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| {{Adams | | {{Adams |
| | number = ML20217N099 | | | number = ML20249C080 |
| | issue date = 04/30/1998 | | | issue date = 06/23/1998 |
| | title = Insp Rept 50-285/98-06 on 980406-10.Violations Noted.Major Areas Inspected:Plant Support | | | title = Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 50-285/98-06 Issued on 980530.Corrective Actions Will Be Reviewed During Future Insp to Determine That Full Compliance Achieved |
| | author name = | | | author name = Murray B |
| | author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) | | | author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
| | addressee name = | | | addressee name = Gambhir S |
| | addressee affiliation = | | | addressee affiliation = OMAHA PUBLIC POWER DISTRICT |
| | docket = 05000285 | | | docket = 05000285 |
| | license number = | | | license number = |
| | contact person = | | | contact person = |
| | document report number = 50-285-98-06, 50-285-98-6, NUDOCS 9805050220 | | | document report number = 50-285-98-06, 50-285-98-6, NUDOCS 9806250288 |
| | package number = ML20217N065 | | | title reference date = 04-29-1998 |
| | document type = INSPECTION REPORT, NRC-GENERATED, TEXT-INSPECTION & AUDIT & I&E CIRCULARS | | | document type = CORRESPONDENCE-LETTERS, OUTGOING CORRESPONDENCE |
| | page count = 14 | | | page count = 4 |
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| : | | k' E' 4 UNITE 3 STATES |
| l ENCLOSURE 2 U.S. NUCLEAR REGULATORY COMMISSION | | - -g NUCLEAR REGULATORY COMMISSION |
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| | E REGION IV |
| | : g 611 RYAN PLAZA DRIVE.' SUITE 400 h4 [ AR LINGTON, TEXAS 76011-8064 9*****+0 June 23, 1998 f |
| | S. K. Gambhir, Division Manager Engineering & Operations Support Omaha Public Power District Fort Calhoun Station FC-2-4 Ad . P.O. Box 399 Hwy 75 - North of Fort Calhoun Fort Calhoun, Nebraska 68023-0399 ; |
| | i SUBJECT: NRC INSPECTION REPORT 50-285/98-06 |
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| | Thank you for your letter of May 29,1998, in response to our May 30,1998, letter and Notice of Violation concerning . We have reviewed your reply and find it responsive to the l |
| | concerns raised in our Notice of Violation. We will review the implementation of your corrective actione during a future inspection to determine that full compliance has been achieved and will ) |
| | be maintaine Sincerel Blaine Murray, Chief Plant Support Branch Division of Reactor Safety Docket No.: 50-285 License No.: DPR-40 cc: |
| | James W. Tills, Manager i Nuclear Licensing Omaha Public Power District Fort Calhoun Station FC-2-4 Ad l l P.O. Box 399 Hwy. 75 - North of Fort Calhoun l Fort Calhoun, Nebraska 68023-0399 |
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| ==REGION IV==
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| Docket No.: 50-285 ;
| | l 9806250288 980623 l PDR ADOCK 05000285 tr l . PDR L L a i |
| License No.: DPR-40 Report No.: 50-285/98-06 Licensee: Omaha Public Power District Facility: Fort Calhoun Station Location: Fort Calhoun Station FC-2-4 Adm., P.O. Box 399 Hwy. 75 - North of Fort Calhoun Fort Calhoun, Nebraska Dates: April 6-10,1998 Inspector: Larry Ricketson, P.E., Senior Radiation Specialist Plant Support Branch Approved By: Blaine Murray, Chief, Plant Support Branch
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| Attachment: Supplemental information i
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| 9905050220 990430 PDR ADOCK 05000295 G PDR
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| | Omaha Public Power District -2-James W. Chase, Manager Fort Calhoun Station P.O.' Box 399 Fort Calhoun, Nebraska 68023 Perry D. Robinson, Es Winston & Strawn l- '1400 L Street, : Washington, D.C. 20005-3502 Chairman Washington County Board of Supervisors |
| | : Blair, Nebraska 68008 ' |
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| | Cheryl Rogers, LLRW Program Manager Environmental Protection Section Nebraska Department of Health 301 Centennial Mall, South P.O. Box 95007 - |
| -2- I EXECUTIVE SUMMARY Fort Calhoun Station NRC inspection Report 50-285/98-06 This routine, announced inspection reviewed radiation protection activities in support of the 1998 refueling outage. Included in the inspection were reviews of planning and preparation, the ;
| | Lincoln, Nebraska 68509-5007 |
| program for maintaining occupational exposures as low as is reasonably achievable (ALARA), I exposure controls, surveying and monitoring, and radiation worker practice Plant Sucoort ,
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| The licensee prepared well for the refueling outage and the effects of leaking fue j Additional engineering controls were used, additional time was included in the shut down schedule, and additional radiation worker training was provided (Section R1.1). l
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| Radiation protection performance was good, overal l
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| A good ALARA program was implemented with isolated exceptions. Generally, planned work activities were reviewed thoroughly by ALARA personnel and dose saving i measures were integrated appropriately. ALARA prejob briefings were effective in ;
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| communicating potential radiological hazards and good radiation protection practices to l radiation workers (Section R1.1).
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| l . Isolated weak ALARA program elements, involving the evaluation of the effects of dose gradients on dosimetry location and the procedural guidance for evaluating the need for respiratory protection equipment, were noted (Section R1.2).
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| Good radiation exposure controls were implemented, in most cases, and good job coverage was provided by radiation protection personnel (Section R1.3).
| | Omaha Public Power District -3-l DISTRIBUTION w/coov of licensee's letter dated May 29.1998: |
| | | Regional Administrator DRS Director DRS Deputy Director DRS-PSB DRP Director . |
| ! . Surveying and monitoring were performed properly and effective contamination controls were used (Section R1.4).
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| Declining radiation worker performance was noted. Problems involving improper entry into high radiation areas, dosimetry use, and contamination control were identified (Section R1.5).
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| | | Branch Chief (DRP/B) |
| . A noncited violation was identified when individuals entered a high radiation area improperly. Discretion was exercised in accordance with Section Vll.B.1 of the NRC Enforcement Policy. However, a violation of Technical Specification 5.11 was identified when another radiation worker entered a restricted high radiation area improperly (Section R1.5).
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| . A noncited violation was identified when an individual entered the reactor containment building without a thermoluminescent dosimeter. Discretion was exercised in accordance with Section Vll.B.1 of the NRC Enforcement Policy (Section R1.5). | | Resident inspector MIS System RIV File DRS Action item File (98-G-0071) |
| | | DOCUMENT NAME: R:\_FCS\FC806AK.LTR To receive copy of document. Indicate in box: "C" = Copy without enclosures "E" = Copy with enclosures "N" = No copy RIV:PSB - 1 _. 1E C:DRS\PSB 1 LTRicketsonfrifD7 BMurray |
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| | OFFICIAL RECORD COPY |
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| . | | Omaha Public Power District -3-DISTRIBUTION w/coov of licensee's letter dated May 29.1998: |
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| | l Regional Administrator l DRS Director DRS Deputy Director |
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| Contractor radiation protection technicians were qualified and properly screened (Section RS).
| | DRS-PSB DRP Director - |
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| | Resident inspector MIS System RIV File DRS Action item File (98-G-0071) |
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| | DOCUMENT NAk*3 R.\_FCL" -C806AK.LTR To secohm copy of docuehent, indicate in box: "C" = Copy without enclosures "E" = Copy wth enclosures "N" = No copy RIV:PSB 1 M C:DRS\PSBx LTRicketsonSfDF . BMurray [J~ |
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| | OFFICIAL RECORD COPY jf,;OU |
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| . Reoort Details Summarv of Plant Status The licensee was condu: ting a refueling outage. The inspection was conducted during days 6-10 of the refueling outage. By the end of the inspection, the licensee had begun preparations for mid-loop activitie IV. Plant Sunoort R1 Radiological Protection and Chemistry Controls R Plannina and Preoaration Insoection Scooe (83729 and 83750)
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| The inspector interviewed licensee personnel about the actions taken in preparation for the refueling outag Observations and Findinas The licensee anticipated problems caused by leaking fuel elements. To address the airbome iodine, the licensee added charcoal filters to the auxiliary building exhaust {
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| ventilation and containment purge exhaust ventilation. Containment charcoal ventilation units were utilized during the operating cycle. Also in an effort to reduce the amount of radioactive gases, power was reduced in stages rather than shutting down the plant more abruptly, it was reduced to 70 percent for 3 days; then it was reduced to 30 percent for 3 days,. Appropriate time was planned in the outage schedule for a reactor coolant cleanup. The reactor building was purged periodically to reduce airborne radioactivity level Radiation protection personnel provided preoutage training to craft personnel to instruct them in problems and hazards caused by the leaking fuel. To keep radiation doses below administrative dose limits, the licensee initiated a program of planned, personnel evacuations, when noble gas levels in the containment building reached a level that could produce a dose rate of 15 millirems / hou According to radiation protection personnelinterviewed, adequate supplies of radiation detection instruments, protective clothing, and consumable items were availabl Conclusions The licensee prepared well for the refueling outage and the effects of leaking fue APitional engineering controls were used, additional time was included in the shut down scheLule, and additional radiation worker training was provide .
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| -5-R1.2 Maintainino Occuoational Exoosures ALARA Insoection Scoce (83729 and 83750) | | I I |
| The inspector interviewed ALARA representatives and reviewed the following:
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| . ALARA work packages
| | L'0998 Omaha P& Power District 444 South lah Steet MnD %~ %, '" |
| . ALARA prejob briefings Observations and Findinas ALARA personnel were provided with sufficient time to review planned work activities and incorporate dose saving measures. ALARA/ radiation work packages were completed prior to the start of the outag The inspector reviewed selected examples of ALARA work packages and concluded that thorough reviews were performed, in most cases. However, the inspector noted two areas with potential vulnerabilities. One area involved the evaluation of the effects of dose gradients on dosimetry location and the other involved procedural guidance for evaluating the need for respiratory protection equipmen An example of the first item was identified during a review of the preparation for heated thermocouple venting, performed in ac;;ordance Radiation Work Permit 98-2501,
| | Omaha. Nebraska 68102-2247 ' |
| " Reactor Head Work in High Radiation Areas." The historicalinformation in the ALARA work package alerted ALARA personnel that dosimetry worn by personnel working on the reactor head should be relocated, if necessary. This ensured measurement of the dose to the part of the who!e-body exposed to the highest dose rate. Procedure RP-201,
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| " Radiation Work Permits," Revision 14, provided guidance for relocating dosimetry to a specific whole-body location other than the chest when that part will consistently receive more exposure due to the worker's position or dose gradient. The surycy used during the ALARA prejob briefing indicated dose rates of 50-75 millirems / hour, however, the work area survey only provided dose rates at waist height. The ALARA planner had not sought the additional survey information necessary to thoroughly review the potential need for relocation of personnel dosimetr l
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| | May 29,1998 LIC-98-0073 t |
| Licensee representatives acknowledged the inspector's comment and advised workers j to relocate dosimetry devices to the lower thigh during this particular work activit l Additionally, the radiation protection technician providing job coverage for heated thermocouple venting was instructed to conduct a comprehensive radiation survey of the work area by measuring dose rates at different heights. Following the completion of ,
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| heated thermocouple venting, the inspector reviewed the job survey record and noted l that the dose rates at chest height and lower thigh height were not significantly different, in this case. However, the inspector concluded that the process used by ALARA personnel to evaluate the effect dose gradients on the placement of dosimetry was weak, in this exampl l l
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| | U.S. Nuclear Regulatory Commission . |
| | ATTN: Document Control Desk f Mail Station PI-137 Washington, D.C. 20555 References: Docket No. 50-285 l_etter from NRC (B. Murray) to OPPD (S. K. Gambhir) dated April 30,1998 SUBJECT: Reply to a Notice of Violation, NRC Inspection Report No. 50-285/98-06 The subject report (Reference 2) transmitted a Notice of Violation (NOV) resulting from an NRC inspection conducted April 6-10,1998, at the Fort Calhoun Station (FCS). Attached is the Omaha Public Power District (OPPD) response to this NO If you should have any questions, please contact m Sin rely, O h S. K. Gambhir Division Manager Engineering & Operations Support EPM / epm Attachment c: E. W. Merschoff, NRC Regional Administrator, Region IV L. R. Wharton, NRC Project Manager W. C. Walker, NRC Senior Resident Inspector Winston and Strawn |
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| | 45 st24 Employment with Equal 0pportunrty Avam JX%s ASTW1 Mm |
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| i-6-l l Another potential vulnerability involved the guidance provided to ALARA planners by Procedure RP-201, " Radiation Work Permits," Revision 14. The procedure provided guidance for determining if respiratory protection equipment was warranted to maintain the total effective dose equivalent low. Through the use of estimated or historical radiological data in specified equations, the ALARA planners could predict the need for respiratory protection equipment. However, the procedural guidance did not instruct ALARA planners to reevaluate the need for respiratory protection equipment when the actual radiological conditions were known. The inspector concluded that the guidance was weak because it instructed the ALARA planner how to predict the need for respiratory protection equipment but not to confirm the prediction, once actual radiological information was available. The inspector reviewed selected ALARA work packages and found that ALARA planners had used actual data when it became available despite the lack of procedural guidance. The inspector concluded that the personnelinitiative of the ALARA planners compensated for the procedural weaknes The inspector attended ALARA prejob briefings on both the day and night shifts. Overall, ALARA prejob briefings were conducted well. The meetings were free of interruptions and resulted in good exchanges of information related to the werk assignments, the potential radiological hazards in the specific work areas, and the radiation protection practices necessary to work safel Conclusions A good ALARA program was implemented with isolated exceptions. Generally, planned work activities were reviewed thoroughly by ALARA personnel and dose saving measures were integrated appropriately. ALARA prejob briefings were effective in communicating potential radiological hazards and good radiation protection practices to radiation workers. Isolated weak ALARA program elements, involving the evaluation of the effects of dose gradients on dosimetry location and the procedural guidance for evaluating the need for respiratory protection equipment, were note R1.3 Exoosure Controls Insoection Scoos (83729 and 83750)
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| . Radiation work permits | | _g Attachment |
| . Radiological area posting
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| . High radiation area controls
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| . Dosimetry use
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| . Radiation protection job coverage Observations and Findinas l Radiation work permits provided appropriate guidance to radiation workers. Radiological
| | NOTICE OF VIOLATION Omaha Public Power District Docket No. 50-285 Fort Calhoun Station License No. DPR-40 During an NRC inspection conducted on April 6-10,1998, a violation of NRC requirements was identifie In accordance with the " General Statement of Policy and Procedure for NRC Enforcement Actions," |
| ! area postings were maintained properly. The inspector performed independent radiation
| | NUREG-1600, the violations are listed below: |
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| | 10CFR20.1003 defines a high radiation area as an area accessible to individuals, in which radiation levels could result in an individual receiving a dose equivalent in excess of 0.1 rem (100 millirems) in 1 hour at 30 centimeters from the radiation source or from any surface that the radiation penetrate Technical Specification 5.11 requires, in part, that entrance into high radiation areas be controlled by radiation work permit Radiation Work Permit 98-0011, " Routine Operations Duties Throughout Containment," Revision 0, requires continuous radiation protection coverage for entry into restricted high radiation areas (high radiation areas with dose rates greater than 1000 millirems / hour) |
| measurements in the containment building and confirmed that radiation area boundaries were properly located. High radiation area controls were properly maintained; however, I
| | Contrary to the above, on April 7,1998, an individual working in accordance with Radiation Work Permit 98-0011 entered a restricted high radiation area in Steam Generator Bay B without continuous radiation protection coverag This is a Severity Level IV violation (Supplement IV)(50-285/9806-05). l D==ha Public Power District (OPPD) Resnonse |
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| | 'A.- Reason for the Violation The reason for this violation was personnel error in that an Operator entered a Restricted liigh Radiation Areas (RilRA) without continuous Radiation Protection (RP) coverage as required by the governing Radiation Work Permit (RWP). |
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| | On April 7,1998, at approximately 0730 the Operations Control Center (OCC) assigned an Equipment Operator to remove tags on the Demineralized Water System in containment. At approximately 0745, the . |
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| | Operator wcat to the RP access control point. There he consulted the Shift RP Technician to ascertain the appropriate RWP to be used for this entry. The Shift RP Technician instructed the Operator to use RWP 98-0011. This RWP is written for routine operations duties in containment. This RWP allows for access |
| -7-there were examples of radiation workers entering high radiation areas and restricted high radiation areas improperly. These examples are discussed in Section R Radiation workers wore dosimetry properly, with one exception. This example is also discussed in Section R Radiation protection coverage of work activities within the cor.tainment building was good; however, the inspector noted that radiation protection technicians were not always conspicuous. It was only when they were carrying radiation detection instruments that they were distinguishable from the other radiation workers in ant-contamination clothin The licensee acknowledged the inspector's comment but made no commitment The presence of leaking fuel caused additional challenges that had to be addressed by the radiation protection organization. The electronic, alarming dosimeters used by the licensee were not capable of measuring the radiation doses caused by noble gas because they resulted from low energy radiation. In order to update radiation worker dose information when noble gas was present in significant concentrations, radiation protection personnel had to take compensatory actions. Radiation protection personnel calculated the deep dose equivalent resulting from noble gasec, read and recorded the deep dose measured by the electronic alarming dosimeters, turned off the electronic, alarming dosimeters manually, added the deep dose to the calculated dosed, and entered the new information into the access control computer system. This process proved cumbersome because of the amount of work that had to be accomplished manually for each radiation worker. At one point on April 8,1998, radiation protection personnel were unable to keep the dose information updated. Radiation protection personnel confirmed that 43 radiation workers returned to the radiological controlled area before radiation protection personnel could complete their calculations and update the radiation workers' dose margins. The licensee documented these situations in Condition Report 19980072 Procedure SO-G-101 requires that personnel working in a radiological controlled area remain knowledgeable of their exposure and margin. In the examples in which radiation workers returned to the radiological controlled area before their dose totals were updated, they could not remain knowledgeable of their true dose margins. The failure to ,
| | . to areas posted up to and including RHRAs. The RWP includes an instruction stating " Continuous RP coverage required for entry into RHRAs." ; |
| follow the instruction in Procedure SO-G-101 was identified by the inspector as a j violation of Technical Specification 5.8.1, which requires the licensee establish, !
| | The Shift Technician stated that the Operator who removed the tags required entries into both Steam |
| implement, and maintain procedures listed in Appendix A of Regulatory Guide 1.33. The inspector determined that in these cases there was no significant potential to exceed ,
| | . Generator (SG) bays. The Shift Technician stated that he instructed the Operator to inform the . |
| regulatory dose limits. This failure constitutes a violation of minor significance and is l being treated as a noncited violation consistent with Section IV of the NRC Enforcement 1 Policy (50-285/9806-01).
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| | Containment RP Rover as to the locations of the valves that were tagged. The Shift Technician also stated that he called the Containment Rover and informed him that an Operator may be needing assistance. He |
| | : also discussed clothing requirements for entering a Highly Contaminated Area (HCA). |
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| Good radiation exposure controls were implemented, in most cases, and good job coverage was provided by radiation protection personne !
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| : Insoection Scooe (83729 and 83750)
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| Controls of radioactive material and contamination l
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| . Radiation detection equipment and calibration | | -* . , LIC-98-0073 g Page 2 S The Operator recalled the conversation with the Shift RP differently. He stated that he informed the RP of the locations of the valves, including inside the SG bays, and that the majority of the discussion involved the appropriate dress requirements for entering an HC It appears that these two individuals left the discussion with an understanding as to the requirements for entering an HCA, but, neither of the individuals effectively closed the loop concerning the requirements for entering the SG bay The Operator logged into RWP 98-0011 at 0752 and proceeded to enter Containment to remove the tag : The valves involved included one located inside the "B" SG Bay, another located between the entrances of both SG Bays in an HCA and the last located inside the "A" SG Bay. The Operator located the Containment RP Rover and apprised him of the locations of the valves and the need to remove tags.- The RP showed the Operator the location of the necessary protective clothing. The Containment RP Rover discussed the requirements for entry with the Operator. He understood that the. Operator would enter the HCA, remove the tag on the valve located there, exit the HCA and then require continuous coverage for the remaining two valves. The Operator entered the HCA and removed the tag on the valve located ther As he finished with that valve, several Electricians and a RP Technician were entering the "B" SG Ba The RP Technician was the first to enter the bay, followed by the crew. The Operator followed this crew - |
| . Whole-body counting t | | into the bay and removed the tag from the valve in that bay without continuous RP coverage as required |
| i Observations and Findinas
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| | by the RW The RHRA posting for the bay is located on the door. This door swings outward which removes the 4 posting from view while the door is open. Since the Operator followed closely behind the Electricians, he |
| Radiation surveys were generally documented well and easily understood. One weak aspect of the radiation protection surveys, involving the documentation of radiation dose gradients, is discussed in Section R1.2. Radiation protection personnel maintained current knowledge of airbome radioactivity levels through air sampling. The results were documented properly. The radiation detection instruments observed by the inspector were response-tested properly and were used within the allowable calibration interval l The inspector observed the survey and release of items from the radiological controlled area and identified no problem Radiation protection personnel made personnel contamination log entries every time an
| | - was not able to read the postings on the door. After entering the bay, the job coverage RP Technician , |
| , | | with the Electricians questioned the Operator if he needed continuous RP coverage. The Operator stated 'j he was OK as he had spoken with the Containment Rover. During the 1996 Refueling Outage, the SG bays were posted as HRA and Operators were allowed to enter these areas after a briefing with an RP Technicia The Operator removed the tag on the valve in that bay and exited through the "B" RCP Bay. He then asked the RP rover to unlock the door to "A" SG Bay to perform the final tag removal. The rover ! |
| individual was unable to pass personnel contamination monitors without an alarm. The l inspector noted that many of the personnel contamination log entries resulted from individuals unable to successfully pass the personnel monitors because of the presence of noble gases. The inspector asked radiation protection personnelif an attempt was made to trend the personnel contamination events that resulted from other than noble gases. The inspector commented that such information could be used to identify
| | unlocked "A" SG bay and escorted the Operator into the RHRA for the final tag. The Operator then exited Containment. The Operator logged out of the RWP at 090 ' There were several chances for this event to have been prevented. The Operator spoke with two different , |
| [ negative radiation work practices. Licensee personnel stated that no attempt was made l
| | RP Technicians on separate occasions prior to entering the RHRA. The communications between the L Operator and each of the Technicians seemed to focus more on the dress out requirements for entering an HCA than the RHRA concern Corrective S**na Which Have Been T*== anni the Daenha JLehlaved In the short term the RP Technicians are controlling the access doors to ensure that proper control is |
| to discriminate between contamination events resulting noble gases and events occurring for other reasons, but they acknowledged the potential use of such information.
| | ; maintained. In addition, this event was discussed with plant supervision, the RP Technicians and |
| | | : Operations personnel. 'Ihe event was publicized on the plant information viewing system (3N) to insure |
| L l Conclusions Surveying and monitoring were performed properly and effective contamination controls were use R1.5 Radiation Worker Practices Insoection Scooe (83729 and 83750) | | . |
| I The inspector interviewed licensee representatives and attended an all-hands briefing involving radiation worker practices. Additionally, the inspector reviewed the following:
| | i that personnel were aware of the event and what should have been don ! |
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| . Selected condition reports i
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| . Selected radiation work permits j
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| . b. Observations and Findinas At the start of the inspection, licensee representatives informed the inspector of three examples of workers failing to meet radiation worker requirement ;
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| l Descriotion of Occurrences i On April 4,1998, two contract employees were observed entering a room posted as a high radiation area. The individuals were not working in accordance with a radiation work permit that allowed entrance into a high radiation area. According to the electronic dosimeter records, the radiation dose received by each individual i was 2 millirems. The occurrence was documented in Condition Report i 199800651, On April 4,1998, an individual entered a restricted high radiation area (a high radiation area with dose rates greater than 1000 millirems / hour) to perform wor After a while, the individual's electronic, alarming dosimeter alarmed, and radiation protection personnel instructed the individual to leave the radiological controlled area. The individual had attended a prejob briefing in accordance with Radiation Work Permit 98-3512 and had been informed of the radiological conditions in the work area and the special requirements of the radiation work permit. Radiation protection personnel had provided continuous coverage, as required by the radiation work permi Licensee representatives determined that the individual entered an incorrect radiation work permit number into the access control computer. Instead of Radiation Work Permit 98-3512, the proper radiation work permit for the work activity, the individual entered Radiation Work Permit 98-101, a general radiation work permit that the individual had used previously. The occurrence might not have been identified, except that the individual's electronic, alarming dosimeter alarmed at a lower dose because the alarm set points were dictated by Radiation Work Permit 98-101, rather than 98-3512. Radiation Work Permit 98-101 did not allow entry into restricted high radiation areas and required electronic, alarming dosimeter set points of 20 millirems for dose and 80 millirems / hour for dose rat Radiation Work Permit 98-3512 allowed entry into restricted high radiation areas and required electronic alarming dosimeter set points of 200 millirems for dose and 200 millirems / hour. The individual received 21 millirems during the entry into the radiological controlled area. The occurrence was documented in Condition Report 19980065 . On April 5,1998, an individual did not wear his thermoluminescent dosimeter into a radiation area. The individual's thermoluminescent dosimeter was found attached to his security badge at the containment building access poin Licensee representatives stated that, although the individual did not wear his thermoluminescent dosimeter, he wore an electronic, alarming dosimeter. The electronic, alarming dosimeter indicated that the individual received a radiation dose of only 1 millirem before the problem was identified, and the individual was
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| . | | * LIC-98-0073 |
| -10-l instructed to leave the radiological controlled area. The occurrence was l- documented in Condition Report 199800659, Licensee representatives stated that these three occurrences indicated a negative trend in radiation worker practices. As corrective action to prevent recurrence, licensee -
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| , management instructed radiation workers to attend an all-hands briefing to discuss the i
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| occurrences and to emphasize the need to follow radiation worker requirement Briefings were conducted April 6,199 On April 7,1998, a fourth radiation worker problem occurred. In the fourth occurrence, .
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| licensee representatives observed an operator in a restricted high radiation area without continuous radiation protection coverage. The occurrence was documented in Condition Report 199800072 NRC Analvsis Three of the four occurrences involved personnel entry into high radiation area j Technical Specification 5.11 requires that entrance into high radiation areas be controlled by radiation work permits. It also requires that any individual or group of individuals permitted to enter such areas be provided with or accompanied by one or more of the following: A radiation device which continuously indicates the radiation dose rate in the are c A radiation device which continuously integrates the radiation dose rate in the area and alarms when a preset integrated dose is reached. (Entry with this
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| ! monitoring device may be made after the dose rate level in the area has been
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| established and personnel have been made knowledgeable of dem.) . i An individual qualified in radiation protection procedures who is equipped with a radiation dose rate monitoring device. (This individual shall be responsible for providing positive control over the activities within the area and shall perform periodic radiation surveillance at the frequency specified by the radiation i
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| protection manager or the radiation work permit.)
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| The inspector concluded that the individuals involved in the first occurrence did not comply with the requirements of Technical Specification 5.1 * The individuals were not working in accordance with a radiation work permit issued to control entry into the high radiation area. - The individuals were working in accordance with a general radiation work permit (98-101) that allowed entry into only radiation areas, contaminated areas, and airborne radioactivity areas. This is a violation of Technical Specification 5.11. The licensee excluded the individuals from the radiological controlled area and conducted an all-hands meeting to discuss the importance of meeting radiation worker requirement This nonrepetitive, licensee-identified and corrected violation is being treated as a noncited Violation, consistent with Section Vll.B.1 of the NRC Enforcement Policy (50-285/9806-02)
| | , Corrective Stens whh Will Be Taken Both the initial and continuing training material for General Employee Training (GET) will be revised to ensure that Management's expectations for radiation area controls are adequately communicated including following: the requirements for entering an RHRA is covered, |
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| | . ensure that the concept of continuous coverage is clearly defined proper restoration of radiological postings, the restrictions on " tailgating" through radiation boundaries and the need to establish a boundary monitor while a boundary is defeate These revisions will be completed prior to October 31,199 ' Currently qualified radiation workers will be trained on this material prior to the start of the next refueling outage, currently scheduled to begin in the fall of 199 Date When Full Compliance Will Be Achie5ed OPPD is currently in full complianc . |
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| -11-The inspector concluded that individual involved in the second occurrence met the intent of Technical Specification 5.11. The individual attended the Wejob briefing for the correct radiation work permit. Therefore, the individual was knowledgeable of radiological conditions in the area and of the requirements of the radiation work permi The individual was provided with a radiation device which continuously integrated the radiation dose rate in the area and alarmed when a preset integrated dose was reached (a lower dose than allowed by the correct radiation work parmit) and was accompanied by an individual qualified in radiation protection procedures who was equipped with a radiation dose rate monitoring device. The only thing done incorrectly was that the proper radiation work permit number was not entered into the access control compute This was not performed in accordance with Procedure SO-G-101, " Radiation Worker Practices," Revision 9, Section 5.5.2, which requires that persons entering the radiological controlled area enter the last four digits of the radiation work permit to be used into the access control computer. Therefore, this was a violation of Technical Specification 5.8.1, which requires the licensee establish, implement, and maintain procedures listed in Appendix A of Regulatory Guide 1.33. Because the individual was properly instructed and overseen, there was no negative impact on safety. This failure constitutes a violation of minor significance and is being treated as a noncited violatio l consistent with Section IV of the NRC Enforcement Policy (50-285/9806-03). 4
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| The individual involved in the third occurrence violated the requirements of Procedure SO-G-101, bection 5.3.2.F which requires that personnel entering the !
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| radiological controlled area be monitored for external radiation exposure by use of a thermoluminescent dosimeter and a direct reading or electronic dosimete Thermoluminescent dosimeters are used by the licensee to provide information for radiation workers official dose records. This is a violation of Technical Specification 5. which requires that procedures and administrative policies be established, implemented, and maintained that include the items in Appendix A of Regulatory Guide 1.3 The licensee excluded the individual from the radiological controlled area and conducted an all-hands meeting to discuss the importance of meeting radiation worker requiremer.'J. This nonrepetitive, licensee-identified and corrected violation is being treated as a noncited violation, consistent with Section Vll.B.1 of the NRC Enforcement Policy (50-285/9806-04).
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| The individual involved in the fourth occurrence did not comply with the requiremeNs of Technical Specification 5.11. The individual's radiation work permit (98-0011) alloe 9d entry into restricted high radiation areas if continuous radiation protection coverage was provided. The ir,dividual did not have continuous radiation protection coverage and, therefore, aid not comply with radiation work permit requirements. The licensee's actions to prevent occurrences such as described in Occurrence No.1 were not effective. This is a violation of Technical Specification 5.11 (50-285/9806-05).
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| Mditional Observations During tours of the reactor containment building, the inspector observed radiation worker pro ces. Numerous minor problems were noted as radiation workers removed
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| -12-anticontamination clothing after exiting the cont ?inment building. It is likely that this situation existed because many of the radiation workers had never worked at a nuclear facility previously. Licensee representatives stated that 499 contractor employees were provided personnel monitoring. Of these,173 had not been monitored previously at the I licensee's site or others. The inspector noted that radiation protection personnel provided good oversight of undre; sing activities and were quick to coach radiation workers in the proper radiation protection technique Conclusions
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| , Declining radiation worker performance was noted. Problems involving improper entry into high radiation areas, desimetry use, and contamination control were identifiecl. A noncited violation was identified when an individual entered the reactor containment building without a thermoluminescent dosimeter. Discretion was exercised in accordance with Section Vll.B.1 of the NRC Enforcement Policy. A noncited violation was identified when individuals entered a high radiation area improperly. Discretion was exercised in accordance with Section Vll.B.1 of the NRC Enforcement Policy. However, a violation of Technical Specification 5.11 was identified when another radiation worker l entered a restricted high radiation area improperl R5- Staff Training and Qualification j Insoection Scoos (83729 and 83750)
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| -. The inspector reviewed selected resumes of cor, tractor radiation protection technicians and interviewec' the individual responsible for screening applicants. ;
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| l Observations and Findinas i l
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| L Contractor radiation protection technicians had sufficient experience in radiation protection activities to meet the requirements of Technical Specification Conclusions l l
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| Contractor radiation protection technicians were qualified and properly screene V. Management Meetings ;
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| X1 Exit Meeting Summary i
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| The inspector presented the inspection results to members of licensee management at an exit :
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| meeting on April 10,1998. The licensee acknowledged the findings presented. No proprietary information was identifie )
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| ATTACHMENT PARTIAL LIST OF PERSONS CONTACTED Licensee J. Chase, Plant Manager S. Gambhir, Engineering and Operations Division Manager G. Gates, Vice President S. Gebers, Radiation Protection Manager R. Hamilton, Chemistry Manager R. Haug, Corporate Health Physicist R. Hodgson, ALARA Supervisor T. Jamieson, Radiological Operations Supervisor C. King, Health Physicist M. Puckett, Radiologica! Operations Supervisor K. Steele, Containment Coordinator (Nights)
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| T. Thompson, Radiological Operations Shift Technician C. Williams, ALARA Technician
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| NEG V. Gaddy, Resident inspector W Walker, Senior Resident inspector l
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| l INSPECTION PROCEDURES USED 83729 Occupational Exposure During Extended Outages 83750 Occupational Radiation Exposure ITEMS OPENED. CLOSED. AND DISCUS.c"S Orened 60-285/9806-01 NCV Radworkers were not knowledgeable of dose margins 50-285/9806-02 NCV Failure to comply with Technical Specification 5.11 50-285/9806-03 NCV Failure to enter correct radiation work permit number 50-285/9806-04 NCV Failure to wear thermoluminescent dosimeter 50-285/9806-05 VIO Failure to comply with Technica! Specification 5.11
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| . l Closed 50-285/9806-01 NCV Radworkers were not knowledgeable of dose marginn
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| .50-285/9806-02 NC Failure to comply with Technical Specification 5.11 50-285/9806-03 NCV Failure to enter correct radiation work permit number 50-285/9806-04 NCV Failure to wear thermoluminescent dosimeter LIST OF DOCUMENTS REVIEWED Procedures SO-G-101 Radiation Worker Practices, Revision 9 RP-201 Radiation Work Permits, Revision 14 RP-201 Radiological Surveys, Revision 12 RP-204 Radiological Area Controls, Revision 23 RP-205 DAC-Hour Tracking, Revision 4 RP-301 ALARA Job-Reviews, Revision 13 RP-606 - Special Dosimetry Issue, Control and Use, Revision 7 RP-608 Skin Dose Calculations, Revision 7 -
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| Condition Reports 199800473 199800651 199800655 199800659 199800720'
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Category:CORRESPONDENCE-LETTERS
MONTHYEARLIC-99-0098, Forwards Revs to Fort Calhoun Station EPIPs & Emergency Planning Forms Manual.Document Update Instructions & Summary of Changes Are Included on Confirmation of Transmittal Form Attached1999-10-15015 October 1999 Forwards Revs to Fort Calhoun Station EPIPs & Emergency Planning Forms Manual.Document Update Instructions & Summary of Changes Are Included on Confirmation of Transmittal Form Attached ML20217G9261999-10-15015 October 1999 Forwards Insp Rept 50-285/99-10 on 990913-17.One NCV Noted ML20217G2331999-10-14014 October 1999 Forwards Insp Rept 50-285/99-09 on 990913-17.No Violations Noted LIC-99-0091, Submits Suppl Response to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, in Response to NRC RAI During 990817 Meeting with Util1999-10-0808 October 1999 Submits Suppl Response to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, in Response to NRC RAI During 990817 Meeting with Util LIC-99-0097, Forwards Final RO & SRO License Applications,As Requested in ,Certifying That Training Completed for Six RO Candidates,Three Instant SRO Candidates & One Upgrade SRO Candidate.Without Encls1999-10-0707 October 1999 Forwards Final RO & SRO License Applications,As Requested in ,Certifying That Training Completed for Six RO Candidates,Three Instant SRO Candidates & One Upgrade SRO Candidate.Without Encls ML20217B5111999-10-0606 October 1999 Forwards Amend 193 to License DPR-40 & Safety Evaluation. Amend Revises TS Sections 2.10.4,3.1 & Table 3-3 to Increase Min Required RCS Flow Rate & Change Surveillance require- Ments for RCS Flow Rate ML20216H7231999-09-29029 September 1999 Informs That Util 980325 Response to GL 97-06, Degradation of SG Internals, Provides Reasonable Assurance That Condition of Util SG Internals in Compliance with Current Licensing Bases for Fort Calhoun Station,Unit 1 ML20212L9571999-09-27027 September 1999 Informs That Follow Up Insp for Drill/Exercise Performance Indicator Will Be Conducted During Wk of 991001 LIC-99-0089, Forwards Preliminary License Exam Applications for Six Ros, Three Instant SROs & One Upgrade SRO Candidate,Per Preparation for Ro/Sro Licensing Exams to Be Administered on 991025-29 at Fcs.Without Encl1999-09-24024 September 1999 Forwards Preliminary License Exam Applications for Six Ros, Three Instant SROs & One Upgrade SRO Candidate,Per Preparation for Ro/Sro Licensing Exams to Be Administered on 991025-29 at Fcs.Without Encl LIC-99-0092, Forwards Revised Epips,Including non-proprietary Rev 8 to EPIP-RR-66,rev 3 to EPIP-EOF-24,rev 14 to RERP-Section F,Rev 11 to RERP-Section I,Rev 12 to RERP-Appendix C & RERP & EPIP Indexes.Proprietary Rev 3 to EPIP-EOF-24,pages 1-3,encl1999-09-21021 September 1999 Forwards Revised Epips,Including non-proprietary Rev 8 to EPIP-RR-66,rev 3 to EPIP-EOF-24,rev 14 to RERP-Section F,Rev 11 to RERP-Section I,Rev 12 to RERP-Appendix C & RERP & EPIP Indexes.Proprietary Rev 3 to EPIP-EOF-24,pages 1-3,encl LIC-99-0087, Forwards Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams1999-09-17017 September 1999 Forwards Response to NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams LIC-99-0088, Forwards Documentation Associated with SRO License Renewal Application for Cd Darrow.Applicant Has Satisfactorily Completed Applicable FCS Requalification Program.Without Encls1999-09-16016 September 1999 Forwards Documentation Associated with SRO License Renewal Application for Cd Darrow.Applicant Has Satisfactorily Completed Applicable FCS Requalification Program.Without Encls LIC-99-0080, Requests Approval of Attached Rev to QAP Contained in App a of Usar,Revising Commitment Re Qualifications of Personnel Performing Quality Control Insps of Activities Affecting Fire Protection1999-09-16016 September 1999 Requests Approval of Attached Rev to QAP Contained in App a of Usar,Revising Commitment Re Qualifications of Personnel Performing Quality Control Insps of Activities Affecting Fire Protection LIC-99-0085, Forwards Revs 18 & 19 to TDB-VI, COLR for FCS Unit 1,IAW TS 5.9.5.Rev 18 Resulted from Reevaluation of Cycle 18 Setpoints & Rev 19 Resulted from Changes in Cycle 19 Refueling Boron Concentrations & Addition of TS Parameters1999-09-0808 September 1999 Forwards Revs 18 & 19 to TDB-VI, COLR for FCS Unit 1,IAW TS 5.9.5.Rev 18 Resulted from Reevaluation of Cycle 18 Setpoints & Rev 19 Resulted from Changes in Cycle 19 Refueling Boron Concentrations & Addition of TS Parameters IR 05000285/19990081999-09-0707 September 1999 Forwards Insp Rept 50-285/99-08 on 990907-0811.No Violations Noted.Insp Consisted of Exam of Activities Conducted Under License as Relate to Safety & to Compliance with Commission Rules & Regulations & with Conditions of License ML20211P2581999-09-0303 September 1999 Forwards Insp Rept 50-285/99-06 on 990809-12.No Violations Noted.Insp Consisted of Exam of Activities Under License as Related to EP & to Compliance with Commission Rules & Regulations & with Conditions of License LIC-99-0083, Requests Participation in internet-based Y2K Early Warning Sys (Yews),As Noted in NRC Info Notice 99-25.Plant Point of Contact Will Be JW Chase1999-09-0202 September 1999 Requests Participation in internet-based Y2K Early Warning Sys (Yews),As Noted in NRC Info Notice 99-25.Plant Point of Contact Will Be JW Chase ML20211J9231999-09-0202 September 1999 Forwards SE Accepting Licensee 990301 Requests for Relief Re Third 10-year ISI Interval for Plant,Unit 1.Relief Proposed Alternatives to Requirements in ASME B&PV Section XI,1989 Edition,Paragraphs IWA-5242(a) & IWA-5250(a)(2) ML20211L3241999-09-0202 September 1999 Informs That Due to Administrative Error,Page 2-50 of TSs Contained Error on 2.10.2(2) of Amend 192 to License DPR-40 Issued on 990727.Corrected Page Encl LIC-99-0077, Forwards non-proprietary & Proprietary Revised EP Forms, Including FC-EPF Index,Pp 1 Dtd 990805,pp 2 Dtd 990812,rev 11 to FC-EPF-9,rev 12 to FC-EPF-10,rev 9 to FC-EPF-11,rev 2 to FC-EPF-12 & Rev 3 to FC-EPF-38.Proprietary EP Withheld1999-08-27027 August 1999 Forwards non-proprietary & Proprietary Revised EP Forms, Including FC-EPF Index,Pp 1 Dtd 990805,pp 2 Dtd 990812,rev 11 to FC-EPF-9,rev 12 to FC-EPF-10,rev 9 to FC-EPF-11,rev 2 to FC-EPF-12 & Rev 3 to FC-EPF-38.Proprietary EP Withheld ML20211F4491999-08-25025 August 1999 Forwards Ltr from Ja Miller,Dtd 990819,which Notified State of Iowa of Deficiency Identified During 990810,Fort Calhoun Station Biennial Exercise.One Deficiency Identified for Not Adequately Demonstrating Organizational Capability LIC-99-0076, Forwards fitness-for-duty Program Performance Data for Six Month Period from Jan-June 1999,IAW 10CFR26.71(d)1999-08-20020 August 1999 Forwards fitness-for-duty Program Performance Data for Six Month Period from Jan-June 1999,IAW 10CFR26.71(d) LIC-99-0078, Forwards Rev 16C to FCS Site Security Plan,Per Provisions of 10CFR50.54(p).Rev Has Been Determined Not to Degrade Effectiveness of Current Security Plans.List of Changes, Provided.Encl Withheld1999-08-20020 August 1999 Forwards Rev 16C to FCS Site Security Plan,Per Provisions of 10CFR50.54(p).Rev Has Been Determined Not to Degrade Effectiveness of Current Security Plans.List of Changes, Provided.Encl Withheld ML20210R1491999-08-13013 August 1999 Forwards Insp Rept 50-285/99-07 on 990719-23.No Violations Noted.Nrc Identified One Issue Which Was Evaluated Under Risk Significance Determination Process & Was Determined to Be of Low Risk Significance LIC-99-0075, Forwards Monthly Operating Rept for July 1999 for Fcs,Unit 1,per Plant TS 5.9.1.Revised Rept for June 1999,encl Due to Inadvertent Reporting of Gross Electrical Energy Data When Net Electrical Energy Data Was Required1999-08-13013 August 1999 Forwards Monthly Operating Rept for July 1999 for Fcs,Unit 1,per Plant TS 5.9.1.Revised Rept for June 1999,encl Due to Inadvertent Reporting of Gross Electrical Energy Data When Net Electrical Energy Data Was Required ML20211A9501999-08-12012 August 1999 Discusses 990720-21 Workshop Conducted in Region IV Ofc,Re Exchange of Info in Area of Use of Risk Insights in Regulatory Activities.List of Attendees,Summary of Topic & Issues,Agenda & Copies of Handouts Encl ML20211B7881999-08-10010 August 1999 Transmits Summary of Two Meetings with Risk-Informed TS Task Force in Rockville,Md on 990514 & 0714 ML20210N1991999-08-0909 August 1999 Informs That as Result of NRC Review of Licensee Responses to GL 92-01,rev 1,suppl 1 & Suppl 1 Rai,Staff Revised Info in Reactor Vessel Integrity Database & Releasing Database as Rvid Version 2 ML20210P8991999-08-0909 August 1999 Forwards FEMA Final Rept for 990630 Offsite Medical Drill. No Deficiencies or Areas Requiring Corrective Action Identified During Drill LIC-99-0072, Requests That Licensee 990526 Application for Amend & Related Documents,Be Withdrawn.Util Requests That NRC Review Attached Responses to Ensure That Upcoming Submittal Will Be Acceptable1999-08-0606 August 1999 Requests That Licensee 990526 Application for Amend & Related Documents,Be Withdrawn.Util Requests That NRC Review Attached Responses to Ensure That Upcoming Submittal Will Be Acceptable ML20210L1461999-08-0303 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Requests Submittal of Ltr Identifying Individuals Taking Exam,Personnel Allowed Access to Exams & Mailing Address for Exams LIC-99-0068, Documents OPPD Response to Requested Actions in GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal1999-08-0202 August 1999 Documents OPPD Response to Requested Actions in GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal LIC-99-0040, Forwards Rept of Changes,Tests & Experiments Performed Per 10CFR50.59 & Revs to USAR Other than Those Resulting from 10CFR50.59.Encl Info Covers Period of 981101-9903311999-07-28028 July 1999 Forwards Rept of Changes,Tests & Experiments Performed Per 10CFR50.59 & Revs to USAR Other than Those Resulting from 10CFR50.59.Encl Info Covers Period of 981101-990331 LIC-99-0070, Requests Reinstatement of SRO License Previously Held by K Grant-Leanna (License SOP-43569).Operator Is Current on All requalification-training Topics & Has Completed License Reactivation Program1999-07-28028 July 1999 Requests Reinstatement of SRO License Previously Held by K Grant-Leanna (License SOP-43569).Operator Is Current on All requalification-training Topics & Has Completed License Reactivation Program ML20210G1851999-07-27027 July 1999 Forwards Amend 192 to License DPR-40 & Safety Evaluation. Amend Consists of Changes to TS in Response to 990129 Application LIC-99-0057, Forwards 1999/2000 Statement of Cash Flow from Operations, as Guarantee of Payment of Deferred Premiums for Period of 990630 to 0006301999-07-26026 July 1999 Forwards 1999/2000 Statement of Cash Flow from Operations, as Guarantee of Payment of Deferred Premiums for Period of 990630 to 000630 ML20216D6951999-07-26026 July 1999 Informs That During 990614 Review of Fort Calhoun,Nrc Noted That Drill/Exercise Performance Indicator Has Entered White Band,Which Indicated Level of Licensee Performance That Warranted Increased Regulatory Response LIC-99-0071, Informs That Util Expects to Submit Four Licensing Actions in Each of Fys 2000 & 2001,in Response to Administrative Ltr 99-02, Operating Reactor Licensing Action Estimates1999-07-26026 July 1999 Informs That Util Expects to Submit Four Licensing Actions in Each of Fys 2000 & 2001,in Response to Administrative Ltr 99-02, Operating Reactor Licensing Action Estimates LIC-99-0069, Forwards non-proprietary & Proprietary Epips,Including FC- Epf Index Page & Page 2 ,rev 0 to FC- EPF-42,EPIP Index (Page 1 of 2) & EPIP-OSC-2, Cover & Pages 19 & 20.Proprietary Encls Withheld1999-07-23023 July 1999 Forwards non-proprietary & Proprietary Epips,Including FC- Epf Index Page & Page 2 ,rev 0 to FC- EPF-42,EPIP Index (Page 1 of 2) & EPIP-OSC-2, Cover & Pages 19 & 20.Proprietary Encls Withheld ML20210D9471999-07-22022 July 1999 Forwards Amend 191 to DPR-40 & Safety Evaluation.Amend Authorizes Rev to Licensing Basis as Described in Updated Safety Analysis Rept to Incorporate Mod for Overriding Containment Isolation ML20210C2041999-07-20020 July 1999 Discusses 990715 Mgt Meeting with Midamerican Energy Co Re risk-informed Baseline Insp Program Recently Implemented at Cooper & Fort Calhoun Stations ML20210C0201999-07-20020 July 1999 Informs That Due to Administrative Oversight,Revised TS Bases Provided in to Fort Calhoun Station Were Not Dated.Dated Pages to TS Encl ML20210B0761999-07-19019 July 1999 Forwards Insp Rept 50-285/99-05 on 990601-0710.No Violations Noted ML20209G5351999-07-15015 July 1999 Informs That Staff Incorporated Rev of TS Bases Provided by Licensee Ltr Dtd 980904,into Fort Calhoun Station Tss. Staff Finds Revs to Associated TS Bases to Be Acceptable. Revised Bases Pages Encl ML20209F5741999-07-12012 July 1999 Ack Receipt of Transmitting Exercise Scenario for Upcoming Biennial Offsite Exercise Scheduled 990810.Scenario Reviewed & Acceptable ML20209G5591999-07-0808 July 1999 Forwards Detailed Listing of Staff Concerns with C-E TR NPSD-683,rev 3 & RCS pressure-temperature Limits Rept LIC-99-0066, Forwards Fort Calhoun Performance Indicators Rept for May 19991999-07-0707 July 1999 Forwards Fort Calhoun Performance Indicators Rept for May 1999 LIC-99-0060, Forwards Proprietary & non-proprietary Revs to Fort Calhoun Station Emergency Plan Forms (Epf),Including FC-EPF,FC-EPF-1 & FC-EPF-17.Proprietary Info Withheld1999-07-0101 July 1999 Forwards Proprietary & non-proprietary Revs to Fort Calhoun Station Emergency Plan Forms (Epf),Including FC-EPF,FC-EPF-1 & FC-EPF-17.Proprietary Info Withheld ML20209D8771999-07-0101 July 1999 Summarizes 990630 Public Meeting Conducted in Fort Calhoun, Ne Re Results of Completed Culture Survey,Plant Status, Facility Activities Re New NRC Oversight Process & License Renewal.Licensee Handout & Attendance List Encl LIC-99-0063, Requests Termination of License Held by MR Anderson (License SOP 43812) for Fort Calhoun Station.Anderson Ended Employment Effective 9906241999-07-0101 July 1999 Requests Termination of License Held by MR Anderson (License SOP 43812) for Fort Calhoun Station.Anderson Ended Employment Effective 990624 1999-09-08
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20217G9261999-10-15015 October 1999 Forwards Insp Rept 50-285/99-10 on 990913-17.One NCV Noted ML20217G2331999-10-14014 October 1999 Forwards Insp Rept 50-285/99-09 on 990913-17.No Violations Noted ML20217B5111999-10-0606 October 1999 Forwards Amend 193 to License DPR-40 & Safety Evaluation. Amend Revises TS Sections 2.10.4,3.1 & Table 3-3 to Increase Min Required RCS Flow Rate & Change Surveillance require- Ments for RCS Flow Rate ML20216H7231999-09-29029 September 1999 Informs That Util 980325 Response to GL 97-06, Degradation of SG Internals, Provides Reasonable Assurance That Condition of Util SG Internals in Compliance with Current Licensing Bases for Fort Calhoun Station,Unit 1 ML20212L9571999-09-27027 September 1999 Informs That Follow Up Insp for Drill/Exercise Performance Indicator Will Be Conducted During Wk of 991001 IR 05000285/19990081999-09-0707 September 1999 Forwards Insp Rept 50-285/99-08 on 990907-0811.No Violations Noted.Insp Consisted of Exam of Activities Conducted Under License as Relate to Safety & to Compliance with Commission Rules & Regulations & with Conditions of License ML20211P2581999-09-0303 September 1999 Forwards Insp Rept 50-285/99-06 on 990809-12.No Violations Noted.Insp Consisted of Exam of Activities Under License as Related to EP & to Compliance with Commission Rules & Regulations & with Conditions of License ML20211L3241999-09-0202 September 1999 Informs That Due to Administrative Error,Page 2-50 of TSs Contained Error on 2.10.2(2) of Amend 192 to License DPR-40 Issued on 990727.Corrected Page Encl ML20211J9231999-09-0202 September 1999 Forwards SE Accepting Licensee 990301 Requests for Relief Re Third 10-year ISI Interval for Plant,Unit 1.Relief Proposed Alternatives to Requirements in ASME B&PV Section XI,1989 Edition,Paragraphs IWA-5242(a) & IWA-5250(a)(2) ML20211F4491999-08-25025 August 1999 Forwards Ltr from Ja Miller,Dtd 990819,which Notified State of Iowa of Deficiency Identified During 990810,Fort Calhoun Station Biennial Exercise.One Deficiency Identified for Not Adequately Demonstrating Organizational Capability ML20210R1491999-08-13013 August 1999 Forwards Insp Rept 50-285/99-07 on 990719-23.No Violations Noted.Nrc Identified One Issue Which Was Evaluated Under Risk Significance Determination Process & Was Determined to Be of Low Risk Significance ML20211A9501999-08-12012 August 1999 Discusses 990720-21 Workshop Conducted in Region IV Ofc,Re Exchange of Info in Area of Use of Risk Insights in Regulatory Activities.List of Attendees,Summary of Topic & Issues,Agenda & Copies of Handouts Encl ML20211B7881999-08-10010 August 1999 Transmits Summary of Two Meetings with Risk-Informed TS Task Force in Rockville,Md on 990514 & 0714 ML20210P8991999-08-0909 August 1999 Forwards FEMA Final Rept for 990630 Offsite Medical Drill. No Deficiencies or Areas Requiring Corrective Action Identified During Drill ML20210N1991999-08-0909 August 1999 Informs That as Result of NRC Review of Licensee Responses to GL 92-01,rev 1,suppl 1 & Suppl 1 Rai,Staff Revised Info in Reactor Vessel Integrity Database & Releasing Database as Rvid Version 2 ML20210L1461999-08-0303 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Requests Submittal of Ltr Identifying Individuals Taking Exam,Personnel Allowed Access to Exams & Mailing Address for Exams ML20210G1851999-07-27027 July 1999 Forwards Amend 192 to License DPR-40 & Safety Evaluation. Amend Consists of Changes to TS in Response to 990129 Application ML20216D6951999-07-26026 July 1999 Informs That During 990614 Review of Fort Calhoun,Nrc Noted That Drill/Exercise Performance Indicator Has Entered White Band,Which Indicated Level of Licensee Performance That Warranted Increased Regulatory Response ML20210D9471999-07-22022 July 1999 Forwards Amend 191 to DPR-40 & Safety Evaluation.Amend Authorizes Rev to Licensing Basis as Described in Updated Safety Analysis Rept to Incorporate Mod for Overriding Containment Isolation ML20210C0201999-07-20020 July 1999 Informs That Due to Administrative Oversight,Revised TS Bases Provided in to Fort Calhoun Station Were Not Dated.Dated Pages to TS Encl ML20210C2041999-07-20020 July 1999 Discusses 990715 Mgt Meeting with Midamerican Energy Co Re risk-informed Baseline Insp Program Recently Implemented at Cooper & Fort Calhoun Stations ML20210B0761999-07-19019 July 1999 Forwards Insp Rept 50-285/99-05 on 990601-0710.No Violations Noted ML20209G5351999-07-15015 July 1999 Informs That Staff Incorporated Rev of TS Bases Provided by Licensee Ltr Dtd 980904,into Fort Calhoun Station Tss. Staff Finds Revs to Associated TS Bases to Be Acceptable. Revised Bases Pages Encl ML20209F5741999-07-12012 July 1999 Ack Receipt of Transmitting Exercise Scenario for Upcoming Biennial Offsite Exercise Scheduled 990810.Scenario Reviewed & Acceptable ML20209G5591999-07-0808 July 1999 Forwards Detailed Listing of Staff Concerns with C-E TR NPSD-683,rev 3 & RCS pressure-temperature Limits Rept ML20209D8771999-07-0101 July 1999 Summarizes 990630 Public Meeting Conducted in Fort Calhoun, Ne Re Results of Completed Culture Survey,Plant Status, Facility Activities Re New NRC Oversight Process & License Renewal.Licensee Handout & Attendance List Encl ML20196F4931999-06-24024 June 1999 Discusses 990617 Public Meeting at Dana College,Blair,Ne Re Overview of Pilot Insp Program ML20196D2321999-06-21021 June 1999 Forwards Corrected Cover Ltr for Insp Rept 50-285/99-04. Original Cover Ltr Incorrectly Stated That Rept Contained Two Noncited Violations,When Rept Actually Documented Only One ML20195J2121999-06-14014 June 1999 Ack Receipt of Ltr Dtd 990316,which Transmitted Rev 16B to Site Security Plan,Rev 2 to Safeguards Contingency Plan & Rev 6 to Training & Qualification Plan for Plant,Under Provisions of 10CFR50.54(p) IR 05000285/19990041999-06-11011 June 1999 Corrected Ltr Forwarding Insp Rept 50-285/99-04 on 990425-0531.Insp Determined That One Violation of NRC Requirements Occurred & Being Treated as Noncited Violation, Consistent with App C of Enforcement Policy ML20195J2481999-06-11011 June 1999 Forwards Insp Rept 50-285/99-04 on 990425-0531.Violations Identified & Being Treated as Noncited ML20195G3141999-06-10010 June 1999 Ack Receipt of & Encl Objectives for Facility Emergency Plan Exercise,Scheduled for 990810 ML20195E8391999-06-0909 June 1999 Ack Receipt of Transmitting Changes to Licensee Emergency Plan,Rev 14 & Emergency Plan Implementing Procedure OSC-1 Under Provisions of 10CFR50,App E,Section IV ML20195G3621999-06-0808 June 1999 Ack Receipt of ,Which Transmitted Changes to Fort Calhoun Station Emergency Plan,App A,Rev 15,under Provisions of 10CFR50,App E,Section V.Nrc Approval Not Required ML20207G4741999-06-0808 June 1999 Ack Receipt of Which Transmitted Changes to Fort Calhoun Station EP Implementing Procedure EPIP-OSC-1, Emergency Classification,Rev 31,under Provisions of 10CFR50, App E,Section V ML20207G4631999-06-0808 June 1999 Ack Receipt of Which Transmitted Changes to Fort Calhoun Station Ep,App B,Rev 4,under Provisions of 10CFR50,App E,Section V.No Violations Identified During Review ML20207G2981999-06-0808 June 1999 Ack Receipt of Which Transmitted Changes to Fort Calhoun Station Radiological Er Plan,Section E,Rev 22,under Provisions of 10CFR50,App E,Section V.Nrc Approval Not Required Due to Determination That Effectiveness Unchanged ML20207G4661999-06-0808 June 1999 Ack Receipt of Which Transmitted Changes to Fort Calhoun Station EP Implementing Procedure EPIP OSC-1, Emergency Classification,Rev 30,under Provisions of 10CFR50, App E,Section V ML20207G3401999-05-27027 May 1999 Informs That NRC Held Planning Meeting on 990511 for Fort Calhoun Station to Identify Insp Activities at Facility for Next 6 to 12 Months.Informs of NRC Planned Insp Activities & Offers Licensee Opportunity to Provide Feedback ML20207A9041999-05-24024 May 1999 Informs That NRR Reorganized,Effective 990328.As Part of Reorganization,Div of Licensing Project Mgt Was Created. Reorganization Chart Encl ML20206U6331999-05-18018 May 1999 Forwards Insp Rept 50-285/99-03 on 990314-0424.Four Violations of NRC Requirements Identified & Being Treated as Noncited Violations Consistent with App C of Enforcement Policy ML20206L4151999-05-10010 May 1999 Forwards SE of OPPD Response to GL 95-07, Pressure Locking & Thermal Binding of Safety-Related Power-Operated Gate Valves ML20206H4471999-05-0707 May 1999 Informs That on 990407,NRC Administered Gfes of Written Operator Licensing Exam.Licensee Facility Did Not Participate in Exam,However,Copy of Master Exam with Answer Key,Encl for Info.Without Encl ML20206E7201999-04-28028 April 1999 Responds to Meeting Conducted 990419 in Fort Calhoun,Ne Re Results of PPR Completed 990211.Addl Topics Discussed Included New Assessment Process & Upcoming Actions Planned in Response to Y2K Concerns ML20205Q5671999-04-15015 April 1999 Forwards Amend 190 to License DPR-40 & Safety Evaluation. Amend Revises TS 5.2.f & TS 5.11.2 to Change Title of Shift Supervisor to Shift Manager ML20205J2751999-04-0202 April 1999 Forwards Insp Rept 50-285/99-02 on 990131-0313.No Violations Noted.During Insp,Licensee Conduct of Activities at Fort Calhoun Station Generally Characterized by safety-conscious Operations,Sound Engineering & Maint Practices ML20205A7191999-03-19019 March 1999 Informs That on 990211 NRC Staff Completed PPR of Fort Calhoun Station.Review Was Conducted for All Operating NPPs to Develop an Integrated Understanding of Safety Performance ML20207K6151999-03-11011 March 1999 Forwards Insp Rept 50-285/99-01 on 990208-26.One Noncited Violation Was Identified ML20207E8691999-03-0303 March 1999 Forwards Correction to Amend 188 to License DPR-40 for Plant,Unit 1.Administrative Error,Three Pages of TSs Contained Errors,An Incorrect Page Number,Missing Parenthesis & Misspelled Words ML20203F2041999-02-11011 February 1999 Informs That During 990208 Telcon Between Mc Ralrick & J Pellet & T Stetka,Arrangements Were Made for Administration of Licensing Examinations at Fort Calhoun Station for Week of 991018 1999-09-07
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k' E' 4 UNITE 3 STATES
- -g NUCLEAR REGULATORY COMMISSION
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E REGION IV
- g 611 RYAN PLAZA DRIVE.' SUITE 400 h4 [ AR LINGTON, TEXAS 76011-8064 9*****+0 June 23, 1998 f
S. K. Gambhir, Division Manager Engineering & Operations Support Omaha Public Power District Fort Calhoun Station FC-2-4 Ad . P.O. Box 399 Hwy 75 - North of Fort Calhoun Fort Calhoun, Nebraska 68023-0399 ;
i SUBJECT: NRC INSPECTION REPORT 50-285/98-06
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Thank you for your letter of May 29,1998, in response to our May 30,1998, letter and Notice of Violation concerning . We have reviewed your reply and find it responsive to the l
concerns raised in our Notice of Violation. We will review the implementation of your corrective actione during a future inspection to determine that full compliance has been achieved and will )
be maintaine Sincerel Blaine Murray, Chief Plant Support Branch Division of Reactor Safety Docket No.: 50-285 License No.: DPR-40 cc:
James W. Tills, Manager i Nuclear Licensing Omaha Public Power District Fort Calhoun Station FC-2-4 Ad l l P.O. Box 399 Hwy. 75 - North of Fort Calhoun l Fort Calhoun, Nebraska 68023-0399
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Omaha Public Power District -2-James W. Chase, Manager Fort Calhoun Station P.O.' Box 399 Fort Calhoun, Nebraska 68023 Perry D. Robinson, Es Winston & Strawn l- '1400 L Street, : Washington, D.C. 20005-3502 Chairman Washington County Board of Supervisors
- Blair, Nebraska 68008 '
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Cheryl Rogers, LLRW Program Manager Environmental Protection Section Nebraska Department of Health 301 Centennial Mall, South P.O. Box 95007 -
Lincoln, Nebraska 68509-5007
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Omaha Public Power District -3-l DISTRIBUTION w/coov of licensee's letter dated May 29.1998:
Regional Administrator DRS Director DRS Deputy Director DRS-PSB DRP Director .
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Branch Chief (DRP/B)
Project Engineer (DRP/B)
- Branch Chief (DRP/TSS)
Resident inspector MIS System RIV File DRS Action item File (98-G-0071)
DOCUMENT NAME: R:\_FCS\FC806AK.LTR To receive copy of document. Indicate in box: "C" = Copy without enclosures "E" = Copy with enclosures "N" = No copy RIV:PSB - 1 _. 1E C:DRS\PSB 1 LTRicketsonfrifD7 BMurray
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OFFICIAL RECORD COPY
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Omaha Public Power District -3-DISTRIBUTION w/coov of licensee's letter dated May 29.1998:
l Regional Administrator l DRS Director DRS Deputy Director
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DRS-PSB DRP Director -
Branch Chief (DRP/B) ~
l Project Engineer (DRP/B)
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Branch Chief (DRP/TSS)
Resident inspector MIS System RIV File DRS Action item File (98-G-0071)
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DOCUMENT NAk*3 R.\_FCL" -C806AK.LTR To secohm copy of docuehent, indicate in box: "C" = Copy without enclosures "E" = Copy wth enclosures "N" = No copy RIV:PSB 1 M C:DRS\PSBx LTRicketsonSfDF . BMurray [J~
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L'0998 Omaha P& Power District 444 South lah Steet MnD %~ %, '"
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May 29,1998 LIC-98-0073 t
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U.S. Nuclear Regulatory Commission .
ATTN: Document Control Desk f Mail Station PI-137 Washington, D.C. 20555 References: Docket No. 50-285 l_etter from NRC (B. Murray) to OPPD (S. K. Gambhir) dated April 30,1998 SUBJECT: Reply to a Notice of Violation, NRC Inspection Report No. 50-285/98-06 The subject report (Reference 2) transmitted a Notice of Violation (NOV) resulting from an NRC inspection conducted April 6-10,1998, at the Fort Calhoun Station (FCS). Attached is the Omaha Public Power District (OPPD) response to this NO If you should have any questions, please contact m Sin rely, O h S. K. Gambhir Division Manager Engineering & Operations Support EPM / epm Attachment c: E. W. Merschoff, NRC Regional Administrator, Region IV L. R. Wharton, NRC Project Manager W. C. Walker, NRC Senior Resident Inspector Winston and Strawn
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45 st24 Employment with Equal 0pportunrty Avam JX%s ASTW1 Mm
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NOTICE OF VIOLATION Omaha Public Power District Docket No. 50-285 Fort Calhoun Station License No. DPR-40 During an NRC inspection conducted on April 6-10,1998, a violation of NRC requirements was identifie In accordance with the " General Statement of Policy and Procedure for NRC Enforcement Actions,"
NUREG-1600, the violations are listed below:
10CFR20.1003 defines a high radiation area as an area accessible to individuals, in which radiation levels could result in an individual receiving a dose equivalent in excess of 0.1 rem (100 millirems) in 1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> at 30 centimeters from the radiation source or from any surface that the radiation penetrate Technical Specification 5.11 requires, in part, that entrance into high radiation areas be controlled by radiation work permit Radiation Work Permit 98-0011, " Routine Operations Duties Throughout Containment," Revision 0, requires continuous radiation protection coverage for entry into restricted high radiation areas (high radiation areas with dose rates greater than 1000 millirems / hour)
Contrary to the above, on April 7,1998, an individual working in accordance with Radiation Work Permit 98-0011 entered a restricted high radiation area in Steam Generator Bay B without continuous radiation protection coverag This is a Severity Level IV violation (Supplement IV)(50-285/9806-05). l D==ha Public Power District (OPPD) Resnonse
'A.- Reason for the Violation The reason for this violation was personnel error in that an Operator entered a Restricted liigh Radiation Areas (RilRA) without continuous Radiation Protection (RP) coverage as required by the governing Radiation Work Permit (RWP).
On April 7,1998, at approximately 0730 the Operations Control Center (OCC) assigned an Equipment Operator to remove tags on the Demineralized Water System in containment. At approximately 0745, the .
Operator wcat to the RP access control point. There he consulted the Shift RP Technician to ascertain the appropriate RWP to be used for this entry. The Shift RP Technician instructed the Operator to use RWP 98-0011. This RWP is written for routine operations duties in containment. This RWP allows for access
. to areas posted up to and including RHRAs. The RWP includes an instruction stating " Continuous RP coverage required for entry into RHRAs." ;
The Shift Technician stated that the Operator who removed the tags required entries into both Steam
. Generator (SG) bays. The Shift Technician stated that he instructed the Operator to inform the .
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Containment RP Rover as to the locations of the valves that were tagged. The Shift Technician also stated that he called the Containment Rover and informed him that an Operator may be needing assistance. He
- also discussed clothing requirements for entering a Highly Contaminated Area (HCA).
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-* . , LIC-98-0073 g Page 2 S The Operator recalled the conversation with the Shift RP differently. He stated that he informed the RP of the locations of the valves, including inside the SG bays, and that the majority of the discussion involved the appropriate dress requirements for entering an HC It appears that these two individuals left the discussion with an understanding as to the requirements for entering an HCA, but, neither of the individuals effectively closed the loop concerning the requirements for entering the SG bay The Operator logged into RWP 98-0011 at 0752 and proceeded to enter Containment to remove the tag : The valves involved included one located inside the "B" SG Bay, another located between the entrances of both SG Bays in an HCA and the last located inside the "A" SG Bay. The Operator located the Containment RP Rover and apprised him of the locations of the valves and the need to remove tags.- The RP showed the Operator the location of the necessary protective clothing. The Containment RP Rover discussed the requirements for entry with the Operator. He understood that the. Operator would enter the HCA, remove the tag on the valve located there, exit the HCA and then require continuous coverage for the remaining two valves. The Operator entered the HCA and removed the tag on the valve located ther As he finished with that valve, several Electricians and a RP Technician were entering the "B" SG Ba The RP Technician was the first to enter the bay, followed by the crew. The Operator followed this crew -
into the bay and removed the tag from the valve in that bay without continuous RP coverage as required
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by the RW The RHRA posting for the bay is located on the door. This door swings outward which removes the 4 posting from view while the door is open. Since the Operator followed closely behind the Electricians, he
- was not able to read the postings on the door. After entering the bay, the job coverage RP Technician ,
with the Electricians questioned the Operator if he needed continuous RP coverage. The Operator stated 'j he was OK as he had spoken with the Containment Rover. During the 1996 Refueling Outage, the SG bays were posted as HRA and Operators were allowed to enter these areas after a briefing with an RP Technicia The Operator removed the tag on the valve in that bay and exited through the "B" RCP Bay. He then asked the RP rover to unlock the door to "A" SG Bay to perform the final tag removal. The rover !
unlocked "A" SG bay and escorted the Operator into the RHRA for the final tag. The Operator then exited Containment. The Operator logged out of the RWP at 090 ' There were several chances for this event to have been prevented. The Operator spoke with two different ,
RP Technicians on separate occasions prior to entering the RHRA. The communications between the L Operator and each of the Technicians seemed to focus more on the dress out requirements for entering an HCA than the RHRA concern Corrective S**na Which Have Been T*== anni the Daenha JLehlaved In the short term the RP Technicians are controlling the access doors to ensure that proper control is
- maintained. In addition, this event was discussed with plant supervision, the RP Technicians and
- Operations personnel. 'Ihe event was publicized on the plant information viewing system (3N) to insure
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i that personnel were aware of the event and what should have been don !
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, Corrective Stens whh Will Be Taken Both the initial and continuing training material for General Employee Training (GET) will be revised to ensure that Management's expectations for radiation area controls are adequately communicated including following: the requirements for entering an RHRA is covered,
. ensure that the concept of continuous coverage is clearly defined proper restoration of radiological postings, the restrictions on " tailgating" through radiation boundaries and the need to establish a boundary monitor while a boundary is defeate These revisions will be completed prior to October 31,199 ' Currently qualified radiation workers will be trained on this material prior to the start of the next refueling outage, currently scheduled to begin in the fall of 199 Date When Full Compliance Will Be Achie5ed OPPD is currently in full complianc .
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