The RCIC system lesson plan states LE51-F022 is throttled (to increase | ||
STATION RECOMMENDATION: | pressure and the turbine (pump) speed is automatically adjusted to achieve the flow specified. | ||
ACCEPT ONLY (D) as the correct answer | STATION RECOMMENDATION: ACCEPT ONLY (D) as the correct answer | ||
References: | References: | ||
LOP-RI-09, Operating the Reactor Core Isolation Cooling System | LOP-RI-09, Operating the Reactor Core Isolation Cooling System for Pressure Control, | ||
for Pressure Control, Revision 11 | Revision 11 | ||
This reference states in step E.1.10 that: | |||
E.1.10 THROTTLE 1(2)E51 | E.1.10 THROTTLE 1(2)E51-F022, RCIC Full Flow Test Upstrm Valve, as needed to maintain | ||
-F022, RCIC Full Flow Test Upstrm | desired Rx pressure and/or cooldown rate. | ||
Valve, as needed to maintain desired Rx pressure and/or cooldown | This reference states in Attachment A (Hardcard - RCIC Operations) step 3 that: | ||
rate. This reference states in Attachment A (Hardcard | 3. To change Cooldown Rate: | ||
- RCIC Operations) step 3 that: | * THROTTLE 1(2)E51-F022, RCIC PMP TEST TO CY UPSTREAM VLV, as needed, | ||
3. | to control Reactor Pressure. | ||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material related to this question. The NRC agreed with the facility position concerning how this question should be dispositioned. It was determined that system operation and procedural direction support the answer key. Furthermore, it was determined that the selection of distractor | The NRC reviewed the aforementioned material related to this question. The NRC agreed with | ||
an incorrect understanding of system operation. Throttling FO | the facility position concerning how this question should be dispositioned. It was determined | ||
-22 with the controller in | that system operation and procedural direction support the answer key. Furthermore, it was | ||
, the flow controller would need to be adjusted. Based upon these considerations, the NRC concluded that there should be no change to key for RO question #40. | determined that the selection of distractor B would require an incorrect understanding of | ||
system operation. Throttling FO-22 with the controller in AUTO would not be expected to | |||
RO Question 53 | cause a flow change; if a max flow rate was wanted, the flow controller would need to be | ||
adjusted. Based upon these considerations, the NRC concluded that there should be no | |||
Unit 1 is operating at rated power (6) A trip of the 1A Service Water Pump results | change to key for RO question #40. | ||
in a Service Water low pressure alarm. (7) Shortly thereafter, 1H13-P601-B301, SERV WTR EFFLUENT RAD HI alarms. (8) NO other alarms have been received on 1H13-P601. What is the source | RO Question 53 (Post-Exam Comment #4) | ||
of the rising radiation levels? A. RBCCW Heat Exchangers | Original Question: | ||
B. TBCCW Heat Exchangers | Unit 1 is operating at rated power | ||
C. Fuel Pool Cooling Heat Exchangers | (6) A trip of the 1A Service Water Pump results in a Service Water low pressure alarm. | ||
D. Primary Containment | (7) Shortly thereafter, 1H13-P601-B301, SERV WTR EFFLUENT RAD HI alarms. | ||
Ventilation | (8) NO other alarms have been received on 1H13-P601. | ||
Chiller Condensers | What is the source of the rising radiation levels? | ||
Answer: | A. RBCCW Heat Exchangers | ||
RBCCW is cooled by service | B. TBCCW Heat Exchangers | ||
water and with | C. Fuel Pool Cooling Heat Exchangers | ||
reduced service water pressure RBCCW can leak into service water. | D. Primary Containment Ventilation Chiller Condensers | ||
RBCCW is a potentially contaminated system. The applicant believes that both | Answer: C | ||
Applicant Feedback: | |||
RBCCW is cooled by service water and with reduced service water pressure RBCCW can leak | |||
into service water. RBCCW is a potentially contaminated system. The applicant believes that | |||
both A and C are correct answers. | |||
Facility Response: | Facility Response: | ||
RBCCW is filled with makeup condensate and is chemically treated. | RBCCW is filled with makeup condensate and is chemically treated. Leakage of contaminated | ||
Leakage of contaminated water into the RBCCW system is possible. | water into the RBCCW system is possible. The RBCCW system has a process radiation | ||
The RBCCW system has a process radiation monitor which also alarms on | monitor which also alarms on 1H13-P601. The stem of the question indicates that no other | ||
alarms have been received on 1H13-P60L and indicates that the leak is not into the RBCCW | |||
indicates that no other alarms have been received on 1H13 | system. | ||
-P60L and indicates that the leak is not into the RBCCW system. STATION RECOMMENDATION: ACCEPT ONLY (C) as the correct answer | STATION RECOMMENDATION: ACCEPT ONLY (C) as the correct answer | ||
References: | References: | ||
LOR-1H13-P601-B301, Service Water Effluent Radiation High, Revision 2 | LOR-1H13-P601-B301, Service Water Effluent Radiation High, Revision 2 | ||
This reference states in section B.4 that: | This reference states in section B.4 that: | ||
LOR-1H13-P601-B401, Reactor Building Closed Cooling Water Radiation High, Revision 2 | LOR-1H13-P601-B401, Reactor Building Closed Cooling Water Radiation High, Revision 2 | ||
This reference states in section B that: | This reference states in section B that: | ||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material related to this question. The NRC agreed with the facility position concerning how this question should be dispositioned. It was determined that the stem conditions of the question clearly rule out the RBCCW activity necessary to make distractor | The NRC reviewed the aforementioned material related to this question. The NRC agreed with | ||
, a leak from RBCCW will not cause high activity in Service Water. | the facility position concerning how this question should be dispositioned. It was determined | ||
Based upon these considerations, the NRC concluded that there should be no change to key for RO question #53. | that the stem conditions of the question clearly rule out the RBCCW activity necessary to make | ||
distractor A correct. Specifically, no high RBCCW activity alarm is present, and therefore, a | |||
RO Question 58 | leak from RBCCW will not cause high activity in Service Water. Based upon these | ||
considerations, the NRC concluded that there should be no change to key for RO question #53. | |||
RO Question 58 (Post-Exam Comment #5) | |||
Original Question: | Original Question: | ||
Unit 1 is at 100% power. Leakage flow has become just high enough | Unit 1 is at 100% power. | ||
to activate the Flow Switch 1FS-FC015 shown | Leakage flow has become just high enough to activate the Flow Switch 1FS-FC015 shown below. | ||
below. Identify the location(s) | Identify the location(s) where this Flow switch initiates an alarm. | ||
where this Flow switch initiates an alarm. A. In the MCR ONLY on panel 1PM13J | A. In the MCR ONLY on panel 1PM13J | ||
Panel ONLY | B. In the MCR ONLY on panel 1H13-P601. | ||
D. In the MCR AND in the Turbine Building | C. In the Turbine Building at the Fuel Pool Cooling Panel ONLY | ||
at the Fuel Pool Cooling | D. In the MCR AND in the Turbine Building at the Fuel Pool Cooling Panel | ||
Answer: B | |||
The Main Control Room can be identified as the correct from the print, and filling the reactor building floor drain sump will cause an alarm on 1PM13J. The applicant believes that the question requires memorization of all Main Control Room Alarm tiles and that the question should be removed from the exam. | Applicant Feedback: | ||
The Main Control Room can be identified as the correct from the print, and filling the reactor | |||
building floor drain sump will cause an alarm on 1PM13J. The applicant believes that the | |||
question requires memorization of all Main Control Room Alarm tiles and that the question | |||
should be removed from the exam. | |||
Facility Response: | Facility Response: | ||
Leakage through 1FS | Leakage through 1FS-FC015 flow switch passes through the 1REL2A-1 drain line as shown | ||
-FC015 flow switch passes through the 1REL2A | on the provided drawing from M-98-L. This continues to M-91-2 to M-104-1 to M-104-2 to the | ||
-1 drain line as shown on the provided drawing from M | 1RF02 sump. lf the water addition to this sump may cause an alarm 1PM13J-8402 on the | ||
-98-L. This continues to | 1PML3J for excessive pump-out time, excessive pump start frequency or tank hi-hi level. The | ||
M-91-2 to M-104-1 to M-104-2 to the 1RF02 sump. | stem of the question is discussing the high flow alarm from flow switch 1FS-FC015 which will | ||
lf the water addition to this sump may cause an alarm 1PM13J | alarm on 1H13-P601. There are two alarms that could result from leakage flow from the fuel | ||
-8402 on the 1PML3J for excessive pump | pool. These alarms are on two different panels in the Main Control Room, the 1PM13J and the | ||
-out time, excessive pump start frequency or tank hi | 1H13-P601. Answers A and B are correct and since they state ONLY then neither answer can | ||
-hi level. | |||
flow from the fuel pool. These alarms are on two different panels in the Main Control Room, the 1PM13J and the 1H13-P601. Answers A and B are correct and since they state ONLY then neither answer can | |||
be completely correct, therefore there is no correct answer. | be completely correct, therefore there is no correct answer. | ||
STATION RECOMMENDATION: There is NO correct answer | STATION RECOMMENDATION: There is NO correct answer | ||
Line 417: | Line 435: | ||
LOR-1H13-P601-C207, Fuel Pool Cooling System Trouble, Revision 3 | LOR-1H13-P601-C207, Fuel Pool Cooling System Trouble, Revision 3 | ||
This reference states in section A that: | This reference states in section A that: | ||
LOR-1PM13J-B402, South Reactor Building Floor Drain Sump Excessive Pump Out Time, Pump Excessive Start Freq., or Hi-Hi Level, Revision 2 | LOR-1PM13J-B402, South Reactor Building Floor Drain Sump Excessive Pump Out Time, | ||
Pump Excessive Start Freq., or Hi-Hi Level, Revision 2 | |||
This reference states in section A that: | This reference states in section A that: | ||
Applicable System Drawings | Applicable System Drawings | ||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material | The NRC reviewed the aforementioned material related to this question. This question was | ||
related to this question. | modified from the 2013 NRC exam at the same facility. The NRC disagreed with the facility | ||
This question was | position regarding this question. The stem of the question asks specifically about where one | ||
modified from the 2013 NRC exam | particular flow switch causes an alarm; the applicable LOR procedure indicates that this alarm | ||
at the same facility. The NRC disagreed | occurs on the 601 panel. The question is clear in asking where the flow switch causes the | ||
with the facility position regarding this question. | alarm and not what alarms could occur with high leakage. Based upon these considerations, | ||
The stem of the question asks specifically about where one particular | the NRC concluded that there should be no change to key for RO question #58. | ||
flow switch causes an alarm; | SRO Question 86 (Post-Exam Comment #6) | ||
The question is clear | |||
in asking where the flow switch causes the alarm and not what alarms could occur with high leakage. Based upon these considerations, the NRC concluded that there should be no change to key for RO question #58. | |||
SRO Question 86 | |||
Original Question: | Original Question: | ||
Unit 1 is operating at 100% power. Unit 2 is in a refueling outage, and | Unit 1 is operating at 100% power. | ||
fuel shuffles | Unit 2 is in a refueling outage, and fuel shuffles are in progress. | ||
are in progress. There is an inadvertent | There is an inadvertent Unit 1 Reactor Building Ventilation isolation and SBGT initiation. | ||
Unit 1 Reactor Building | The assist NSO reports that 1VG001, Inlet Isolation Damper, opened, reclosed and CANNOT be | ||
Ventilation | manually reopened. | ||
isolation and SBGT initiation. | The Unit 2 Supervisor will direct (1) , and Tech Spec 3.6.4.3 requires entry into an LCO | ||
The assist NSO | to (2) . | ||
reports that 1VG001, Inlet Isolation Damper, opened, reclosed and CANNOT | A. (1) Unit 1 SBGT train to be secured | ||
* restore SBGT to operable status, ONLY | |||
will direct | B. (1) Unit 1 SBGT train to be secured | ||
* restore SBGT to operable status, AND immediately suspend core alterations and | |||
movement of irradiated fuel | |||
C. (1) Unit 2 SBGT train to be secured | |||
* restore SBGT to operable status, ONLY | |||
restore SBGT to operable status, ONLY | D. (1) Unit 2 SBGT train to be secured | ||
restore SBGT to operable status, AND immediately | * restore SBGT to operable status, AND immediately suspend core alterations and | ||
suspend core alterations | movement of irradiated fuel | ||
Answer: A | |||
Applicant Feedback: | |||
restore SBGT to operable status, ONLY | With the VG train initiated inadvertently it is inoperable and therefore LCO 3.6.4.3 Required | ||
restore SBGT to operable status, AND immediately | Actions E.1, E.2, and E.3 are required to be entered. The applicant believes that B is the | ||
suspend core alterations | correct answer. | ||
Facility Response: | |||
The stem provides a scenario in which a Unit 1 Reactor Building Ventilation isolation signal | |||
With the VG train initiated inadvertently it is inoperable and therefore LCO 3.6.4.3 Required Actions E.1, E.2, and E.3 are required to be entered. | occurs, which also causes a SBGT system initiation. Secondary Containment Isolation | ||
The applicant believes that | Instrumentation is required per Tech Spec 3.3.6.2. Per LCO 3.0.6, when a supported system | ||
Facility Response: | LCO is not met solely due to a support system LCO not being met, the conditions and required | ||
Reactor Building Ventilation isolation signal occurs, which also causes a SBGT system initiation. | actions associated with the supported system are not required to be entered. Only the support | ||
Secondary Containment Isolation Instrumentation | system required LCO actions are required to be entered. The question is focused on SBGT | ||
is required per | train status and LCO 3.6.4.3 based on the given plant conditions. | ||
Tech Spec 3.3.6.2. | |||
Per LCO 3.0.6, when a supported system LCO is not met solely due to a support system LCO not being met, the conditions and | |||
The question is focused on SBGT train status and LCO 3.6.4.3 based on the given plant conditions. | |||
STATION RECOMMENDATION: ACCEPT ONLY (A) as the correct answer | STATION RECOMMENDATION: ACCEPT ONLY (A) as the correct answer | ||
References: | References: | ||
Technical Specification and Bases 3.6.4.3 | Technical Specification and Bases 3.6.4.3 | ||
These references state, in part, that: | These references state, in part, that: | ||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material | The NRC reviewed the aforementioned material related to this question. The NRC agreed with | ||
related to this question. | the facility position concerning how this question should be dispositioned. It was determined | ||
The NRC agreed with the facility position concerning how this question should be dispositioned. It was determined that the applicable technical specifications and bases clearly support the keyed answer of the question. Furthermore, it was determined that the technical specification issue raised by the applicant does not form a technically valid basis for the selection of a different correct | that the applicable technical specifications and bases clearly support the keyed answer of the | ||
question. Furthermore, it was determined that the technical specification issue raised by the | |||
SRO question #86 | applicant does not form a technically valid basis for the selection of a different correct answer. | ||
. | Based upon these considerations, the NRC concluded that there should be no change to key for | ||
SRO Question 94 | SRO question #86. | ||
SRO Question 94 (Post-Exam Comment #7) | |||
Original Question: | Original Question: | ||
Core Alterations | Core Alterations have been stopped by the Refuel SRO due to a Refuel Bridge equipment | ||
have been stopped | failure. | ||
by the Refuel SRO due to a Refuel Bridge equipment failure. Who has the authority to grant permission | Who has the authority to grant permission to resume fuel movement? | ||
to resume fuel | A. Dedicated Refueling NSO | ||
movement? A. Dedicated Refueling NSO | B. Operations Shift Manager | ||
Shift Manager | C. Qualified Nuclear Engineer | ||
Fuel moves require an NSO to give permission. | D. Outage Services Director | ||
The applicant believes that both | Answer: B | ||
Applicant Feedback: | |||
Fuel moves require an NSO to give permission. The applicant believes that both A an B | |||
are correct answers. | |||
Facility Response: | Facility Response: | ||
The question provides a scenario where fuel moves were stopped due to a refueling bridge equipment failure. | The question provides a scenario where fuel moves were stopped due to a refueling bridge | ||
The Shift Manager must grant permission to resume fuel movements following refueling equipment repairs and the NSO must give the Fuel Handling personnel | equipment failure. The Shift Manager must grant permission to resume fuel movements | ||
permission to proceed, as stated in LFP | following refueling equipment repairs and the NSO must give the Fuel Handling personnel | ||
- | permission to proceed, as stated in LFP-100-1 "An NSO assigned to CORE ALTERATIONS | ||
shall CHECK the Step for correctness. If it is in agreement with the NCTL (Nuclear Component | |||
Transfer List) then the NSO gives the Fuel Handling personnel permission to proceed. The | |||
In this case the | stem of the question does not specifically direct who is being granted permission to resume fuel | ||
Operations Shift Manager would provide the NSO permission to resume fuel movements and the | moves, but merely states who has the authority to grant permission to resume fuel movements. | ||
NSO gives the Fuel Handling personnel permission to proceed with fuel movements. | In this case the Operations Shift Manager would provide the NSO permission to resume fuel | ||
STATION RECOMMENDATION: ACCEPT (A) | movements and the NSO gives the Fuel Handling personnel permission to proceed with fuel | ||
AND (B) as the correct answer | movements. | ||
STATION RECOMMENDATION: ACCEPT (A) AND (B) as the correct answer | |||
References: | References: | ||
LFP-100-1, Master Refuel Procedure, Revision | LFP-100-1, Master Refuel Procedure, Revision 61 | ||
This reference states in section D.3 that: | This reference states in section D.3 that: | ||
This reference states in section E.3.8 that: | |||
This reference states in section E.3.8 | NRC Final Resolution: | ||
that: | The NRC reviewed the aforementioned material related to this question. The NRC agreed | ||
with the facility position concerning how this question should be dispositioned. During the | |||
The NRC reviewed the | administration of the written exam, in response to an applicant question, additional stem | ||
aforementioned material related to this question. | information was provided that repairs had been completed. It was determined that the Stem | ||
The NRC agreed with the facility position concerning how this question should be dispositioned. During the administration of the written exam, in response to an applicant question | wording of the question and LFP-100-1 support a possible interpretation that makes distractor | ||
, additional stem information was provided that repairs had been completed. It was determined that the Stem wording of the question and LFP | A also a correct answer. Based upon these considerations, the NRC concluded that both A | ||
-100-1 support a possible interpretation that makes distractor | and B should be accepted as correct answers for SRO question #94. | ||
SRO Question 81 (Post-Exam Comment #8) | |||
SRO Question 81 | |||
Original Question: | Original Question: | ||
Unit 1 is in Mode 5, and irradiated | Unit 1 is in Mode 5, and irradiated fuel assemblies are being moved within the Reactor Pressure | ||
fuel assemblies | Vessel (RPV). | ||
are being moved within | In accordance with LCO 3.9.6 Reactor Pressure Vessel (RPV) Water LevelIrradiated Fuel, | ||
the Reactor Pressure Vessel (RPV). In accordance | RPV cavity water level must be greater than or equal to (1) above the RPV flange; | ||
with LCO 3.9.6 Reactor Pressure Vessel (RPV) Water | otherwise, movement of irradiated fuel assemblies in the RPV must be IMMEDIATELY SUSPENDED | ||
Fuel, RPV cavity water | to maintain sufficient water level to (2) . | ||
level must be greater than or equal to | A. (1) 22 feet | ||
(2) ensure 99.5% of the total iodine released from a damaged fuel assembly is | |||
above the RPV flange; otherwise, movement of irradiated | retained in the water | ||
fuel assemblies | B. (1) 23 feet | ||
in the RPV must be IMMEDIATELY | (2) ensure 99.5% of the total iodine released from a damaged fuel assembly is | ||
water level to | |||
retained in | |||
the water | |||
retained in the water | retained in the water | ||
C. (1) 23 feet | |||
D. (1) 22 feet (2) retain iodine fission product activity | (2) retain iodine fission product activity in the event of a fuel handling accident, | ||
in the event of a fuel handling accident, keeping offsite doses within limits | keeping offsite doses within limits | ||
Answer: | D. (1) 22 feet | ||
The answers for both (A) and (D) are included in the Tech Spec Basis for Tech Spec 3.9.6. | (2) retain iodine fission product activity in the event of a fuel handling accident, | ||
keeping offsite doses within limits | |||
Answer: D | |||
Applicant Feedback: | |||
The answers for both (A) and (D) are included in the Tech Spec Basis for Tech Spec 3.9.6. | |||
Facility Response: | Facility Response: | ||
The Tech Spec Bases for 3.9.6 discusses that the LCO is based on a minimum water level | The Tech Spec Bases for 3.9.6 discusses that the LCO is based on a minimum water level | ||
of 22 feet. The analysis and test programs demonstrate that the iodine release due to a postulated fuel handling accident is adequately captured by the water, and that | of 22 feet. The analysis and test programs demonstrate that the iodine release due to a | ||
offsite doses are maintained within allowable limits. | postulated fuel handling accident is adequately captured by the water, and that offsite doses | ||
The bases also includes a discussion that 23 feet of water allows | are maintained within allowable limits. The bases also includes a discussion that 23 feet of | ||
a decontamination factor of 200 to be used in accident analysis for iodine which relates to the assumption that 99.5% of the total iodine released from the pellet to cladding gap of all the fuel. | water allows a decontamination factor of 200 to be used in accident analysis for iodine which | ||
The damaged fuel assembly rods are retained in the refueling cavity water. | relates to the assumption that 99.5% of the total iodine released from the pellet to cladding gap | ||
of all the fuel. The damaged fuel assembly rods are retained in the refueling cavity water. The | |||
discussion in the bases is supporting information and not directly related to the LCO statement. | |||
STATION RECOMMENDATION: ACCEPT ONLY (D) as the correct answer | STATION RECOMMENDATION: ACCEPT ONLY (D) as the correct answer | ||
References: | References: | ||
Technical Specification 3.9.6 and Bases | Technical Specification 3.9.6 and Bases | ||
These references state in part that: | These references state in part that: | ||
NRC Final Resolution: | NRC Final Resolution: | ||
The NRC reviewed the aforementioned material related to this question. | The NRC reviewed the aforementioned material related to this question. The NRC agreed with | ||
The NRC agreed with the facility position concerning how this question should be dispositioned. It was determined that although the Technical Specification Bases do contain the 99.5% criteria, it is associated with the 23 | the facility position concerning how this question should be dispositioned. It was determined | ||
part of the correct answer is RO knowledge, all second part answers consist of SRO | that although the Technical Specification Bases do contain the 99.5% criteria, it is associated | ||
-only knowledge. Based upon these considerations, the NRC concluded that no key change should be made for | with the 23 level value, and not the 22 level value. Additionally, while the 22 level part of the | ||
correct answer is RO knowledge, all second part answers consist of SRO-only knowledge. | |||
Based upon these considerations, the NRC concluded that no key change should be made for | |||
SRO question #81. | SRO question #81. | ||
B. Hanson -2- | |||
Letter to Bryan | |||
: [[contact::C. Hanson to Robert J. Orlikowski dated December 22]], 2016 | |||
SUBJECT: LASALLE COUNTY STATION, UNITS 1 AND 2 - NRC INITIAL LICENSE | |||
EXAMINATION REPORT 05000373/2016301; 05000374/2016301 | |||
}} | }} |
Latest revision as of 17:38, 19 December 2019
ML16357A679 | |
Person / Time | |
---|---|
Site: | LaSalle |
Issue date: | 12/22/2016 |
From: | Robert Orlikowski Operations Branch III |
To: | Bryan Hanson Exelon Generation Co, Exelon Nuclear |
References | |
IR 2016301 | |
Download: ML16357A679 (34) | |
Text
UNITED STATES ber 22, 2016
SUBJECT:
LASALLE COUNTY STATION, UNITS 1 AND 2 - NRC INITIAL LICENSE EXAMINATION REPORT 05000373/2016301; 05000374/2016301
Dear Mr. Hanson:
On November 16, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed the initial operator licensing examination process for license applicants employed at your LaSalle County Station, Units 1 and 2. The enclosed report documents the results of those examinations. Preliminary observations noted during the examination process were discussed on November 4, 2016, with Mr. W. Trafton and other members of your staff. An exit meeting was conducted by telephone on December 1, 2016, between Mr. Trafton of your staff, and Mr. Zoia, Chief Operator Licensing Examiner, to review the proposed final grading of the written examination for the license applicants. During the telephone conversation, NRC resolutions of the stations post examination comments, initially received by the NRC on November 16, 2016, were discussed.
The NRC examiners administered an initial license examination operating test during the weeks of October 17, October 24, and October 31, 2016. The written examination was administered by training department personnel on November 4, 2016. Thirteen Senior Reactor Operator and eleven Reactor Operator applicants were administered license examinations. The results of the examinations were finalized on December 13, 2016. Three applicants failed one or more sections of the administered examination and were issued proposed license denial letters.
Twenty-one applicants passed all sections of their respective examinations and twelve were issued senior operator licenses and seven were issued operator licenses. In accordance with NRC policy, the licenses for the remaining two applicants are being withheld pending the outcome of any written examination appeal that may be initiated.
The written examination and other related written examination documentation will be withheld from public disclosure for 24 months per your request. However, if an applicant received a proposed license denial letter, because of a written examination grade that is less than 80.0 percent, the applicant will be provided a copy of the written examination. For examination security purposes, your staff should consider that written examination uncontrolled and exposed to the public. In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
Sincerely,
/RA/
Robert J. Orlikowski, Chief Operations Branch Division of Reactor Safety Docket Nos. 05000373; 05000374 License Nos. NPF-11; NPF-18
Enclosures:
1. OL Examination Report 05000373/2016301; 05000374/2016301 2. Simulation Facility Fidelity Report
REGION III==
Docket Nos: 05000373; 05000374 License Nos: NPF-11; NPF-18 Report No: 05000373/2016301; 05000374/2016301 Licensee: Exelon Generation Company, LLC Facility: LaSalle County Station, Units 1 and 2 Location: Marseilles, IL Dates: October 17 - November 16, 2016 Inspectors: C. Zoia, Chief Examiner J. Seymour, Examiner/ Chief Examiner-in-Training M. Bielby, Examiner Approved by: R. Orlikowski, Chief Operations Branch Division of Reactor Safety Enclosure 1
SUMMARY
Examination Report 05000373/2016301; 05000374/2016301; 10/17/2016 - 11/16/2016;
Exelon Generation Company, LLC; LaSalle County Station; Units 1 and 2; Initial License Examination Report.
The announced initial operator licensing examination was conducted by regional Nuclear Regulatory Commission examiners in accordance with the guidance of NUREG-1021,
Operator Licensing Examination Standards for Power Reactors, Revision 10, Supplement 1.
Examination Summary Twenty-one of twenty-four applicants passed all sections of their respective examinations.
Twelve applicants were issued senior operator licenses and seven applicants were issued operator licenses. Three applicants failed one or more sections of the administered examination and were issued proposed license denials. The licenses for the remaining two applicants are being held and may be issued pending the outcome of any written examination appeal. (Section 4OA5.1).
REPORT DETAILS
4OA5 Other Activities
.1 Initial Licensing Examinations
a. Examination Scope
The U.S. Nuclear Regulatory Commission (NRC) examiners and members of the facility licensees staff used the guidance prescribed in NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 10, to develop, validate, administer, and grade the written examination and operating test. Members of the facility licensees staff prepared the outline and developed the written examination and operating test. The NRC examiners validated the proposed examination during the week of September 19, 2016, with the assistance of members of the facility licensees staff. During the on-site validation week, the examiners audited three license applications for accuracy. The NRC examiners, with the assistance of members of the facility licensees staff, administered the operating test, consisting of job performance measures (JPMs) and dynamic simulator scenarios, during the period of October 17, 2016, through November 3, 2016. The facility licensee administered the written examination on November 4, 2016.
b. Findings
- (1) Written Examination The NRC examiners determined that the written examination as proposed by the licensee, was within the range of acceptability expected for a proposed examination.
Less than 20 percent of the proposed examination questions were determined to be unsatisfactory and required modification or replacement.
All changes made to the proposed written examination, were made in accordance with NUREG-1021, "Operator Licensing Examination Standards for Power Reactors, and documented on Form ES-401-9, Written Examination Review Worksheet. On November 16, 2016, the licensee submitted documentation noting that there were eight post-examination comments for consideration by the NRC examiners when grading the written examination. The post-examination comments and the NRC resolution for the post-examination comments are included with this report. The Form ES-401-9, the written examination outlines (ES-401-2 and ES-401-3), and both the proposed and final written examinations will be available electronically in the NRC Public Document Room or from the Publicly Available Records component of NRC's Agencywide Documents Access and Management System (ADAMS) in 24 months. (ADAMS Accession Numbers ML15274A405 and ML15274A403).
The NRC examiners graded the written examination on November 29, 2016, and conducted a review of each missed question to determine the accuracy and validity of the examination questions.
- (2) Operating Test The NRC examiners determined that the operating test, as originally proposed by the licensee, was within the range of acceptability expected for a proposed examination.
Changes made to the operating test, documented in a document titled, Operating Test Comments, as well as the final as administered dynamic simulator scenarios and JPMs, are available electronically in the NRC Public Document Room or from the Publicly Available Records component of NRC's ADAMS.
The NRC examiners completed operating test grading on December 13, 2016.
- (3) Examination Results Thirteen applicants at the Senior Reactor Operator level and eleven applicants at the Reactor Operator level were administered written examinations and operating tests.
Nineteen applicants passed all portions of their examinations and were issued their respective operating licenses on December 13, 2016.
Three applicants failed one or more sections of the administered examination and were issued proposed license denials. Two applicants passed all portions of the license examination, but received a written test grade below 82 percent. In accordance with NRC policy, the applicants licenses will be withheld until any written examination appeal possibilities by other applicants have been resolved. If the applicants grade is still equal to or greater than 80 percent after any appeal resolution, the applicant will be issued an operating license. If the applicants grade has declined below 80 percent, the applicant will be issued a proposed license denial letter and offered the opportunity to appeal any questions the applicant feels were graded incorrectly.
.2 Examination Security
a. Scope
The NRC examiners reviewed and observed the licensee's implementation of examination security requirements during the examination validation and administration to assure compliance with Title10 of the Code of Federal Regulations, Section 55.49, Integrity of Examinations and Tests. The examiners used the guidelines provided in NUREG-1021, "Operator Licensing Examination Standards for Power Reactors, to determine acceptability of the licensees examination security activities.
b. Findings
No findings were identified.
4OA6 Management Meetings
.1 Debrief
The chief examiner presented the examination team's preliminary observations and findings on November 4, 2016, to W. Trafton, Site Vice-President, and other members of the LaSalle County Station Operations and Training Department staff.
.2 Exit Meeting
The chief examiner conducted an exit meeting on December 1, 2016, with Mr. W. Trafton, Site Vice President, by telephone. The NRCs final disposition of the stations post-examination comments were disclosed and discussed with Mr. Trafton during the telephone discussion. The examiners asked the licensee whether any of the material used to develop or administer the examination should be considered proprietary. No proprietary or sensitive information was identified during the examination or debrief/exit meetings.
ATTACHMENT:
SUPPLEMENTAL INFORMATION
SUPPLEMENTAL INFORMATION
KEY POINTS OF CONTACT
Licensee
- W. Trafton, Site Vice President
- H. Vinyard, Plant Manager
- G. Ford, Regulatory Assurance Manager
- T. Lanc, Regulatory Assurance
- J. Keenan, Operations Director
- M. Smith, Operations Shift Manager
- J. Lindsey, Training Director
- D. Wright, Operations Training Manager
- D. Fuson, Training Specialist
- C. Betken, Operations Instructor
- J. Fiesel, Maintenance Director
- M. Fakhreddine, Chemistry
- B. Roy, Fleet Assessment
U.S. Nuclear Regulatory Commission
- R. Ruiz, Senior Resident Inspector
- C. Hunt, Acting Resident Inspector
- C. Zoia, Chief Examiner
- J. Seymour, Examiner/ Chief Examiner-in-Training
- M. Bielby, Examiner
ITEMS OPENED, CLOSED, AND DISCUSSED
Opened, Closed, and Discussed
None
LIST OF ACRONYMS USED
ADAMS Agencywide Document Access and Management System
LPRM Local Power Range Monitor
NRC U.S. Nuclear Regulatory Commission
PARS Publicly Available Records System
RCMS Rod Control Management System
SWR Simulator Work Request
SIMULATION FACILITY FIDELITY REPORT
Facility Licensee: LaSalle County Station, Units 1 and 2
Facility Docket Nos: 50-373; 50-374
Operating Tests Administered: October 17, 2016, - November 3, 2016
The following documents observations made by the NRC examination team during the initial
operator license examination. These observations do not constitute audit or inspection findings
and are not, without further verification and review, indicative of non-compliance with Title 10 of
the Code of Federal Regulations 55.45(b). These observations do not affect NRC certification
or approval of the simulation facility other than to provide information which may be used in
future evaluations. No licensee action is required in response to these observations.
During the conduct of the simulator portion of the operating tests, the following items were
observed:
ITEM DESCRIPTION
Exelon Nuclear While performing a simulator reset during NRC exam simulator
Issue #02733595 scenarios, a simulator operator failed to correctly position an LPRM
bypass switch according to the lineup that was required for the scenario
guide. This human performance error was not detected by the simulator
operator due to the use of an override function in the simulator software
that permitted the simulator to be reset for the next scenario with the
switch remaining out of position. As a result, a malfunction inserted
during the subsequent scenario did not present itself to the applicants.
The NRC examiners removed the crew of applicants from the simulator
and sequestered them while facility staff investigated and corrected the
issue. Following a delay of approximately 45 minutes, the applicants
were returned to the simulator and the scenario was resumed. The
scenario was then completed without further simulator issues.
SWR #0132672 During a JPM that required synchronizing an emergency diesel
generator to a bus, there was one instance in which the associated
output breaker failed to close. The applicant was removed from the
simulator and sequestered by an NRC examiner during facility
investigation of the issue. Facility simulator staff were unable to
reproduce the issue. Following a brief delay, the applicant was returned
to the simulator and the JPM was resumed. The JPM was then
completed without further simulator issues.
SWR #0132673 During a JPM that required synchronizing an emergency diesel
generator to a bus, there was one instance in which the associated sync
selector switch failed to turn on the synchroscope. The applicant was
removed from the simulator and sequestered by an NRC examiner
during facility investigation of the issue. Facility simulator staff were
unable to reproduce the issue. Following a brief delay, the applicant
was returned to the simulator and the JPM was resumed. The JPM
was then completed without further simulator issues.
SWR #0132673 During the operating portion of the NRC exam, there were multiple
instances of the 1H13-P601 silence and test buttons sticking. This
resulted in applicants being unable to silence annunciators from this
location and necessitated the silencing of annunciators from another
location in the simulator.
N/A During multiple simulator scenarios, a persistent RCMS-related
annunciator was present. This was not an expected alarm for the
conditions established by the scenario guides. The presence of this
alarm did not interfere with the execution of the simulator scenarios or
cause distraction to the applicants. Due to the nature of the underlying
simulator issue, and the potential impacts of repairs on simulator
availability, facility simulator staff deferred repair of the issue until after
the operating portion of the NRC exam had been completed.
POST EXAM COMMENTS AND RESOLUTIONS
RO Question 18 (Post-Exam Comment #1)
Original Question:
Unit 1 is at 100% power.
The NSO starts 1A CD/CB pump and secures 1B CD/CB pump.
One minute later, Annunciator 1H13-P601-F402, MSL A/B Radiation Monitor HI alarms.
(1) Is the MSL A/B Radiation Monitor High alarm expected or unexpected?
(2) What is the correct operator action, if any?
A. (1) Unexpected.
(2) Commence power reduction per LGP 3-1.
B. (1) Unexpected.
(2) Direct all nonessential personal to stay clear of Turbine Building Elevation 768.
C. (1) Expected.
(2) No additional action required. Monitor parameters and trends; annunciator
1N62-P600-B502, OFF GAS PRE-TREATMENT RADIATION HI may alarm.
D. (1) Expected.
(2) No additional action required. Monitor parameters and trends; annunciator
1N62-P600-B304, STATION VENT STACK RAD HI may alarm.
Answer: C
Applicant Feedback:
Answers A and C are both correct and supported by procedures and engineering changes.
Additionally, per Exelon standards per OP-AA-103-102, Section 4.5.5, alarms that are not
previously flagged with LOR's reviewed are not expected which eliminate answers (C) and (D).
Facility Response:
A review of OP-AA-103-102 does state that if an alarm is not previously discussed then the
alarm should be considered unexpected. Also a recent plant modification per EC 364641
to relocate the hydrogen injection points in the condensate header has been successful at
reducing the frequency of the MSL Rad Monitor Hl alarms following CD/CB pump lineup
changes. The question provides the candidate with having to determine if the alarm was an
expected alarm based on the definition from OP-AA-103-102 without clarifying information in the
stem. Without this information and the engineering change reducing the frequency of the alarm
then the correct answer is no longer valid since the 1st part of the two parts states EXPECTE
- D.
Since both C and D state EXPECTED, they can be considered incorrect per procedural
process. In addition, the student could make the assumption that the alarm was caused by a
fuel failure, due to the engineering change, and therefore the alarm would be unexpected and
require a power reduction as stated in answer A.
STATION RECOMMENDATION: There is NO correct answer
References:
OP-AA-103-102, Watch-Standing Practices, Revision 16
(reference withheld from public disclosure due to proprietary content)
EC 364639, Mitigate MSL Rad Monitor Spikes, Revision 2
This reference states, in part, that:
LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into
the reactor feedwater, the Hydrogen Water Chemistry (HW) system. The purpose of the
modifications was to protect the Reactor Internals and Reactor Recirculation Piping by
reduction of Intergranular Stress Corrosion Cracking (IGSCC).
This modification (EC 364639) will relocate the current point of hydrogen injection into line
1CD07A-30" suction piping, from between 1CBO1PB (1B) and 1CBO1PC (1C) Condensate
Booster (CB) pumps to a point in line 1CD07A-30" upstream of all four Condensate Booster
pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by providing
a more uniform mixing of hydrogen in the Condensate Booster system.
EC 364641, Mitigate MSL Rad Monitor Spikes, Revision 0
This reference states, in part, that:
LaSalle Station, in the mid 1990's, installed plant modifications to inject hydrogen into the
reactor feedwater, the Hydrogen Water Chemistry (HW) system. The purpose of the
modifications was to protect the Reactor Internals and Reactor Recirculation Piping by
reduction of Intergranular Stress Corrosion Cracking (IGSCC).
This modification (EC 364641) will relocate the current point of hydrogen injection into line
2CD07 A-30" suction piping, from between 2CB01PB (2B) and 2CB01PC (2C) Condensate
Booster (CB) pumps to a point in line 2CD07 A-30" upstream of all four Condensate Booster
pumps. This relocation of hydrogen injection will reduce the MSL radiation spikes by providing
a more uniform mixing of hydrogen in the Condensate Booster system.
LOR-2H13-P601-F402, MSL A/B Radiation Monitor Downscale/INOP/Hl, Revision 3
This reference states in section C.2 that:
During CP changes and CD/CB Pump swaps MSL Rad monitor Hl alarms have spuriously
annunciated in the past when HWC is online. This phenomenon is an actual radiation level
change induced by N-16 production, which is a normal by-product of H2 gas injection into the
reactor. The suspect cause is a release of H2 gas within the CD/CB piping from a pocketed
location. When this finite amount of gas reaches the reactor, it results in the formation of N-16
and is detected as a spike on the MSL and OG Pretreatment Rad monitors.
LOR-1N62-P600-B502, Off Gas Pre-Treatment Radiation Monitor High Radiation, Revision 8
This reference states in section C that:
During CP changes and CD/CB pump swaps, OG Pretreatment Rad Monitor Hl alarms have
spuriously annunciated in the past when HWC is on-line. This phenomenon is an actual
radiation level change induced by N-16 production, which is a normal by product of H2 gas
injection into the reactor. The suspect cause is a release of H2 gas within the CD/CB piping
from a pocketed location. When this finite amount of gas reaches the reactor, it results in the
formation of N-16 and is detected as a spike on the MSL and OG Pretreatment Rad Monitors.
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed with
the facility position concerning how this question should be dispositioned. It was noted that the
LOR procedures still discuss a possible high radiation alarm condition. It was also noted that
an engineering change was made to prevent such high radiation alarms. The definition of
expected alarm as it relates to the question was determined to add further ambiguity. Based
upon these considerations, the NRC concluded that no correct answer exists for this question.
Therefore, RO question #18 has been deleted from the exam.
RO Question 27 (Post-Exam Comment #2)
Original Question:
Unit 1 is in a LOCA
(3) Drywell pressure is 10 psig and rising slowly
(4) Drywell and Suppression Chamber Hydrogen is 1%
(5) Drywell and Suppression Chamber Oxygen is 2%
What action is required?
The Hydrogen Recombiner must be..
A. STOPPED manually
B. STARTED manually
C. Verified to have AUTO-TRIPPED
D. Verified to have AUTO-STARTED
Answer: B
Applicant Feedback:
The comment made was that drywell pressure of 10 psig and rising slowly does not adequately
describe the time to reach 15.3 psig which is the point at which the Hydrogen Recombiner will
trip. The Hydrogen Recombiner should be stopped manually prior to reaching 15.3 psig which
makes (A) also correct.
Facility Response:
LGA-003 lesson plan states if LGA-003 is entered then parallel execution is also required
because of the symptomatic approach to emergency response precludes the prioritization of
any one action path since independence for initiating events and transients must be maintained.
Therefore, the Hydrogen leg of LGA-003 is entered because the stem of the question states that
Hydrogen is 1%, which leads to entering LGA-011 and starting the Hydrogen Recombiner.
There is procedure guidance in LGA-HG-101 to shutdown the Hydrogen Recombiner when
drywell pressure exceeds 15.3 psig, but the Hydrogen Recombiner does not have an auto start
feature, and therefore would not be running to require STOPPING Manually. The LGA-HG-101
indicates that the Hydrogen Recombiner will trip at 15.3 psig of drywell pressure and direct the
operator to use containment sprays to reduce drywell pressure before restarting the Hydrogen
Recombiner.
STATION RECOMMENDATION: ACCEPT ONLY (B) as the correct answer
References:
LGA-HG-101, Operation of the Hydrogen Recombiner as a Mixing System, Revision 1
This reference states in section E.1.b that:
This reference states in section F.2 that:
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed
with the facility position concerning how this question should be dispositioned. The stem of
the question is clear that drywell pressure is currently 10 psig with a slowly rising trend. Per
LGA-HG-101, the recombiner is manually stopped after 15.3 psig is exceeded, which also
corresponds to the automatic trip setpoint. Based upon these considerations, the NRC
concluded that there should be no change to key for RO question #27.
RO Question 40 (Post-Exam Comment #3)
Original Question:
RCIC is operating in the PRESSURE CONTROL MODE with the RCIC Pump Discharge Flow
Controller in AUTO set to 600 GPM.
Which of the following set of RCIC system control manipulations would result in the FASTEST RATE of
RISE in Suppression Pool water temperature?
Throttle 1E51-F022, Full Flow Test Upstream Valve, (1) , in order to (2) .
A. (1) Open
- Maximize pump flowrate
B. (1) Closed
- Maximize pump flowrate
C. (1) Open
- Maximize pump discharge pressure
D. (1) Closed
- Maximize pump discharge pressure
Answer: D
Applicant Feedback:
Closing the 1E51-F022 causes the turbine to spin faster and output more heat to the
suppression pool. Flow will remain at the maximum of 600 GPM. In automatic 600 GPM
is the maximum and flow will go no higher which makes (B) also correct.
Facility Response:
Station's Response: The RCIC operating procedure for the pressure control mode per
LOP-RI-09 indicates that the parameter controlled when throttling 1E51-F022 is RCIC discharge
pressure and RCIC flowrate will be automatically maintained at the flow controller setpoint when
operated in AUTO. The RCIC system lesson plan states LE51-F022 is throttled (to increase
pressure and the turbine (pump) speed is automatically adjusted to achieve the flow specified.
STATION RECOMMENDATION: ACCEPT ONLY (D) as the correct answer
References:
LOP-RI-09, Operating the Reactor Core Isolation Cooling System for Pressure Control,
Revision 11
This reference states in step E.1.10 that:
E.1.10 THROTTLE 1(2)E51-F022, RCIC Full Flow Test Upstrm Valve, as needed to maintain
desired Rx pressure and/or cooldown rate.
This reference states in Attachment A (Hardcard - RCIC Operations) step 3 that:
3. To change Cooldown Rate:
to control Reactor Pressure.
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed with
the facility position concerning how this question should be dispositioned. It was determined
that system operation and procedural direction support the answer key. Furthermore, it was
determined that the selection of distractor B would require an incorrect understanding of
system operation. Throttling FO-22 with the controller in AUTO would not be expected to
cause a flow change; if a max flow rate was wanted, the flow controller would need to be
adjusted. Based upon these considerations, the NRC concluded that there should be no
change to key for RO question #40.
RO Question 53 (Post-Exam Comment #4)
Original Question:
Unit 1 is operating at rated power
(6) A trip of the 1A Service Water Pump results in a Service Water low pressure alarm.
(7) Shortly thereafter, 1H13-P601-B301, SERV WTR EFFLUENT RAD HI alarms.
(8) NO other alarms have been received on 1H13-P601.
What is the source of the rising radiation levels?
A. RBCCW Heat Exchangers
B. TBCCW Heat Exchangers
C. Fuel Pool Cooling Heat Exchangers
D. Primary Containment Ventilation Chiller Condensers
Answer: C
Applicant Feedback:
RBCCW is cooled by service water and with reduced service water pressure RBCCW can leak
into service water. RBCCW is a potentially contaminated system. The applicant believes that
both A and C are correct answers.
Facility Response:
RBCCW is filled with makeup condensate and is chemically treated. Leakage of contaminated
water into the RBCCW system is possible. The RBCCW system has a process radiation
monitor which also alarms on 1H13-P601. The stem of the question indicates that no other
alarms have been received on 1H13-P60L and indicates that the leak is not into the RBCCW
system.
STATION RECOMMENDATION: ACCEPT ONLY (C) as the correct answer
References:
LOR-1H13-P601-B301, Service Water Effluent Radiation High, Revision 2
This reference states in section B.4 that:
LOR-1H13-P601-B401, Reactor Building Closed Cooling Water Radiation High, Revision 2
This reference states in section B that:
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed with
the facility position concerning how this question should be dispositioned. It was determined
that the stem conditions of the question clearly rule out the RBCCW activity necessary to make
distractor A correct. Specifically, no high RBCCW activity alarm is present, and therefore, a
leak from RBCCW will not cause high activity in Service Water. Based upon these
considerations, the NRC concluded that there should be no change to key for RO question #53.
RO Question 58 (Post-Exam Comment #5)
Original Question:
Unit 1 is at 100% power.
Leakage flow has become just high enough to activate the Flow Switch 1FS-FC015 shown below.
Identify the location(s) where this Flow switch initiates an alarm.
A. In the MCR ONLY on panel 1PM13J
B. In the MCR ONLY on panel 1H13-P601.
C. In the Turbine Building at the Fuel Pool Cooling Panel ONLY
D. In the MCR AND in the Turbine Building at the Fuel Pool Cooling Panel
Answer: B
Applicant Feedback:
The Main Control Room can be identified as the correct from the print, and filling the reactor
building floor drain sump will cause an alarm on 1PM13J. The applicant believes that the
question requires memorization of all Main Control Room Alarm tiles and that the question
should be removed from the exam.
Facility Response:
Leakage through 1FS-FC015 flow switch passes through the 1REL2A-1 drain line as shown
on the provided drawing from M-98-L. This continues to M-91-2 to M-104-1 to M-104-2 to the
1RF02 sump. lf the water addition to this sump may cause an alarm 1PM13J-8402 on the
1PML3J for excessive pump-out time, excessive pump start frequency or tank hi-hi level. The
stem of the question is discussing the high flow alarm from flow switch 1FS-FC015 which will
alarm on 1H13-P601. There are two alarms that could result from leakage flow from the fuel
pool. These alarms are on two different panels in the Main Control Room, the 1PM13J and the
1H13-P601. Answers A and B are correct and since they state ONLY then neither answer can
be completely correct, therefore there is no correct answer.
STATION RECOMMENDATION: There is NO correct answer
References:
LOR-1H13-P601-C207, Fuel Pool Cooling System Trouble, Revision 3
This reference states in section A that:
LOR-1PM13J-B402, South Reactor Building Floor Drain Sump Excessive Pump Out Time,
Pump Excessive Start Freq., or Hi-Hi Level, Revision 2
This reference states in section A that:
Applicable System Drawings
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. This question was
modified from the 2013 NRC exam at the same facility. The NRC disagreed with the facility
position regarding this question. The stem of the question asks specifically about where one
particular flow switch causes an alarm; the applicable LOR procedure indicates that this alarm
occurs on the 601 panel. The question is clear in asking where the flow switch causes the
alarm and not what alarms could occur with high leakage. Based upon these considerations,
the NRC concluded that there should be no change to key for RO question #58.
SRO Question 86 (Post-Exam Comment #6)
Original Question:
Unit 1 is operating at 100% power.
Unit 2 is in a refueling outage, and fuel shuffles are in progress.
There is an inadvertent Unit 1 Reactor Building Ventilation isolation and SBGT initiation.
The assist NSO reports that 1VG001, Inlet Isolation Damper, opened, reclosed and CANNOT be
manually reopened.
The Unit 2 Supervisor will direct (1) , and Tech Spec 3.6.4.3 requires entry into an LCO
to (2) .
A. (1) Unit 1 SBGT train to be secured
B. (1) Unit 1 SBGT train to be secured
movement of irradiated fuel
C. (1) Unit 2 SBGT train to be secured
D. (1) Unit 2 SBGT train to be secured
movement of irradiated fuel
Answer: A
Applicant Feedback:
With the VG train initiated inadvertently it is inoperable and therefore LCO 3.6.4.3 Required
Actions E.1, E.2, and E.3 are required to be entered. The applicant believes that B is the
correct answer.
Facility Response:
The stem provides a scenario in which a Unit 1 Reactor Building Ventilation isolation signal
occurs, which also causes a SBGT system initiation. Secondary Containment Isolation
Instrumentation is required per Tech Spec 3.3.6.2. Per LCO 3.0.6, when a supported system
LCO is not met solely due to a support system LCO not being met, the conditions and required
actions associated with the supported system are not required to be entered. Only the support
system required LCO actions are required to be entered. The question is focused on SBGT
train status and LCO 3.6.4.3 based on the given plant conditions.
STATION RECOMMENDATION: ACCEPT ONLY (A) as the correct answer
References:
Technical Specification and Bases 3.6.4.3
These references state, in part, that:
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed with
the facility position concerning how this question should be dispositioned. It was determined
that the applicable technical specifications and bases clearly support the keyed answer of the
question. Furthermore, it was determined that the technical specification issue raised by the
applicant does not form a technically valid basis for the selection of a different correct answer.
Based upon these considerations, the NRC concluded that there should be no change to key for
SRO question #86.
SRO Question 94 (Post-Exam Comment #7)
Original Question:
Core Alterations have been stopped by the Refuel SRO due to a Refuel Bridge equipment
failure.
Who has the authority to grant permission to resume fuel movement?
A. Dedicated Refueling NSO
B. Operations Shift Manager
C. Qualified Nuclear Engineer
D. Outage Services Director
Answer: B
Applicant Feedback:
Fuel moves require an NSO to give permission. The applicant believes that both A an B
are correct answers.
Facility Response:
The question provides a scenario where fuel moves were stopped due to a refueling bridge
equipment failure. The Shift Manager must grant permission to resume fuel movements
following refueling equipment repairs and the NSO must give the Fuel Handling personnel
permission to proceed, as stated in LFP-100-1 "An NSO assigned to CORE ALTERATIONS
shall CHECK the Step for correctness. If it is in agreement with the NCTL (Nuclear Component
Transfer List) then the NSO gives the Fuel Handling personnel permission to proceed. The
stem of the question does not specifically direct who is being granted permission to resume fuel
moves, but merely states who has the authority to grant permission to resume fuel movements.
In this case the Operations Shift Manager would provide the NSO permission to resume fuel
movements and the NSO gives the Fuel Handling personnel permission to proceed with fuel
movements.
STATION RECOMMENDATION: ACCEPT (A) AND (B) as the correct answer
References:
LFP-100-1, Master Refuel Procedure, Revision 61
This reference states in section D.3 that:
This reference states in section E.3.8 that:
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed
with the facility position concerning how this question should be dispositioned. During the
administration of the written exam, in response to an applicant question, additional stem
information was provided that repairs had been completed. It was determined that the Stem
wording of the question and LFP-100-1 support a possible interpretation that makes distractor
A also a correct answer. Based upon these considerations, the NRC concluded that both A
and B should be accepted as correct answers for SRO question #94.
SRO Question 81 (Post-Exam Comment #8)
Original Question:
Unit 1 is in Mode 5, and irradiated fuel assemblies are being moved within the Reactor Pressure
Vessel (RPV).
In accordance with LCO 3.9.6 Reactor Pressure Vessel (RPV) Water LevelIrradiated Fuel,
RPV cavity water level must be greater than or equal to (1) above the RPV flange;
otherwise, movement of irradiated fuel assemblies in the RPV must be IMMEDIATELY SUSPENDED
to maintain sufficient water level to (2) .
A. (1) 22 feet
(2) ensure 99.5% of the total iodine released from a damaged fuel assembly is
retained in the water
B. (1) 23 feet
(2) ensure 99.5% of the total iodine released from a damaged fuel assembly is
retained in the water
C. (1) 23 feet
(2) retain iodine fission product activity in the event of a fuel handling accident,
keeping offsite doses within limits
D. (1) 22 feet
(2) retain iodine fission product activity in the event of a fuel handling accident,
keeping offsite doses within limits
Answer: D
Applicant Feedback:
The answers for both (A) and (D) are included in the Tech Spec Basis for Tech Spec 3.9.6.
Facility Response:
The Tech Spec Bases for 3.9.6 discusses that the LCO is based on a minimum water level
of 22 feet. The analysis and test programs demonstrate that the iodine release due to a
postulated fuel handling accident is adequately captured by the water, and that offsite doses
are maintained within allowable limits. The bases also includes a discussion that 23 feet of
water allows a decontamination factor of 200 to be used in accident analysis for iodine which
relates to the assumption that 99.5% of the total iodine released from the pellet to cladding gap
of all the fuel. The damaged fuel assembly rods are retained in the refueling cavity water. The
discussion in the bases is supporting information and not directly related to the LCO statement.
STATION RECOMMENDATION: ACCEPT ONLY (D) as the correct answer
References:
Technical Specification 3.9.6 and Bases
These references state in part that:
NRC Final Resolution:
The NRC reviewed the aforementioned material related to this question. The NRC agreed with
the facility position concerning how this question should be dispositioned. It was determined
that although the Technical Specification Bases do contain the 99.5% criteria, it is associated
with the 23 level value, and not the 22 level value. Additionally, while the 22 level part of the
correct answer is RO knowledge, all second part answers consist of SRO-only knowledge.
Based upon these considerations, the NRC concluded that no key change should be made for
SRO question #81.
B. Hanson -2-
Letter to Bryan
SUBJECT: LASALLE COUNTY STATION, UNITS 1 AND 2 - NRC INITIAL LICENSE
EXAMINATION REPORT 05000373/2016301; 05000374/2016301