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| | k N W |
| | i |
| | ~ BOSTON EDISON Pilgrim Nuclearlokdtat$o77g' Scqky Hill Road' ' ''"" |
| | g Plymouth / Mass)phyts 36 klE3 ,,~ .,w. |
| | D:.f Octo'ber 24 ,1994 E. T. Boulette, PhD BECo Ltr. 94-114 Senior Vce President-Nuclear Mr. David Meyer, Chief Rules Review and Directives Branch Division of Freedom of Information and Publication Services ' |
| | hl9/\}Q Office of Administration, Mail Stop: T6D59 U.S. Nuclear Regulatory Commission g( yggf( |
| | Washington, DC 20555 Docket No. 50-293 License No. DPR-35 27 |
| | |
| | ==SUBJECT:== |
| | PROPOSED RULE; REQUEST FOR PUBLIC COMMENT ON THE NRC'S STATEMENT OF POLICY AND PROCEDURE FOR NRC ENFORCEMENT ACTIONS |
| | |
| | ==Dear Mr. Meyer:== |
| | |
| | Boston Edison Company (BECo) has reviewed the Nuclear Regulatory Commission's (NRC) |
| | Statement of Policy and Procedure for NRC Enforcement Action contained in 10CFR2. The enclosure contains BECo's comments as requested in Federal Register Notice 59FR162, page 43298, dated August 23,1994, regarding the NRC's reexamination of its Enforcement Policy. |
| | BECo's comments have been keyed to the numbering system used to identify the specific issues discussed in the Federal Register Notice. In addition to the enclosed comments, BECo has also reviewed and endorses the industry response submitted by the Nuclear Energy Institute. |
| | BECo appreciates the opportunity to comment on the NRCs Enforcement Policy. |
| | : b. -r O LAl c C E.T. Boulette, PhD RLC/ lam / policy |
| | |
| | ==Enclosure:== |
| | Comments on NRC's Enforcement Policy cc: U.S. Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 Sr. Resident inspector Pilgrim Nuclear Power Station h10gO96941024 2 59FR49210 PDR |
| | |
| | -( |
| | ENCLOSURE COMMENTS ON NRC ENFORCEMENT POLICY A.3.d.i Licensee commenters should address whether they are normally aware of enforcement actions issued against other licensees at the level of (1) non-escalated Notices of Violations, (2) escalated Notices of Violations without civil penalties, (3) civil penalties and (4) orders. |
| | A.3.d.i Response: |
| | Management and supervisory personnel are normally aware of enforcement action issued against other licensees at all four levels discussed above. We are not aware through any NRC-generated communications; rather through private services to which we subscribe. The NUREG is too late. |
| | A.3.d.ii If commenters are aware of enforcement actions issued against other licensees, how do they become aware of them (e.g. NUREG 0940, " Enforcement Actions: |
| | Significant Action: Resc!ved", NRC Information Notices, NMSS Newsletters, press releases, law firm news letters, industry news letters such as inside the NRC or Nucleonic Weekly, NRC inspectors, Federal Register, or other sources)? Should the NRC consider better ways to provide licensees and vendors with information about NRC enforcement actions such as use of an electronic bulletin board or an enforcement newsletter. |
| | A.3.d.ii Response: |
| | Information sources, such as NRC Information Notices, industry newsletters (i.e., inside the NRC and Nucleonics Weekly), and the Federal Register are used by station management to identify enforcement actions against other licensees. One of the most useful and complete sources of NRC inspection and enforcement activity is the weekly NUS-Trends Newsletter. The newsletter is distributed throughout the Nuclear Organization to promote early identification of potential issues at PNPS. By reviewing industry trends and violations, the Nuclear Organization Managers can identify similar problem areas in PNPS procedures and programs and take corrective action where appropriate. |
| | Yes, the NRC should consider better ways to provide licensees and vendors with current, up-to-date information regarding NRC inspection and enforcement activities. The NRC Electronic Bulletin Board System (BBS) n ay be a useful tool in disseminating timely enforcement information. |
| | A.4.a If the enforcement program as implemented does not provide an appropriate degree of consistency and predictability, what are the problem areas and what changes could be made for improvement in this area? |
| | A.4.a Response: |
| | The current enforcement policy remains too subjective to the individual NRC inspector (s). There is significant diversity in terms of numbers and criteria between inspectors and plants in terms of what constitutes a violation. One can often notice this when one observes a step increase in the number of violations with the arrival of a new inspector to a site. The enforcement process needs to be more objective. |
| | Page1 |
| | |
| | t D.1.a Should the circumstances for use of non-cited violations be changed to cover more situations or fewer (including different severity levels)? If so, explain. 1 l |
| | D.1.a Response: ) |
| | More credit should be given to licensee identified problems and/or violations and associated corrective actions taken. This should include other severity levels. |
| | This action would strengthen incentives for self-identification and timely corrective action as discussed in issue D.1.b. |
| | D.1.b Does the use of non-cited violations contribute to providing an incentive for identifying and correcting violations or does it have the same negative impact as a cited violation in a Notice of Violation? |
| | D.1.b Response: |
| | The use of non-cited violations is a positive incentive for licensee identification of problems / violations and timely implementation of corrective actions to address the problem and/or violation. More credit should be give for all aspects of licensee actions to identify, mitigate, and correct violations. This NRC action would significantly strengthen this area. |
| | Non-cited and licensee-identified violations should be published by the NRC in a timely manner to provide early notification to other licensees. |
| | Page 2}} |
|
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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20216F4891999-09-17017 September 1999 Comment Supporting NEI Comments Re Proposed Rules 50 & 72 Re Certain Reporting Requirements for Nuclear Power Reactors. Expresses Concern Re Proposed Reporting Requirement 10CFR50.73(a)(2)(ii)(c) Re Significantly Degraded Component ML20206A0541999-04-26026 April 1999 Memorandum & Order.* All Petitioners to Intervene Have Withdrawn Their Petition,Proceeding Terminated.With Certificate of Svc.Served on 990426 ML20205S0031999-04-23023 April 1999 Affidavit of JW Yelverton Supporting Proposed License Transfer & Conforming Amends.Util Requests That Designated Documents Be Withheld from Public Disclosure,Per 10CFR2.790 (a)(4) & 10CFR9.17(a)(4) ML20203G7821999-02-16016 February 1999 Petition of Local 369 & 387,Utility Workers Union of America,AFL-CIO for Leave to Intervene & Request Hearing.* Requests That Hearing Be Scheduled on Commission Consideration to Approve Transfer.With Certificate of Svc ML20153C1411998-09-20020 September 1998 Comment on Proposed Rule 10CFR2 & 51 on Subpart M Re Transfer of Operating License ML20100M5251996-03-0101 March 1996 Comment on Proposed Rule 10CFR20 Re Rept Requirements for Unauthorized Use of Licensed Radioactive Matl.Proposed Rule Change Wording Concerning What Conditions Must Be Met to Require Reporting Inexact ML20101B9931996-03-0101 March 1996 Comment Opposing Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Licensed Radioactive Matls BECO-95-125, Comment Supporting Pr 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel1995-12-14014 December 1995 Comment Supporting Pr 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel ML20093B5971995-10-0303 October 1995 Comment on Proposed Bulletin 95-XX & Reg Guide DG-1038, Debris Clogging of BWR ECCS Suction Strainers. Endorses BWROG Comments ML20086A8791995-06-14014 June 1995 Comment Supporting Proposed Rule 10CFR73 Re NRC Initiative to Eliminate Requirement to Post Security at Primary Containment Entrance During Refueling & Major Maint Periods ML20082Q5511995-04-21021 April 1995 Comment on Proposed Rules 10CFR170 & 171 Re Fee Schedules for FY95 Revisions.Endorses NEI Comments ML20082M3251995-04-14014 April 1995 Comment Supporting Proposed Draft Policy Statement Re Freedom of Employees in Nuclear Industry to Raise Concerns W/O Fear of Retaliation ML20078L2151995-02-0303 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Nuclear Power Reactors ML20078S6631994-12-19019 December 1994 Comment Supporting Proposed GL Re Reconsideration of NPP Security Requirements for an Internal Threat ML20076L2561994-10-24024 October 1994 Comments on Proposed Rule 10CFR2 Re Reexamination of NRC Enforcement Policy.Endorses Response Submitted by Nuclear Energy Institute ML20062M4241994-01-0303 January 1994 Comment Supporting NUMARC Position on Proposed Rule Re Protection Against Malevolent Use of Vehicles at NPPs ML20059C3721993-12-29029 December 1993 Exemption from DAC Values for Kr-89 & Xe-137 in Table 1 of App a to 10CFR20.Approves Use of Proposed Values in Request When Determining Whether Area Requires Posting as Airborne Radioactivity Area BECO-93-166, Comment Supporting NUMARC Petition for Rulemaking to Amend 10CFR21,PRM 21-21993-12-28028 December 1993 Comment Supporting NUMARC Petition for Rulemaking to Amend 10CFR21,PRM 21-2 ML20058P1811993-12-14014 December 1993 Director'S Decision 93-20 Denying Petition to Delaying Startup Until Hardware Modifications Designed to Eliminate Errors in Reactor water-level Measurement Made ML20058D6561993-11-19019 November 1993 Director'S Decision Under 10CFR2.206 Denying Petition Requesting That NRC Reconsider 910730 Decision Giving Unanimous Approval of Task Force Recommendation Re Reasonable Assurance Finding Re EP for Plant ML20057C1281993-09-13013 September 1993 Memorandum & Order (Termination of Proceeding).* W/Certificate of Svc.Served on 930916 ML20057C0951993-09-13013 September 1993 Memorandum & Order (Termination of Proceeding).* Informs of Petitioner Withdrawal of Motion to Intervene & Request for Hearing,Therefore Board Terminates & Dismisses Proceeding Herein.W/Certificate of Svc.Served on 930914 ML20057A1531993-09-0202 September 1993 NRC Staff Response to Ma Atty General Withdrawal of Motion to Intervene & Request for Hearing.* NRC Does Not Object to Atty General Withdrawal.Licensing Board Should Issue Order Dismissing Proceeding.W/Certificate of Svc ML20056G5081993-08-26026 August 1993 Commonwealth of Ma Atty General Withdrawal of Motion to Intervene & Request for Hearing.* W/Certificate of Svc ML20056E6871993-08-13013 August 1993 Memorandum & Order (Extension of Time).* Petitioner Suppl W/ Contentions Should Be Filed by 930827 & Licensee Response to Suppl Should Be Filed within 10 Days Thereafter.W/ Certificate of Svc.Served on 930813 ML20046D0251993-08-11011 August 1993 Joint Motion to Extend Date for Filing Petitioners Contentions.* Parties Jointly Request That Board Extend Date for Filing Petitioner Contentions from 930813 to 930827. W/Certificate of Svc ML20056C8601993-07-16016 July 1993 Memorandum & Order (Extension of Time).* Petitioner Suppl W/ Contentions Should Be Filed by 930813,util Response to Suppl within 10 Days After Svc & NRC Response to Suppl within 15 Days After Svc.W/Certificate of Svc.Served on 930719 ML20056C8971993-07-15015 July 1993 Joint Motion to Extend Date for Filing Petitioners Contentions.* W/Certificate of Svc ML20045D2201993-06-0808 June 1993 Response of Boston Edison Co to Commonwealth of Ma Atty General Request for Hearing & Petition to Intervene.* Util Will Defer Further Response Until Petitioner Files Suppl Re Specific Contentions.Certificate of Svc Encl ML20045D2271993-06-0808 June 1993 Response of Boston Edison Co to Ma Atty General Request for Hearing & Petition to Intervene.* W/Certificate of Svc & Notices of Appearance ML20045A6721993-05-27027 May 1993 State of Ma Atty General Request for Hearing & Petition to Intervene Re Plant Proposed Amend to License DPR-35 Increasing Allowed Fuel Assembly Storage Cells.* W/Certificate of Svc ML20045A6741993-05-27027 May 1993 Notice of Appearance.* Notice of Appearance of Undersigned for State of Ma Atty General BECO-92-135, Comments on Proposed NRC Generic Communication,Augmented Inservice Insp Requirements for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys1992-12-21021 December 1992 Comments on Proposed NRC Generic Communication,Augmented Inservice Insp Requirements for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20115A6581992-10-0505 October 1992 Comments on Proposed Changes to SALP Program BECO-92-073, Comment Opposing Draft Rev 3 to Reg Guide 01.0091992-07-10010 July 1992 Comment Opposing Draft Rev 3 to Reg Guide 01.009 BECO-92-072, Comment Supporting Proposed Rule 10CFR50 Re Receipt of Byproduct & SNM1992-07-10010 July 1992 Comment Supporting Proposed Rule 10CFR50 Re Receipt of Byproduct & SNM ML20086K8791991-10-31031 October 1991 Petitions Commission to Reconsider 910730 Approval of Task Force Recommendation Stating That NRC Did Not Need to Reconsider NRC Reasonable Assurance Finding Re Emergency Preparedness for Pilgrim Station ML20135A4581991-06-12012 June 1991 Transcript of 910612 Meeting in Plymouth,Ma Re Pilgrim Task Force Public Hearing.Pp 1-148.W/certificate & Title Page BECO-91-067, Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery1991-05-13013 May 1991 Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery ML19332G5121989-12-0101 December 1989 Comment on Draft Reg Guide,Task DG-1001, Maint Programs for Nuclear Power Plants. Util Endorses Nuclear Power Industry Comments & NUMARC Position ML20235A9561988-12-0909 December 1988 Transcript of 881209 Meeting in Rockville,Md W/Public Officials Having Responsibility for Emergency Planning for Pilgrim Nuclear Power Plant.Related Info Encl.Pp 1-185 ML20205E1531988-10-14014 October 1988 Transcript of 881014 Meeting in Rockville,Md Re Discussion/ Possible Vote on Facility Restart.Pp 1-104.Supporting Documentation Encl ML20205J3531988-10-0505 October 1988 Transcript of 881005 Meeting in Rockville,Md Re Status of Readiness for Restart of Facility.Pp 1-94 ML20155D9391988-10-0505 October 1988 Second Interim Director'S Decision DD-88-17 Under 10CFR2.206 Re Request for Proceeding to Modify,Suspend or Revoke Ol.Portion of Petition Re Mgt Issues Denied.Portion Re Emergency Preparedness Issues to Be Addressed Later ML20206G9181988-09-29029 September 1988 Transcript of NRC 880929 Technical Meeting in Plymouth,Ma Re Review of Proposed Restart of Facility & NRC 881005 Meeting W/Util in Rockville,Md Re Readiness of Restart ML20153H0381988-08-26026 August 1988 Transcript of ACRS Ad Hoc Subcommittee on Pilgrim Restart 880826 Meeting in Plymouth,Ma.Pp 1-232.Related Documentation Encl ML20235T8761988-08-25025 August 1988 Rev 0 to Pilgrim Station Evacuation Time Estimates & Traffic Mgt Plan Update.* Apps A,B & M Encl ML20235T7301988-08-15015 August 1988 Rev 4 to Massachussetts Civil Defense Agency Area II Radiological Emergency Response Plan for Pilgrim Nuclear Power Station.* ML20247N7531988-07-28028 July 1988 Petition for Rulemaking PRM-50-53 Requesting NRC Action to Review Undue Risk Posed by BWR Thermal Hydraulic Instability.Nrr Should Issue Order Requiring All GE BWRs to Be Placed in Cold Shutdown for Stated Reasons ML20235T6901988-07-28028 July 1988 Rev 5 to City of Taunton Radiological Emergency Response Plan for Pilgrim Nuclear Power Station.* Related Info Encl 1999-09-17
[Table view] Category:PUBLIC COMMENTS ON PROPOSED RULES & PETITIONS FOR
MONTHYEARML20216F4891999-09-17017 September 1999 Comment Supporting NEI Comments Re Proposed Rules 50 & 72 Re Certain Reporting Requirements for Nuclear Power Reactors. Expresses Concern Re Proposed Reporting Requirement 10CFR50.73(a)(2)(ii)(c) Re Significantly Degraded Component ML20153C1411998-09-20020 September 1998 Comment on Proposed Rule 10CFR2 & 51 on Subpart M Re Transfer of Operating License ML20101B9931996-03-0101 March 1996 Comment Opposing Proposed Rule 10CFR20 Re Reporting Requirements for Unauthorized Use of Licensed Radioactive Matls ML20100M5251996-03-0101 March 1996 Comment on Proposed Rule 10CFR20 Re Rept Requirements for Unauthorized Use of Licensed Radioactive Matl.Proposed Rule Change Wording Concerning What Conditions Must Be Met to Require Reporting Inexact BECO-95-125, Comment Supporting Pr 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel1995-12-14014 December 1995 Comment Supporting Pr 10CFR60,72,73 & 75 Re Safeguards for Spent Nuclear Fuel ML20093B5971995-10-0303 October 1995 Comment on Proposed Bulletin 95-XX & Reg Guide DG-1038, Debris Clogging of BWR ECCS Suction Strainers. Endorses BWROG Comments ML20086A8791995-06-14014 June 1995 Comment Supporting Proposed Rule 10CFR73 Re NRC Initiative to Eliminate Requirement to Post Security at Primary Containment Entrance During Refueling & Major Maint Periods ML20082Q5511995-04-21021 April 1995 Comment on Proposed Rules 10CFR170 & 171 Re Fee Schedules for FY95 Revisions.Endorses NEI Comments ML20082M3251995-04-14014 April 1995 Comment Supporting Proposed Draft Policy Statement Re Freedom of Employees in Nuclear Industry to Raise Concerns W/O Fear of Retaliation ML20078L2151995-02-0303 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operations for Nuclear Power Reactors ML20078S6631994-12-19019 December 1994 Comment Supporting Proposed GL Re Reconsideration of NPP Security Requirements for an Internal Threat ML20076L2561994-10-24024 October 1994 Comments on Proposed Rule 10CFR2 Re Reexamination of NRC Enforcement Policy.Endorses Response Submitted by Nuclear Energy Institute ML20062M4241994-01-0303 January 1994 Comment Supporting NUMARC Position on Proposed Rule Re Protection Against Malevolent Use of Vehicles at NPPs BECO-93-166, Comment Supporting NUMARC Petition for Rulemaking to Amend 10CFR21,PRM 21-21993-12-28028 December 1993 Comment Supporting NUMARC Petition for Rulemaking to Amend 10CFR21,PRM 21-2 BECO-92-135, Comments on Proposed NRC Generic Communication,Augmented Inservice Insp Requirements for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys1992-12-21021 December 1992 Comments on Proposed NRC Generic Communication,Augmented Inservice Insp Requirements for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20115A6581992-10-0505 October 1992 Comments on Proposed Changes to SALP Program BECO-92-072, Comment Supporting Proposed Rule 10CFR50 Re Receipt of Byproduct & SNM1992-07-10010 July 1992 Comment Supporting Proposed Rule 10CFR50 Re Receipt of Byproduct & SNM BECO-92-073, Comment Opposing Draft Rev 3 to Reg Guide 01.0091992-07-10010 July 1992 Comment Opposing Draft Rev 3 to Reg Guide 01.009 BECO-91-067, Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery1991-05-13013 May 1991 Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery ML19332G5121989-12-0101 December 1989 Comment on Draft Reg Guide,Task DG-1001, Maint Programs for Nuclear Power Plants. Util Endorses Nuclear Power Industry Comments & NUMARC Position BECO-88-116, Comment on Proposed Rules 10CFR170 & 171 Re License & Annual Fees.Recommends Adoption of Option 2.Method Would Eliminate Need to Adopt Other Changes to Rules1988-07-27027 July 1988 Comment on Proposed Rules 10CFR170 & 171 Re License & Annual Fees.Recommends Adoption of Option 2.Method Would Eliminate Need to Adopt Other Changes to Rules ML20196K6471988-06-22022 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F0761988-06-22022 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F4621988-06-22022 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196G0391988-06-22022 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20197G3081988-06-0202 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations.New England in Need of Power Plants ML20155C5541988-05-25025 May 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations.All Reasonable Steps to Speed Licensing Process Should Be Undertaken ML20151B7151987-03-0606 March 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning ML20151B1741987-03-0606 March 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline T Cooperate in Offsite Emergency Planning ML20151B4661987-03-0505 March 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning ML20151B2401987-02-26026 February 1987 Comment Opposing Proposed Rule 10CFR50 Re Licensing of Nuclear Power Plants Where State &/Or Local Govts Decline to Cooperate in Offsite Emergency Planning 1999-09-17
[Table view] |
Text
_
k N W
i
~ BOSTON EDISON Pilgrim Nuclearlokdtat$o77g' Scqky Hill Road' ' ""
g Plymouth / Mass)phyts 36 klE3 ,,~ .,w.
D:.f Octo'ber 24 ,1994 E. T. Boulette, PhD BECo Ltr.94-114 Senior Vce President-Nuclear Mr. David Meyer, Chief Rules Review and Directives Branch Division of Freedom of Information and Publication Services '
hl9/\}Q Office of Administration, Mail Stop: T6D59 U.S. Nuclear Regulatory Commission g( yggf(
Washington, DC 20555 Docket No. 50-293 License No. DPR-35 27
SUBJECT:
PROPOSED RULE; REQUEST FOR PUBLIC COMMENT ON THE NRC'S STATEMENT OF POLICY AND PROCEDURE FOR NRC ENFORCEMENT ACTIONS
Dear Mr. Meyer:
Boston Edison Company (BECo) has reviewed the Nuclear Regulatory Commission's (NRC)
Statement of Policy and Procedure for NRC Enforcement Action contained in 10CFR2. The enclosure contains BECo's comments as requested in Federal Register Notice 59FR162, page 43298, dated August 23,1994, regarding the NRC's reexamination of its Enforcement Policy.
BECo's comments have been keyed to the numbering system used to identify the specific issues discussed in the Federal Register Notice. In addition to the enclosed comments, BECo has also reviewed and endorses the industry response submitted by the Nuclear Energy Institute.
BECo appreciates the opportunity to comment on the NRCs Enforcement Policy.
- b. -r O LAl c C E.T. Boulette, PhD RLC/ lam / policy
Enclosure:
Comments on NRC's Enforcement Policy cc: U.S. Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 Sr. Resident inspector Pilgrim Nuclear Power Station h10gO96941024 2 59FR49210 PDR
-(
ENCLOSURE COMMENTS ON NRC ENFORCEMENT POLICY A.3.d.i Licensee commenters should address whether they are normally aware of enforcement actions issued against other licensees at the level of (1) non-escalated Notices of Violations, (2) escalated Notices of Violations without civil penalties, (3) civil penalties and (4) orders.
A.3.d.i Response:
Management and supervisory personnel are normally aware of enforcement action issued against other licensees at all four levels discussed above. We are not aware through any NRC-generated communications; rather through private services to which we subscribe. The NUREG is too late.
A.3.d.ii If commenters are aware of enforcement actions issued against other licensees, how do they become aware of them (e.g. NUREG 0940, " Enforcement Actions:
Significant Action: Resc!ved", NRC Information Notices, NMSS Newsletters, press releases, law firm news letters, industry news letters such as inside the NRC or Nucleonic Weekly, NRC inspectors, Federal Register, or other sources)? Should the NRC consider better ways to provide licensees and vendors with information about NRC enforcement actions such as use of an electronic bulletin board or an enforcement newsletter.
A.3.d.ii Response:
Information sources, such as NRC Information Notices, industry newsletters (i.e., inside the NRC and Nucleonics Weekly), and the Federal Register are used by station management to identify enforcement actions against other licensees. One of the most useful and complete sources of NRC inspection and enforcement activity is the weekly NUS-Trends Newsletter. The newsletter is distributed throughout the Nuclear Organization to promote early identification of potential issues at PNPS. By reviewing industry trends and violations, the Nuclear Organization Managers can identify similar problem areas in PNPS procedures and programs and take corrective action where appropriate.
Yes, the NRC should consider better ways to provide licensees and vendors with current, up-to-date information regarding NRC inspection and enforcement activities. The NRC Electronic Bulletin Board System (BBS) n ay be a useful tool in disseminating timely enforcement information.
A.4.a If the enforcement program as implemented does not provide an appropriate degree of consistency and predictability, what are the problem areas and what changes could be made for improvement in this area?
A.4.a Response:
The current enforcement policy remains too subjective to the individual NRC inspector (s). There is significant diversity in terms of numbers and criteria between inspectors and plants in terms of what constitutes a violation. One can often notice this when one observes a step increase in the number of violations with the arrival of a new inspector to a site. The enforcement process needs to be more objective.
Page1
t D.1.a Should the circumstances for use of non-cited violations be changed to cover more situations or fewer (including different severity levels)? If so, explain. 1 l
D.1.a Response: )
More credit should be given to licensee identified problems and/or violations and associated corrective actions taken. This should include other severity levels.
This action would strengthen incentives for self-identification and timely corrective action as discussed in issue D.1.b.
D.1.b Does the use of non-cited violations contribute to providing an incentive for identifying and correcting violations or does it have the same negative impact as a cited violation in a Notice of Violation?
D.1.b Response:
The use of non-cited violations is a positive incentive for licensee identification of problems / violations and timely implementation of corrective actions to address the problem and/or violation. More credit should be give for all aspects of licensee actions to identify, mitigate, and correct violations. This NRC action would significantly strengthen this area.
Non-cited and licensee-identified violations should be published by the NRC in a timely manner to provide early notification to other licensees.
Page 2