ML19208D636: Difference between revisions

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=Text=
=Text=
{{#Wiki_filter:Georga Power Company l 2' Peachtree Street A'Post Office Box 4545
{{#Wiki_filter:Georga Power Company                                               l 2'APeachtree Street Post Office Box 4545
.Atfanta. Georgia 30303
  *  . Atfanta. Georgia 30303 Telephone 404 522 6060 y 91RC R    / '' , .
*Telephone 404 522 6060 m t.MTb. 93, . .M
m   t.MTb. "93,         .M t       Power Supply Engineering and Services k-
'y 91RC R/ '' , k"-t Power Supply Engineering and Services Q P4: 43 Georgia Power.g the sni.Hnm ei+r:ltc system June 12, 1979 United States Nuclear Regulatory Commission Office of Inspection and Enforcement
                                                .g      Q P4: 43                     Georgia Power the sni.Hnm ei+r:ltc system June 12, 1979 United States Nuclear Regulatory Commission Office of Inspection and Enforcement                              


==REFERENCE:==
==REFERENCE:==


Region II - Suite 3100 RII: RFRIII 101 Marietta Street 50-321/79-11 Atlanta, Georgia 30303 50-366/79-15 ATTENTION:
Region II - Suite 3100 RII: RFRIII 101 Marietta Street                                               50-321/79-11 Atlanta, Georgia 30303 50-366/79-15 ATTENTION:         Mr. R. C. Lewis Gentlemen:
Mr. R. C. Lewis Gentlemen:
The Georgia Power Company offers the attached information in response to your letter of May 24, 1979, describing an apparent noncompliance with NRC requirements noted during your March 13 - April 6, 1979, inspection of the llatch Nuclear Plant.
The Georgia Power Company offers the attached information in response to your letter of May 24, 1979, describing an apparent noncompliance with NRC requirements noted during your March 13 - April 6, 1979, inspection of the llatch Nuclear Plant.
The inspection report contains no information which is believed to be proprietary.
The inspection report contains no information which is believed to be proprietary.
Very truly y rs,;[ h'' n. c--. W. y affq Manage of Quality Assurance w I RCW/mb Attachment
Very truly y     rs,
.1055 136 7909290 / 3 6 omCMLOOPY  
                                                      ;             [ h '' n   . c-             -
~,*..Infraction 50/321-79-11-01 The above infraction deals with failure to correct a long tenn problem concerning the ability to maintain secondary containment. The infraction is specifically for failure to provide an interlock system which assures that Technical Specifications are met.
                                                              . W. y affq Manage of Quality Assurance w                                                             I RCW/mb Attachment 1055 136 7909290 / 3 6 omCMLOOPY
 
    ~
Infraction 50/321-79-11-01 The above infraction deals with failure to correct a long tenn problem concerning the ability to maintain secondary containment. The infraction is specifically for failure to provide an interlock system which assures that Technical Specifications are met.
Orginally controlled access barriers of Plant Hatch were maintained through administrative controls based on a system of red and green lights.
Orginally controlled access barriers of Plant Hatch were maintained through administrative controls based on a system of red and green lights.
Secondary containment would be maintained provided these controls were followed. After repeated violations it became evident that these controls were inadequate. The system was then redesigned to install interlocks on all airlock doors to be used in conjunction with the existing light system.The interlocks prohibit opening any two doors that would violate secondary containment.
Secondary containment would be maintained provided these controls were followed. After repeated violations it became evident that these controls were inadequate. The system was then redesigned to install interlocks on all airlock doors to be used in conjunction with the existing light system. The interlocks prohibit opening any two doors that would violate secondary containment. IE Bulletin 77-08 states that prompt ingress and unimpeded egress must be assurred into and out of certain plant areas.
IE Bulletin 77-08 states that prompt ingress and unimpeded egress must be assurred into and out of certain plant areas.
To obtain prompt ingress and unimpeded egress requires that door interlocks be provided with an emergency override. The system was redesigned and equipped witn override pushbuttons to defeat the interlocks in an emergency situation. After additional repeated violations it became evident that personnel were utilizing the pushbuttons to bypass the interlocks ia other than emergency situations. The problem was studied and airlock R106 was selected to be used for a case study. Glass covers were installed over the pushbuttons to make them less accessible. Since the glass covers were installed no containment violations have occurred at airlock R106.                                                  .
To obtain prompt ingress and unimpeded egress requires that door interlocks be provided with an emergency override.
Glass covers will be installed on all override pushbuttons throughout the plant by January 1, 1980. In addition, a surveillance procedure has been written to periodically inspect the condition of the interlock equipment to insure that it remains in good working order.
The system was redesigned and equipped witn override pushbuttons to defeat the interlocks in an emergency situation. After additional repeated violations it became evident that personnel were utilizing the pushbuttons to bypass the interlocks ia other than emergency situations.
1055 137
The problem was studied and airlock R106 was selected to be used for a case study. Glass covers were installed over the pushbuttons to make them less accessible.
 
Since the glass covers were installed no containment violations have occurred at airlock R106.
    .~
.Glass covers will be installed on all override pushbuttons throughout the plant by January 1, 1980.
: r.     .
In addition, a surveillance procedure has been written to periodically inspect the condition of the interlock equipment to insure that it remains in good working order.
Infraction 366/79-15-01 In December 1978, while reviewing and comparing Unit 2 surveillance procedures with Unit 1 to verify setpoints, we discovered that the Unit 1 HPCI and RC'T exhaust diaphragm pressure switches were calibrated with a head prest .e. These instruments are on a dry line and should not have a head pressure. This caused the setpoint to exceed the Technical Specification limit.
1055 137  
We also found that surveillance procedure HNP-2-3309 for the Unit 2 HPCI exhaust diaphragm pressure switches was also incorrect. This pro-cedure was corrected at the same time as the Unit 1 procedures, but it was not corrected immediately using the double SR0 approval method.
.~r..,-.Infraction 366/79-15-01 In December 1978, while reviewing and comparing Unit 2 surveillance procedures with Unit 1 to verify setpoints, we discovered that the Unit 1 HPCI and RC'T exhaust diaphragm pressure switches were calibrated with a head prest.e.These instruments are on a dry line and should not have a head pressure.
This caused the setpoint to exceed the Technical Specification limit.
We also found that surveillance procedure HNP-2-3309 for the Unit 2 HPCI exhaust diaphragm pressure switches was also incorrect.
This pro-cedure was corrected at the same time as the Unit 1 procedures, but it was not corrected immediately using the double SR0 approval method.
The calibration procedure was not corrected until March 3,1979, when the instruments were found to be calibrated incorrectly during normal surveillance testing.
The calibration procedure was not corrected until March 3,1979, when the instruments were found to be calibrated incorrectly during normal surveillance testing.
This deviation was caused by the failure of personnel to have the Unit 2 procedures immediately changed using the double SR0 approval method and bad judgement in relying on the normal procedure change process to be completed before the next scheduled surveillance was due on January 30, 1979. The corrected procedure was not issued until after this date causing the instruments not to be corrected until March 3, 1979,.
This deviation was caused by the failure of personnel to have the Unit 2 procedures immediately changed using the double SR0 approval method and bad judgement in relying on the normal procedure change process to be completed before the next scheduled surveillance was due on January 30, 1979. The corrected procedure was not issued until after this date causing the instruments not to be corrected until March 3, 1979,.
during the next normal surveillance.
during the next normal surveillance.
We are in the process of developing a program that, when a' problem is discovered on one unit, will cause an immediate investigation of the same or related system, instruments, equipment, procedures, etc. of the other unit or the same unit.
We are in the process of developing a program that, when a' problem is discovered on one unit, will cause an immediate investigation of the same or related system, instruments, equipment, procedures, etc. of the other unit or the same unit. This should insure that any problems of a generic nature are adequately covered. This program should be completed in 90 days.
This should insure that any problems of a generic nature are adequately covered.
This program should be completed in 90 days.
1055 138}}
1055 138}}

Latest revision as of 05:45, 2 February 2020

Responds to NRC 790524 Ltr Re Violations Noted in IE Insp Repts 50-321/79-11 & 50-366/79-16.Corrective Actions:Glass Covers Installed & Immediate Investigation Program Implemented
ML19208D636
Person / Time
Site: Hatch  Southern Nuclear icon.png
Issue date: 06/12/1979
From: Staffa R
GEORGIA POWER CO.
To: Robert Lewis
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
Shared Package
ML19208D634 List:
References
NUDOCS 7909290136
Download: ML19208D636 (3)


Text

Georga Power Company l 2'APeachtree Street Post Office Box 4545

  • . Atfanta. Georgia 30303 Telephone 404 522 6060 y 91RC R / , .

m t.MTb. "93, .M t Power Supply Engineering and Services k-

.g Q P4: 43 Georgia Power the sni.Hnm ei+r:ltc system June 12, 1979 United States Nuclear Regulatory Commission Office of Inspection and Enforcement

REFERENCE:

Region II - Suite 3100 RII: RFRIII 101 Marietta Street 50-321/79-11 Atlanta, Georgia 30303 50-366/79-15 ATTENTION: Mr. R. C. Lewis Gentlemen:

The Georgia Power Company offers the attached information in response to your letter of May 24, 1979, describing an apparent noncompliance with NRC requirements noted during your March 13 - April 6, 1979, inspection of the llatch Nuclear Plant.

The inspection report contains no information which is believed to be proprietary.

Very truly y rs,

[ h n . c- -

. W. y affq Manage of Quality Assurance w I RCW/mb Attachment 1055 136 7909290 / 3 6 omCMLOOPY

~

Infraction 50/321-79-11-01 The above infraction deals with failure to correct a long tenn problem concerning the ability to maintain secondary containment. The infraction is specifically for failure to provide an interlock system which assures that Technical Specifications are met.

Orginally controlled access barriers of Plant Hatch were maintained through administrative controls based on a system of red and green lights.

Secondary containment would be maintained provided these controls were followed. After repeated violations it became evident that these controls were inadequate. The system was then redesigned to install interlocks on all airlock doors to be used in conjunction with the existing light system. The interlocks prohibit opening any two doors that would violate secondary containment. IE Bulletin 77-08 states that prompt ingress and unimpeded egress must be assurred into and out of certain plant areas.

To obtain prompt ingress and unimpeded egress requires that door interlocks be provided with an emergency override. The system was redesigned and equipped witn override pushbuttons to defeat the interlocks in an emergency situation. After additional repeated violations it became evident that personnel were utilizing the pushbuttons to bypass the interlocks ia other than emergency situations. The problem was studied and airlock R106 was selected to be used for a case study. Glass covers were installed over the pushbuttons to make them less accessible. Since the glass covers were installed no containment violations have occurred at airlock R106. .

Glass covers will be installed on all override pushbuttons throughout the plant by January 1, 1980. In addition, a surveillance procedure has been written to periodically inspect the condition of the interlock equipment to insure that it remains in good working order.

1055 137

.~

r. .

Infraction 366/79-15-01 In December 1978, while reviewing and comparing Unit 2 surveillance procedures with Unit 1 to verify setpoints, we discovered that the Unit 1 HPCI and RC'T exhaust diaphragm pressure switches were calibrated with a head prest .e. These instruments are on a dry line and should not have a head pressure. This caused the setpoint to exceed the Technical Specification limit.

We also found that surveillance procedure HNP-2-3309 for the Unit 2 HPCI exhaust diaphragm pressure switches was also incorrect. This pro-cedure was corrected at the same time as the Unit 1 procedures, but it was not corrected immediately using the double SR0 approval method.

The calibration procedure was not corrected until March 3,1979, when the instruments were found to be calibrated incorrectly during normal surveillance testing.

This deviation was caused by the failure of personnel to have the Unit 2 procedures immediately changed using the double SR0 approval method and bad judgement in relying on the normal procedure change process to be completed before the next scheduled surveillance was due on January 30, 1979. The corrected procedure was not issued until after this date causing the instruments not to be corrected until March 3, 1979,.

during the next normal surveillance.

We are in the process of developing a program that, when a' problem is discovered on one unit, will cause an immediate investigation of the same or related system, instruments, equipment, procedures, etc. of the other unit or the same unit. This should insure that any problems of a generic nature are adequately covered. This program should be completed in 90 days.

1055 138