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{{Adams | |||
| number = ML20207T913 | |||
| issue date = 02/09/1987 | |||
| title = Insp Repts 50-327/86-62 & 50-328/86-62 on 861112-21. Violations Noted:Failure of Design Organization to Evaluate & Properly Disposition Mfgs Requirements Associated W/ Installation of Containment Hydrogen Monitors for Plant | |||
| author name = Bearden W, Branch M, Brooks C, Hopkins P, Mccoy F, Tedrow J | |||
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II) | |||
| addressee name = | |||
| addressee affiliation = | |||
| docket = 05000327, 05000328 | |||
| license number = | |||
| contact person = | |||
| case reference number = RTR-NUREG-0737, RTR-NUREG-737, TASK-2.F.1, TASK-TM | |||
| document report number = 50-327-86-62, 50-328-86-62, IEB-80-06, IEB-80-6, NUDOCS 8703240418 | |||
| package number = ML20207T898 | |||
| document type = INSPECTION REPORT, NRC-GENERATED, INSPECTION REPORT, UTILITY, TEXT-INSPECTION & AUDIT & I&E CIRCULARS | |||
| page count = 17 | |||
}} | |||
See also: [[see also::IR 05000327/1986062]] | |||
=Text= | |||
{{#Wiki_filter:nu, -- | |||
UNITE'1lll STATES | |||
g pm REIg'o, NUCLEAR HEGULATORY COMMISSION | |||
.[ p REGION ll | |||
, , 101 MARIETTA STREET, N.W. | |||
* * ATLANTA, GEORGI A 30323 | |||
%, ,/ | |||
.... | |||
Report Nos.: 50-327/86-52 and 50-328/86-62 | |||
Licensee: -Tennessee Valley" Authority | |||
6N11 B Missionary Place. | |||
1101 Market Street | |||
Chattanooga, TN 37402-2801 ,, | |||
' | |||
Docket Nos.: 50-327 and 50-328 License Nos.: DRP-77 and DRP-79 | |||
Facility Name: Sequoyah Units 1 and 2 | |||
Inspection Conducted: November 12-21, 1986 | |||
Inspectors: M | |||
M. Branch, Inspectiotr | |||
'lh[T7 | |||
- | |||
am Leader 'Date Signed | |||
24v ,w | |||
W. Beafden, esident spector, Bellefonte / Dete Signed | |||
A sident Ins ctor, Browns Ferry | |||
iA/n | |||
/ Date Signed | |||
C. Brodks,} | |||
n R /, z/Wr7 | |||
.<v P. Hop' kins, Resident f In ector, V. C. Summer Date Signed | |||
- | |||
f " / 9 fY'7 | |||
J. Tedrow, Resi ent Inspector, Cr s, al River- Date Signed | |||
Approved by: | |||
F. McCoy', Section Chief v- | |||
/[ 2 rh | |||
D~ ate' Signed | |||
Division of TVA Projects | |||
SUMMARY | |||
Scope: This special. announced inspection was conducted in the areas of | |||
- | |||
Engineering Change Notice (ECN) close-out and review of the transitional design | |||
change ECN program as described in the Sequoyah Performance Plan. | |||
In the areas inspected two violations were identified. The first | |||
' | |||
Results: | |||
violation, discussed in paragraph 8.1, involved a failure of the Design- | |||
Organization to evaluate and properly disposition manufacturer's requirements | |||
associated with the installation of the Containment Hydrogen Monitors for both | |||
; units. The second violation, discussed in paragraph 9, idertified by the . | |||
l licensee, involved a failure to establish a program required by the Nuclear | |||
i Quality Assurance Manual (NQAM) tc ensure long-term commitments implemented | |||
! into procedures /instrtctions are not deleted by subsequent revisions. | |||
l | |||
8703240418 870304 7 | |||
PDR ADOCK 050 | |||
G | |||
- - . - - .. . . , . - - _ . . .. . -- -. - . . - - - . . - . - | |||
., . . . .. .. - __ _ _- _ __- - | |||
- | |||
* | |||
. | |||
REPORi DETAILS | |||
-1. Persons Contacted | |||
Licensee Employees | |||
P. R. Wallace, Plant Manager | |||
B. M. Patterson, Maintenance Superintendent | |||
*N. E. Andrews, Site Quality Manager | |||
*G. B. Kirk, Compliance Licensing Supervisor | |||
k. W. Olson, Modifications Branch Manager | |||
M. R. Sedlacik, Electrical Section Manager, Modifications Branch l | |||
, R. M. Mooney, Systems Engineering Supervisor | |||
*J. F. Weinhold, Engineering Assurance Manager | |||
*A. H. Ritter, Engineering Assurance Engineer | |||
i | |||
*M. P. Berardi, Engineering Assurance Advisor l | |||
*J. W. Kelly, Engineering Assurance Engineer | |||
*D. L. Widner, Modifications Supervisor | |||
*C. R. Winton, Modifications Engineer | |||
*W. L. Elliott, Engineering EQ Project Manager | |||
*R. T. Holliday, Division of Nuclear Engineering | |||
L *M. A.-Purcell, Compliance Engineer | |||
*M. Cooper, Compliance Engineer | |||
Other licensee employees contacted included technicians, operators, | |||
l shift engineers and maintenance personnel. | |||
l- | |||
l NRC Resident Inspectors Contacted: | |||
! | |||
1 | |||
*K. Jenison | |||
*P. E. Harmon | |||
D. P. Loveless | |||
W. K. Poertner | |||
Additional NRC Personnel Contacted: | |||
*E. V. Imbro, Section Chief, IE | |||
*R. E. Architzel, Senior Inspection Specialist, IE | |||
*W. L. Belke, Quality Assurance Engineer, IE | |||
' | |||
* Attended exit interview | |||
2. Exit Interview | |||
The inspection scope and findings were summarized on November 21, 1986, with | |||
those persons indicated by an asterisk in paragraph one above. The follow- | |||
ing new items were discussed: | |||
a. Violation (327/86-62-02 and 328/86-62-09), Failure to properly control | |||
the design process paragraph 8.1. | |||
' | |||
- | |||
_. ___ _ _________.________.____ _ | |||
- _ _ _ _ _ _ _ _ _ _ _ _ _ _ | |||
* | |||
. | |||
2 | |||
b. Licensee Identified Violation (328/86-62-14), Failure to establish | |||
programs regarding commitments established by Design Division | |||
Procedures paragraph 9. | |||
c. Unresolved Item (328/86-62-07), Radiation Protection review of pene- | |||
trations in sh,ield building paragraph 8.1. | |||
' | |||
. | |||
*d. Unresolved Item (327/86-62-01 and 328/86-62-08), Adequacy of H2 | |||
analyzer to meet operability requirements of Technical Specification | |||
(TS) 3.6.4.1 paragraph 8.1. | |||
*e. Unresolved Item (327/86-62-03 and 328/86-62-11), Evaluation of USQD for | |||
l change 3 to FSAR on H2 analyzer accuracy paragraph 8.1. | |||
; | |||
* f. Inspector Followup Item (328/86-62-01), ECN closeout check list - | |||
paragraph 5. | |||
g. Inspector Followup Item (328/86-62-02), Need to close ECNs prior to | |||
restart paragraph 5. | |||
h. Inspector Followup Item (328/86-62-03), Followup of revised calcula- | |||
tions for effects of radiation on device qualification paragraph 6. | |||
*i. Inspector Followup Item (328/86-62-04), Review of final revision of | |||
Al 19, part IV and ensure time commitments for ECN closecut and drawing | |||
update is established paragraph 7. | |||
j. Inspector Followup Item (328/86-62-05), . Correction of FSAR Table | |||
6.3.2-4 paragraph 8.a. | |||
k. Inspector Followup Item (328/86-62-06), Evaluate the need for TS change | |||
to reflect the addition of Main Feed Pump Trip. Also the need for | |||
written guidance in determining when a TS change is needed, should be | |||
evaluated paragraph 8.b. | |||
*1. Inspector Followup Item (328/86-62-10), Need to establish 30 minute | |||
activation requirement for H2 analyzer paragraph 8.1. | |||
m. Inspector Followup Item (328/86-62-12), Followup of battery room | |||
deficiencies paragraph 8.m. | |||
n. Inspector Followup Item (328/86-62-13), Correction of FSAR irregulari- | |||
ties described in Corrective Action Report (CAR) SQ-CAR-86-021 - | |||
paragraph 9. | |||
o. Inspector Followup Item (328/86-62-15), Followup of corrective action | |||
for deficiency in long-term commitment maintenance paragraph 9. | |||
* Indicates items not discussed in November 21, 1986 Exit, but were discussed | |||
with L. Nobles on a phone call December 18, 1986. | |||
4 | |||
'l | |||
* ' | |||
. | |||
3 | |||
The licensee acknowledged the inspection findings with no dissenting com- | |||
ments. The licensee did not identify as proprietary any of the materials | |||
provided to or reviewed by the inspectors during this inspection period. At | |||
no time during the inspection period did the inspectors provide written | |||
material to the licensee. | |||
3. Licensee Action on Previous Enforcement Items (92702) | |||
4 | |||
This area was not inspected. | |||
4. Unresolved Items | |||
Unresolved items are matters about which more information is required to | |||
: determine whether they are acceptable or may involve violations or devia- | |||
tions. Three unresolved items were identified during this inspection | |||
(paragraph 8.1). | |||
5. Engineering Change Notice (37700) | |||
ECN Closeout | |||
This portion of the inspection was to assess the licensee activities asso- | |||
ciated with closeout of ECNs. A brief description of identified problem | |||
associated with ECN closecut along with the licensee's new closeout process | |||
is provided for clarity. The new Transitional Design Change ECN program is | |||
not part of this discussion but is described in detail in paragraph 6 of | |||
this report. | |||
The ECN is the vehicle used by Ti!A Engineering to evaluate and approve | |||
changes to the physical plut. Changes to the facility are allowed by | |||
10 CFR part 50.59 provided the written safety evaluation for the proposed | |||
modification determines that an unreviewed safety condition will not be | |||
created by the modification. Additionally,10 CFR Part 50, Appendix B, | |||
Criterion III, Design Control, requires that design changes, including field | |||
changes, be subject to design control measures commensurate with those | |||
applied to the original design. To implement this design change into a | |||
plant modification additional programs and procedures are utilized. | |||
The modification program, discussed in paragraph 7 of this report, converts | |||
the design change into a physical plant modification. However, in the past, | |||
procedures necessary to feedback to the design organization actual modifi- | |||
cation vs. proposed modifications were ineffective. This resulted in a | |||
disconnect between the design and operating organization in the area of | |||
design control. An essential part of this operations / design feedback | |||
process should be the closure of the ECN which then establishes the design | |||
basis for additional modification. Currently only 145 of the 1400 safety | |||
i related ECNs have been closed. In August 1985, TVA established an ECN | |||
closeout group consisting of approximately 12 full time personnel. The | |||
purpose of this group was to establish closecut criteria and perform close- | |||
out reviews of the modification packages. These reviews by the operating | |||
_ _ _ -- _- | |||
_ _ _ _ - - , - _ _ _ _ , _ _ _ _ _ _ _ _ _ _ | |||
n | |||
* | |||
. | |||
4 | |||
organization were documented on a closecut form which provided the basis for | |||
closeout of the ECN by the Engineering organization. Initially, this | |||
closure checklist was established by Modification Group Letter (MODL) A-23; | |||
however, it was later integrated into Administrative Instruction (AI) 19 | |||
(Part IV),'" Plant Modifications: After Licensing." | |||
The check list currently being used by the task group is more detailed than | |||
the one presently in AI 19 (Part IV). The inspector identified to the | |||
licensee the need to update the AI-19 checklist so as to have only one | |||
inclusive list for ECN closeout. This item is identified as Inspector | |||
Followup Item (IFI 328/86-62-01). | |||
The inspector reviewed several ECN closure packages to determine the | |||
number and nature of the specific findings. Of the 5 ECN closure | |||
packages reviewed, the inspection revealed that most of the problems | |||
identified through the closecut project were of the drawing update nature. | |||
Additionally, the inspector reviewed the closeout criteria established by | |||
the closeout form. The closecut criteria included on the form are as | |||
follow: | |||
- | |||
Review all Work Plans (WP) and Field Change Requests (FCR) necessary | |||
to accomplish the ECN. . | |||
- | |||
Verify that the Office of Engineering has listed all affected drawings | |||
and FCRs on the final inventory sheet. | |||
- | |||
Verify ECN revision list matches the list contained in the WP. | |||
- | |||
Verify that all drawings have been updated. | |||
Problems associated with the ECN process are discussed in Section II.3 and | |||
III.2 of the Sequoyah Nuclear Performance Plan; however, no mention of a | |||
schedule or a commitment to close ECNs prior to restart could be found. | |||
Closure of ECNs appear prudent as the closure review is the vehicle which | |||
triggers the FSAR update process as well as ensuring that drawings are | |||
revised. TVA's schedule and reasoning for not closing ECNs prior to restart | |||
is the subject of a separate letter from Region II to TVA dated December 18, | |||
1986, and will be tracked as Inspector Followup Item (IFI 328/86-62-02). | |||
6. Transitional Design Control System | |||
In Section II.3.3 of the Sequoyah Nuclear Performance Plan, TVA committed to | |||
implementing a transitional design control system prior to restart. The | |||
purpose of the transitional program is to correct some of the root causes of | |||
past design control problems at Sequoyah and to facilitate implementation of | |||
the permanent upgraded design control program. The performance plan does | |||
not contain sufficient detail on this subject, however, the inspector was | |||
provided a copy of the TVA Division of Nuclear Engineering Design Change | |||
Process Improvement Program, dated July 1986 which describes in detail both | |||
the transitional and permanent programs and assigns responsibilities for | |||
implementation. This document explains that since the permanent program | |||
won't be implemented until sometime after restart, the transitional system | |||
. | |||
5 | |||
is necessary to ensure once the Design Baseline and Verification Program | |||
(DBVP) has reestablished the plant design basis and configuration control, | |||
that it is properly maintained. This.is the criteria to which_the program | |||
was judged during this inspection. No evaluation was made as to the | |||
effectiveness of the program in easing the transition to the new program or | |||
as to how comprehensive it was in correction of root causes. | |||
The Design Change Improvement Program Plan required that each site develop | |||
procedures to implement the transitional system. At Sequoyah, this | |||
procedure is Sequoyah Engineering Procedure SQEP-13, " Procedure for | |||
Transitional Design Change Control," Revision 1. The inspector reviewed the | |||
procedure and found that it adequately addressed all of the aspects of the | |||
program plan and satisfied the commitments of the Sequoyah performance plan. | |||
Adequate provisions are contained either in SQEP-13 or through . reference to | |||
other Nuclear Engineering Procedure (NEPs), Standard Practices or other | |||
administrative instructions to assure that the design basis is properly | |||
referenced and maintained and that the DBVP efforts are not compromised. | |||
Key elements of the program are discussed below: | |||
- | |||
The modification package will be reviewed as a whole to ensure that it | |||
is suitable for its intended purpose, represents a complete and high | |||
quality engineered modification, can be effectively installed and | |||
tested, and that all documentation is traceable to permit updating upon | |||
completion, and reflects the actual plant configuration. | |||
- | |||
A responsible modification package DNE task engineer will be assigned | |||
to ensure the design work is identified and p9: formed, the package is | |||
assembled correctly, completed, reviewed, and closed. | |||
- | |||
The design modification shall be for a single unit and be of manageable | |||
size to permit implementation within the defined period. The review / | |||
approval process will include a . review of the completed modification | |||
package, performance of USQD reconciliation to the FSAR and will result | |||
in revisions to affected design documents as necessary after installa- | |||
tion and testing to represent the final design conditions. | |||
The licensee is currently implementing SQEP-13 on a case-by-case basis | |||
(i.e., only on new modifications) until restart, at which time all modifica- | |||
tions will be controlled by it. About 60 Engineering Change Notices are in | |||
various stages of preparation using SQEP-13; however, none have yet been | |||
completed through the design stages. Following design completion, the | |||
modification will be turned over to plant modifications for physical work. | |||
It will be sometime (possibly after restart) until a modification has gone | |||
through the complete cycle to closure. For this reason it was not possible | |||
to evaluate implementation of the transitional program. | |||
An indepth look into design inputs was made as a spotcheck on the compre- | |||
hensiveness of the transitional program. SQEP-13 references NEP 3.2, | |||
" Design Inputs," for the assimilation cf modification design criteria. NEP | |||
3.2 in turn requires that design inputs for all structures, systems and | |||
components be identified, documented, and preserved. These criteria shall | |||
r | |||
- | |||
. | |||
6 | |||
be incorporated in a Design Basis Document (DBD). The DBD is to be the | |||
single source document in which licensing commitments are made and where | |||
design documentation is maintained. The DBD does not yet exist (except in | |||
partial draft form) but input for the Safe Shutdown Systems will be com- | |||
pleted prior to restart since this is an integral step in the DBVP. Design | |||
Criteria Documents, however, do exist and are used in lieu of the DBD for | |||
new modifications. | |||
The inspector accumulated all of the design criteria for the Control | |||
Building Emergency Pressurization (CBEP) System. This consisted of | |||
SQN-DC-V-13.9.6, Control Building Ventilation Design Criteria which | |||
referenced other general design criteria as well as specifying the | |||
environmental conditions and environmental design criteria. During review | |||
of this material, the value for post-accident radiation exposure appeared | |||
questionable. An engineer involved in the 10 CFR 50.49 review indicated | |||
that the value did not initially include a source from the charcoal loading | |||
which would occur throughout the 100-day . cident period but that a revised | |||
calculation was in progress. Additionally, ECN-L7000, Addition of required | |||
supports to the Main Steam Dump Header, ECN-L7027, Seal electrical conduit | |||
penetrations between the Auxiliary Building and Turbine Building, and | |||
ECN-L7013, Replacement of Sample Pumps and Motors for the containment | |||
yydrogen analyzers, were reviewed. Although these ECNs had not yet com- | |||
pleted the full design review and approval process, these ECNs were reviewed | |||
to determine how the transitional system was being implemented. The | |||
in process ECNs were being implemented per the transitional program | |||
requirements. One deficiency was noted with the modifications criteria | |||
(Attachment A of NEP 3.2) of ECN-L7013. The regulatory requirement section | |||
failed to make reference to NUREG 0737, Clarification of TMI Action Plan. | |||
No other deficiencies were noted. This was identified to the licensee for | |||
correction. | |||
Followup of the revised radiation calculations for device qualification if | |||
the post-accident radiation environment is increased is identified as | |||
Inspector Followup Item (IFI 328/86-62-03). | |||
7. Review of Modification Process. | |||
The inspector reviewed the draft revision of procedure (AI 19 part IV, | |||
" Plant Modification After Licensing"). This procedure specifies the control | |||
process necessary to convert work specified in the ECN into a completed | |||
field modification. The process is described as follows: | |||
- | |||
Design Change Request (DCR) written by plant | |||
- | |||
Change Control Board reviews DCR | |||
- | |||
ECN developed by engineering along with safety review | |||
- | |||
ECN received by the plant modification group from engineering | |||
- | |||
Work listed on outstanding work list | |||
* | |||
. | |||
7 | |||
- | |||
Work Plan (WP) written to field implement the ECN (several work plans | |||
may be necessary to implement the entire ECN) | |||
- | |||
Operations align system as necessary to implement WP | |||
- | |||
WP. field completed | |||
- | |||
Post-modification or functional test accomplished | |||
- | |||
System returned to operations and control room drawing updated | |||
- | |||
Review for TS and procedures update by plant staff. Also feed back to | |||
update the simulator is initiated | |||
- | |||
ECN closeout review by modification group which should drive update the | |||
of all drawings | |||
- | |||
ECN closure recommended by modification to engineering | |||
- | |||
Engineering ECN closure drives 10 CFR 50.71 annual FSAR update | |||
The problems identified by the inspector during this review include the | |||
following: | |||
1) No time limit to review and close the ECN has been established. Since | |||
the ECN closure is the review to ensure all drawings -are updated, a | |||
time limit to review ECNs after field completion should be established. | |||
2) Since 10 CFR 50.71 required the annual update of the FSAR to be current | |||
within 6 months of the modification, a commitment to review and close | |||
ECNs in a timely manner after field completion of the modification is | |||
needed. | |||
The above two items are identified as weaknesses in the ECN/ modification | |||
process and should be addressed by the final revision of AI 19, Part IV, | |||
which will implement the transitional ECN program. These two items as well | |||
as the review of the final revision of AI 19, Part IV is identified as | |||
Inspector Followup Item (IFI 328/86-62-04). | |||
8. Design, Design Changes, and Modifications (37700) | |||
The inspector reviewed several WPs for technical adequacy, proper review and | |||
approval, adequacy of safety evaluation, as well as drawing and procedure | |||
update. Field installation was reviewed and verified on several of the ECNs | |||
reviewed. Additionally, the inspector reviewed the modifications to ensure | |||
* | |||
. | |||
8 | |||
that the entire ECN scope was implemented by the combination of WPs. | |||
WPs reviewed as well as inspection findings are as follow: | |||
a. Engineered Safety Feature (ESF) Reset Controls | |||
The licensee initiated ECN L5734 in response to IE Bulletin 80-06. | |||
This Bulletin described circumstances under which resetting certain ESF | |||
alone resulted in equipment changing positions from their emergency | |||
mode to their normal mode. The ECN changed the control circuit for RHR | |||
heat exchanger outlet valves 2-FCV-74-16 and -28 so that the valves | |||
would remain in their emergency position after the Safety Injection | |||
(SI) signal was reset. WP 10600 implemented this ECN which basically | |||
consisted of adding a reset switch in the control room such that the | |||
valves would remain in their emergency position after SI system reset | |||
until the additional component reset was switched. Neither the ECN or | |||
WP required that the FSAR be revised to reflect the change in | |||
valve control. Table 6.3.2-4 of the FSAR lists the sequence of change- | |||
over operation from injection to recirculation for the RHR System. | |||
This sequence described manipulation of FCV-74-16 and 28 in Step 2; | |||
however, without resetting the SI actuation signal and the newly | |||
installed reset switch, these valves would remain fully open. A | |||
licensee representative indicated that the sequence of operation | |||
described in FSAR Table 6.3.2-4 was not correct and did not agree with | |||
Emergency Instruction E11.2, Revision 2, Transfer to RHR Containment | |||
Sump. An Inspector Followup Item will be assigned to track correction | |||
of the FSAR (IFI 328/86-62-05). | |||
The inspector noted that the ECN closure verification form discussed in | |||
paragraph 5 above does not include a check to ensure that the FSAR was | |||
changed (if required). There was no assurance that similar examples of | |||
failure to update the FSAR would be corrected. A licensee representa- | |||
tive indicated that instead of checking this during the ECN closure | |||
verification, a separate task force was being developed to correct FSAR | |||
deficiencies. This task force is to be assembled as part of the | |||
corrective action for CAR 86-04-021 discussed in a separate paragraph | |||
of this report. | |||
b. Addition of Main Feed Pump Trip Signal | |||
ECN L5632 was initiated in May 1982 to correct an adverse condition on | |||
the feedwater system. The condition resulted from pressure surges in | |||
the feedwater piping following a feedwater isolation with the Main Feed | |||
Pump (MFP) still running. The modification added a trip signal to the | |||
MFP circuitry such that upon a reactor trip coincident with low T-avg, | |||
the MFP trips (in addition to the already existing feedwater isola- | |||
tion). | |||
The ECN coversheet indicated that a potential TS change was involved. | |||
The Unreviewed Safety Question Determination (USQD) associated with | |||
this ECN detailed this concern by stating that "although the FSAR | |||
accident analysis does not take credit for feedwater isolation due to | |||
* | |||
. | |||
9 | |||
low T-Avg coincident with a reactor trip, the existence of this isola- | |||
-tion does provide redundancy and diversity in the design for accident | |||
mitigation." Since the basis for TS 3/4.3.2 includes instrumentation | |||
required to provide for reliability, redundancy and diversity not | |||
otherwise taken credit for in the FSAR analysis, the USQD concluded | |||
that this instrumentation may need to be added to TS 3/4.3.2, Engi- | |||
neered Safety Feature Actuation System Instrumentation. Furthermore, | |||
Westinghouse provided a Safety Evaluation on the MFP trip signal and | |||
also indicated that a change to the plant TS may be in order. No | |||
documentation could be located to show how this recommendation was | |||
dispositioned. Although, a sign-off on the WP control form for WP No. | |||
9733 was completed, indicting that a TS change was received, this trip | |||
function was never added to the TS. Licensee representatives indicated | |||
that an undocumented evaluation made by the modifications engineer | |||
determined that no TS change would be required. Since this is a rather | |||
unique situation (evaluating the need to add previously not included | |||
functions and equipment operability requirements to the TS), the | |||
inspector pursued whether the licensee had developed any criteria with | |||
which to make this judgment. Since 10 CFR 50.36 does require that the | |||
TS be based upon the FSAR as well as amendments to the FSAR, the | |||
regulations did foresee the need to add equipment to the TS as modifi- | |||
cations are made to the p~ ant. There is no written guidance at | |||
Sequoyah to aid in making this determination. The inspector requested | |||
that Sequoyah licensing reevaluate the necessity for adding this | |||
function to the TS. This will be tracked as an Inspector Followup Item | |||
(328/86-62-06). | |||
c. Control Room Smoke Removal Fan Replacement, Dampers Addition | |||
ECN L5140 as implemented by WP 8340 and WP 8573 replaced the belt | |||
driven control room smoke removal fan with a direct driven type fan. | |||
Dampers FCO-31A-105D and FC0-31-106D were added, ducting rerouted and | |||
position indicating lights added to control room panel 1-M-9 for the | |||
new dampers. The inspector noted that the damners and associated | |||
indicating lights were not part of the present plant configuration. | |||
Further investigation and discussions with licensee personnel revealed | |||
that dampers FC0-31A-1050 and FC0-31A-106D and associated indicating | |||
lights were removed under ECN L5274. No deficiencies were identified. | |||
d. Control Room HVAC Damper Replacement | |||
ECN L5274 as implemented by WP 8669, WP 8680, WP 10435 and WP 12205 | |||
provided for replacement of dampers FCO-31A-105A, B&D and FC0-31A-106A, | |||
B & D with a single pair of motor operated butterfly valves. The | |||
replacement valves FCV-31-105A and FCV-31-106A we.e intended to provide | |||
better isolation during control room HVAC isolation. No deficiencies | |||
were identified. | |||
e. Installation of Containment Pressure Indication | |||
ECN L5141 as implemented by WP 3521 and WP 3542 provided for installa- | |||
tion of two continuous containment pressure indications in the Control | |||
- | |||
. | |||
10 | |||
Room. This 'ECN was a post-TMI modification as required by item 2.1.10 | |||
of NUREG-0578 which called for addition of-sensors to monitor contain- | |||
ment pressure in the containment using transmitters qualified to IEEE | |||
323-1971. Additionally, this system must meet the requirements of | |||
Regulatory Guide 1.97. The inspector noted from the review that the | |||
ECN did provide containment pressure indication as required but did not | |||
provide any mode of continuous recording as required by Regulatory | |||
Guide 1.97. Further investigation and discussion with licensee | |||
personnel revealed that containment recorders were installed under | |||
ECN L5196. No deficiencies were noted. | |||
f. Installation of Containment Pressure Recorders | |||
ECN 5196 as implemented by WP 10666 provided for installation of | |||
continuous containment pressure recorders in order to complete a | |||
portion of post-TMI requirements as discussed in paragraph e above. | |||
Under this ECN pressure recorders .1-PR-30-310 and 1-PR-30-311 were to | |||
be installed in the control room on panel 1-M-9; however, due to the | |||
Unit 1 instruments not being received at site, spare recordere on | |||
Unit 2 control panel 2-M-9 are being temporarily utilized until the | |||
recorders are received and put in service. The ECN will remain open | |||
pending completion of work under a later WP. | |||
g. Reactor Coolant System Pressure Transmitter Installation | |||
ECN L6055, WP 11173, WP 11174, WP 11193 and WP 11226 installed an | |||
additional Reactor Coolant System wide range pressure transmitter | |||
(PT-68-69) and relocated two others (PT-68-66 and PT-68-59). These | |||
transmitters provide inputs to the cold over pressure protection and | |||
reactor vessel level instrumentation (RVLIS) systems. The WPs were | |||
reviewed to insure that the scope of the ECN was fully implemented and | |||
that these modifications complied with regulatory requirements. No | |||
deficiencies were noted. | |||
h. Changing Setpoint of Auxiliary Control Air Compressors | |||
ECN L5994 and WP 9390 increased the air pressure start setpoint for the | |||
auxiliary control air compressors and removed the internals from the | |||
following auxiliary control air system check valves: 32-262, 32-268, | |||
32-329, and 32-328. The work plans were reviewed to check that the | |||
scope of the ECN was fully implemented and that regulatory requirements | |||
were met. No deficiencies were noted. | |||
i. Installation of Capillary Tubing for RVLIS System | |||
ECN 2768 and WP 10995 installed capillary instrument tubing for the | |||
RVLIS system. The inspector reviewed the WP and partially walked down | |||
portions of this modification. No discrepancies were noted. | |||
. | |||
11 | |||
, | |||
j. Pressure Boundary-Integrity | |||
ECN 6050 was initiated to upgrade the high pressure fire protection | |||
system (HPFP) in the mechanical equipment room EL732.0, so that the | |||
piping will retain pressure boundary integrity retention as required | |||
~ | |||
during a seismic event. No deficiencies were noted. | |||
k. Purge Air Exhaust Fan 1A and Back Draft Damper Modification | |||
ECN 5192 and WP 8474 were inspected for accuracy and to ascertain if. | |||
the procedural process had been followed and closecut was adequate. | |||
The preoperational test deficiency report showed that the backdraft | |||
dampers on the discharge of the reactor building (RB) exhaust fans were | |||
damaged due to excessive DP across the damper. Subsequent evaluations | |||
indicated that some of the dampers were not needed, and they were | |||
therefore removed. The remaining dampers were replaced with a heavier | |||
duty designed damper. | |||
A walkdown of the physical installation along with associated drawings, | |||
FCNs, _ WPs, FSARs and TS requirements was accomplished. Closeout | |||
procedures for the associated documents appeared to be well esta- | |||
blished. No deficiencies were identified. | |||
1. Hydrogen Analyzer Modification | |||
ECN L6032 as implemented by WP 11110 and WP 11119 relocated the cali- | |||
bration system as well as numerous electrical components on the con- | |||
tainment hydrogen (H2 ) analyzer. This relocation was necessitated | |||
because components of the H 2 analyzers located in the annulus area | |||
between the containment liner and shield building were not environ- | |||
mentally qualified for the expected post accident radiation field. The | |||
inspector review of this modification which included field verification | |||
of installation identified a potential problem regarding the effects of | |||
penetrations through the reactor shield building. Specifically, | |||
ECN-L6032 involved several penetrations in the shield building through | |||
the shield wall. The ECN was silent on die effect of these penetra- | |||
tions on the shielding capability of the wall or ALARA. Both the | |||
profile and the location of a penetration can have an impact. | |||
Further review of this item by members of the Design Baseline Verifi- | |||
cation Inspection Team resulted in the following discussion: | |||
- | |||
The radiation protection section located in Knoxville, indicated | |||
that all penetrations in the shield wall need to be reviewed for | |||
an effect on ALARA as well as impact on shielding of equipment and | |||
.- -- .- - ..._. - -. | |||
* | |||
. | |||
12 | |||
components from potentially damaging radiation. The review is | |||
intended to prevent penetration locations that are in-line of | |||
radioactively hot equipment or those that cross a path for per- | |||
sonnel access. Evidence was found to suggest that the radiation | |||
protection section did review and approve the technical content of | |||
the ECN prior to implementation. However, the review of drawings | |||
which showed the location, number and size of the penetrations | |||
showed no evidence of participation by the radiation protection | |||
section in the squad review. A squad review is a discipline | |||
interface review by the drawings which depict a modification. The | |||
drawings reviewed by the inspector were 47W470-2 and 47W471-15. | |||
On these drawings there is a total of four revisions that result | |||
from the changes required to implement ECN L6032. The revisions | |||
resulting from ECN L6032 on Drawing 47W470-2 are 31 (dtd. 2/3/84), | |||
32 (dtd 10/23/84), and 33 (dtd 12/26/86). Drawing 47W471-15 had a | |||
single revision resulting from ECN-L6032 which is 39 (dtd. | |||
10/23/84). None of these revisions have any indication that the | |||
radiation protection section was involved in the squad review for | |||
the modification. The penetrations in question are located at | |||
elevation 734 which is the refueling floor and location of the | |||
control room. In one location there is a mechanical equipment | |||
room inside the shield wall. At another location the emergency | |||
gas treatment equipment is located inside the shield wall. The | |||
lack of interface review of drawings by the radiation protection | |||
section was identified as a problem by INP0 for instances of local | |||
electrical control panels being located in areas where personnel | |||
would receive inordinately high radiation doses when operating the | |||
controls. | |||
TVA was requested to provide the inspector with any additional information | |||
to support the adequacy of the radiation protection review of the modifi- | |||
, | |||
cation. This item is identified as unresolved item (URI 328/86-62-07) | |||
pending receipt and review of any additional information provided by TVA. | |||
During the review of the modification to the H2 analyzer, the inspector | |||
noted problems with the initial installation of the H2 analyzers for both | |||
Units 1 and 2. The original H2 analyzers installed in the 1978 time frame | |||
were later upgraded to satisfy the requirements of NUREG 0737, "TMI Action | |||
Plan." | |||
NUREG 0737, item II.F.1 (6), " Containment Hydrogen Monitor" required the | |||
accuracy and placement of the H 2 monitors be provided and justified to be ' | |||
adequate for their intended function. TVA in their December 10, 1980 letter | |||
(L. M. Mills to A. Schwencer, NRC) on TMI Action Plan item II.F.1 (6) | |||
described the system as follows: "As a result of the analyzer capability | |||
and the mixing afforded by the hydrogen collection system which draws from | |||
compartments within the containment and the containment dome a true indica- | |||
tion will be given of the hydrogen concentration within containment. The | |||
analyzers are calibrated to measure hydrogen concentrations between zero and | |||
ten percent with an accuracy of plus or minus one-tenth of one percent...." | |||
. | |||
13 | |||
The field installation of the H monitors | |||
2 for both Units 1 and 2 did not | |||
implement the vendor (Consip Delphi, Inc.) requirement regarding sample line | |||
slope and insulation. The failure to properly route and insulate the sample | |||
line results in the condensation of moisture for the containment post- | |||
accident H z sample in-route to the detector. This installation can create | |||
two potential problems: 1) water traps present a torturous path for the H 2 | |||
gas to reach the detector although the vendor did indicate, in a phone call, | |||
that the pump was capable of pumping any water that reaches the analyzer, | |||
2) a true reading of containment vapor H2 concentration is not possible as | |||
long as actual containment moisture is greater than that the detector sees. | |||
The vendor indicated the reading could be higher than actual by as much as a | |||
factor of 5 although TVA analysis, performed at the inspector's request, | |||
indicates a lesser error. These inaccuracies appear to be in the conserva- | |||
tive direction; however, decisions made based on the H g indication are not | |||
conservative. Specifically, Sequoyah Function Restoration Guidelines FR-Z1, | |||
" Response To High Containment Pressure," instructs the operator to NOT place | |||
H2 recombiners in service and to consult technical support center for | |||
containment hydrogen purge instructions if H 2 indication is > 6%. These | |||
actions, if based on erroneous high Hz indication, would be noli-conservative | |||
and may result in post accident complications. | |||
The installed system does not appear to provide the degree of accuracy | |||
originally claimed in TVA's December 10, 1980 letter and on a subsequent | |||
change to Section 6.2.5.3 of the Sequoyah FSAR the described accuracy was | |||
changed to plus or minus 1.5 percent hydrogen. Region II has requested a | |||
review of the present installation by the office of Nuclear Reactor Regula- | |||
tion (NRR) in order to determine system adequacy to satisfy the requirement | |||
of NUREG 0737 and TS 3.6.4.1. | |||
The adequacy of the installed system to satisfy the operability requirement | |||
of TS 3.6.4.1 is identified as Unresolved Item (URI 327/86-62-01, 328/86- | |||
62-08) pending NRR review. | |||
To determine root cause of why the designer failed to implement critical | |||
vendor installation requirements, the inspector reviewed the design control | |||
process inplace during the 1978 time frame. Additionally, the inspector | |||
reviewed the requirements of 10 CFR Part 50, Appendix B to determine what | |||
design control requirements should have been in place to ensure a quality | |||
end product. Criterion III of 10 CFR Part 50, Appendix B requires the | |||
design control process to include measures to ensure appropriate quality | |||
standards are specified and included in design documents and that deviations | |||
from these standards are controlled. TVA's current procedures for control- | |||
ling the design process are outlined in the Nuclear Engineering Manual. | |||
Procedures in this manual require design requirements be traceable to the | |||
output document which may include ECNs, drawings or procedures. This manual | |||
further requires the output to be consistent with the associated input | |||
documents or appropriately dispositioned. | |||
During the above review, the inspector discussed with the design engineers | |||
their basis for not including critical vendor requirements in their design. | |||
No basis or supporting calculations could be produced as to how the vendor | |||
. | |||
14 | |||
installation instructions were dispositioned. Tha inspector realizes that | |||
not all vendor recommendations are requiremants. This issue is being pursued | |||
as part of Generic Letter 83-28 and will not be discussed further in this | |||
report. However, when a vendor sells a product which has been qualified for | |||
a specific purpose, installation recommendations take on a higher degree of | |||
importance and proper disposition of these recommendations / requirements are | |||
necessary to ensure a quality installation. The failure to properly control | |||
the design of the H 2 analyzer system is a violation of 10 CFR Part 50, | |||
Appendix B Criterion III, Design Control (327/86-62-02 and 328/86-62-09). | |||
Several related items associated with the H2 analyzer installation were also | |||
identified. These items along with the inspector's concerns are listed | |||
below: | |||
- | |||
NUREG 0737 item II.F.1 (6) requires the H 2 analyzer be a continuous | |||
monitor or be activated within 30 minutes after receiving a SI signal. | |||
A review of the emergency instruction (EI) E-0, " Reactor Trip or Safety | |||
Injection," indicated no reference to activation of the H2 analyzer | |||
within 30 minutes of the SI. The inspector discussed this item with | |||
the group responsible for emergency procedures. The licensee indicated | |||
that task analysis has shown that if a true SI occurs, procedure E-0 | |||
will drive the operator to other procedures which will instruct the | |||
operator to activate the H 2 analyzer equipment. The inspector could | |||
find no time criteria established in any procedure review which would | |||
ensure the H2 analyzers are functioning within 30 minutes after an SI. | |||
This item is identified as Inspector Followup Item (IFI 328/86-62-10). | |||
- | |||
Revision 3 of the Sequoyah FSAR changed the specified accuracy of the | |||
H2 Anal | |||
+/- 15%yzer fromfor | |||
of scale thethe | |||
previous value toThe | |||
instrument. +/- inspector | |||
1.5% Hydrogen which | |||
requested thatisthe | |||
licensee produce a 10 CFR 50.59 safety evaluation which should have | |||
been performed prior to changing tne FSAR. The annual update of the | |||
FSAR is to ensure plant modifications made during the year are | |||
accurately reflected in the FSAR. It appears that TVA has used the | |||
FSAR update process to correct problems identified in the FSAR. It is | |||
the NRC position that changes to the facility as described in the FSAR, | |||
either physical or documentary, need to be supported by a 10 CFR 50.59 | |||
Safety). | |||
(USQD) | |||
Evaluation (TVA Unreviewed | |||
TVA was requested Safety | |||
to provide Question | |||
the USQD Determination | |||
for the identified | |||
change. This item is identified as Unresolved Item (URI 327/86-62-03 | |||
and 328/86-62-11) pending receipt and review of the USQD. | |||
m. Battery Room Thermostat Modifications | |||
ECN L5781 was written to raise the 125 VDC vital battery room thermo- | |||
stat settings from 60 F to 75 F. This change was necessary since no | |||
margin was available from the battery electrolyte temperature limit of | |||
l | |||
_ _ - _ | |||
r | |||
* | |||
. | |||
15 | |||
TS 4.8.2.3.2.b (3) which was also 60 F. The affected thermostats were | |||
TS-313-442, 468, 492 and 518. Actual thermostat settings were found to | |||
vary from this setpoint on November 20, 1986, as follows: | |||
THERMOSTAT ACTUAL | |||
LOCATION SETTING TEMPERATURE | |||
Vital Battery Room 1 78 F 64 F | |||
Vital Battery Room 2 82 F 57 F | |||
Vital Battery Room 3 75 F 72 F | |||
Vital Battery Room 4 85 F 66 F | |||
The equipment requirements were satisfied because only 2 of the 4 | |||
batteries are required to be operable for the existing plant condition, | |||
however, the condition of various components were cause for concern. | |||
The thermostats had apparently been adjusted to combat deficiencies | |||
with room exhaust fans and dampers. Inoperable exhaust fans and | |||
dampers allow a direct inlet of outside cold air to enter the rooms and | |||
exceed the capacity of the room heaters. The battery room 2 thermostat | |||
had two maintenance work request tags hanging on it. MRA-536440 was | |||
written on 10/10/85 because room temperature was too low. WR B292818 | |||
was written on 10/31/86, again describing a low room temperature | |||
problem. On the day of inspection, no temperature control was available | |||
since the space heater had been previously removed. Battery room 4 | |||
also had a work request tag (B202819) on the thermostat requesting a | |||
setpointadjustment. Since insufficient time was available for follow- | |||
up of the battery room temperature problems, an Inspector Followup Item | |||
(IFI 328/86-62-12) will be opened to track this concern. | |||
9. Independent Review | |||
Durinc the course of this inspection the inspectors became aware of a | |||
defic;iency associated with the quality of the Sequoyah FSAR. The licensee | |||
had identified through his corrective action program that a Significant | |||
Adverse Condition existed regarding the current updatad FSAR. This condi- | |||
tion was documented by CAR SQ-86-04-021 which was written on April 16, 1986. | |||
The CAR indicated that there is no assurance that Sequoyah is meeting the | |||
requirements of 10CFR 50.71 which recuires the FSAR to accurately reflect | |||
the actual plant and be current withi n 6 months of any modification which | |||
affects the FSAR. | |||
The conclusion stated on SQ-CAR-86-021 was that there is no assurance that | |||
the SQN FSAR is up to date. The root cause was determined to be inadequate | |||
procedures to ensure review of changes and documentation of these reviews. | |||
Stated corrective action will consist of the establishment of an inter- | |||
disciplinary task force to review past material which could have affected | |||
the FSAR such as procedures, correspondence, modifications, safety evalua- | |||
tions, analyses, design documents, etc. This work has not been scheduled | |||
or fully scoped as yet and has not been linked to unit restart. TVA's | |||
schedule and reasoning for not resolving the conditions described in | |||
l | |||
_ | |||
* | |||
. | |||
16 | |||
SQ-CAR-86-04-021 is the subject of a separate letter from Region II to TVA | |||
and will be tracked as Inspector Followup Item (328/86-62-13). | |||
Also during this inspection, the inspectors identified a weakness in the | |||
outside or;anizations. Specifically, Section 5.1.3 of the TVA Nuclear | |||
Quality Assurance Manual (NQAM) requires that a method be established to | |||
ensure long-term commitatnts implemented by procedures / instructions are not | |||
deleted by subsequent revisions. This NQAM requirement is implemented, for | |||
procedures generated by the plant operating organization, by Administrative | |||
Instruction (AI) 4.0, " Plant Instructions - Document Control." This AI | |||
requires .that commitments be listed in the reference section of the imple- | |||
menting procedure. Additionally, AI 4.0 requires that _ changes to the > | |||
implementing procedures _ not delete implemented commitments unless the | |||
commitment is canceled. | |||
The inspector could not locate a design division program commitment control | |||
similar to the program discussed above. It should note that an audit | |||
performed by the Quality Systems Branch (Rim L16 861104 895, dated | |||
November 5,1986) identified this same deficiency. This item is identified | |||
as Licensee Identified Violation (LIV - 328/86-62-14) and no notice will be | |||
issued. Followup review of the corrective action for this item is identi- | |||
fled as Inspector Followup Item (IFI 328/86-62-15). | |||
, | |||
}} |
Latest revision as of 12:32, 19 December 2021
ML20207T913 | |
Person / Time | |
---|---|
Site: | Sequoyah |
Issue date: | 02/09/1987 |
From: | Bearden W, Branch M, Brooks C, Hopkins P, Mccoy F, Tedrow J NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II) |
To: | |
Shared Package | |
ML20207T898 | List: |
References | |
RTR-NUREG-0737, RTR-NUREG-737, TASK-2.F.1, TASK-TM 50-327-86-62, 50-328-86-62, IEB-80-06, IEB-80-6, NUDOCS 8703240418 | |
Download: ML20207T913 (17) | |
See also: IR 05000327/1986062
Text
nu, --
UNITE'1lll STATES
g pm REIg'o, NUCLEAR HEGULATORY COMMISSION
.[ p REGION ll
, , 101 MARIETTA STREET, N.W.
- * ATLANTA, GEORGI A 30323
%, ,/
....
Report Nos.: 50-327/86-52 and 50-328/86-62
Licensee: -Tennessee Valley" Authority
6N11 B Missionary Place.
1101 Market Street
Chattanooga, TN 37402-2801 ,,
'
Docket Nos.: 50-327 and 50-328 License Nos.: DRP-77 and DRP-79
Facility Name: Sequoyah Units 1 and 2
Inspection Conducted: November 12-21, 1986
Inspectors: M
M. Branch, Inspectiotr
'lh[T7
-
am Leader 'Date Signed
24v ,w
W. Beafden, esident spector, Bellefonte / Dete Signed
A sident Ins ctor, Browns Ferry
iA/n
/ Date Signed
C. Brodks,}
n R /, z/Wr7
.<v P. Hop' kins, Resident f In ector, V. C. Summer Date Signed
-
f " / 9 fY'7
J. Tedrow, Resi ent Inspector, Cr s, al River- Date Signed
Approved by:
F. McCoy', Section Chief v-
/[ 2 rh
D~ ate' Signed
Division of TVA Projects
SUMMARY
Scope: This special. announced inspection was conducted in the areas of
-
Engineering Change Notice (ECN) close-out and review of the transitional design
change ECN program as described in the Sequoyah Performance Plan.
In the areas inspected two violations were identified. The first
'
Results:
violation, discussed in paragraph 8.1, involved a failure of the Design-
Organization to evaluate and properly disposition manufacturer's requirements
associated with the installation of the Containment Hydrogen Monitors for both
- units. The second violation, discussed in paragraph 9, idertified by the .
l licensee, involved a failure to establish a program required by the Nuclear
i Quality Assurance Manual (NQAM) tc ensure long-term commitments implemented
! into procedures /instrtctions are not deleted by subsequent revisions.
l
8703240418 870304 7
PDR ADOCK 050
G
- - . - - .. . . , . - - _ . . .. . -- -. - . . - - - . . - . -
., . . . .. .. - __ _ _- _ __- -
-
.
REPORi DETAILS
-1. Persons Contacted
Licensee Employees
P. R. Wallace, Plant Manager
B. M. Patterson, Maintenance Superintendent
- N. E. Andrews, Site Quality Manager
- G. B. Kirk, Compliance Licensing Supervisor
k. W. Olson, Modifications Branch Manager
M. R. Sedlacik, Electrical Section Manager, Modifications Branch l
, R. M. Mooney, Systems Engineering Supervisor
- J. F. Weinhold, Engineering Assurance Manager
- A. H. Ritter, Engineering Assurance Engineer
i
- M. P. Berardi, Engineering Assurance Advisor l
- J. W. Kelly, Engineering Assurance Engineer
- D. L. Widner, Modifications Supervisor
- C. R. Winton, Modifications Engineer
- W. L. Elliott, Engineering EQ Project Manager
- R. T. Holliday, Division of Nuclear Engineering
L *M. A.-Purcell, Compliance Engineer
- M. Cooper, Compliance Engineer
Other licensee employees contacted included technicians, operators,
l shift engineers and maintenance personnel.
l-
l NRC Resident Inspectors Contacted:
!
1
- K. Jenison
- P. E. Harmon
D. P. Loveless
W. K. Poertner
Additional NRC Personnel Contacted:
- E. V. Imbro, Section Chief, IE
- R. E. Architzel, Senior Inspection Specialist, IE
- W. L. Belke, Quality Assurance Engineer, IE
'
- Attended exit interview
2. Exit Interview
The inspection scope and findings were summarized on November 21, 1986, with
those persons indicated by an asterisk in paragraph one above. The follow-
ing new items were discussed:
a. Violation (327/86-62-02 and 328/86-62-09), Failure to properly control
the design process paragraph 8.1.
'
-
_. ___ _ _________.________.____ _
- _ _ _ _ _ _ _ _ _ _ _ _ _ _
.
2
b. Licensee Identified Violation (328/86-62-14), Failure to establish
programs regarding commitments established by Design Division
Procedures paragraph 9.
c. Unresolved Item (328/86-62-07), Radiation Protection review of pene-
trations in sh,ield building paragraph 8.1.
'
.
- d. Unresolved Item (327/86-62-01 and 328/86-62-08), Adequacy of H2
analyzer to meet operability requirements of Technical Specification (TS) 3.6.4.1 paragraph 8.1.
- e. Unresolved Item (327/86-62-03 and 328/86-62-11), Evaluation of USQD for
l change 3 to FSAR on H2 analyzer accuracy paragraph 8.1.
- f. Inspector Followup Item (328/86-62-01), ECN closeout check list -
paragraph 5.
g. Inspector Followup Item (328/86-62-02), Need to close ECNs prior to
restart paragraph 5.
h. Inspector Followup Item (328/86-62-03), Followup of revised calcula-
tions for effects of radiation on device qualification paragraph 6.
- i. Inspector Followup Item (328/86-62-04), Review of final revision of
Al 19, part IV and ensure time commitments for ECN closecut and drawing
update is established paragraph 7.
j. Inspector Followup Item (328/86-62-05), . Correction of FSAR Table
6.3.2-4 paragraph 8.a.
k. Inspector Followup Item (328/86-62-06), Evaluate the need for TS change
to reflect the addition of Main Feed Pump Trip. Also the need for
written guidance in determining when a TS change is needed, should be
evaluated paragraph 8.b.
- 1. Inspector Followup Item (328/86-62-10), Need to establish 30 minute
activation requirement for H2 analyzer paragraph 8.1.
m. Inspector Followup Item (328/86-62-12), Followup of battery room
deficiencies paragraph 8.m.
n. Inspector Followup Item (328/86-62-13), Correction of FSAR irregulari-
ties described in Corrective Action Report (CAR) SQ-CAR-86-021 -
paragraph 9.
o. Inspector Followup Item (328/86-62-15), Followup of corrective action
for deficiency in long-term commitment maintenance paragraph 9.
- Indicates items not discussed in November 21, 1986 Exit, but were discussed
with L. Nobles on a phone call December 18, 1986.
4
'l
- '
.
3
The licensee acknowledged the inspection findings with no dissenting com-
ments. The licensee did not identify as proprietary any of the materials
provided to or reviewed by the inspectors during this inspection period. At
no time during the inspection period did the inspectors provide written
material to the licensee.
3. Licensee Action on Previous Enforcement Items (92702)
4
This area was not inspected.
4. Unresolved Items
Unresolved items are matters about which more information is required to
- determine whether they are acceptable or may involve violations or devia-
tions. Three unresolved items were identified during this inspection
(paragraph 8.1).
5. Engineering Change Notice (37700)
ECN Closeout
This portion of the inspection was to assess the licensee activities asso-
ciated with closeout of ECNs. A brief description of identified problem
associated with ECN closecut along with the licensee's new closeout process
is provided for clarity. The new Transitional Design Change ECN program is
not part of this discussion but is described in detail in paragraph 6 of
this report.
The ECN is the vehicle used by Ti!A Engineering to evaluate and approve
changes to the physical plut. Changes to the facility are allowed by
10 CFR part 50.59 provided the written safety evaluation for the proposed
modification determines that an unreviewed safety condition will not be
created by the modification. Additionally,10 CFR Part 50, Appendix B,
Criterion III, Design Control, requires that design changes, including field
changes, be subject to design control measures commensurate with those
applied to the original design. To implement this design change into a
plant modification additional programs and procedures are utilized.
The modification program, discussed in paragraph 7 of this report, converts
the design change into a physical plant modification. However, in the past,
procedures necessary to feedback to the design organization actual modifi-
cation vs. proposed modifications were ineffective. This resulted in a
disconnect between the design and operating organization in the area of
design control. An essential part of this operations / design feedback
process should be the closure of the ECN which then establishes the design
basis for additional modification. Currently only 145 of the 1400 safety
i related ECNs have been closed. In August 1985, TVA established an ECN
closeout group consisting of approximately 12 full time personnel. The
purpose of this group was to establish closecut criteria and perform close-
out reviews of the modification packages. These reviews by the operating
_ _ _ -- _-
_ _ _ _ - - , - _ _ _ _ , _ _ _ _ _ _ _ _ _ _
n
.
4
organization were documented on a closecut form which provided the basis for
closeout of the ECN by the Engineering organization. Initially, this
closure checklist was established by Modification Group Letter (MODL) A-23;
however, it was later integrated into Administrative Instruction (AI) 19
(Part IV),'" Plant Modifications: After Licensing."
The check list currently being used by the task group is more detailed than
the one presently in AI 19 (Part IV). The inspector identified to the
licensee the need to update the AI-19 checklist so as to have only one
inclusive list for ECN closeout. This item is identified as Inspector
Followup Item (IFI 328/86-62-01).
The inspector reviewed several ECN closure packages to determine the
number and nature of the specific findings. Of the 5 ECN closure
packages reviewed, the inspection revealed that most of the problems
identified through the closecut project were of the drawing update nature.
Additionally, the inspector reviewed the closeout criteria established by
the closeout form. The closecut criteria included on the form are as
follow:
-
Review all Work Plans (WP) and Field Change Requests (FCR) necessary
to accomplish the ECN. .
-
Verify that the Office of Engineering has listed all affected drawings
and FCRs on the final inventory sheet.
-
Verify ECN revision list matches the list contained in the WP.
-
Verify that all drawings have been updated.
Problems associated with the ECN process are discussed in Section II.3 and
III.2 of the Sequoyah Nuclear Performance Plan; however, no mention of a
schedule or a commitment to close ECNs prior to restart could be found.
Closure of ECNs appear prudent as the closure review is the vehicle which
triggers the FSAR update process as well as ensuring that drawings are
revised. TVA's schedule and reasoning for not closing ECNs prior to restart
is the subject of a separate letter from Region II to TVA dated December 18,
1986, and will be tracked as Inspector Followup Item (IFI 328/86-62-02).
6. Transitional Design Control System
In Section II.3.3 of the Sequoyah Nuclear Performance Plan, TVA committed to
implementing a transitional design control system prior to restart. The
purpose of the transitional program is to correct some of the root causes of
past design control problems at Sequoyah and to facilitate implementation of
the permanent upgraded design control program. The performance plan does
not contain sufficient detail on this subject, however, the inspector was
provided a copy of the TVA Division of Nuclear Engineering Design Change
Process Improvement Program, dated July 1986 which describes in detail both
the transitional and permanent programs and assigns responsibilities for
implementation. This document explains that since the permanent program
won't be implemented until sometime after restart, the transitional system
.
5
is necessary to ensure once the Design Baseline and Verification Program
(DBVP) has reestablished the plant design basis and configuration control,
that it is properly maintained. This.is the criteria to which_the program
was judged during this inspection. No evaluation was made as to the
effectiveness of the program in easing the transition to the new program or
as to how comprehensive it was in correction of root causes.
The Design Change Improvement Program Plan required that each site develop
procedures to implement the transitional system. At Sequoyah, this
procedure is Sequoyah Engineering Procedure SQEP-13, " Procedure for
Transitional Design Change Control," Revision 1. The inspector reviewed the
procedure and found that it adequately addressed all of the aspects of the
program plan and satisfied the commitments of the Sequoyah performance plan.
Adequate provisions are contained either in SQEP-13 or through . reference to
other Nuclear Engineering Procedure (NEPs), Standard Practices or other
administrative instructions to assure that the design basis is properly
referenced and maintained and that the DBVP efforts are not compromised.
Key elements of the program are discussed below:
-
The modification package will be reviewed as a whole to ensure that it
is suitable for its intended purpose, represents a complete and high
quality engineered modification, can be effectively installed and
tested, and that all documentation is traceable to permit updating upon
completion, and reflects the actual plant configuration.
-
A responsible modification package DNE task engineer will be assigned
to ensure the design work is identified and p9: formed, the package is
assembled correctly, completed, reviewed, and closed.
-
The design modification shall be for a single unit and be of manageable
size to permit implementation within the defined period. The review /
approval process will include a . review of the completed modification
package, performance of USQD reconciliation to the FSAR and will result
in revisions to affected design documents as necessary after installa-
tion and testing to represent the final design conditions.
The licensee is currently implementing SQEP-13 on a case-by-case basis
(i.e., only on new modifications) until restart, at which time all modifica-
tions will be controlled by it. About 60 Engineering Change Notices are in
various stages of preparation using SQEP-13; however, none have yet been
completed through the design stages. Following design completion, the
modification will be turned over to plant modifications for physical work.
It will be sometime (possibly after restart) until a modification has gone
through the complete cycle to closure. For this reason it was not possible
to evaluate implementation of the transitional program.
An indepth look into design inputs was made as a spotcheck on the compre-
hensiveness of the transitional program. SQEP-13 references NEP 3.2,
" Design Inputs," for the assimilation cf modification design criteria. NEP
3.2 in turn requires that design inputs for all structures, systems and
components be identified, documented, and preserved. These criteria shall
r
-
.
6
be incorporated in a Design Basis Document (DBD). The DBD is to be the
single source document in which licensing commitments are made and where
design documentation is maintained. The DBD does not yet exist (except in
partial draft form) but input for the Safe Shutdown Systems will be com-
pleted prior to restart since this is an integral step in the DBVP. Design
Criteria Documents, however, do exist and are used in lieu of the DBD for
new modifications.
The inspector accumulated all of the design criteria for the Control
Building Emergency Pressurization (CBEP) System. This consisted of
SQN-DC-V-13.9.6, Control Building Ventilation Design Criteria which
referenced other general design criteria as well as specifying the
environmental conditions and environmental design criteria. During review
of this material, the value for post-accident radiation exposure appeared
questionable. An engineer involved in the 10 CFR 50.49 review indicated
that the value did not initially include a source from the charcoal loading
which would occur throughout the 100-day . cident period but that a revised
calculation was in progress. Additionally, ECN-L7000, Addition of required
supports to the Main Steam Dump Header, ECN-L7027, Seal electrical conduit
penetrations between the Auxiliary Building and Turbine Building, and
ECN-L7013, Replacement of Sample Pumps and Motors for the containment
yydrogen analyzers, were reviewed. Although these ECNs had not yet com-
pleted the full design review and approval process, these ECNs were reviewed
to determine how the transitional system was being implemented. The
in process ECNs were being implemented per the transitional program
requirements. One deficiency was noted with the modifications criteria
(Attachment A of NEP 3.2) of ECN-L7013. The regulatory requirement section
failed to make reference to NUREG 0737, Clarification of TMI Action Plan.
No other deficiencies were noted. This was identified to the licensee for
correction.
Followup of the revised radiation calculations for device qualification if
the post-accident radiation environment is increased is identified as
Inspector Followup Item (IFI 328/86-62-03).
7. Review of Modification Process.
The inspector reviewed the draft revision of procedure (AI 19 part IV,
" Plant Modification After Licensing"). This procedure specifies the control
process necessary to convert work specified in the ECN into a completed
field modification. The process is described as follows:
-
Design Change Request (DCR) written by plant
-
Change Control Board reviews DCR
-
ECN developed by engineering along with safety review
-
ECN received by the plant modification group from engineering
-
Work listed on outstanding work list
.
7
-
Work Plan (WP) written to field implement the ECN (several work plans
may be necessary to implement the entire ECN)
-
Operations align system as necessary to implement WP
-
WP. field completed
-
Post-modification or functional test accomplished
-
System returned to operations and control room drawing updated
-
Review for TS and procedures update by plant staff. Also feed back to
update the simulator is initiated
-
ECN closeout review by modification group which should drive update the
of all drawings
-
ECN closure recommended by modification to engineering
-
Engineering ECN closure drives 10 CFR 50.71 annual FSAR update
The problems identified by the inspector during this review include the
following:
1) No time limit to review and close the ECN has been established. Since
the ECN closure is the review to ensure all drawings -are updated, a
time limit to review ECNs after field completion should be established.
2) Since 10 CFR 50.71 required the annual update of the FSAR to be current
within 6 months of the modification, a commitment to review and close
ECNs in a timely manner after field completion of the modification is
needed.
The above two items are identified as weaknesses in the ECN/ modification
process and should be addressed by the final revision of AI 19, Part IV,
which will implement the transitional ECN program. These two items as well
as the review of the final revision of AI 19, Part IV is identified as
Inspector Followup Item (IFI 328/86-62-04).
8. Design, Design Changes, and Modifications (37700)
The inspector reviewed several WPs for technical adequacy, proper review and
approval, adequacy of safety evaluation, as well as drawing and procedure
update. Field installation was reviewed and verified on several of the ECNs
reviewed. Additionally, the inspector reviewed the modifications to ensure
.
8
that the entire ECN scope was implemented by the combination of WPs.
WPs reviewed as well as inspection findings are as follow:
a. Engineered Safety Feature (ESF) Reset Controls
The licensee initiated ECN L5734 in response to IE Bulletin 80-06.
This Bulletin described circumstances under which resetting certain ESF
alone resulted in equipment changing positions from their emergency
mode to their normal mode. The ECN changed the control circuit for RHR
heat exchanger outlet valves 2-FCV-74-16 and -28 so that the valves
would remain in their emergency position after the Safety Injection
(SI) signal was reset. WP 10600 implemented this ECN which basically
consisted of adding a reset switch in the control room such that the
valves would remain in their emergency position after SI system reset
until the additional component reset was switched. Neither the ECN or
WP required that the FSAR be revised to reflect the change in
valve control. Table 6.3.2-4 of the FSAR lists the sequence of change-
over operation from injection to recirculation for the RHR System.
This sequence described manipulation of FCV-74-16 and 28 in Step 2;
however, without resetting the SI actuation signal and the newly
installed reset switch, these valves would remain fully open. A
licensee representative indicated that the sequence of operation
described in FSAR Table 6.3.2-4 was not correct and did not agree with
Emergency Instruction E11.2, Revision 2, Transfer to RHR Containment
Sump. An Inspector Followup Item will be assigned to track correction
of the FSAR (IFI 328/86-62-05).
The inspector noted that the ECN closure verification form discussed in
paragraph 5 above does not include a check to ensure that the FSAR was
changed (if required). There was no assurance that similar examples of
failure to update the FSAR would be corrected. A licensee representa-
tive indicated that instead of checking this during the ECN closure
verification, a separate task force was being developed to correct FSAR
deficiencies. This task force is to be assembled as part of the
corrective action for CAR 86-04-021 discussed in a separate paragraph
of this report.
b. Addition of Main Feed Pump Trip Signal
ECN L5632 was initiated in May 1982 to correct an adverse condition on
the feedwater system. The condition resulted from pressure surges in
the feedwater piping following a feedwater isolation with the Main Feed
Pump (MFP) still running. The modification added a trip signal to the
MFP circuitry such that upon a reactor trip coincident with low T-avg,
the MFP trips (in addition to the already existing feedwater isola-
tion).
The ECN coversheet indicated that a potential TS change was involved.
The Unreviewed Safety Question Determination (USQD) associated with
this ECN detailed this concern by stating that "although the FSAR
accident analysis does not take credit for feedwater isolation due to
.
9
low T-Avg coincident with a reactor trip, the existence of this isola-
-tion does provide redundancy and diversity in the design for accident
mitigation." Since the basis for TS 3/4.3.2 includes instrumentation
required to provide for reliability, redundancy and diversity not
otherwise taken credit for in the FSAR analysis, the USQD concluded
that this instrumentation may need to be added to TS 3/4.3.2, Engi-
neered Safety Feature Actuation System Instrumentation. Furthermore,
Westinghouse provided a Safety Evaluation on the MFP trip signal and
also indicated that a change to the plant TS may be in order. No
documentation could be located to show how this recommendation was
dispositioned. Although, a sign-off on the WP control form for WP No.
9733 was completed, indicting that a TS change was received, this trip
function was never added to the TS. Licensee representatives indicated
that an undocumented evaluation made by the modifications engineer
determined that no TS change would be required. Since this is a rather
unique situation (evaluating the need to add previously not included
functions and equipment operability requirements to the TS), the
inspector pursued whether the licensee had developed any criteria with
which to make this judgment. Since 10 CFR 50.36 does require that the
TS be based upon the FSAR as well as amendments to the FSAR, the
regulations did foresee the need to add equipment to the TS as modifi-
cations are made to the p~ ant. There is no written guidance at
Sequoyah to aid in making this determination. The inspector requested
that Sequoyah licensing reevaluate the necessity for adding this
function to the TS. This will be tracked as an Inspector Followup Item
(328/86-62-06).
c. Control Room Smoke Removal Fan Replacement, Dampers Addition
ECN L5140 as implemented by WP 8340 and WP 8573 replaced the belt
driven control room smoke removal fan with a direct driven type fan.
Dampers FCO-31A-105D and FC0-31-106D were added, ducting rerouted and
position indicating lights added to control room panel 1-M-9 for the
new dampers. The inspector noted that the damners and associated
indicating lights were not part of the present plant configuration.
Further investigation and discussions with licensee personnel revealed
that dampers FC0-31A-1050 and FC0-31A-106D and associated indicating
lights were removed under ECN L5274. No deficiencies were identified.
d. Control Room HVAC Damper Replacement
ECN L5274 as implemented by WP 8669, WP 8680, WP 10435 and WP 12205
provided for replacement of dampers FCO-31A-105A, B&D and FC0-31A-106A,
B & D with a single pair of motor operated butterfly valves. The
replacement valves FCV-31-105A and FCV-31-106A we.e intended to provide
better isolation during control room HVAC isolation. No deficiencies
were identified.
e. Installation of Containment Pressure Indication
ECN L5141 as implemented by WP 3521 and WP 3542 provided for installa-
tion of two continuous containment pressure indications in the Control
-
.
10
Room. This 'ECN was a post-TMI modification as required by item 2.1.10
of NUREG-0578 which called for addition of-sensors to monitor contain-
ment pressure in the containment using transmitters qualified to IEEE 323-1971. Additionally, this system must meet the requirements of
Regulatory Guide 1.97. The inspector noted from the review that the
ECN did provide containment pressure indication as required but did not
provide any mode of continuous recording as required by Regulatory
Guide 1.97. Further investigation and discussion with licensee
personnel revealed that containment recorders were installed under
ECN L5196. No deficiencies were noted.
f. Installation of Containment Pressure Recorders
ECN 5196 as implemented by WP 10666 provided for installation of
continuous containment pressure recorders in order to complete a
portion of post-TMI requirements as discussed in paragraph e above.
Under this ECN pressure recorders .1-PR-30-310 and 1-PR-30-311 were to
be installed in the control room on panel 1-M-9; however, due to the
Unit 1 instruments not being received at site, spare recordere on
Unit 2 control panel 2-M-9 are being temporarily utilized until the
recorders are received and put in service. The ECN will remain open
pending completion of work under a later WP.
g. Reactor Coolant System Pressure Transmitter Installation
ECN L6055, WP 11173, WP 11174, WP 11193 and WP 11226 installed an
additional Reactor Coolant System wide range pressure transmitter
(PT-68-69) and relocated two others (PT-68-66 and PT-68-59). These
transmitters provide inputs to the cold over pressure protection and
reactor vessel level instrumentation (RVLIS) systems. The WPs were
reviewed to insure that the scope of the ECN was fully implemented and
that these modifications complied with regulatory requirements. No
deficiencies were noted.
h. Changing Setpoint of Auxiliary Control Air Compressors
ECN L5994 and WP 9390 increased the air pressure start setpoint for the
auxiliary control air compressors and removed the internals from the
following auxiliary control air system check valves: 32-262,32-268,
32-329, and 32-328. The work plans were reviewed to check that the
scope of the ECN was fully implemented and that regulatory requirements
were met. No deficiencies were noted.
i. Installation of Capillary Tubing for RVLIS System
ECN 2768 and WP 10995 installed capillary instrument tubing for the
RVLIS system. The inspector reviewed the WP and partially walked down
portions of this modification. No discrepancies were noted.
.
11
,
j. Pressure Boundary-Integrity
ECN 6050 was initiated to upgrade the high pressure fire protection
system (HPFP) in the mechanical equipment room EL732.0, so that the
piping will retain pressure boundary integrity retention as required
~
during a seismic event. No deficiencies were noted.
k. Purge Air Exhaust Fan 1A and Back Draft Damper Modification
ECN 5192 and WP 8474 were inspected for accuracy and to ascertain if.
the procedural process had been followed and closecut was adequate.
The preoperational test deficiency report showed that the backdraft
dampers on the discharge of the reactor building (RB) exhaust fans were
damaged due to excessive DP across the damper. Subsequent evaluations
indicated that some of the dampers were not needed, and they were
therefore removed. The remaining dampers were replaced with a heavier
duty designed damper.
A walkdown of the physical installation along with associated drawings,
FCNs, _ WPs, FSARs and TS requirements was accomplished. Closeout
procedures for the associated documents appeared to be well esta-
blished. No deficiencies were identified.
1. Hydrogen Analyzer Modification
ECN L6032 as implemented by WP 11110 and WP 11119 relocated the cali-
bration system as well as numerous electrical components on the con-
tainment hydrogen (H2 ) analyzer. This relocation was necessitated
because components of the H 2 analyzers located in the annulus area
between the containment liner and shield building were not environ-
mentally qualified for the expected post accident radiation field. The
inspector review of this modification which included field verification
of installation identified a potential problem regarding the effects of
penetrations through the reactor shield building. Specifically,
ECN-L6032 involved several penetrations in the shield building through
the shield wall. The ECN was silent on die effect of these penetra-
tions on the shielding capability of the wall or ALARA. Both the
profile and the location of a penetration can have an impact.
Further review of this item by members of the Design Baseline Verifi-
cation Inspection Team resulted in the following discussion:
-
The radiation protection section located in Knoxville, indicated
that all penetrations in the shield wall need to be reviewed for
an effect on ALARA as well as impact on shielding of equipment and
.- -- .- - ..._. - -.
.
12
components from potentially damaging radiation. The review is
intended to prevent penetration locations that are in-line of
radioactively hot equipment or those that cross a path for per-
sonnel access. Evidence was found to suggest that the radiation
protection section did review and approve the technical content of
the ECN prior to implementation. However, the review of drawings
which showed the location, number and size of the penetrations
showed no evidence of participation by the radiation protection
section in the squad review. A squad review is a discipline
interface review by the drawings which depict a modification. The
drawings reviewed by the inspector were 47W470-2 and 47W471-15.
On these drawings there is a total of four revisions that result
from the changes required to implement ECN L6032. The revisions
resulting from ECN L6032 on Drawing 47W470-2 are 31 (dtd. 2/3/84),
32 (dtd 10/23/84), and 33 (dtd 12/26/86). Drawing 47W471-15 had a
single revision resulting from ECN-L6032 which is 39 (dtd.
10/23/84). None of these revisions have any indication that the
radiation protection section was involved in the squad review for
the modification. The penetrations in question are located at
elevation 734 which is the refueling floor and location of the
control room. In one location there is a mechanical equipment
room inside the shield wall. At another location the emergency
gas treatment equipment is located inside the shield wall. The
lack of interface review of drawings by the radiation protection
section was identified as a problem by INP0 for instances of local
electrical control panels being located in areas where personnel
would receive inordinately high radiation doses when operating the
controls.
TVA was requested to provide the inspector with any additional information
to support the adequacy of the radiation protection review of the modifi-
,
cation. This item is identified as unresolved item (URI 328/86-62-07)
pending receipt and review of any additional information provided by TVA.
During the review of the modification to the H2 analyzer, the inspector
noted problems with the initial installation of the H2 analyzers for both
Units 1 and 2. The original H2 analyzers installed in the 1978 time frame
were later upgraded to satisfy the requirements of NUREG 0737, "TMI Action
Plan."
NUREG 0737, item II.F.1 (6), " Containment Hydrogen Monitor" required the
accuracy and placement of the H 2 monitors be provided and justified to be '
adequate for their intended function. TVA in their December 10, 1980 letter
(L. M. Mills to A. Schwencer, NRC) on TMI Action Plan item II.F.1 (6)
described the system as follows: "As a result of the analyzer capability
and the mixing afforded by the hydrogen collection system which draws from
compartments within the containment and the containment dome a true indica-
tion will be given of the hydrogen concentration within containment. The
analyzers are calibrated to measure hydrogen concentrations between zero and
ten percent with an accuracy of plus or minus one-tenth of one percent...."
.
13
The field installation of the H monitors
2 for both Units 1 and 2 did not
implement the vendor (Consip Delphi, Inc.) requirement regarding sample line
slope and insulation. The failure to properly route and insulate the sample
line results in the condensation of moisture for the containment post-
accident H z sample in-route to the detector. This installation can create
two potential problems: 1) water traps present a torturous path for the H 2
gas to reach the detector although the vendor did indicate, in a phone call,
that the pump was capable of pumping any water that reaches the analyzer,
2) a true reading of containment vapor H2 concentration is not possible as
long as actual containment moisture is greater than that the detector sees.
The vendor indicated the reading could be higher than actual by as much as a
factor of 5 although TVA analysis, performed at the inspector's request,
indicates a lesser error. These inaccuracies appear to be in the conserva-
tive direction; however, decisions made based on the H g indication are not
conservative. Specifically, Sequoyah Function Restoration Guidelines FR-Z1,
" Response To High Containment Pressure," instructs the operator to NOT place
H2 recombiners in service and to consult technical support center for
containment hydrogen purge instructions if H 2 indication is > 6%. These
actions, if based on erroneous high Hz indication, would be noli-conservative
and may result in post accident complications.
The installed system does not appear to provide the degree of accuracy
originally claimed in TVA's December 10, 1980 letter and on a subsequent
change to Section 6.2.5.3 of the Sequoyah FSAR the described accuracy was
changed to plus or minus 1.5 percent hydrogen. Region II has requested a
review of the present installation by the office of Nuclear Reactor Regula-
tion (NRR) in order to determine system adequacy to satisfy the requirement
of NUREG 0737 and TS 3.6.4.1.
The adequacy of the installed system to satisfy the operability requirement
of TS 3.6.4.1 is identified as Unresolved Item (URI 327/86-62-01, 328/86-
62-08) pending NRR review.
To determine root cause of why the designer failed to implement critical
vendor installation requirements, the inspector reviewed the design control
process inplace during the 1978 time frame. Additionally, the inspector
reviewed the requirements of 10 CFR Part 50, Appendix B to determine what
design control requirements should have been in place to ensure a quality
end product. Criterion III of 10 CFR Part 50, Appendix B requires the
design control process to include measures to ensure appropriate quality
standards are specified and included in design documents and that deviations
from these standards are controlled. TVA's current procedures for control-
ling the design process are outlined in the Nuclear Engineering Manual.
Procedures in this manual require design requirements be traceable to the
output document which may include ECNs, drawings or procedures. This manual
further requires the output to be consistent with the associated input
documents or appropriately dispositioned.
During the above review, the inspector discussed with the design engineers
their basis for not including critical vendor requirements in their design.
No basis or supporting calculations could be produced as to how the vendor
.
14
installation instructions were dispositioned. Tha inspector realizes that
not all vendor recommendations are requiremants. This issue is being pursued
as part of Generic Letter 83-28 and will not be discussed further in this
report. However, when a vendor sells a product which has been qualified for
a specific purpose, installation recommendations take on a higher degree of
importance and proper disposition of these recommendations / requirements are
necessary to ensure a quality installation. The failure to properly control
the design of the H 2 analyzer system is a violation of 10 CFR Part 50,
Appendix B Criterion III, Design Control (327/86-62-02 and 328/86-62-09).
Several related items associated with the H2 analyzer installation were also
identified. These items along with the inspector's concerns are listed
below:
-
NUREG 0737 item II.F.1 (6) requires the H 2 analyzer be a continuous
monitor or be activated within 30 minutes after receiving a SI signal.
A review of the emergency instruction (EI) E-0, " Reactor Trip or Safety
Injection," indicated no reference to activation of the H2 analyzer
within 30 minutes of the SI. The inspector discussed this item with
the group responsible for emergency procedures. The licensee indicated
that task analysis has shown that if a true SI occurs, procedure E-0
will drive the operator to other procedures which will instruct the
operator to activate the H 2 analyzer equipment. The inspector could
find no time criteria established in any procedure review which would
ensure the H2 analyzers are functioning within 30 minutes after an SI.
This item is identified as Inspector Followup Item (IFI 328/86-62-10).
-
Revision 3 of the Sequoyah FSAR changed the specified accuracy of the
H2 Anal
+/- 15%yzer fromfor
of scale thethe
previous value toThe
instrument. +/- inspector
1.5% Hydrogen which
requested thatisthe
licensee produce a 10 CFR 50.59 safety evaluation which should have
been performed prior to changing tne FSAR. The annual update of the
FSAR is to ensure plant modifications made during the year are
accurately reflected in the FSAR. It appears that TVA has used the
FSAR update process to correct problems identified in the FSAR. It is
the NRC position that changes to the facility as described in the FSAR,
either physical or documentary, need to be supported by a 10 CFR 50.59
Safety).
(USQD)
Evaluation (TVA Unreviewed
TVA was requested Safety
to provide Question
the USQD Determination
for the identified
change. This item is identified as Unresolved Item (URI 327/86-62-03
and 328/86-62-11) pending receipt and review of the USQD.
m. Battery Room Thermostat Modifications
ECN L5781 was written to raise the 125 VDC vital battery room thermo-
stat settings from 60 F to 75 F. This change was necessary since no
margin was available from the battery electrolyte temperature limit of
l
_ _ - _
r
.
15
TS 4.8.2.3.2.b (3) which was also 60 F. The affected thermostats were
TS-313-442, 468, 492 and 518. Actual thermostat settings were found to
vary from this setpoint on November 20, 1986, as follows:
THERMOSTAT ACTUAL
LOCATION SETTING TEMPERATURE
Vital Battery Room 1 78 F 64 F
Vital Battery Room 2 82 F 57 F
Vital Battery Room 3 75 F 72 F
Vital Battery Room 4 85 F 66 F
The equipment requirements were satisfied because only 2 of the 4
batteries are required to be operable for the existing plant condition,
however, the condition of various components were cause for concern.
The thermostats had apparently been adjusted to combat deficiencies
with room exhaust fans and dampers. Inoperable exhaust fans and
dampers allow a direct inlet of outside cold air to enter the rooms and
exceed the capacity of the room heaters. The battery room 2 thermostat
had two maintenance work request tags hanging on it. MRA-536440 was
written on 10/10/85 because room temperature was too low. WR B292818
was written on 10/31/86, again describing a low room temperature
problem. On the day of inspection, no temperature control was available
since the space heater had been previously removed. Battery room 4
also had a work request tag (B202819) on the thermostat requesting a
setpointadjustment. Since insufficient time was available for follow-
up of the battery room temperature problems, an Inspector Followup Item
(IFI 328/86-62-12) will be opened to track this concern.
9. Independent Review
Durinc the course of this inspection the inspectors became aware of a
defic;iency associated with the quality of the Sequoyah FSAR. The licensee
had identified through his corrective action program that a Significant
Adverse Condition existed regarding the current updatad FSAR. This condi-
tion was documented by CAR SQ-86-04-021 which was written on April 16, 1986.
The CAR indicated that there is no assurance that Sequoyah is meeting the
requirements of 10CFR 50.71 which recuires the FSAR to accurately reflect
the actual plant and be current withi n 6 months of any modification which
affects the FSAR.
The conclusion stated on SQ-CAR-86-021 was that there is no assurance that
the SQN FSAR is up to date. The root cause was determined to be inadequate
procedures to ensure review of changes and documentation of these reviews.
Stated corrective action will consist of the establishment of an inter-
disciplinary task force to review past material which could have affected
the FSAR such as procedures, correspondence, modifications, safety evalua-
tions, analyses, design documents, etc. This work has not been scheduled
or fully scoped as yet and has not been linked to unit restart. TVA's
schedule and reasoning for not resolving the conditions described in
l
_
.
16
SQ-CAR-86-04-021 is the subject of a separate letter from Region II to TVA
and will be tracked as Inspector Followup Item (328/86-62-13).
Also during this inspection, the inspectors identified a weakness in the
outside or;anizations. Specifically, Section 5.1.3 of the TVA Nuclear
Quality Assurance Manual (NQAM) requires that a method be established to
ensure long-term commitatnts implemented by procedures / instructions are not
deleted by subsequent revisions. This NQAM requirement is implemented, for
procedures generated by the plant operating organization, by Administrative
Instruction (AI) 4.0, " Plant Instructions - Document Control." This AI
requires .that commitments be listed in the reference section of the imple-
menting procedure. Additionally, AI 4.0 requires that _ changes to the >
implementing procedures _ not delete implemented commitments unless the
commitment is canceled.
The inspector could not locate a design division program commitment control
similar to the program discussed above. It should note that an audit
performed by the Quality Systems Branch (Rim L16 861104 895, dated
November 5,1986) identified this same deficiency. This item is identified
as Licensee Identified Violation (LIV - 328/86-62-14) and no notice will be
issued. Followup review of the corrective action for this item is identi-
fled as Inspector Followup Item (IFI 328/86-62-15).
,