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{{Adams | |||
| number = ML20136F090 | |||
| issue date = 12/20/1985 | |||
| title = Insp Rept 50-293/85-32 on 851117-22.Violations Noted:Failure to Search Package Brought Into Protected Area & Failure to Perform Instrument Channel Test | |||
| author name = Nimitz R, Pasciak W | |||
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) | |||
| addressee name = | |||
| addressee affiliation = | |||
| docket = 05000293 | |||
| license number = | |||
| contact person = | |||
| document report number = 50-293-85-32, NUDOCS 8601070233 | |||
| package number = ML20136E983 | |||
| document type = INSPECTION REPORT, NRC-GENERATED, INSPECTION REPORT, UTILITY, TEXT-INSPECTION & AUDIT & I&E CIRCULARS | |||
| page count = 24 | |||
}} | |||
See also: [[see also::IR 05000293/1985032]] | |||
=Text= | |||
{{#Wiki_filter:. | |||
c. | |||
U.S. NUCLEAR REGULSTORY COMMISSION | |||
REGION I | |||
Report No. ,P-293/85-32 | |||
Docket No. 50-293 | |||
License No. OPR-63 Priority -- | |||
Category C | |||
Licensee: Boston Edison Comoany M/C Nuclear | |||
800 Boylston Street | |||
Boston, Massachusetts 02199 | |||
Facility Name: Pilgrim Nuclear Power Station | |||
Inipection At: Plymouth, Massachusetts | |||
Inspection Conducted: Novcmber 17-22, 1985 | |||
Inspectors: 9..L d M | |||
R. L. Nimitz, SenioY Radiation Specialist | |||
n.\ h { SS | |||
date ~ | |||
> | |||
Approved by: . | |||
/1J/A . | |||
W. J.! sctik, Chief, BWR Radiation Protectieff | |||
[ c 1. o . I 9FI | |||
date' | |||
, | |||
Sects n | |||
Inspection Summary: Inspection on November 17-22, 1985 (Report No. | |||
E0-293/85-32) | |||
Areas Inspected: Routine, unannounced inspection of the following: | |||
implementation of improvement items identified in the Radiological Improvement | |||
Program; radiological controls for fuel pool re-racking and removal of the | |||
Radwaste Concentrator; and Effluent Release Monitors / Controls. Upon arrival | |||
at the site on November 17, 1985, the inspector toured the facility and | |||
reviewed implementation of radiological controls practices and procedures. | |||
The inspection involved 43 inspector-hours on-site by one region based | |||
inspector. | |||
Results: Two violations were identified (Failure to search packages when | |||
brought into the protected area; section 6, Failure to perform instrument | |||
channel test; paragraph 5). The Radiological Improvement Plan was being | |||
satisfactorily implemented. Some concerns were identified in management | |||
oversight of radiological work. The licensee took timely corrective action | |||
for this matter. | |||
8601070233 851231 | |||
PDR ADOCK 05000293 | |||
G PDR | |||
l | |||
. . - - - . | |||
. | |||
% | |||
DETAILS | |||
1.0 Persons Contacted | |||
1.1 Boston Edison | |||
*L. Oxsen, Vice President, Nuclear Operation | |||
*C. Mathis, Station Manager | |||
*W. Deacon, Assistant to Senior Vice President, Nuclear | |||
"K. Roberts, Director, Outage Management | |||
"T. Sowdon, Radiological Section Head | |||
"J. Crowder, Senior Compliance Engineer | |||
*P. Smith, Chief, Technical Engineer | |||
*B. Eldridge, Acting Chief Radiological Engineer | |||
*E. Graham, Compliance Group Leader | |||
*G. Anderson, Outage Management Engineer | |||
*E. Menslage, Outage Management Engineer | |||
*D. Mills, Acting CMG Group Leader | |||
*M. Noon, Corporate Security | |||
*J. McEachern, Resource Protection and Control Group Leader | |||
Contractors | |||
*M. Jackimowicz, CYGNA | |||
G. Smith, Hydro Nuclear | |||
1.2 NRC | |||
*L. E. Tripp, Chief Reactor Projects Section 3A, NRC Region I | |||
*M. McBride, Senior Resident Inspector | |||
* denotes those individuals attending the exit meeting on November 22, | |||
1985. | |||
The inspector also met with other individuals. | |||
2.0 Purpose of Inspection | |||
The purpose of this routine, unannounced radiological controls inspection | |||
was to review the following program elements: | |||
* | |||
Implementation of the Radiological Improvement Program | |||
* | |||
Radiological Controls for re-racking of the spent fuel pool | |||
* | |||
Radiological Control for Removal of the Radwaste Concentractor. | |||
_ | |||
l | |||
~ | |||
' | |||
3 | |||
3.0 Implementation of Licensee Commitments Presented to NRC in the | |||
Radiological Improvement Program (RIP) | |||
3.1 General | |||
The inspector reviewed the implementation of Radiological Improvement | |||
Program commitments presented to the NRC. The review was with respect to | |||
criteria and/or information cor4tained in the following documents: | |||
* | |||
Order Modifying Licensee, Notice of Violation, and Notice of | |||
Deviation (NRC Inspection No. 50-293/84-25 and 50-293/84-29), dated | |||
November 29, 1984, | |||
= | |||
Letter (W. D. Harrington, Senior Vice President-Nuclear, Boston | |||
Edison, to T. E. Murley, Regional Administrator, NRC Region I), | |||
dated February 28, 1985, (BECo ltr No. 85-042), | |||
* | |||
Licensee Completed Regulatory F quirement Analysis Forms (various) | |||
relative to Radiological Improvement Plan (RIP) Milestones, | |||
* | |||
Licensee Radiological Activity Assessment Reports (RAAR) (various), | |||
* | |||
Radiological Oversight Committee (ROC) Meeting Minutes (various), | |||
* | |||
NRC Inspection Report No. 50-293/85-13, dated July 16, 1985, and | |||
* | |||
NRC Inspection Report No. 50-293/85-22, dated October 7, 1985. | |||
The purpose of this review was to determ- .f: | |||
* | |||
the licensee met the commitments (i.e. milestones) specified in the | |||
Radiological Improvement Program (RIP); | |||
* | |||
the material or actions taken/ generated by the licensee | |||
satisfactorily met the commitments made to NRC in the RIP; and | |||
a | |||
the material or actions taken/ generated were properly implemented. | |||
The following aspects of RIP implementation were noted and verified | |||
implemented: | |||
* | |||
a tracking program was in place to identify milestones due; | |||
* | |||
adequate management controls were in place to monitor implementation | |||
of milestones and initiate proper action when milestones were | |||
identified as potentially not being met; | |||
* | |||
review was performed of the material or actions taken/ generated to | |||
determine its adequacy prior to its acceptance and implementation. | |||
. | |||
o ' | |||
, | |||
u$ | |||
' | |||
4 | |||
s | |||
3.2 Findings | |||
The inspector reviewed a total of 71 commitments that were to have been | |||
completed by the licensee by October 31, 1985. The commitments reviewed | |||
are identified in the attachment to this report. | |||
The review indicated the licensee satisfactorily completed his action on | |||
50 of the commitments. Several commitments were left open due to the | |||
need for additional licensee action or NRC review. These are identified | |||
in the attachment to this report. | |||
<- | |||
Based on the above review, the licensee is aggressively monitoring | |||
implementation of the RIP improvement items, and is meeting commitments | |||
provided to NRC Region I. | |||
Within the scope of the review, the following positive attributes were | |||
noted: | |||
1* | |||
The licensee's Senior Vice President-Nuclear is closely monitoring | |||
implementation of the Radiological Improvement Program. | |||
* | |||
Radiological Oversight Committee members are touring the facility | |||
once per week. Findings identified during the tours are brought up | |||
and discussed at the, ROC meetings. Action is initiated to resolve | |||
problems identified. | |||
* | |||
The licensee has taken action to upgrade the quality of procedures | |||
being developed to satisfy RIP commitments. | |||
' | |||
4. Radiological Controls Implementation | |||
The inspector reviewed the implementation, adequacy, and effectiveness of | |||
Radiological Controls for the 1:stallation of high density fuel racks in | |||
the fuel pool and for removal of the Radwaste Concentrator. The following | |||
matters were reviewed: | |||
* | |||
adequacy and effectiveness of management oversight and control of | |||
the activities, | |||
' | |||
* | |||
establishment, adequacy, and implementation of appropriate | |||
g procedures for the activities, | |||
e | |||
adequacy and adherence to Radiation Work Permits, | |||
* | |||
selection, qualification and training of personnel, | |||
e | |||
implementation and adequacy of ALARA controls, | |||
* | |||
high radiation area controls implementation and adequacy, | |||
4 : | |||
- | |||
5 | |||
* | |||
adequacy and evaluation of radiological surveys, | |||
* | |||
supply and use of appropriate personnel monitoring equipment, and | |||
* | |||
use of acceptable, properly calibrated radiological survey | |||
instrumentation. | |||
The review was with respect to criteria contained in the following: | |||
* | |||
applicable Technical Specifications, | |||
* | |||
10 CFR 20, " Standards for Protection Against Radiation," and | |||
* | |||
applicable licensee procedures. | |||
4.1 General | |||
The inspector reviewed the management oversight and control of the fuel | |||
pool re-racking and concentrator removal with respect to criteria con- | |||
tained in the following: | |||
* | |||
VPN0 Letter No. 85-95, " Improved Control of PNPS Work Process", and | |||
* | |||
Outage Management Work Instruction No.11.0, " Inter-Disciplinary | |||
Critiques", dated November 21, 1985. | |||
The above documents were established to provide improved oversight and | |||
control of projects that involve significant radiological and/or | |||
industrial safety risk. | |||
Within the scope of this review, no violations were identified. The | |||
licensee was found to be providing, in general, acceptable oversight of | |||
the radiological significant work. However, the following items for | |||
improvement were identified: | |||
* | |||
Provide a mechanism to ensure that each inter-disciplinary group has | |||
a clear understanding of its responsibilities. In some areas (e.g. | |||
personnel training) it was not clear that each group understood its | |||
responsibilities. In addition licensee oversight responsib,'lities | |||
of contractor activities should be clearly identified. The | |||
licensee's Work Instruction No. 11 provides general guidance in | |||
these areas. However, the implementation of this guidance was not | |||
uniform for the two tasks. | |||
The licensee immediately initiated action to: | |||
1) revise the Work Instruction No.11 to provide for uniform | |||
interpretation of guidance contained therein, | |||
. i | |||
. !- | |||
6 | |||
1 | |||
. | |||
% | |||
2). clearly identify each inter-disciplinary groups responsibilities | |||
and oversight requirements, and , , | |||
g | |||
3) provide for clear identification and implementation of | |||
training / retraining requirements. | |||
- | |||
s | |||
The licensee's actions on this matter were timely. | |||
> | |||
* | |||
Upgrade controls on field changes to re-rack and concentrator | |||
removal procecures to ensure appropriate radiological controls | |||
. personnel (as necessary) review field changes to procedures. | |||
The licensee initiated action to ensure radiological controls | |||
personnel (as necessary) review field changes to procedures. | |||
* | |||
Provide (as. appropriate) a methodology and criteria for use in | |||
monitoring on going radfological work in order to identify | |||
unfavorable exposure tre.nds such that appropriate actions can be | |||
taken to correct the situation. | |||
The licensee provided a mechanism for clear oversight / review of day | |||
, | |||
to day exposure received on the tasks. | |||
-> 4.2 Radwaste Concentrator Removal (Radiological Controls) | |||
Documents Reviewed | |||
* | |||
Procedure 6.1-012, " Access to High Radiation Areas" | |||
* | |||
Temporary Procedure No. TP85-107, " Dismantling / Removal of Radwaste | |||
Concentrator and Associated Equipmant" - | |||
* | |||
Procedure 6.1-022, " Issue, Use, and Termination of Radiation Work | |||
Permits (RWPs)" ; | |||
* | |||
Temporary Procedure No. TP85-108, " Operation of the AP-1000 and | |||
AP-2000 HEPA Filter Units Including Filter Changeout | |||
* | |||
Procedure PNPS SI-RP.5002, "Use and Control of Portable. Ventilation | |||
Units and HEPA Vacuum Cleaners", September 18, 1985 / | |||
Findings | |||
Within the scope of this review, no violations were identified. The | |||
licensee was providing and implementing generally commendable in-field | |||
Radiological Controls for removal of the Radwaste Concentrator. | |||
. | |||
. | |||
. | |||
* | |||
7 | |||
The following positive attributes were noted: | |||
* | |||
The licensee made effective use of engineering controls (e.g. tents, | |||
HEPA filters) to minimize airborne radioactivity concentrations. | |||
* | |||
The licensee provided and utilized shielding were appropriate and | |||
cost beneficial to minimize personal exposure. | |||
* | |||
The licensee installed closed circuit TV to monitor on going work | |||
activities. | |||
* | |||
The licensee provided closed circuit two way communication with | |||
workers. | |||
* | |||
The licensee implemented multi-layer high radiation area controls to | |||
provide for effective high radiation area controls. | |||
* | |||
Senior level, qualified personnel were monitoring on going | |||
radiological work. | |||
Within the scope of this review, the following items needing licensee attention | |||
were identified: | |||
* | |||
Evaluate and provide. (as appropriate) personnel dosimetry for the | |||
backs of personnel to provide for non-uniform whole body exposure. | |||
The licensee immec:ately initiated action to evaluate and provide | |||
(as appropriate) dosimetry for the backs of personnel. | |||
* | |||
. Evaluate and control (as appropriate) the exposure of personnel to | |||
airborne pure beta emitters. | |||
The licensee immediately initiated action to evaluate and control | |||
(as appropriate) airborne beta exposure of personnel. | |||
4. * | |||
Label HEPA air filtering systems. The systems were not labeled. | |||
Consequently, personnel were uncertain as to applicable operating | |||
acceptance criteria. | |||
The units were immediately labeled. | |||
* | |||
Establish HEPA exhaust airborne concentration limits requiring | |||
personnel actions. Procedures said take action when airborne | |||
radioactivity " specification" is exceeded. Specification was | |||
undefined. | |||
The licensee immediately initiated action to provide a defined | |||
specification. | |||
.. | |||
= | |||
8 | |||
. | |||
* | |||
Some area surveys were not readily available for briefing | |||
personnel. Procedures specify surveys be available. | |||
The licensee initiated action to obtain and post all appropriate | |||
surveys on a Radwaste Concentrator Status Board. | |||
The following item for improvement was identified: | |||
* | |||
Clearly identify the minimum controls and/or equipment needed to be | |||
present and/or operable in order to continue work removing the | |||
Radwaste Concentrator, particularly in the area of high radiation | |||
area access controls. ' | |||
The licensee immediately established a Radwaste Concentrator Daily | |||
check list. The check list provides minimum controls and/or equip- | |||
ment to be operable for work to continue. | |||
4.3 Fuel Pool Re-Racking (Radiological Controls) | |||
Documents Reviewed | |||
* | |||
Procedure 6.1-022, " Issue, Use, and Termination of Radiation Work | |||
Permit" | |||
* | |||
Procedure No. 6.7-121, " Radiation Protection Requirements for Diving | |||
, in Radiologically Controlled Areas" | |||
* | |||
Procedure NEDWI-308, " Fuel Pool Re-racking" | |||
* | |||
Procedure 3M1-19, " Spent Fuel Pool Cleaning" | |||
* | |||
Temporary Procedure 85-83, " Fuel Pool Vacuum Filter Change-Out" | |||
Findings | |||
Within the scope of this review, no violations were identified. The | |||
licensee was providing acceptable in-field Radiological Controls for | |||
installation of new racks. The licensee is currently performing | |||
preplanning for removal of the old racks and diving. | |||
The following positive' attributes were noted: | |||
* | |||
The licensee was providing effective control of radioactive material | |||
being. removed from the fuel pool. Radiological Controls personnel | |||
were in constant attendance. | |||
* | |||
Fuel pool water clarity was very good. | |||
, | |||
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ | |||
.- | |||
' | |||
9 | |||
* | |||
A procedure log was established and in place on the refueling | |||
floor. | |||
* | |||
The licensee initiated a comprehensive effort to evaluate the | |||
' underwater radiation environment entered by the divers. | |||
* | |||
The licensee is decontaminating the fuel pool to minimize exposure | |||
to divers, prevent water clarity problems, and in general eliminate | |||
unnecessary radioactive material in the fuel pool. | |||
Within the scope of this review, the following items needing licensee | |||
attention were identified: | |||
* | |||
An unapproved procedure for rack removal was found on the refuel | |||
floor. | |||
The _ licensee removed the unapproved procedure, provided an approved | |||
copy, and initiated action to ensure appropriate, approved | |||
procedures were in use on the Refueling Floor. No differences were | |||
apparent between the approved and unapproved copies. | |||
The licensee has taken action or is taking action to address the | |||
following matters: | |||
* | |||
Evaluate the radiation environment entered by divers. Provide | |||
proper dosimetry to monitor diver exposure. | |||
* | |||
Evaluate the acceptability of radiation survey meters used to | |||
measure underwater dose rates. Provide for properly calibrate | |||
survey meters. | |||
* | |||
Establish (as appropriate) pre-dive check lists / instructions. | |||
* | |||
Define diver bioassay program. | |||
* | |||
Establish (as appropriate) post-dive check lists / instructions. | |||
* | |||
Establish controls to limit / control exposure to critical body parts | |||
of diver. | |||
* | |||
Establish (as appropriate) procedures for use of the hydro-lazer | |||
hydrolazer. | |||
5.0 Effluent Monitoring / Control Instrumentation | |||
The inspector reviewed the implementation, adequacy, and effectiveness of | |||
the licensee's calibration program for Effluent Monitoring / Control | |||
Instrumentation. The following matters were selectively reviewed: | |||
- | |||
. | |||
- | |||
10 | |||
* | |||
establishment of appropriate procedures for calibration / checking of | |||
the Reactor Building Vent and Stack Effluent Monitors, | |||
* | |||
implementation of procedure requirement. | |||
* | |||
adequacy of alarm set point determinations, and | |||
a | |||
control room personnel oversight / monitoring of effluent monitoring | |||
instrumentation. | |||
The review was with respect to criteria contained in the following: | |||
a | |||
10 CFR 20, " Standards for Protection Against Radiation," | |||
* | |||
Applicable Technical Specifications, and | |||
* | |||
Applicable Licensee procedures. | |||
The licensee's performance in the area was based on discussions with | |||
personnel, review of documentation, and visual observation of | |||
instrumentation. | |||
Within the scope of this review, the following violation was | |||
identified: | |||
* | |||
Technical Specification 4.8 c.10 requires, in part, that each waste | |||
gas monitor have an instrument channel test at least monthly. | |||
Lc.itrary to the above, as of November 22, 1985, instrument channel | |||
.ests were not being performed on a monthly basis for the Reactor | |||
Building Vent and the Stack Waste Gas Monitors. (50-293/85-32-01) | |||
Licensee representatives immediately initiated action to review and | |||
resolve (as appropriate) this matter. | |||
In addition, the following matter needing licensee attention was iden- | |||
tified: | |||
* | |||
No defined methodology was in place which described determination and | |||
set-up of alarm set points for the waste gas monitors. | |||
The licensee was aware of this matter and had initiated action | |||
to upgrade appropriate procedures. | |||
Excluding the above matters, no other unacceptable practices were | |||
identified. | |||
. | |||
, 11 | |||
6.0 Plant Tours | |||
The inspector toured the facility initially upon arrival and periodically | |||
during the inspection. The following matters were reviewed: | |||
* | |||
adherence to procedures. | |||
* | |||
posting, barricading, and access control (as appropriate) to | |||
radiation and high radiation areas, and | |||
* | |||
adequacy of radiological survey. | |||
Within the scope of this review, the following violation was identified: | |||
* | |||
At about 9:30 p.m. on November 17, 1985, the inspector | |||
observed two articles being brought into the protected area that | |||
were not searched. | |||
The licensee's investigation of this matter determined that of the | |||
two articles, one was not adequately searched. This is a | |||
violation of the Pilgrim Nuclear Power Station Security Plan, | |||
Section 1.6.4 (50-293/85-32-02) | |||
Within the scope of this review, the following matter needing licensee | |||
attention was identified: | |||
* | |||
The inspector was improperly processed into the restricted area at | |||
about 9:30 p.m. on November 17, 1985. The inspector was provided | |||
incorrect quarterly dose limits and radiation exposure card. This | |||
matter was identified by the inspector and licensee personnel. | |||
The licensee subsequently modified the inprocessing form to provide | |||
for ease of use and minimization of errors. The licensee | |||
reinstructed and/or counseled personnel as appropriate. | |||
The licensee's action on this matter was timely. | |||
No other unacceptable practices were identified. | |||
7. Exit Meeting | |||
The inspector met with those individuals denoted in section 1 of this | |||
report at the conclusion of the inspection (November 22,1985). The | |||
inspector summarized the purpose, scope and findings of this inspection. | |||
No written material was provided to the licensee. | |||
. - - . .-. __ _ _ __. _ | |||
. - _ - _ _ . - _ -. | |||
w | |||
. | |||
.. | |||
ATTACHMENT TO REPORT | |||
50-293/85-32 | |||
Status of Boston Edison Company's | |||
Radiological Improvement Program (RIP) | |||
Commitment to be Completed after | |||
July 31, 1985 and before October 31, 1985 | |||
COMMITMENT STATUS NRC Comment | |||
1. 1.2.2-7 Formal position Complete The licensee established | |||
descriptions to be formal position descrip- | |||
established for each tion for each title. | |||
Radiological Group title. | |||
(September 31,1985) | |||
2. 1.2.3-1 Distribute Radio-- Complete None | |||
logical Control Group's | |||
Organization Chart and conduct intergroup meetings (August 31, 1985 | |||
Deferred) | |||
3. 1.2.4.a-2 Perform a basic Complete The licensee performed | |||
task analysis for all the task analysis and | |||
positions within the projected staffing | |||
Radiological Group level 2. | |||
Organization and project | |||
staffing levels | |||
(September 30,1985) | |||
4. 1.2.4b-1 Complete staffing Open Several positions remain | |||
of exempt positions in the to be filled. Personnel | |||
Radiological Control Group are filling the post- | |||
(August 31,1985) tions in an acting | |||
capacity. | |||
(50-293/85-32-03) | |||
5. 2.1.1-1 Define Radiolog- Complete None | |||
tcal Control Group person- | |||
nel qualification criteria | |||
(August 31,1985) | |||
6. 2.1.1-2 Use task analysis Complete None | |||
to define qualifications | |||
needed for each Radiological | |||
Group position. Incorporate | |||
~ | |||
qualification criteria into | |||
material to be generated to | |||
meet Milestone 1.2.2(1-7) | |||
> | |||
:4 | |||
1 | |||
- | |||
- - - - . - , - - | |||
- - , - - - - - .,v=-,, , -- -- - - - - . - - - - , - - - - , , , | |||
4 | |||
. | |||
' | |||
7 | |||
COMMITMENT STATUS NRC Comment | |||
7. 2.1.2b-1 Establish formal Open The licensee estab- | |||
position specific selection lished formal ' | |||
criteria for hiring position specific | |||
(September 30,1985) selection criteria | |||
for hiring. However, | |||
the criteria were not | |||
consistent with | |||
Technical Specification | |||
requirements relative to | |||
minimum required | |||
experience. The | |||
incorrect criteria had | |||
been incorporated into | |||
job postings. | |||
(50-293/85-32-04) | |||
8. 2.1.3-1 Develop a program Complete None | |||
to assist a supervisor | |||
following assignment to | |||
a new area of responsibility | |||
(August 31,1985) | |||
9. 2.2.2.6-1 Establish a formal Complete None | |||
training program for Radio- | |||
logical Group supervisory staff. | |||
(August 31,1985) | |||
10. 2.2.2.b-2 Establish speciality Complete None | |||
for technicians in such areas | |||
as TLD processing and whole | |||
body counting. | |||
(September 30,1985) | |||
11. 2.2.3-1 Establish a formal Open Retraining program | |||
continting training program not clearly defined | |||
for all Radiological Group (50-293/85-32-05) | |||
personnel. Technical training | |||
material will be developed. | |||
(October 31, 1985) | |||
12. 2.2.4-1 A Radiological Open The training department | |||
Group member will review did not have all | |||
course material developed applicable review find- | |||
for Health Physics technical ings and consequently | |||
personnel. (September 30, was unable to demon- | |||
1985) strate where all review | |||
findings were addressed. | |||
(50-293/85-32-06) | |||
.. | |||
. | |||
3 | |||
COMMITMENT | |||
_ STATUS NRC Comment | |||
13. 4.1.la-1 Evaluate the Open The licensee evaluated | |||
effectiveness of the the effectiveness of the | |||
extremity dosimetry extremity dosimetry | |||
program and ensure that program and revised | |||
guidance for calculating appropriate procedures | |||
and recording extremity (SI-RP-2402). However, | |||
exposures is adequate extremities were not de- | |||
(September 30,1985) | |||
fined (50-293/85-32-07) | |||
14. 4.1.1b-1 Evaluate Complete None present guidance | |||
for resolving TLD data | |||
discre pancies | |||
(August 31,1985) | |||
15. 4.1.lb-2 Provide Open Procedure 6.2-011 | |||
additional guidance established. To be | |||
for resolving TLD revised. (SI-RP. 2400 | |||
discrepancies. | |||
(September 30,1985) | |||
in draft) (50-293/65- | |||
32-08) | |||
16. 4.1.2a-2 Evaluate current Complete Licensee evaluated the | |||
TLD QA program and modify current TLD QA program | |||
procedures to include the and modified procedures | |||
requirement for " spiked" as appropriate (SI-RP- | |||
TLDs (September 30,1985) 2001) | |||
17. 4.1.2.a-3 Evaluate Complete Licensee evaluated the | |||
the current QA program current TLD QA program | |||
for extremity monitoring and modified procedures | |||
devices. Modify procedures as appropriate (SI-RP- | |||
to include " spiked" TLDs 2001) | |||
based on evaluation of | |||
Millstone 4.1.2(c) | |||
(September 30,1985) | |||
18. 4.1.2b-1 Develop support Complete Evaluation of current | |||
data necessary to document correction factor | |||
the basis for the beta found that it provided | |||
correction factor currently for underestimation of | |||
used by the TLD vendor. true beta dose by a | |||
(October 31,1985) factor of about 3. | |||
Licensee has modified | |||
factor used and; is | |||
reviewing previous beta | |||
exposure data to | |||
determine need for | |||
correction of personnel | |||
exposures. | |||
(50-293/85-32-09) | |||
i | |||
. | |||
* | |||
4 | |||
COMMITMENT STATUS NRC Comment | |||
19. 4.1.4-1 Evaluate proce- Open Licensee addressed | |||
dural guidance for the exposure trending in the | |||
evaluation of dosimetry Radiation Protection | |||
data. Address ALARA Program document. A | |||
exposure trending in the temporary procedure | |||
ALARA section of the (TP 85-45) was | |||
- Radiation Prote: tion established for ALARA | |||
Program document implementation. The | |||
(October 31, 1985) temporary procedure | |||
did not provide clear | |||
guidance relative to | |||
performance of ALARA | |||
reviews of on going work | |||
(50-293/85-32-10) | |||
20. 4.2-3 Issue Policy Complete Licensee issued a policy | |||
statement if required statement. The state- | |||
on the exposure of ment was signed by the | |||
fertile females Senior-Vice | |||
(R. G. 8.13 President-Nuclear. | |||
October 31,1985) | |||
21. 4.3-1 Review High Complete Review during Inspection | |||
Radiation Area Physical 50-293/85-22 found that | |||
Controls (June 30, 1985) high radiation area key | |||
control had not been | |||
addressed. Licensee | |||
- | |||
subsequently reviewed | |||
key control and | |||
implemented additional | |||
controls. | |||
22. 4.3-2 Improve the level Open Licensee upgraded level | |||
and quality of physical and quality of physical | |||
controls applied to high controls applied to high | |||
radiation areas, as appro- radiation areas. Key | |||
priate (October 31,1985) access was restricted, | |||
posting was upgraded, a | |||
high radiation area | |||
statis board was | |||
established and a new | |||
procedure was drafted to | |||
provide administra-tive | |||
controls over access to | |||
high radia-tion areas. | |||
The proce-dure remains | |||
to be approved. | |||
(50-293/-85-32-11) | |||
. | |||
,- | |||
, | |||
5 | |||
COMMITMENT STATUS NRC Comment | |||
The following matters do | |||
not appear to have been | |||
addressed: | |||
a minimum training / | |||
qualification of person | |||
issuing and receiving | |||
keys (Both) Areas >1R/hr | |||
and areas >10R/hr) | |||
, | |||
* updating of high | |||
rad status board. | |||
23. 5.2.lb-1 Evaluate the air Open The licensee established | |||
sampling program to deter-- a revised air sampling | |||
mine if appropriate air procedure. However, | |||
samples are being obtained provisions were not | |||
(October 31,1985) contained in the proce- | |||
dure for limitations of | |||
self-absortion factors | |||
and methodology for | |||
sampling for and | |||
evaluation of pure beta | |||
emitters. Also, Pu-238 | |||
is being used as the | |||
alpha MPC. No basis for | |||
the use of Pu-238 was | |||
provided. | |||
24. 6.1.1-1 Establish, (50-293/85-32-12) | |||
Open Licensee established, | |||
approve, and implement | |||
~ | |||
approved and imple- | |||
a procedure and/or a mented a group instruc- | |||
group instruction tion for performance of | |||
. | |||
for the routine perfor- an in vitro bioassay | |||
mance of an in vitro program. (SIRP.2100) | |||
bioassay program. | |||
(September 30,1985) Procedures do not pro- | |||
vide clear guidance for | |||
determination of intake | |||
(i.e. MPC-hour exposure) | |||
(50-243/85-32-13) | |||
25. 6.1.2-1 Complete review Complete None | |||
of ANSI N343, and ANSI | |||
N13.30 (August 31,1985) | |||
-. | |||
. | |||
' | |||
.. | |||
* | |||
, 6 | |||
COMMITMENT STATUS NRC Comment | |||
26. 6.1.2-2 Determine the need Open The licensee uses the | |||
for a QA program for the services of Yankee Labs | |||
commercial, off-site for performance of | |||
analytical laboratory. analytical work. The | |||
Develop QA procedure acceptability of the | |||
and/or group instruction lab is reviewed once a | |||
as needed (October 31, 1985) year by a utility | |||
committee consisting of | |||
members from different | |||
utilities who use the | |||
lab. This is | |||
acceptable. However, | |||
time limitations | |||
prevented the inspector | |||
from determining what | |||
mechanism is in place to | |||
determine the need for | |||
and to establish a QA | |||
program (if needed) for | |||
labs other than the | |||
Yankee Labs. | |||
(50-293/85-32-14) | |||
27. 6.2.1.b-1 Validate Complete None | |||
bench marks of whole | |||
body counter (One month | |||
after receipt of sources) | |||
28. 6.2.1 9-1 Review procedures Complete Procedure 6.2-161 | |||
and resolve any discrep- should be revised to | |||
ancies in recommended reflect new procedures | |||
internal deposition action (SI-RPs) (50-293/85- | |||
levels and external contami- 32-15) (i.e. cross | |||
nation limits (August 31,1985) referenced) | |||
29. 6.2.1h Approve a Complete None | |||
procedure or group | |||
instruction for a systematic | |||
, methodology for | |||
investigation, documentation, | |||
and records maintenance of | |||
abnormal internal exposures. | |||
(August 31,1985) | |||
- _ . . - - _ - - _ _ -- .- | |||
. | |||
fm | |||
D | |||
7 | |||
COMMITMENT STATUS NRC Comment | |||
30. 6.2.11 Develop procedure Open Procedures do not | |||
that contains the provide clear guid- | |||
approved methods and | |||
ance for determina- | |||
calculations for tion intake by in | |||
determining intake of radio- vivo counting active | |||
material (August 31,1985) (50-293/85-32-16) | |||
31. 6.2.1k Order whole body Open | |||
counter spare parts and/or | |||
(50-293/85-32-17) | |||
new equipment (as appro- | |||
priate) (deferred to | |||
November 30,1985) | |||
32. 6.2.2-1(a,b,c) Establish Complete Guidance included in | |||
guidance for the bicassay procedures | |||
program to address: | |||
a | |||
selection of individuals | |||
for non routine bioassays | |||
* | |||
review of data by super- | |||
vision | |||
* | |||
work restrictions | |||
33. 7.1.1-1 Develop a formal Open Licensee has estab- | |||
summary / mat.-ix of all lished the summary /- | |||
routine surveys matrix. However, pro- | |||
(August 31,1985) cedure is in draft. | |||
- | |||
(50-293/85-32-18) | |||
34. 7.1.1-2 Determine if Complete Licensee determined | |||
matrices addressing the calibration matrices | |||
calibration are needed were not needed. | |||
(August 31,1985) | |||
35. 7.1.3-1 Review present Complete Licensee reviewed | |||
procedures for types of applicable procedures. | |||
surveys to be performed A summary / matrix was | |||
and for ensuring survey established for routine | |||
documentation is appro- surveys. | |||
priate and approved. | |||
(August 31,1985) | |||
36. 6.2.2.e Develop program Opea Documentation not | |||
for the routine comparison provided to demonstrate | |||
of air sample, whole body closure of item | |||
count and respiratory (50-293/85-32-19) | |||
protection program data. | |||
(September 30,1985) | |||
. | |||
6 | |||
9 | |||
8 | |||
' | |||
COMMITMENT STATUS NRC Comment | |||
37. 7.1.4-1 Identify and Complete Procedure SR-RP-4702 | |||
implement if necessary | |||
a frequency for changing | |||
CAM filters. (August 31, | |||
1985) | |||
38. 7.1.5-1 Consolidate and Complete SI-RP-3000 | |||
Standardize air sampling | |||
requirements. (August 31,1985) | |||
39. 7.1.7-1 Evaluate present Cngoing Internal review program | |||
practice for adequacy and currently reviewing, in | |||
timeliness of radiological an on going fashion, the | |||
surveys (on going) adequacy and timeliness | |||
(August, September, October of surveys | |||
1985) | |||
40. 7.1.8-1 Complete procedure Open Licensee established | |||
changes to improve account- group instruction to | |||
ability and storage of survey improve accountability | |||
and air sample data by and storage of data. | |||
ensuring: (SI-RP-1002) | |||
+ surveys located with RWPs Procedure in draft. | |||
* document transfer to (50-293/85-32-20) | |||
document control | |||
* assigning long-term | |||
responsibility | |||
(September 30,1985) | |||
41. 7.1.8-2 Complete evalu- Complete Licensee completed | |||
ation and assign respon- evaluation and | |||
sibility for account- assigned responsibility | |||
ability and storage of | |||
Radiological Group records | |||
(September 30,1985) | |||
42. 7.1.9 Evaluate the Open Procedure not established | |||
of the frisker-only to incorporate recom- | |||
analysis clean area | |||
smears (August 31,1985) mendations (50-293/85-32-21) | |||
43. 7.1.10-1 Evaluate methods to0 pen Procedure not established | |||
reduce high to incorporate evaluation | |||
minimum detectable findings (50-293/85-32-22) | |||
activities currently | |||
associated with alpha | |||
smears, and incorporate | |||
and use an appropriate method | |||
(August 31,1985) | |||
r | |||
.. | |||
.- | |||
4 | |||
9 | |||
COMMITMENT STATUS NRC Comment | |||
44. 7.1.11-2 Order new area Complete Licensee evaluated | |||
Radiation Monitors if the need for additional | |||
required (August 31,1985) ARMS and determined | |||
they were not needed. | |||
45. 7.2.1 through 10, Item 3 Open Draft program in place. | |||
Establish an restructured Final procedure and | |||
RWP program. (September 30, program to be | |||
1985) (Deferred to October 15, established | |||
1985) (50-293/85-32-23) | |||
46. 7.2.1 through 10, Item 4 Complete Revised material, | |||
Approve training materials as appropriate should | |||
for structured RWP program be provided to address | |||
final program and | |||
procedures (See | |||
Item 7.2.1 through 10, | |||
Item 3) | |||
(50-293/85-32-24) | |||
47. 7.3.2-2 Develop and Complete Licensee established | |||
implement a contami- Nuclear Operators | |||
nation control Policy (NDP) 85 RC1. | |||
effectiveness review The NOP provides for | |||
process (August 31, contamination control | |||
1985) effectiveress review. | |||
Implementation will be | |||
reviewed during a | |||
substv.ient inspection | |||
48, 8.1.2-2 Consolidate Open 50-293/25-32-25 | |||
current radioactive | |||
waste storage areas. | |||
(September 30,1985) | |||
(Deferred to December 30, | |||
1985) | |||
49. 8.1-3-3 Provide enclosure Open 50-293/85-32-26 | |||
to protect radioactive | |||
material stored outdoors. | |||
(September 30,1985) | |||
(Deferred to November 30,1985) | |||
50. 8.1.4-4 Shield consoli- Open 50-293/85-32-27 | |||
dated radwaste storage | |||
areas (September 30,1985) 1 | |||
(Deferred to December 30, | |||
1985) | |||
. | |||
& | |||
* | |||
10 | |||
CC$NITMENT STATUS NRC Comment | |||
51. 9.1.1-3 Radiation Complete None | |||
Protection Program | |||
document will contain an | |||
, | |||
ALARA section. The section | |||
will discuss shielding, | |||
engineering controls, key | |||
performance indicators, goals, | |||
and procedures. (August 31, | |||
1985) | |||
52. 9.1.1-4 Approval ALARA Complete None | |||
committee charter | |||
(August 31, 1985) | |||
53. 9.1.1-5 Define specific Complete Licensee defined | |||
Key Management responsi- specific key management | |||
bilities in the area of responsibilities in a | |||
ALARA (September 30, 1985) Nuclear Operations | |||
Policy (NOP) | |||
54. 9.1.1-6 Approve ALARA Open The document was | |||
section of Radiation approved g' the Radio- | |||
Protection Program logical Group Section | |||
documents (September 30, Head. The document | |||
should be approved by | |||
Station Management since | |||
the document effects | |||
- | |||
the entire station. | |||
(50-293/85-32-28) | |||
55. 9.1.6-1 Incorporate Open Requirements incorpor- | |||
revised RWP requirements ated into temporary into | |||
RWP and ALARA pro- procedures. Procedures | |||
cedures (September 30, should be made perma- | |||
1985) nent. (50-293/85-32-29) | |||
i | |||
O | |||
o | |||
'< | |||
11 | |||
-COMMITMENT STATUS NRC Comment | |||
56. 9.1.7a, b-1 conduct Open Licensee performed a | |||
a thorough, systematic review of PNPS areas, | |||
review of PNPS for areas, systems, activities, | |||
systems, activities, etc., that could benefit from | |||
that require or would ALARA consideration. | |||
benefit from ALARA consider- However, the criteria | |||
ation (October 31, 1985) that was used to | |||
determine if a system | |||
or activity could | |||
benefit from ALARA | |||
consideration was not | |||
specified. | |||
Consequently, it was not | |||
clear that all | |||
appropriate activities | |||
or systems had been | |||
considered. | |||
(50-293/85-32-30) | |||
57. 9.1.8-1 Evaluate Complete None | |||
programmatic controls | |||
over the use of shielding | |||
(August 31,1985) | |||
58. 9.1.8.a through d, Complete None | |||
Item 2 complete the | |||
ALARA section of the | |||
Radiation Protection | |||
Program document. | |||
(September 30,1985) | |||
59. 10.1.3-3 Establish a Open Licensee Program | |||
long term approach currently being | |||
to housekeeping developed (50-293/ | |||
(October 15, 1985 85-32-31) | |||
deferred) | |||
60. 10.1.4-2 develop Complete Licensee performed | |||
action plan for the review and the | |||
review of the established procedures | |||
issuance and control for issuance and control | |||
of Health Physics of instrumentation | |||
(August 31,1985) (SI-RP-5000). Pr.cedure | |||
in draft | |||
(50-293/85-32-32) | |||
r- | |||
0 | |||
o | |||
e | |||
12 | |||
61. 10.1.4-3 Order equipment Complete Additional instrument | |||
as appropriate lockers were installied | |||
to improve issuance and | |||
control of health physics , | |||
' | |||
instrumentation | |||
(September 30,1985) | |||
62. 10.1.6 Set up Instrument Complete None | |||
storage racks. | |||
(September 30,1985) | |||
63. 10.2 1.a-2 Upgrade Open 50-293/85-32-33 | |||
whole body counting | |||
equipment. Order | |||
appropriate equipment, | |||
including software | |||
(September 30,1985) | |||
(Deferred to November 30, | |||
1985) | |||
64. 10.2.5.c Implement Complete None | |||
use of new calibration | |||
jigs. (August 31,1985) | |||
65. 10.2.6-2 Determine Complete The licensee evaluated | |||
the need for new the need to obtain addi- | |||
equipment to aid in tional equipment. Addi- | |||
the conduct of Radio- tional equipment as | |||
logical Group activities appropriate was | |||
(August 31,1985) obtained/ ordered. | |||
66. 10.2.8-2 Establish Complete None | |||
group instructions | |||
or procedures for | |||
checking high efficiency | |||
particulate filter units | |||
for breakthrough. | |||
(August 31,1985) | |||
67. 12.2-2 Management to Complete Program outline approved | |||
approve Radioactive | |||
and Contaminated | |||
Material Control | |||
Program (August 31, | |||
1985) (Deferred to | |||
October 15,1985) | |||
F | |||
o | |||
1 | |||
0 | |||
13 | |||
COMMITMENT | |||
STATUS | |||
I NRC Comment | |||
68. , | |||
p- | |||
12.2-3 Oraft Radioactive Complete Program document | |||
Contaminated Material | |||
Control Program document drafted. Facility modi- | |||
and develop recommended fication recommended, | |||
facility modification | |||
(September 30,1985) | |||
69. 13.3.1-1 Develop and Open | |||
publish goals for the The goals did not appear | |||
Radiological Group comprehensive or | |||
challenging. | |||
(50-293/85-32-34) | |||
70. 13.3.2-1 Establish Complete | |||
key performance Indicators contained in | |||
indicators as guidance Nuclear Operations | |||
for measuring performance Policy | |||
and effectiveness of the | |||
Radiation Protection Program. | |||
(September 30,1985) | |||
71. 13.4-1 Complete develop- Complete | |||
radiation Draft documents ment of | |||
protection program developed. Documents | |||
documents to provide to be reviewed and | |||
cohesiveness to the approved by December | |||
31, 1985 Radiation | |||
Protection Program (September 30,1985) | |||
i | |||
}} |
Latest revision as of 21:48, 27 October 2020
ML20136F090 | |
Person / Time | |
---|---|
Site: | Pilgrim |
Issue date: | 12/20/1985 |
From: | Nimitz R, Pasciak W NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
To: | |
Shared Package | |
ML20136E983 | List: |
References | |
50-293-85-32, NUDOCS 8601070233 | |
Download: ML20136F090 (24) | |
See also: IR 05000293/1985032
Text
.
c.
U.S. NUCLEAR REGULSTORY COMMISSION
REGION I
Report No. ,P-293/85-32
Docket No. 50-293
License No. OPR-63 Priority --
Category C
Licensee: Boston Edison Comoany M/C Nuclear
800 Boylston Street
Boston, Massachusetts 02199
Facility Name: Pilgrim Nuclear Power Station
Inipection At: Plymouth, Massachusetts
Inspection Conducted: Novcmber 17-22, 1985
Inspectors: 9..L d M
R. L. Nimitz, SenioY Radiation Specialist
n.\ h { SS
date ~
>
Approved by: .
/1J/A .
W. J.! sctik, Chief, BWR Radiation Protectieff
[ c 1. o . I 9FI
date'
,
Sects n
Inspection Summary: Inspection on November 17-22, 1985 (Report No.
E0-293/85-32)
Areas Inspected: Routine, unannounced inspection of the following:
implementation of improvement items identified in the Radiological Improvement
Program; radiological controls for fuel pool re-racking and removal of the
Radwaste Concentrator; and Effluent Release Monitors / Controls. Upon arrival
at the site on November 17, 1985, the inspector toured the facility and
reviewed implementation of radiological controls practices and procedures.
The inspection involved 43 inspector-hours on-site by one region based
inspector.
Results: Two violations were identified (Failure to search packages when
brought into the protected area; section 6, Failure to perform instrument
channel test; paragraph 5). The Radiological Improvement Plan was being
satisfactorily implemented. Some concerns were identified in management
oversight of radiological work. The licensee took timely corrective action
for this matter.
8601070233 851231
PDR ADOCK 05000293
G PDR
l
. . - - - .
.
%
DETAILS
1.0 Persons Contacted
1.1 Boston Edison
- L. Oxsen, Vice President, Nuclear Operation
- C. Mathis, Station Manager
- W. Deacon, Assistant to Senior Vice President, Nuclear
"K. Roberts, Director, Outage Management
"T. Sowdon, Radiological Section Head
"J. Crowder, Senior Compliance Engineer
- P. Smith, Chief, Technical Engineer
- B. Eldridge, Acting Chief Radiological Engineer
- E. Graham, Compliance Group Leader
- G. Anderson, Outage Management Engineer
- E. Menslage, Outage Management Engineer
- D. Mills, Acting CMG Group Leader
- M. Noon, Corporate Security
- J. McEachern, Resource Protection and Control Group Leader
Contractors
- M. Jackimowicz, CYGNA
G. Smith, Hydro Nuclear
1.2 NRC
- L. E. Tripp, Chief Reactor Projects Section 3A, NRC Region I
- M. McBride, Senior Resident Inspector
- denotes those individuals attending the exit meeting on November 22,
1985.
The inspector also met with other individuals.
2.0 Purpose of Inspection
The purpose of this routine, unannounced radiological controls inspection
was to review the following program elements:
Implementation of the Radiological Improvement Program
Radiological Controls for re-racking of the spent fuel pool
Radiological Control for Removal of the Radwaste Concentractor.
_
l
~
'
3
3.0 Implementation of Licensee Commitments Presented to NRC in the
Radiological Improvement Program (RIP)
3.1 General
The inspector reviewed the implementation of Radiological Improvement
Program commitments presented to the NRC. The review was with respect to
criteria and/or information cor4tained in the following documents:
Order Modifying Licensee, Notice of Violation, and Notice of
Deviation (NRC Inspection No. 50-293/84-25 and 50-293/84-29), dated
November 29, 1984,
=
Letter (W. D. Harrington, Senior Vice President-Nuclear, Boston
Edison, to T. E. Murley, Regional Administrator, NRC Region I),
dated February 28, 1985, (BECo ltr No.85-042),
Licensee Completed Regulatory F quirement Analysis Forms (various)
relative to Radiological Improvement Plan (RIP) Milestones,
Licensee Radiological Activity Assessment Reports (RAAR) (various),
Radiological Oversight Committee (ROC) Meeting Minutes (various),
NRC Inspection Report No. 50-293/85-13, dated July 16, 1985, and
NRC Inspection Report No. 50-293/85-22, dated October 7, 1985.
The purpose of this review was to determ- .f:
the licensee met the commitments (i.e. milestones) specified in the
Radiological Improvement Program (RIP);
the material or actions taken/ generated by the licensee
satisfactorily met the commitments made to NRC in the RIP; and
a
the material or actions taken/ generated were properly implemented.
The following aspects of RIP implementation were noted and verified
implemented:
a tracking program was in place to identify milestones due;
adequate management controls were in place to monitor implementation
of milestones and initiate proper action when milestones were
identified as potentially not being met;
review was performed of the material or actions taken/ generated to
determine its adequacy prior to its acceptance and implementation.
.
o '
,
u$
'
4
s
3.2 Findings
The inspector reviewed a total of 71 commitments that were to have been
completed by the licensee by October 31, 1985. The commitments reviewed
are identified in the attachment to this report.
The review indicated the licensee satisfactorily completed his action on
50 of the commitments. Several commitments were left open due to the
need for additional licensee action or NRC review. These are identified
in the attachment to this report.
<-
Based on the above review, the licensee is aggressively monitoring
implementation of the RIP improvement items, and is meeting commitments
provided to NRC Region I.
Within the scope of the review, the following positive attributes were
noted:
1*
The licensee's Senior Vice President-Nuclear is closely monitoring
implementation of the Radiological Improvement Program.
Radiological Oversight Committee members are touring the facility
once per week. Findings identified during the tours are brought up
and discussed at the, ROC meetings. Action is initiated to resolve
problems identified.
The licensee has taken action to upgrade the quality of procedures
being developed to satisfy RIP commitments.
'
4. Radiological Controls Implementation
The inspector reviewed the implementation, adequacy, and effectiveness of
Radiological Controls for the 1:stallation of high density fuel racks in
the fuel pool and for removal of the Radwaste Concentrator. The following
matters were reviewed:
adequacy and effectiveness of management oversight and control of
the activities,
'
establishment, adequacy, and implementation of appropriate
g procedures for the activities,
e
adequacy and adherence to Radiation Work Permits,
selection, qualification and training of personnel,
e
implementation and adequacy of ALARA controls,
high radiation area controls implementation and adequacy,
4 :
-
5
adequacy and evaluation of radiological surveys,
supply and use of appropriate personnel monitoring equipment, and
use of acceptable, properly calibrated radiological survey
instrumentation.
The review was with respect to criteria contained in the following:
applicable Technical Specifications,
10 CFR 20, " Standards for Protection Against Radiation," and
applicable licensee procedures.
4.1 General
The inspector reviewed the management oversight and control of the fuel
pool re-racking and concentrator removal with respect to criteria con-
tained in the following:
VPN0 Letter No. 85-95, " Improved Control of PNPS Work Process", and
Outage Management Work Instruction No.11.0, " Inter-Disciplinary
Critiques", dated November 21, 1985.
The above documents were established to provide improved oversight and
control of projects that involve significant radiological and/or
industrial safety risk.
Within the scope of this review, no violations were identified. The
licensee was found to be providing, in general, acceptable oversight of
the radiological significant work. However, the following items for
improvement were identified:
Provide a mechanism to ensure that each inter-disciplinary group has
a clear understanding of its responsibilities. In some areas (e.g.
personnel training) it was not clear that each group understood its
responsibilities. In addition licensee oversight responsib,'lities
of contractor activities should be clearly identified. The
licensee's Work Instruction No. 11 provides general guidance in
these areas. However, the implementation of this guidance was not
uniform for the two tasks.
The licensee immediately initiated action to:
1) revise the Work Instruction No.11 to provide for uniform
interpretation of guidance contained therein,
. i
. !-
6
1
.
%
2). clearly identify each inter-disciplinary groups responsibilities
and oversight requirements, and , ,
g
3) provide for clear identification and implementation of
training / retraining requirements.
-
s
The licensee's actions on this matter were timely.
>
Upgrade controls on field changes to re-rack and concentrator
removal procecures to ensure appropriate radiological controls
. personnel (as necessary) review field changes to procedures.
The licensee initiated action to ensure radiological controls
personnel (as necessary) review field changes to procedures.
Provide (as. appropriate) a methodology and criteria for use in
monitoring on going radfological work in order to identify
unfavorable exposure tre.nds such that appropriate actions can be
taken to correct the situation.
The licensee provided a mechanism for clear oversight / review of day
,
to day exposure received on the tasks.
-> 4.2 Radwaste Concentrator Removal (Radiological Controls)
Documents Reviewed
Procedure 6.1-012, " Access to High Radiation Areas"
Temporary Procedure No. TP85-107, " Dismantling / Removal of Radwaste
Concentrator and Associated Equipmant" -
Procedure 6.1-022, " Issue, Use, and Termination of Radiation Work
Permits (RWPs)" ;
Temporary Procedure No. TP85-108, " Operation of the AP-1000 and
AP-2000 HEPA Filter Units Including Filter Changeout
Procedure PNPS SI-RP.5002, "Use and Control of Portable. Ventilation
Units and HEPA Vacuum Cleaners", September 18, 1985 /
Findings
Within the scope of this review, no violations were identified. The
licensee was providing and implementing generally commendable in-field
Radiological Controls for removal of the Radwaste Concentrator.
.
.
.
7
The following positive attributes were noted:
The licensee made effective use of engineering controls (e.g. tents,
HEPA filters) to minimize airborne radioactivity concentrations.
The licensee provided and utilized shielding were appropriate and
cost beneficial to minimize personal exposure.
The licensee installed closed circuit TV to monitor on going work
activities.
The licensee provided closed circuit two way communication with
workers.
The licensee implemented multi-layer high radiation area controls to
provide for effective high radiation area controls.
Senior level, qualified personnel were monitoring on going
radiological work.
Within the scope of this review, the following items needing licensee attention
were identified:
Evaluate and provide. (as appropriate) personnel dosimetry for the
backs of personnel to provide for non-uniform whole body exposure.
The licensee immec:ately initiated action to evaluate and provide
(as appropriate) dosimetry for the backs of personnel.
. Evaluate and control (as appropriate) the exposure of personnel to
airborne pure beta emitters.
The licensee immediately initiated action to evaluate and control
(as appropriate) airborne beta exposure of personnel.
4. *
Label HEPA air filtering systems. The systems were not labeled.
Consequently, personnel were uncertain as to applicable operating
acceptance criteria.
The units were immediately labeled.
Establish HEPA exhaust airborne concentration limits requiring
personnel actions. Procedures said take action when airborne
radioactivity " specification" is exceeded. Specification was
undefined.
The licensee immediately initiated action to provide a defined
specification.
..
=
8
.
Some area surveys were not readily available for briefing
personnel. Procedures specify surveys be available.
The licensee initiated action to obtain and post all appropriate
surveys on a Radwaste Concentrator Status Board.
The following item for improvement was identified:
Clearly identify the minimum controls and/or equipment needed to be
present and/or operable in order to continue work removing the
Radwaste Concentrator, particularly in the area of high radiation
area access controls. '
The licensee immediately established a Radwaste Concentrator Daily
check list. The check list provides minimum controls and/or equip-
ment to be operable for work to continue.
4.3 Fuel Pool Re-Racking (Radiological Controls)
Documents Reviewed
Procedure 6.1-022, " Issue, Use, and Termination of Radiation Work
Permit"
Procedure No. 6.7-121, " Radiation Protection Requirements for Diving
, in Radiologically Controlled Areas"
Procedure NEDWI-308, " Fuel Pool Re-racking"
Procedure 3M1-19, " Spent Fuel Pool Cleaning"
Temporary Procedure 85-83, " Fuel Pool Vacuum Filter Change-Out"
Findings
Within the scope of this review, no violations were identified. The
licensee was providing acceptable in-field Radiological Controls for
installation of new racks. The licensee is currently performing
preplanning for removal of the old racks and diving.
The following positive' attributes were noted:
The licensee was providing effective control of radioactive material
being. removed from the fuel pool. Radiological Controls personnel
were in constant attendance.
Fuel pool water clarity was very good.
,
_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
.-
'
9
A procedure log was established and in place on the refueling
floor.
The licensee initiated a comprehensive effort to evaluate the
' underwater radiation environment entered by the divers.
The licensee is decontaminating the fuel pool to minimize exposure
to divers, prevent water clarity problems, and in general eliminate
unnecessary radioactive material in the fuel pool.
Within the scope of this review, the following items needing licensee
attention were identified:
An unapproved procedure for rack removal was found on the refuel
floor.
The _ licensee removed the unapproved procedure, provided an approved
copy, and initiated action to ensure appropriate, approved
procedures were in use on the Refueling Floor. No differences were
apparent between the approved and unapproved copies.
The licensee has taken action or is taking action to address the
following matters:
Evaluate the radiation environment entered by divers. Provide
proper dosimetry to monitor diver exposure.
Evaluate the acceptability of radiation survey meters used to
measure underwater dose rates. Provide for properly calibrate
survey meters.
Establish (as appropriate) pre-dive check lists / instructions.
Define diver bioassay program.
Establish (as appropriate) post-dive check lists / instructions.
Establish controls to limit / control exposure to critical body parts
of diver.
Establish (as appropriate) procedures for use of the hydro-lazer
hydrolazer.
5.0 Effluent Monitoring / Control Instrumentation
The inspector reviewed the implementation, adequacy, and effectiveness of
the licensee's calibration program for Effluent Monitoring / Control
Instrumentation. The following matters were selectively reviewed:
-
.
-
10
establishment of appropriate procedures for calibration / checking of
the Reactor Building Vent and Stack Effluent Monitors,
implementation of procedure requirement.
adequacy of alarm set point determinations, and
a
control room personnel oversight / monitoring of effluent monitoring
instrumentation.
The review was with respect to criteria contained in the following:
a
10 CFR 20, " Standards for Protection Against Radiation,"
Applicable Technical Specifications, and
Applicable Licensee procedures.
The licensee's performance in the area was based on discussions with
personnel, review of documentation, and visual observation of
instrumentation.
Within the scope of this review, the following violation was
identified:
Technical Specification 4.8 c.10 requires, in part, that each waste
gas monitor have an instrument channel test at least monthly.
Lc.itrary to the above, as of November 22, 1985, instrument channel
.ests were not being performed on a monthly basis for the Reactor
Building Vent and the Stack Waste Gas Monitors. (50-293/85-32-01)
Licensee representatives immediately initiated action to review and
resolve (as appropriate) this matter.
In addition, the following matter needing licensee attention was iden-
tified:
No defined methodology was in place which described determination and
set-up of alarm set points for the waste gas monitors.
The licensee was aware of this matter and had initiated action
to upgrade appropriate procedures.
Excluding the above matters, no other unacceptable practices were
identified.
.
, 11
6.0 Plant Tours
The inspector toured the facility initially upon arrival and periodically
during the inspection. The following matters were reviewed:
adherence to procedures.
posting, barricading, and access control (as appropriate) to
radiation and high radiation areas, and
adequacy of radiological survey.
Within the scope of this review, the following violation was identified:
At about 9:30 p.m. on November 17, 1985, the inspector
observed two articles being brought into the protected area that
were not searched.
The licensee's investigation of this matter determined that of the
two articles, one was not adequately searched. This is a
violation of the Pilgrim Nuclear Power Station Security Plan,
Section 1.6.4 (50-293/85-32-02)
Within the scope of this review, the following matter needing licensee
attention was identified:
The inspector was improperly processed into the restricted area at
about 9:30 p.m. on November 17, 1985. The inspector was provided
incorrect quarterly dose limits and radiation exposure card. This
matter was identified by the inspector and licensee personnel.
The licensee subsequently modified the inprocessing form to provide
for ease of use and minimization of errors. The licensee
reinstructed and/or counseled personnel as appropriate.
The licensee's action on this matter was timely.
No other unacceptable practices were identified.
7. Exit Meeting
The inspector met with those individuals denoted in section 1 of this
report at the conclusion of the inspection (November 22,1985). The
inspector summarized the purpose, scope and findings of this inspection.
No written material was provided to the licensee.
. - - . .-. __ _ _ __. _
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ATTACHMENT TO REPORT
50-293/85-32
Status of Boston Edison Company's
Radiological Improvement Program (RIP)
Commitment to be Completed after
July 31, 1985 and before October 31, 1985
COMMITMENT STATUS NRC Comment
1. 1.2.2-7 Formal position Complete The licensee established
descriptions to be formal position descrip-
established for each tion for each title.
Radiological Group title.
(September 31,1985)
2. 1.2.3-1 Distribute Radio-- Complete None
logical Control Group's
Organization Chart and conduct intergroup meetings (August 31, 1985
Deferred)
3. 1.2.4.a-2 Perform a basic Complete The licensee performed
task analysis for all the task analysis and
positions within the projected staffing
Radiological Group level 2.
Organization and project
staffing levels
(September 30,1985)
4. 1.2.4b-1 Complete staffing Open Several positions remain
of exempt positions in the to be filled. Personnel
Radiological Control Group are filling the post-
(August 31,1985) tions in an acting
capacity.
(50-293/85-32-03)
5. 2.1.1-1 Define Radiolog- Complete None
tcal Control Group person-
nel qualification criteria
(August 31,1985)
6. 2.1.1-2 Use task analysis Complete None
to define qualifications
needed for each Radiological
Group position. Incorporate
~
qualification criteria into
material to be generated to
meet Milestone 1.2.2(1-7)
>
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- - , - - - - - .,v=-,, , -- -- - - - - . - - - - , - - - - , , ,
4
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COMMITMENT STATUS NRC Comment
7. 2.1.2b-1 Establish formal Open The licensee estab-
position specific selection lished formal '
criteria for hiring position specific
(September 30,1985) selection criteria
for hiring. However,
the criteria were not
consistent with
Technical Specification
requirements relative to
minimum required
experience. The
incorrect criteria had
been incorporated into
job postings.
(50-293/85-32-04)
8. 2.1.3-1 Develop a program Complete None
to assist a supervisor
following assignment to
a new area of responsibility
(August 31,1985)
9. 2.2.2.6-1 Establish a formal Complete None
training program for Radio-
logical Group supervisory staff.
(August 31,1985)
10. 2.2.2.b-2 Establish speciality Complete None
for technicians in such areas
as TLD processing and whole
body counting.
(September 30,1985)
11. 2.2.3-1 Establish a formal Open Retraining program
continting training program not clearly defined
for all Radiological Group (50-293/85-32-05)
personnel. Technical training
material will be developed.
(October 31, 1985)
12. 2.2.4-1 A Radiological Open The training department
Group member will review did not have all
course material developed applicable review find-
for Health Physics technical ings and consequently
personnel. (September 30, was unable to demon-
1985) strate where all review
findings were addressed.
(50-293/85-32-06)
..
.
3
COMMITMENT
_ STATUS NRC Comment
13. 4.1.la-1 Evaluate the Open The licensee evaluated
effectiveness of the the effectiveness of the
extremity dosimetry extremity dosimetry
program and ensure that program and revised
guidance for calculating appropriate procedures
and recording extremity (SI-RP-2402). However,
exposures is adequate extremities were not de-
(September 30,1985)
fined (50-293/85-32-07)
14. 4.1.1b-1 Evaluate Complete None present guidance
for resolving TLD data
discre pancies
(August 31,1985)
15. 4.1.lb-2 Provide Open Procedure 6.2-011
additional guidance established. To be
for resolving TLD revised. (SI-RP. 2400
discrepancies.
(September 30,1985)
in draft) (50-293/65-
32-08)
16. 4.1.2a-2 Evaluate current Complete Licensee evaluated the
TLD QA program and modify current TLD QA program
procedures to include the and modified procedures
requirement for " spiked" as appropriate (SI-RP-
TLDs (September 30,1985) 2001)
17. 4.1.2.a-3 Evaluate Complete Licensee evaluated the
the current QA program current TLD QA program
for extremity monitoring and modified procedures
devices. Modify procedures as appropriate (SI-RP-
to include " spiked" TLDs 2001)
based on evaluation of
Millstone 4.1.2(c)
(September 30,1985)
18. 4.1.2b-1 Develop support Complete Evaluation of current
data necessary to document correction factor
the basis for the beta found that it provided
correction factor currently for underestimation of
used by the TLD vendor. true beta dose by a
(October 31,1985) factor of about 3.
Licensee has modified
factor used and; is
reviewing previous beta
exposure data to
determine need for
correction of personnel
exposures.
(50-293/85-32-09)
i
.
4
COMMITMENT STATUS NRC Comment
19. 4.1.4-1 Evaluate proce- Open Licensee addressed
dural guidance for the exposure trending in the
evaluation of dosimetry Radiation Protection
data. Address ALARA Program document. A
exposure trending in the temporary procedure
ALARA section of the (TP 85-45) was
- Radiation Prote: tion established for ALARA
Program document implementation. The
(October 31, 1985) temporary procedure
did not provide clear
guidance relative to
performance of ALARA
reviews of on going work
(50-293/85-32-10)
20. 4.2-3 Issue Policy Complete Licensee issued a policy
statement if required statement. The state-
on the exposure of ment was signed by the
fertile females Senior-Vice
(R. G. 8.13 President-Nuclear.
October 31,1985)
21. 4.3-1 Review High Complete Review during Inspection
Radiation Area Physical 50-293/85-22 found that
Controls (June 30, 1985) high radiation area key
control had not been
addressed. Licensee
-
subsequently reviewed
key control and
implemented additional
controls.
22. 4.3-2 Improve the level Open Licensee upgraded level
and quality of physical and quality of physical
controls applied to high controls applied to high
radiation areas, as appro- radiation areas. Key
priate (October 31,1985) access was restricted,
posting was upgraded, a
statis board was
established and a new
procedure was drafted to
provide administra-tive
controls over access to
high radia-tion areas.
The proce-dure remains
to be approved.
(50-293/-85-32-11)
.
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,
5
COMMITMENT STATUS NRC Comment
The following matters do
not appear to have been
addressed:
a minimum training /
qualification of person
issuing and receiving
keys (Both) Areas >1R/hr
and areas >10R/hr)
,
- updating of high
rad status board.
23. 5.2.lb-1 Evaluate the air Open The licensee established
sampling program to deter-- a revised air sampling
mine if appropriate air procedure. However,
samples are being obtained provisions were not
(October 31,1985) contained in the proce-
dure for limitations of
self-absortion factors
and methodology for
sampling for and
evaluation of pure beta
emitters. Also, Pu-238
is being used as the
alpha MPC. No basis for
the use of Pu-238 was
provided.
24. 6.1.1-1 Establish, (50-293/85-32-12)
Open Licensee established,
approve, and implement
~
approved and imple-
a procedure and/or a mented a group instruc-
group instruction tion for performance of
.
for the routine perfor- an in vitro bioassay
mance of an in vitro program. (SIRP.2100)
bioassay program.
(September 30,1985) Procedures do not pro-
vide clear guidance for
determination of intake
(i.e. MPC-hour exposure)
(50-243/85-32-13)
25. 6.1.2-1 Complete review Complete None
of ANSI N343, and ANSI
N13.30 (August 31,1985)
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.
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COMMITMENT STATUS NRC Comment
26. 6.1.2-2 Determine the need Open The licensee uses the
for a QA program for the services of Yankee Labs
commercial, off-site for performance of
analytical laboratory. analytical work. The
Develop QA procedure acceptability of the
and/or group instruction lab is reviewed once a
as needed (October 31, 1985) year by a utility
committee consisting of
members from different
utilities who use the
lab. This is
acceptable. However,
time limitations
prevented the inspector
from determining what
mechanism is in place to
determine the need for
and to establish a QA
program (if needed) for
labs other than the
Yankee Labs.
(50-293/85-32-14)
27. 6.2.1.b-1 Validate Complete None
bench marks of whole
body counter (One month
after receipt of sources)
28. 6.2.1 9-1 Review procedures Complete Procedure 6.2-161
and resolve any discrep- should be revised to
ancies in recommended reflect new procedures
internal deposition action (SI-RPs) (50-293/85-
levels and external contami- 32-15) (i.e. cross
nation limits (August 31,1985) referenced)
29. 6.2.1h Approve a Complete None
procedure or group
instruction for a systematic
, methodology for
investigation, documentation,
and records maintenance of
abnormal internal exposures.
(August 31,1985)
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7
COMMITMENT STATUS NRC Comment
30. 6.2.11 Develop procedure Open Procedures do not
that contains the provide clear guid-
approved methods and
ance for determina-
calculations for tion intake by in
determining intake of radio- vivo counting active
material (August 31,1985) (50-293/85-32-16)
31. 6.2.1k Order whole body Open
counter spare parts and/or
(50-293/85-32-17)
new equipment (as appro-
priate) (deferred to
November 30,1985)
32. 6.2.2-1(a,b,c) Establish Complete Guidance included in
guidance for the bicassay procedures
program to address:
a
selection of individuals
for non routine bioassays
review of data by super-
vision
work restrictions
33. 7.1.1-1 Develop a formal Open Licensee has estab-
summary / mat.-ix of all lished the summary /-
routine surveys matrix. However, pro-
(August 31,1985) cedure is in draft.
-
(50-293/85-32-18)
34. 7.1.1-2 Determine if Complete Licensee determined
matrices addressing the calibration matrices
calibration are needed were not needed.
(August 31,1985)
35. 7.1.3-1 Review present Complete Licensee reviewed
procedures for types of applicable procedures.
surveys to be performed A summary / matrix was
and for ensuring survey established for routine
documentation is appro- surveys.
priate and approved.
(August 31,1985)
36. 6.2.2.e Develop program Opea Documentation not
for the routine comparison provided to demonstrate
of air sample, whole body closure of item
count and respiratory (50-293/85-32-19)
protection program data.
(September 30,1985)
.
6
9
8
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COMMITMENT STATUS NRC Comment
37. 7.1.4-1 Identify and Complete Procedure SR-RP-4702
implement if necessary
a frequency for changing
CAM filters. (August 31,
1985)
38. 7.1.5-1 Consolidate and Complete SI-RP-3000
Standardize air sampling
requirements. (August 31,1985)
39. 7.1.7-1 Evaluate present Cngoing Internal review program
practice for adequacy and currently reviewing, in
timeliness of radiological an on going fashion, the
surveys (on going) adequacy and timeliness
(August, September, October of surveys
1985)
40. 7.1.8-1 Complete procedure Open Licensee established
changes to improve account- group instruction to
ability and storage of survey improve accountability
and air sample data by and storage of data.
ensuring: (SI-RP-1002)
+ surveys located with RWPs Procedure in draft.
- document transfer to (50-293/85-32-20)
document control
- assigning long-term
responsibility
(September 30,1985)
41. 7.1.8-2 Complete evalu- Complete Licensee completed
ation and assign respon- evaluation and
sibility for account- assigned responsibility
ability and storage of
Radiological Group records
(September 30,1985)
42. 7.1.9 Evaluate the Open Procedure not established
of the frisker-only to incorporate recom-
analysis clean area
smears (August 31,1985) mendations (50-293/85-32-21)
43. 7.1.10-1 Evaluate methods to0 pen Procedure not established
reduce high to incorporate evaluation
minimum detectable findings (50-293/85-32-22)
activities currently
associated with alpha
smears, and incorporate
and use an appropriate method
(August 31,1985)
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4
9
COMMITMENT STATUS NRC Comment
44. 7.1.11-2 Order new area Complete Licensee evaluated
Radiation Monitors if the need for additional
required (August 31,1985) ARMS and determined
they were not needed.
45. 7.2.1 through 10, Item 3 Open Draft program in place.
Establish an restructured Final procedure and
RWP program. (September 30, program to be
1985) (Deferred to October 15, established
1985) (50-293/85-32-23)
46. 7.2.1 through 10, Item 4 Complete Revised material,
Approve training materials as appropriate should
for structured RWP program be provided to address
final program and
procedures (See
Item 7.2.1 through 10,
Item 3)
(50-293/85-32-24)
47. 7.3.2-2 Develop and Complete Licensee established
implement a contami- Nuclear Operators
nation control Policy (NDP) 85 RC1.
effectiveness review The NOP provides for
process (August 31, contamination control
1985) effectiveress review.
Implementation will be
reviewed during a
substv.ient inspection
48, 8.1.2-2 Consolidate Open 50-293/25-32-25
current radioactive
waste storage areas.
(September 30,1985)
(Deferred to December 30,
1985)
49. 8.1-3-3 Provide enclosure Open 50-293/85-32-26
to protect radioactive
material stored outdoors.
(September 30,1985)
(Deferred to November 30,1985)
50. 8.1.4-4 Shield consoli- Open 50-293/85-32-27
dated radwaste storage
areas (September 30,1985) 1
(Deferred to December 30,
1985)
.
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10
CC$NITMENT STATUS NRC Comment
51. 9.1.1-3 Radiation Complete None
Protection Program
document will contain an
,
ALARA section. The section
will discuss shielding,
engineering controls, key
performance indicators, goals,
and procedures. (August 31,
1985)
52. 9.1.1-4 Approval ALARA Complete None
committee charter
(August 31, 1985)
53. 9.1.1-5 Define specific Complete Licensee defined
Key Management responsi- specific key management
bilities in the area of responsibilities in a
ALARA (September 30, 1985) Nuclear Operations
Policy (NOP)
54. 9.1.1-6 Approve ALARA Open The document was
section of Radiation approved g' the Radio-
Protection Program logical Group Section
documents (September 30, Head. The document
should be approved by
Station Management since
the document effects
-
the entire station.
(50-293/85-32-28)
55. 9.1.6-1 Incorporate Open Requirements incorpor-
revised RWP requirements ated into temporary into
RWP and ALARA pro- procedures. Procedures
cedures (September 30, should be made perma-
1985) nent. (50-293/85-32-29)
i
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11
-COMMITMENT STATUS NRC Comment
56. 9.1.7a, b-1 conduct Open Licensee performed a
a thorough, systematic review of PNPS areas,
review of PNPS for areas, systems, activities,
systems, activities, etc., that could benefit from
that require or would ALARA consideration.
benefit from ALARA consider- However, the criteria
ation (October 31, 1985) that was used to
determine if a system
or activity could
benefit from ALARA
consideration was not
specified.
Consequently, it was not
clear that all
appropriate activities
or systems had been
considered.
(50-293/85-32-30)
57. 9.1.8-1 Evaluate Complete None
programmatic controls
over the use of shielding
(August 31,1985)
58. 9.1.8.a through d, Complete None
Item 2 complete the
ALARA section of the
Radiation Protection
Program document.
(September 30,1985)
59. 10.1.3-3 Establish a Open Licensee Program
long term approach currently being
to housekeeping developed (50-293/
(October 15, 1985 85-32-31)
deferred)
60. 10.1.4-2 develop Complete Licensee performed
action plan for the review and the
review of the established procedures
issuance and control for issuance and control
of Health Physics of instrumentation
(August 31,1985) (SI-RP-5000). Pr.cedure
in draft
(50-293/85-32-32)
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12
61. 10.1.4-3 Order equipment Complete Additional instrument
as appropriate lockers were installied
to improve issuance and
control of health physics ,
'
instrumentation
(September 30,1985)
62. 10.1.6 Set up Instrument Complete None
storage racks.
(September 30,1985)
63. 10.2 1.a-2 Upgrade Open 50-293/85-32-33
whole body counting
equipment. Order
appropriate equipment,
including software
(September 30,1985)
(Deferred to November 30,
1985)
64. 10.2.5.c Implement Complete None
use of new calibration
jigs. (August 31,1985)
65. 10.2.6-2 Determine Complete The licensee evaluated
the need for new the need to obtain addi-
equipment to aid in tional equipment. Addi-
the conduct of Radio- tional equipment as
logical Group activities appropriate was
(August 31,1985) obtained/ ordered.
66. 10.2.8-2 Establish Complete None
group instructions
or procedures for
checking high efficiency
particulate filter units
for breakthrough.
(August 31,1985)
67. 12.2-2 Management to Complete Program outline approved
approve Radioactive
and Contaminated
Material Control
Program (August 31,
1985) (Deferred to
October 15,1985)
F
o
1
0
13
COMMITMENT
STATUS
I NRC Comment
68. ,
p-
12.2-3 Oraft Radioactive Complete Program document
Contaminated Material
Control Program document drafted. Facility modi-
and develop recommended fication recommended,
facility modification
(September 30,1985)
69. 13.3.1-1 Develop and Open
publish goals for the The goals did not appear
Radiological Group comprehensive or
challenging.
(50-293/85-32-34)
70. 13.3.2-1 Establish Complete
key performance Indicators contained in
indicators as guidance Nuclear Operations
for measuring performance Policy
and effectiveness of the
Radiation Protection Program.
(September 30,1985)
71. 13.4-1 Complete develop- Complete
radiation Draft documents ment of
protection program developed. Documents
documents to provide to be reviewed and
cohesiveness to the approved by December
31, 1985 Radiation
Protection Program (September 30,1985)
i