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| issue date = 09/14/2011
| issue date = 09/14/2011
| title = IR 05000286/2011010; 07/18/11-08/05/11; Indian Point Nuclear Generating (Indian Point) 3; Biennial Baseline Inspection of Problem Identification and Resolution
| title = IR 05000286/2011010; 07/18/11-08/05/11; Indian Point Nuclear Generating (Indian Point) 3; Biennial Baseline Inspection of Problem Identification and Resolution
| author name = Gray M K
| author name = Gray M
| author affiliation = NRC/RGN-I/DRP/PB2
| author affiliation = NRC/RGN-I/DRP/PB2
| addressee name = Pollock J E
| addressee name = Pollock J
| addressee affiliation = Entergy Nuclear Operations, Inc
| addressee affiliation = Entergy Nuclear Operations, Inc
| docket = 05000286
| docket = 05000286
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:UNITED STATES N UCLEAR REGU LATORY COMMISSION REGION I 475 ALLENDALE ROAD KING OF PRUSSIA, PENNSYLVANIA 19406.1415 September 14, 2OII Mr. Joseph Site Vice President Entergy Nuclear Operations, lnc.lndian Point Energy Center 450 Broadway, GSB Buchanan.
{{#Wiki_filter:UNITED STATES N UCLEAR REGU LATORY COMMISSION


NY 1051 1-0249 INDIAN POINT NUCLEAR GENERATING UNIT 3 - NRC PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000286/2011010
==REGION I==
475 ALLENDALE ROAD KING OF PRUSSIA, PENNSYLVANIA 19406.1415 September 14, 2OII Mr. Joseph Site Vice President Entergy Nuclear Operations, lnc.
 
lndian Point Energy Center 450 Broadway, GSB Buchanan. NY 1051 1-0249 INDIAN POINT NUCLEAR GENERATING UNIT 3 - NRC PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000286/2011010


==Dear Mr. Pollock:==
==Dear Mr. Pollock:==
On August 5,2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at Indian Point Nuclear Generating Uriit 3. The enclosed report documents the inspection results, which were discussed on August 5,2011, with you and other members of your staff.This inspection examined activities conducted under your license as they relate to the identification and resolution of problems and compliance with the Commission's rules and regulations and with the conditions of your license. Within these areas, the inspection involved examination of selected procedures and representative records, observations of activities, and interviews with personnel.
On August 5,2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at Indian Point Nuclear Generating Uriit 3. The enclosed report documents the inspection results, which were discussed on August 5,2011, with you and other members of your staff.


Based on the samples selected for review, the inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems.
This inspection examined activities conducted under your license as they relate to the identification and resolution of problems and compliance with the Commission's rules and regulations and with the conditions of your license. Within these areas, the inspection involved examination of selected procedures and representative records, observations of activities, and interviews with personnel.


Entergy personnel identified problems and entered them into the Corrective Action Program (CAP) at a low threshold.
Based on the samples selected for review, the inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems. Entergy personnel identified problems and entered them into the Corrective Action Program (CAP) at a low threshold.


Station personnel generally screened issues appropriately for operability and reportability, and prioritized issues commensurate with the safety significance of the problems.
Station personnel generally screened issues appropriately for operability and reportability, and prioritized issues commensurate with the safety significance of the problems. Corrective actions addressed the identified problems and were typically implemented in a timely manner.


Corrective actions addressed the identified problems and were typically implemented in a timely manner.This report documents two NRC-identified findings of very low safety significance (Green). The inspectors determined that one of the findings also involved a violation of NRC requirements.
This report documents two NRC-identified findings of very low safety significance (Green). The inspectors determined that one of the findings also involved a violation of NRC requirements.


However, because of its very low safety significance and because it was entered into your CAP, the NRC is treating this as a non-cited violation (NCV) consistent with Section 2.3.2 of the NRC Enforcement Policy, lf you contest this NCV, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator, Region 1; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, Region 1, and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. ln accordance with Title 10 of the Code of Federal Regulations Part 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Web Site at http://rnnrrrw.nrc.sov/reading-rm/adams.html (the Public Electronic Reading Room).
However, because of its very low safety significance and because it was entered into your CAP, the NRC is treating this as a non-cited violation (NCV) consistent with Section 2.3.2 of the NRC Enforcement Policy, lf you contest this NCV, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator, Region 1; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, Region 1, and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. ln accordance with Title 10 of the Code of Federal Regulations Part 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Web Site at http://rnnrrrw.nrc.sov/reading-rm/adams.html (the Public Electronic Reading Room).


Sincerely,k/'-A -V^oy.-,r MelGray, Chief Projects Branch 2 Division of Reactor Projects Docket No. 50-286 License No. DPR-26  
Sincerely, k/'-A -V^oy.-
 
,r MelGray, Chief Projects Branch 2 Division of Reactor Projects Docket No. 50-286 License No. DPR-26 Enclosure: Inspection ReportNo. 05000286/2011010 M Attachment: Supplemental lnformation
===Enclosure:===
Inspection ReportNo.
 
05000286/2011010 M  
 
===Attachment:===
Supplemental lnformation


=SUMMARY OF FINDINGS=
=SUMMARY OF FINDINGS=
lR 050002g612011a10;7118111 - 815t11; Indian Point Nuclear Generating (lndian Point) unit 3;Biennial Baseline lnspection of Problem ldentification and Resolution.
lR 050002g612011a10;7118111 - 815t11; Indian Point Nuclear Generating (lndian Point) unit 3;


The inspectors identified two findings in the area of effectiveness of identification and prioritization of issues.This NRC team inspection was performed by two resident and two region-based inspectors.
Biennial Baseline lnspection of Problem ldentification and Resolution. The inspectors identified two findings in the area of effectiveness of identification and prioritization of issues.


Two findings of very low significance (Green) were identified.
This NRC team inspection was performed by two resident and two region-based inspectors.


One finding was also determined to be a non-cited violation  
Two findings of very low significance (Green) were identified. One finding was also determined to be a non-cited violation [Ncvy of trtilc requirements. The significance of most findings is indicated by their color (Grben, \\rvhite, Yellow, Red) using Inspection Manual Chapter (lMC)0609,,,significance Determination Process." Findings for which the significance determination process tsopl does not apply may be Green, or be assigned a severity level after NRC management ieview. The cross-cutting aspects for the findings were determined using IMC 0310, "Components within the Cross-Cutting Areas.' fng NRC's program for overseeing safe operation of commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process," Revision 4, dated December 2006'
[Ncvy of trtilc requirements.
ldentification and Resolution of Problems The inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems. Entergy personnet iOeniified problems, entered them into the corrective action piogram at a low thre*shold, and prioritized issues commensurate with their safety significancl. In most cases, Entergy personnel appropriately screened issues,for operability arid reportability, and performed ca-usal analyses that appropriately considered extent of condition, generic issues and previous occuirences. The inspectors also determined that Entergy stJff typically implemented corrective actions to address the problems identified in the corrective action pro6t"r in a timely manner. However, the inspectors identified two findings, one of which was als-o a violation of regulatory requirements, and several weaknesses of minor safety significance associated with pro-blem identification, evaluation, and prioritization of corrective actions.


The significance of most findings is indicated by their color (Grben, \rvhite, Yellow, Red) using Inspection Manual Chapter (lMC)0609, ,,significance Determination Process." Findings for which the significance determination process tsopl does not apply may be Green, or be assigned a severity level after NRC management ieview. The cross-cutting aspects for the findings were determined using IMC 0310, "Components within the Cross-Cutting Areas.' fng NRC's program for overseeing safe operation of commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process," Revision 4, dated December 2006'ldentification and Resolution of Problems The inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems.
The inspectors concluded that, in general, Entergy adequately identified, reviewed, and applied relevant industry operating experience to Indian Point Nuclear Generating Unit 3 operations' In addition. based on those ilems selected for review, the inspectors determined that Entergy's audits and self-assessments were thorough.


Entergy personnet iOeniified problems, entered them into the corrective action piogram at a low thre*shold, and prioritized issues commensurate with their safety significancl.
Based on the interviews the inspectors conducted over the course of the inspection, observations of plant activities, and reviews of individual cAP and employee concerns program issues, the inspectors did not identify any indications that site personnel were unwilling to raise safety l.ru", nor oio they identify conditions that could have had a negative impact on the site's safety conscious work environment.


In most cases, Entergy personnel appropriately screened issues,for operability arid reportability, and performed ca-usal analyses that appropriately considered extent of condition, generic issues and previous occuirences.
===Cornerstone: Mitigating SYstems===
 
.
The inspectors also determined that Entergy stJff typically implemented corrective actions to address the problems identified in the corrective action pro6t"r in a timely manner. However, the inspectors identified two findings, one of which was als-o a violation of regulatory requirements, and several weaknesses of minor safety significance associated with pro-blem identification, evaluation, and prioritization of corrective actions.The inspectors concluded that, in general, Entergy adequately identified, reviewed, and applied relevant industry operating experience to Indian Point Nuclear Generating Unit 3 operations'
In addition.
 
based on those ilems selected for review, the inspectors determined that Entergy's audits and self-assessments were thorough.Based on the interviews the inspectors conducted over the course of the inspection, observations of plant activities, and reviews of individual cAP and employee concerns program issues, the inspectors did not identify any indications that site personnel were unwilling to raise safety l.ru", nor oio they identify conditions that could have had a negative impact on the site's safety conscious work environment.
 
===Cornerstone: Mitigating===
 
SYstems.
: '''Green.'''
: '''Green.'''
The inspectors identified a finding of very low safety significance (Green) because Entergy personnel did not adequately imptemeni the procedural requirements of EN-DC-1 15, ,*ngineering Change Process,'i during the installation of a modification to the 33 instrument air deiiccantiryer.
The inspectors identified a finding of very low safety significance (Green) because Entergy personnel did not adequately imptemeni the procedural requirements of EN-DC-1 15,,ngineering Change Process,'i during the installation of a modification to the 33 instrument air deiiccantiryer. Specifically, Entergy staff incorrectly replaced fuses in the motor control center(MCC] which powers the dryer with smaller capacity fuses, rather than replacing existing control power fuses in the dryer control panel with fuses of increased capacityl as inteided by the design change. As a result, the fuses in the MCC performed their intended function ind burned out, deenergizing the dryer, and leading to excessive unavailability of the dryer and high humidity air in the instrument air header. Entergy staff entered this issue into their corrective action process as condition report (cR)-lP3-2011-03798.


Specifically, Entergy staff incorrectly replaced fuses in the motor control center(MCC]
The inspectors determined the finding was more than minor because the finding was similar to the'more than minor if'statement associated with example 5 b of Inspection Manual Chapter (lMC) 0612 Appendix E, "Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability and capability of systems that respond to initiating events to prevent undesirable con""qu"nces (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer caused moist air in the instrument air heider which in turn led to high humidity and low prersrre alarms on the 33 instrument air header. The inspectors_ evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - Initial Screening and Characterization of Findlngs," and determined the finding was of very low safety significance because the finding was not a Jesign or qualificaiion deficiency, did not represent a loss of system safety functi5n, and did not sireen as potentially risk significant due to external initiating events.
which powers the dryer with smaller capacity fuses, rather than replacing existing control power fuses in the dryer control panel with fuses of increased capacityl as inteided by the design change. As a result, the fuses in the MCC performed their intended function ind burned out, deenergizing the dryer, and leading to excessive unavailability of the dryer and high humidity air in the instrument air header. Entergy staff entered this issue into their corrective action process as condition report (cR)-lP3-2011-03798.The inspectors determined the finding was more than minor because the finding was similar to the'more than minor if'statement associated with example 5 b of Inspection Manual Chapter (lMC) 0612 Appendix E, "Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability and capability of systems that respond to initiating events to prevent undesirable con""qu"nces (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer caused moist air in the instrument air heider which in turn led to high humidity and low prersrre alarms on the 33 instrument air header. The inspectors_
evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - Initial Screening and Characterization of Findlngs," and determined the finding was of very low safety significance because the finding was not a Jesign or qualificaiion deficiency, did not represent a loss of system safety functi5n, and did not sireen as potentially risk significant due to external initiating events.This finding had a cross-cutting aspect in tne arel of Human Performance, associated with the Work Controf attribute.


Specifically, Entergy personnel did not adequately coordinate the planning and implementaiion of tne engineering change process, which involved several site departments, and resulted in incorrectly installed fuses and multiple missed opportunities to both prevent and identify the error. (H'3(b)) (Section aOA2'1'c(1)).
This finding had a cross-cutting aspect in tne arel of Human Performance, associated with the Work Controf attribute. Specifically, Entergy personnel did not adequately coordinate the planning and implementaiion of tne engineering change process, which involved several site departments, and resulted in incorrectly installed fuses and multiple missed opportunities to both prevent and identify the error. (H'3(b)) (Section aOA2'1'c(1))
.
: '''Green.'''
: '''Green.'''
The inspectors identified a Green non-cited violation (NCV) of 10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," for Entergy's failure to take adequate corrective actions for a condition adverse to quality involving service water (SW) pipes to the emergency diesel generators (EDGs). Speciiically, Entergy personnel did not take timely and appropriate corrective actions ior carbon steel pipe wall thinning on the common SW supply lines to the EDGs. Entergy staff entered this issue into their corrective action process as condition report (cR)-lCa-201 1-03g31 . Entergy's short-term corrective actions included a structural engineering inspection, an operabilit--y evaluation, redirecting the source of continual wetting, anI reprior-itizinblnl sw piping refuibishment work order. subsequent to this inspection, Entergy personiel performed Jltrasonic testing of the affected area on one of the pipes that they fincluded was most affected and confirmed that the pipe remained operable.The finding was more than minor because if left uncorrected the performance deficiency had i^.,!^^ .^,n{{inn the potentLl to lead to a more significant safety concern. Specifically,.the continuing wetting.' 'l.l ^ll. raraahr and associated external corrosion of the pipe without appropriate monitoring.
The inspectors identified a Green non-cited violation (NCV) of 10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," for Entergy's failure to take adequate corrective actions for a condition adverse to quality involving service water (SW) pipes to the emergency diesel generators (EDGs). Speciiically, Entergy personnel did not take timely and appropriate corrective actions ior carbon steel pipe wall thinning on the common SW supply lines to the EDGs. Entergy staff entered this issue into their corrective action process as condition report (cR)-lCa-201 1-03g31. Entergy's short-term corrective actions included a structural engineering inspection, an operabilit--y evaluation, redirecting the source of continual wetting, anI reprior-itizinblnl sw piping refuibishment work order. subsequent to this inspection,
Entergy personiel performed Jltrasonic testing of the affected area on one of the pipes that they fincluded was most affected and confirmed that the pipe remained operable.


could adversely impact the structural integrity of one or both EDG SW supply headers' Ttte^inspectors evaluated the findin! in aicordance with lnspection Manual Chapter (lMC) 9609'Attachment 0609, Attachment 4, "Phase 1 - initial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) because it was not a design or lualification def[iency, did not represent a loss of system safety function, and was noi risk significant with iespect to external events' This finding had a cross-cutting aspect in the irea of problem ldentification and Resolution, associated with the corrective Action Program attribute.
The finding was more than minor because if left uncorrected the performance deficiency had i^.,!^^
.^,n{{inn the potentLl to lead to a more significant safety concern. Specifically,.the continuing wetting
.' 'l.l
^ll.


specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall thinning due to external corrosion and periodically monitor the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d)) (Section 4OA2'1 .c(2))
raraahr and associated external corrosion of the pipe without appropriate monitoring. could adversely impact the structural integrity of one or both EDG SW supply headers' Ttte^inspectors evaluated the findin! in aicordance with lnspection Manual Chapter (lMC) 9609'
 
Attachment 0609, Attachment 4, "Phase 1 - initial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) because it was not a design or lualification def[iency, did not represent a loss of system safety function, and was noi risk significant with iespect to external events' This finding had a cross-cutting aspect in the irea of problem ldentification and Resolution, associated with the corrective Action Program attribute. specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall thinning due to external corrosion and periodically monitor the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d)) (Section 4OA2'1.c(2))
5


=REPORT DETAILS=
=REPORT DETAILS=
Line 90: Line 80:
==OTHER ACTIVITIES==
==OTHER ACTIVITIES==
{{a|4OA2}}
{{a|4OA2}}
==4OA2 Problem ldentification==
and Resolution (71152B- - 1 sample)This inspection constitutes one biennial sample of problem identification and resolution as defined by Inspection Procedure71152.
All documents reviewed during this inspection are listed in the Attachment to this report'.1 a.Inspection ScoPe The inspectors reviewed the procedures that described Entergy's corrective action program at Indian point Unit 3. To assess the effectiveness of the corrective action pro!r"t, the inspectors reviewed performance in three primary areas: problem iOeititication, prioritization and evaluation of issues, and corrective action implementat'on.
The inspectors compared perfo_rmance in these areas to the requirements and standards contained in Title 10, Code of Federal Regulations (10 Cfnl part 50, Appendix B, Criterion XVl, "Corrective Action," and Entergy's procedure EN-LI-102, "Coriective Action Process," Revision 16. For each of these areas, the inspectors'considered risk insights from the station's risk analysis and reviewed condition reports (CRs) selectid across the seven cornerstones of safety in the NRCs Reactor Oversighi process. Additionally, the inspectors attended multiple Operations Focus, Condition Review Group (CRG);and Corrective Action Review Board (CARB)meetings.
The inspectors selected items from the following functional areas for review: engine6ring, operations, maintenance, emergency preparedness, radiation protection' chemistry, physical security, and oversight programs'(1) Effectiveness of Problem ldentification ln addition to the items described above, the inspectors reviewed a sample of completed corrective and preventative maintenance work orders, completed surveillance test procedures, operator logs, and periodic trend reports. The inspectors also completed field walkdowns of vario-us plani systems, such as the service water (SW)' auxiliary feedwater (AFW), and instrument air systems. Additionally, the inspectors reviewed a slmpte of condition reports written to document issues identified through internal self-assessments, audits, emergency preparedness drills, and the operating experience frogr"r. The inspectors c5mpleted this review to verify that Entergy staff entered conditions adverse to quality into their corrective action program as appropriate' (2) Effectiveness of Prioritization and Evaluation of lssues The inspectors reviewed the evaluation and prioritization of a sample of cRs issued since the last NRC biennial problem ldentification and Resolution inspection completed in June 2009. The inspectors also reviewed cRs that were assigned lower levels of iign6i"un"e that did not include formal cause evaluations to ensure that they were Enclosure 6 properly classified.
The inspectors' review included the appropriateness of the assigned significince, the scope and depth of the causal analysis, and the timeliness of resolution.
The inspectors assessed whether the evaluations identified likely causes for the issues and developed appropriate corrective actions to address the identified causes. Further, the inspectors reviewed equipment operability determinations, reportability assessments, and extent-of-condition reviews for selected problems to verify these processes adequately addressed equipment operability, reporting of issues to the NRC, and the extent of the issues'(3) Effectiveness of Corrective Actions The inspectors reviewed Entergy's completed corrective actions through documentation review and, in some cases, field walkdowns to determine whether the actions addressed the identified causes of the problems.
The inspectors also reviewed CRs for adverse trends and repetitive problems to determine whether corrective actions were effective in addressing the broader issues. The inspectors reviewed Entergy's timeliness in implemeniing corrective actions and effectiveness in precluding recurrence for significant conditions adverse to quality. The inspectors also reviewed a sample of CRs associated with non-cited violations (NCVs) and findings to verify that Entergy personnel properly evaluated and resolved these issues. In addition, the inspectors expanded the corrective action review to five years to evaluate Entergy's actions related to conditions adverse to quality associated with SW system corrosion, instrument air system performance, and AFW system performance' b. Assessment (1) Effectiveness of Problem ldentification Based on the selected samples reviewed, plant walkdowns, and interviews of site personnel, the inspectors determined that Entergy personnel identified problems and entered them into the CAP at a low threshold.
For the issues reviewed, the inspectors determined that problems or concerns were generally documented in sufficient detail to understand the issues. The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure clarification of the issues. The inspectors determined Entergy personnel trended equipment and programmatic issues at low levels and CR descriptions appropriately included reference io repeat occurrences of issues. ln general, the inspectors did not identify issues or concerns that had not been appropriately entered into the CAP for evaluation and resolution.


However, the inspectors identified the following example of a minor issue that was not adequately identified by Entergy staff. Entergy staff promptly entered the issue into the CAP for resolution.. The inspectors identified that Entergy personnel performed maintenance on three AFW 1ow control valves during tne 2Ot 1 refueling outage, but did not perform the required post maintenance tests (PMTs) on the valves prior to declaring the AFW system operable.
==4OA2 Problem ldentification and Resolution (71152B- - 1 sample)==
This inspection constitutes one biennial sample of problem identification and resolution as defined by Inspection Procedure71152. All documents reviewed during this inspection are listed in the Attachment to this report'


The inspectors also identified the PMTs were not correctly scheduled to be completed after the maintenance that occurred during the outage'The inspectors noted that Entergy personnel subsequently satisfactorily stroked the Enclosure 7 valves during the next normally scheduled, quarterly AFW in-service testing approximately one week later.The inspectors determined that the missed PMT for the valves was a performance deficiency.
===.1 a.===
Inspection ScoPe The inspectors reviewed the procedures that described Entergy's corrective action program at Indian point Unit 3. To assess the effectiveness of the corrective action pro!r"t, the inspectors reviewed performance in three primary areas: problem iOeititication, prioritization and evaluation of issues, and corrective action implementat'on. The inspectors compared perfo_rmance in these areas to the requirements and standards contained in Title 10, Code of Federal Regulations (10 Cfnl part 50, Appendix B, Criterion XVl, "Corrective Action," and Entergy's procedure EN-LI-102, "Coriective Action Process," Revision 16. For each of these areas, the inspectors'considered risk insights from the station's risk analysis and reviewed condition reports (CRs) selectid across the seven cornerstones of safety in the NRCs Reactor Oversighi process. Additionally, the inspectors attended multiple Operations Focus, Condition Review Group (CRG);and Corrective Action Review Board (CARB)meetings. The inspectors selected items from the following functional areas for review:
engine6ring, operations, maintenance, emergency preparedness, radiation protection' chemistry, physical security, and oversight programs'
: (1) Effectiveness of Problem ldentification ln addition to the items described above, the inspectors reviewed a sample of completed corrective and preventative maintenance work orders, completed surveillance test procedures, operator logs, and periodic trend reports. The inspectors also completed field walkdowns of vario-us plani systems, such as the service water (SW)' auxiliary feedwater (AFW), and instrument air systems. Additionally, the inspectors reviewed a slmpte of condition reports written to document issues identified through internal self-assessments, audits, emergency preparedness drills, and the operating experience frogr"r. The inspectors c5mpleted this review to verify that Entergy staff entered conditions adverse to quality into their corrective action program as appropriate'
: (2) Effectiveness of Prioritization and Evaluation of lssues The inspectors reviewed the evaluation and prioritization of a sample of cRs issued since the last NRC biennial problem ldentification and Resolution inspection completed in June 2009. The inspectors also reviewed cRs that were assigned lower levels of iign6i"un"e that did not include formal cause evaluations to ensure that they were properly classified. The inspectors' review included the appropriateness of the assigned significince, the scope and depth of the causal analysis, and the timeliness of resolution. The inspectors assessed whether the evaluations identified likely causes for the issues and developed appropriate corrective actions to address the identified causes. Further, the inspectors reviewed equipment operability determinations, reportability assessments, and extent-of-condition reviews for selected problems to verify these processes adequately addressed equipment operability, reporting of issues to the NRC, and the extent of the issues'
: (3) Effectiveness of Corrective Actions The inspectors reviewed Entergy's completed corrective actions through documentation review and, in some cases, field walkdowns to determine whether the actions addressed the identified causes of the problems. The inspectors also reviewed CRs for adverse trends and repetitive problems to determine whether corrective actions were effective in addressing the broader issues. The inspectors reviewed Entergy's timeliness in implemeniing corrective actions and effectiveness in precluding recurrence for significant conditions adverse to quality. The inspectors also reviewed a sample of CRs associated with non-cited violations (NCVs) and findings to verify that Entergy personnel properly evaluated and resolved these issues. In addition, the inspectors expanded the corrective action review to five years to evaluate Entergy's actions related to conditions adverse to quality associated with SW system corrosion, instrument air system performance, and AFW system performance' b.


However, because the subsequent valve stroke times a week later indicated that the AFW valves were operable, the inspectors determined that the issue was of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff initiated CR-IP3-2011-03815 for this performance deficiency.
Assessment
: (1) Effectiveness of Problem ldentification Based on the selected samples reviewed, plant walkdowns, and interviews of site personnel, the inspectors determined that Entergy personnel identified problems and entered them into the CAP at a low threshold. For the issues reviewed, the inspectors determined that problems or concerns were generally documented in sufficient detail to understand the issues. The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure clarification of the issues. The inspectors determined Entergy personnel trended equipment and programmatic issues at low levels and CR descriptions appropriately included reference io repeat occurrences of issues. ln general, the inspectors did not identify issues or concerns that had not been appropriately entered into the CAP for evaluation and resolution. However, the inspectors identified the following example of a minor issue that was not adequately identified by Entergy staff. Entergy staff promptly entered the issue into the CAP for resolution.


(2) Effectiveness of Prioritization and Evaluation of lssues The inspectors determined that, in general, Entergy personnel appropriately prioritized and evaluated issues commensurate with their safety significance.
. The inspectors identified that Entergy personnel performed maintenance on three AFW 1ow control valves during tne 2Ot 1 refueling outage, but did not perform the required post maintenance tests (PMTs) on the valves prior to declaring the AFW system operable. The inspectors also identified the PMTs were not correctly scheduled to be completed after the maintenance that occurred during the outage' The inspectors noted that Entergy personnel subsequently satisfactorily stroked the valves during the next normally scheduled, quarterly AFW in-service testing approximately one week later.


CRs were screened for operability and reportability, categorized by significance, and assigned to a department for evaluation and resolution.
The inspectors determined that the missed PMT for the valves was a performance deficiency. However, because the subsequent valve stroke times a week later indicated that the AFW valves were operable, the inspectors determined that the issue was of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff initiated CR-IP3-2011-03815 for this performance deficiency.
: (2) Effectiveness of Prioritization and Evaluation of lssues The inspectors determined that, in general, Entergy personnel appropriately prioritized and evaluated issues commensurate with their safety significance. CRs were screened for operability and reportability, categorized by significance, and assigned to a department for evaluation and resolution. The CR screening process considered human performance issues, radiological safety concerns, repetitiveness, and adverse trends.


The CR screening process considered human performance issues, radiological safety concerns, repetitiveness, and adverse trends.The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure appropriate prioritization.
The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure appropriate prioritization.


The inspectors determined that CRs were generally categorized for evaluation and resolution commensurate with the significance of the issues. Based on the sample of CRs reviewed, the guidance provided by the Entergy implementing procedures appeared sufficient to ensure consistency in categorization of the issues. Operability and reportability determinations were generally performed when conditions warranted and the evaluations supported the conclusions.
The inspectors determined that CRs were generally categorized for evaluation and resolution commensurate with the significance of the issues. Based on the sample of CRs reviewed, the guidance provided by the Entergy implementing procedures appeared sufficient to ensure consistency in categorization of the issues. Operability and reportability determinations were generally performed when conditions warranted and the evaluations supported the conclusions. Causal analyses appropriately considered the extent of the condition or problem, generic issues, and previous occurrences of the issue.


Causal analyses appropriately considered the extent of the condition or problem, generic issues, and previous occurrences of the issue.Notwithstanding these conclusions, the inspectors identified the following example where the evaluation of a repeat issue was not commensurate with the potential significance of the issue.e Based on a nuclear plant operator (NPO) log and CAP database review, the inspectors noted that on several occasions NPOs documented degraded conditions regarding roof leaks and housekeeping issues in the primary auxiliary building (PAB)during the week of July 3, 2011. Further, the inspectors noted that some of these conditions had existed for six months. The inspectors determined that Entergy staff missed an opportunity to trend these conditions and ensure conditions were appropriately addressed in a timely manner consistent with CAP expectations.
Notwithstanding these conclusions, the inspectors identified the following example where the evaluation of a repeat issue was not commensurate with the potential significance of the issue.


However, because none of the leaks or housekeeping conditions challenged or impacted equipment important to safety, the inspectors determined that the issues were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff documented this issue in CR-lP3-2011-03295.Enclosure I (3) Effqcjivene,ss oJ C-orrective Aptions The inspectors concluded that corrective actions for identified deficiencies were generally timely and adequately implemented.
e Based on a nuclear plant operator (NPO) log and CAP database review, the inspectors noted that on several occasions NPOs documented degraded conditions regarding roof leaks and housekeeping issues in the primary auxiliary building (PAB)during the week of July 3, 2011. Further, the inspectors noted that some of these conditions had existed for six months. The inspectors determined that Entergy staff missed an opportunity to trend these conditions and ensure conditions were appropriately addressed in a timely manner consistent with CAP expectations.


For significant conditions adverse to quality, corrective actions were identified to prevent recurrence.
However, because none of the leaks or housekeeping conditions challenged or impacted equipment important to safety, the inspectors determined that the issues were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff documented this issue in CR-lP3-2011-03295.


The inspectors concluded that corrective actions to address the sample of NRC NCVs and findings since the last problem identification and resolution inspection were timely and effective.
I
: (3) Effqcjivene,ss oJ C-orrective Aptions The inspectors concluded that corrective actions for identified deficiencies were generally timely and adequately implemented. For significant conditions adverse to quality, corrective actions were identified to prevent recurrence. The inspectors concluded that corrective actions to address the sample of NRC NCVs and findings since the last problem identification and resolution inspection were timely and effective.


The inspectors noted, based on the samples inspected, that Entergy staff completed effectiveness reviews for significant issues to verify that implemented corrective actions were effective.
The inspectors noted, based on the samples inspected, that Entergy staff completed effectiveness reviews for significant issues to verify that implemented corrective actions were effective. However, the inspectors identified two issues (replacement of incorrect fuses associated with the 33 instrument air dryer, and ineffective actions taken to address leakage from a SW vacuum breaker that was causing corrosion issues) that had contributed to findings that were determined to be more than minor (Green). These findings are documented in the following Section (Section 4OA2.1.c).


However, the inspectors identified two issues (replacement of incorrect fuses associated with the 33 instrument air dryer, and ineffective actions taken to address leakage from a SW vacuum breaker that was causing corrosion issues) that had contributed to findings that were determined to be more than minor (Green). These findings are documented in the following Section (Section 4OA2.1.c).
c.


c. Findinqs (1) Ineffeqtive Us,e of the Enqineerinq Chanoe Plocess Durinq l/lodification of the 33 Inslrument Air Drver
Findinqs
: (1) Ineffeqtive Us,e of the Enqineerinq Chanoe Plocess Durinq l/lodification of the 33 Inslrument Air Drver


=====Introduction:=====
=====Introduction:=====
The inspectors identified a finding of very low safety significance (Green)because Entergy personnel did not adequately implement the procedural requirements of EN-DC-115, "Engineering Change Process," during the installation of a modification to 33 instrument air desiccant dryer.Description:
The inspectors identified a finding of very low safety significance (Green)because Entergy personnel did not adequately implement the procedural requirements of EN-DC-115, "Engineering Change Process," during the installation of a modification to 33 instrument air desiccant dryer.
Entergy personnel developed Engineering Change (EC) 8501 to prevent intermittent failures of the 33 instrument air desiccant dryer blower motor due to high motor inrush currents during startup. Based on a vendor recommendation, the EC directed the replacement of existing four amp control power fuses with six amp fuses.The fuses are located in the 33 instrument air dryer control panel.During implementation of the EC on May 11 , 2011, Entergy personnel removed 15 amp fuseslrom the 33 motor control center (MCC), which powers the 33 instrument air dryer, rather than removing the four amp fuses from the dryer control panel. The electricians proceeded to replace the 15 amp fuses with the new six amp fuses. When the instrument air dryer was reenergized, the six amp fuses, which did not have sufficient amperage capacity for the MCC application, performed their intended function and burned out, deenergizing the dryer. The dryer remained deenergized and unavailable for a period of approximately two weeks until Entergy personnel found water in the air supply to BFD-PCV-3, the steam generator blowdown recovery outlet backpressure controller.
 
Upon troubleshooting the water issue, Entergy personnelfound and corrected the undersized fuses in 33 MCC and placed the dryer back in service. On June 9, 2011, the four amp fuses in the dryer control panel were correctly replaced with six amp fuses, in accordance with the EC. This issue was previously entered into Entergy's CAP as CR-lP3-2011-02767, CR-lP3-2011-02918, and CR-lP3-2011-02920' At tne iime of the inspection, these CRs had been closed to corrective actions already taken, which included correcting the fuse error and coaching personnel to read the EC documentation more thoroughlY.


9 The inspectors questioned the causes of humidity and low pressure alarms on the 33 instrument air header, which had been documented in condition reports initiated in June and July 2011. Through interviews with the system engin-eer, the inspectors learned that after the fuse issue ha-d been resolved, troubleshooting of high humidity and low pressure alarms on the 33 instrument air header had revealed that the 33 instrument air dryer had been degraded by moisture passing into the air header while the dryer had been unavailable due to the blown fuses. Degradation of the dryer's tower swapping mechanism allowed air to partially bypass the dryer, thereby causing lhe high humidity and low pressure alarms. 'The inspectors noted that additional unavailability of the dryer was acciued while Entergy personnel performed troubleshooting and repair of the degraded dryer. Based on ine inspectors' questioning, lltergy personneldocumented thjissue as a maintenance rule functional failure of the 33 instrument air dryer and calculated the total cumulative unavailability of the dryer attributed to the modification error. The calculated unavailability was 580 hours, which exceeded the licensee's established Maintenance Rule (10 CFR 50.65) threshold of 525 hours for (a)(1 )consideration.
=====Description:=====
Entergy personnel developed Engineering Change (EC) 8501 to prevent intermittent failures of the 33 instrument air desiccant dryer blower motor due to high motor inrush currents during startup. Based on a vendor recommendation, the EC directed the replacement of existing four amp control power fuses with six amp fuses.


The inspectors reviewed EN-DC-1 15, "Engineering Change Process," and identified several examples where Entergy personnel did not implement the requirements of the modification process. First, the EC package incorrectly identified the location of the fuses, and tfris error was translated into the work package which was used by maintenance personnelwho implemented the EC. Specifically, the Post Modification Test plan pait age stated that the four amp fuses were located in the 33 MCC'Additionally, the maintenance personnelwho implemented the EC did not follow the fuse verification procedure when removing the 15 amp fuses from the MCC and prior to reinstalling ihe six amp fuses. Finally, the PMT was not performed in a timely manner in that the 3i instrumentair train was piaced back in service without a PMT having been performed.
The fuses are located in the 33 instrument air dryer control panel.


The inspectors determined that each of these examples had been opportunities, or "barriers", built into the Engineering change process, through which eniergy personnel could have either prevented or recognized the error and avoided the cumulative unavailability of the instrument air dryer and associated moist air in the air header.The inspectors determined these problems were not identified by Entergy personnel' Entergy staff entered this issue inio their CAP as CR-lP3-2011-03798' Planned correJtiue actions include performing an Apparent Cause Evaluation for the issue.Analvsis:
During implementation of the EC on May 11, 2011, Entergy personnel removed 15 amp fuseslrom the 33 motor control center (MCC), which powers the 33 instrument air dryer, rather than removing the four amp fuses from the dryer control panel. The electricians proceeded to replace the 15 amp fuses with the new six amp fuses. When the instrument air dryer was reenergized, the six amp fuses, which did not have sufficient amperage capacity for the MCC application, performed their intended function and burned out, deenergizing the dryer. The dryer remained deenergized and unavailable for a period of approximately two weeks until Entergy personnel found water in the air supply to BFD-PCV-3, the steam generator blowdown recovery outlet backpressure controller. Upon troubleshooting the water issue, Entergy personnelfound and corrected the undersized fuses in 33 MCC and placed the dryer back in service. On June 9, 2011, the four amp fuses in the dryer control panel were correctly replaced with six amp fuses, in accordance with the EC. This issue was previously entered into Entergy's CAP as CR-lP3-2011-02767, CR-lP3-2011-02918, and CR-lP3-2011-02920' At tne iime of the inspection, these CRs had been closed to corrective actions already taken, which included correcting the fuse error and coaching personnel to read the EC documentation more thoroughlY.
The inspectors determined that the issue was a performance deficiency o-e Entergy personnel did not follow procedures to.effectively implement the engineering cnihge to the 33 instrument air dryer. The inspectors determined that the finjing was-morelhan minor because the finding was similar to the "more than minor if'statement associated with example 5.b of Inspection Manual chapter (lMc) 0612 Appendix E, ,,Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability ano capauility of systems that respond to initiating events to prevent undesirable consequences (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer resulted in moist air in the instrument air header which in turn led to high Enclosure 10 humidity and low pressure conditions on the 33 instrument air header. The inspectors evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - lnitial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) becaJse the finding was not a !9sio1 or qualification deficiency, did nJt ,"pr"r"ni a loss of system safety function, and did not screen as potentially risk significant due to external initiating events.The inspectors determined that the finding had a cross-cutting aspect in the area of Human performance, associated with the Work Control attribute, because Entergy personnel did not appropriately coordinate work activities by incorporating actions to address: 1) the n"eO tor workgroups to communicate, coordinate, and cooperate with each otherduring activities in wnicn interdepartmental coordination is necessary to assure plant and human performance; and 2) the need to keep personnel apprised of work status and the operational impact of work activities.


Specifically, Entergy personnel did not adequately coordinate the planning and implementation of the engineering clrange process, which involved several site departments, and resulted in incorrectly instalTed'fuses and multiple missed opportunities to both prevent and subsequently identify the error. (H.3(b))Enforcement:
The inspectors questioned the causes of humidity and low pressure alarms on the 33 instrument air header, which had been documented in condition reports initiated in June and July 2011. Through interviews with the system engin-eer, the inspectors learned that after the fuse issue ha-d been resolved, troubleshooting of high humidity and low pressure alarms on the 33 instrument air header had revealed that the 33 instrument air dryer had been degraded by moisture passing into the air header while the dryer had been unavailable due to the blown fuses. Degradation of the dryer's tower swapping mechanism allowed air to partially bypass the dryer, thereby causing lhe high humidity and low pressure alarms.
Enforcement does not apply because the performance deficiency did not involve a violation of regulatory requirements.


The instrument air system is not a safety r"l"t"O system and 10 Cfn pirt 50 Appendix B requirements are not applicable.
'The inspectors noted that additional unavailability of the dryer was acciued while Entergy personnel performed troubleshooting and repair of the degraded dryer. Based on ine inspectors' questioning, lltergy personneldocumented thjissue as a maintenance rule functional failure of the 33 instrument air dryer and calculated the total cumulative unavailability of the dryer attributed to the modification error. The calculated unavailability was 580 hours, which exceeded the licensee's established Maintenance Rule (10 CFR 50.65) threshold of 525 hours for (a)(1 )
consideration.


Because this issue does not involve a violation of regulatory requiremenls 91{ is of very tow safety significance, it is being treated as a finding (FlN). (FlN 0500028612011010'01' Frocedural Requ i rements of Engineeri ng Change Process Not I mplemented)lntroduction.
The inspectors reviewed EN-DC-1 15, "Engineering Change Process," and identified several examples where Entergy personnel did not implement the requirements of the modification process. First, the EC package incorrectly identified the location of the fuses, and tfris error was translated into the work package which was used by maintenance personnelwho implemented the EC. Specifically, the Post Modification Test plan pait age stated that the four amp fuses were located in the 33 MCC' Additionally, the maintenance personnelwho implemented the EC did not follow the fuse verification procedure when removing the 15 amp fuses from the MCC and prior to reinstalling ihe six amp fuses. Finally, the PMT was not performed in a timely manner in that the 3i instrumentair train was piaced back in service without a PMT having been performed. The inspectors determined that each of these examples had been opportunities, or "barriers", built into the Engineering change process, through which eniergy personnel could have either prevented or recognized the error and avoided the cumulative unavailability of the instrument air dryer and associated moist air in the air header.


The inspectors identified a Green non-cited violation of 10 CFR 50'App".d" q Criterion XVl, "Corrective Action," for Entergy's failure to take adequate coirective actions for a condition adverse to quality involving SW pipes to the EDGs'Specifically, Entergy personnel did not take timely and appropriate corrective actions for carbon steel pipe w-ati tninning on the common SW supply lines to the EDGs'Description.
The inspectors determined these problems were not identified by Entergy personnel' Entergy staff entered this issue inio their CAP as CR-lP3-2011-03798' Planned correJtiue actions include performing an Apparent Cause Evaluation for the issue.


on July 19,2011, the inspectors observed that a leaking sw return line ffi breaker (SWN-6g) ported water into the piping pit in the EDG valve room, which inJirectly sprayed'the bottom of both redundant EDG SW supply pipe headers' The inspectors'not-eo that this portion of both 1o-inch diameter sw supply headers was continuously wetted over a length of approximately two fe_et. The inspectors noted that the vacuum breaker had been leaking since February 2009. Based on the corroded condition of the bottom portion of both headers and the quantity of accumulated rust flakes/pieces beneath both headers, the inspectors questioned the condition of these pipes.Entergy personnel informed the inspectors that they had originally identifled the external corrosion on the SW supply lines aithat specific location on Septembgr 30, 2008 (CR Lp3-2008-02383).
Analvsis: The inspectors determined that the issue was a performance deficiency o-e Entergy personnel did not follow procedures to.effectively implement the engineering cnihge to the 33 instrument air dryer. The inspectors determined that the finjing was-morelhan minor because the finding was similar to the "more than minor if' statement associated with example 5.b of Inspection Manual chapter (lMc) 0612 Appendix E,,,Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability ano capauility of systems that respond to initiating events to prevent undesirable consequences (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer resulted in moist air in the instrument air header which in turn led to high humidity and low pressure conditions on the 33 instrument air header. The inspectors evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - lnitial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) becaJse the finding was not a !9sio1 or qualification deficiency, did nJt,"pr"r"ni a loss of system safety function, and did not screen as potentially risk significant due to external initiating events.


Tne inspectors reviewed CR-;P3-2008-02383 and Entergy's associated corrective actions and noted the following:  
The inspectors determined that the finding had a cross-cutting aspect in the area of Human performance, associated with the Work Control attribute, because Entergy personnel did not appropriately coordinate work activities by incorporating actions to address: 1) the n"eO tor workgroups to communicate, coordinate, and cooperate with each otherduring activities in wnicn interdepartmental coordination is necessary to assure plant and human performance; and 2) the need to keep personnel apprised of work status and the operational impact of work activities. Specifically, Entergy personnel did not adequately coordinate the planning and implementation of the engineering clrange process, which involved several site departments, and resulted in incorrectly instalTed'fuses and multiple missed opportunities to both prevent and subsequently identify the error. (H.3(b))
(1) the CR initiator, operations, and cRG screened the cR as not requiring an operability review (thus no operability 11 review was performed for this safety-related SW piping degraded condition);
(2) CRG classified the CR as significance "D" and closed the CR to WO 166970; (3) WO 166970 was created to clean, repaint and inspect the piping per the external corrosion monitoring program; (4) planning took the WO to "plan" status on October 1, 2008; and (5) as of August 2011, the WO was active and targeted to work in 2015. The inspectors requested operability evaluations of this degrading condition, other associated CRs, documented inspections (including ultrasonic tests) or trending reports, and any associated WOs since October 2008. Entergy personnel stated that no additional documented information was identified but indicated that the system engineers periodically inspected the piping during their walkdowns.


Based on the inspectors' questions, Entergy staff initiated CR-lP3-2011-03831.
=====Enforcement:=====
Enforcement does not apply because the performance deficiency did not involve a violation of regulatory requirements. The instrument air system is not a safety r"l"t"O system and 10 Cfn pirt 50 Appendix B requirements are not applicable.


Entergy structural engineering personnel inspected the piping on July 21. Based on their input regarding iron oxide exfoliation, an estimate of SW piping wall loss and no leakage, engineering personnel determined that the structural integrity of the pipe was not affected and that the pipe remained operable.
Because this issue does not involve a violation of regulatory requiremenls 91{ is of very tow safety significance, it is being treated as a finding (FlN). (FlN 0500028612011010'01' Frocedural Requ i rements of Engineeri ng Change Process Not I mplemented)lntroduction. The inspectors identified a Green non-cited violation of 10 CFR 50' App".d" q Criterion XVl, "Corrective Action," for Entergy's failure to take adequate coirective actions for a condition adverse to quality involving SW pipes to the EDGs' Specifically, Entergy personnel did not take timely and appropriate corrective actions for carbon steel pipe w-ati tninning on the common SW supply lines to the EDGs'


The inspectors reviewed Entergy's operability evaluation and determined that it was adequate based on the information available.
=====Description.=====
on July 19,2011, the inspectors observed that a leaking sw return line ffi breaker (SWN-6g) ported water into the piping pit in the EDG valve room, which inJirectly sprayed'the bottom of both redundant EDG SW supply pipe headers' The inspectors'not-eo that this portion of both 1o-inch diameter sw supply headers was continuously wetted over a length of approximately two fe_et. The inspectors noted that the vacuum breaker had been leaking since February 2009. Based on the corroded condition of the bottom portion of both headers and the quantity of accumulated rust flakes/pieces beneath both headers, the inspectors questioned the condition of these pipes.


Entergy's short-term corrective actions also included redirecting the vacuum breaker discharge to a local sump (completed on August 2) and reprioritizing the SW piping refurbishment work order (scheduled to work in 2011). Subsequent to this inspeition, Entergy personnel performed ultrasonic testing of the affected area on one of the pipes that they concluded was most affected and confirmed that the pipe remained operable.Analvsis.
Entergy personnel informed the inspectors that they had originally identifled the external corrosion on the SW supply lines aithat specific location on Septembgr 30, 2008 (CR Lp3-2008-02383). Tne inspectors reviewed CR-;P3-2008-02383 and Entergy's associated corrective actions and noted the following:
: (1) the CR initiator, operations, and cRG screened the cR as not requiring an operability review (thus no operability review was performed for this safety-related SW piping degraded condition);
: (2) CRG classified the CR as significance "D" and closed the CR to WO 166970;
: (3) WO 166970 was created to clean, repaint and inspect the piping per the external corrosion monitoring program;
: (4) planning took the WO to "plan" status on October 1, 2008; and
: (5) as of August 2011, the WO was active and targeted to work in 2015. The inspectors requested operability evaluations of this degrading condition, other associated CRs, documented inspections (including ultrasonic tests) or trending reports, and any associated WOs since October 2008. Entergy personnel stated that no additional documented information was identified but indicated that the system engineers periodically inspected the piping during their walkdowns.


The inspectors determined that Entergy's failure to take adequate corrective actions for an adverse condition associated with the EDG SW supply piping was a performance deficiency that was reasonably within Entergy's ability to foresee and prevent. Specifically, Entergy personnel did not take timely and appropriate corrective actions commensurate with the safety significance of a potential common mode failure of all three EDGs due to carbon steel pipe wall thinning on the common SW supply. The finding was determined to be more than minor because if left uncorrected the performance deficiency had the potential to lead to a more significant safety concern.Specifically, the continuing wetting and associated external corrosion of the pipe without appropriate monitoring could adversely impact the structural integrity of one or both EDG SW supply headers. The inspectors evaluated the finding in accordance with IMC 0609, Attachment 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," Table 4afor the Mitigating Systems Cornerstone.
Based on the inspectors' questions, Entergy staff initiated CR-lP3-2011-03831. Entergy structural engineering personnel inspected the piping on July 21. Based on their input regarding iron oxide exfoliation, an estimate of SW piping wall loss and no leakage, engineering personnel determined that the structural integrity of the pipe was not affected and that the pipe remained operable. The inspectors reviewed Entergy's operability evaluation and determined that it was adequate based on the information available. Entergy's short-term corrective actions also included redirecting the vacuum breaker discharge to a local sump (completed on August 2) and reprioritizing the SW piping refurbishment work order (scheduled to work in 2011). Subsequent to this inspeition, Entergy personnel performed ultrasonic testing of the affected area on one of the pipes that they concluded was most affected and confirmed that the pipe remained operable.


The inspectors determined that the finding was of very low safety significance (Green) because it was not a design or qualification deficiency, did not represent a loss of system safety function, and was not risk significant with respect to external events.This finding had a cross-cutting aspect in the area of Problem ldentification and Resolution, associated with the Corrective Action Program attribute, because Entergy personnel did not take appropriate corrective actions to address an adverse trend in a timely manner, commensurate with the safety significance.
Analvsis. The inspectors determined that Entergy's failure to take adequate corrective actions for an adverse condition associated with the EDG SW supply piping was a performance deficiency that was reasonably within Entergy's ability to foresee and prevent. Specifically, Entergy personnel did not take timely and appropriate corrective actions commensurate with the safety significance of a potential common mode failure of all three EDGs due to carbon steel pipe wall thinning on the common SW supply. The finding was determined to be more than minor because if left uncorrected the performance deficiency had the potential to lead to a more significant safety concern.


Specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall ifrinning due to external corrosion, such as eliminating the source of the wetting by redireciing the flow of water, evaluating the as-found structural integrity of the pipe, and Enclosure
Specifically, the continuing wetting and associated external corrosion of the pipe without appropriate monitoring could adversely impact the structural integrity of one or both EDG SW supply headers. The inspectors evaluated the finding in accordance with IMC 0609, 0609.04, "Phase 1 - Initial Screening and Characterization of Findings,"
Table 4afor the Mitigating Systems Cornerstone. The inspectors determined that the finding was of very low safety significance (Green) because it was not a design or qualification deficiency, did not represent a loss of system safety function, and was not risk significant with respect to external events.


===.2 a.12 periodically===
This finding had a cross-cutting aspect in the area of Problem ldentification and Resolution, associated with the Corrective Action Program attribute, because Entergy personnel did not take appropriate corrective actions to address an adverse trend in a timely manner, commensurate with the safety significance. Specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall ifrinning due to external corrosion, such as eliminating the source of the wetting by redireciing the flow of water, evaluating the as-found structural integrity of the pipe, and


monitoring the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d))Enforcement.
===.2 a.===
periodically monitoring the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d))


10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," requires, in part, that, "Measures shall be established to assure that conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations, defective material and equipment, and non-conformances are promptly identified and corrected." Contrary to the above, Entergy staff did not promptly correct the degraded condition of the EDG SW piping from September 30, 2008, to August 2, 2011. Because this violation was of very low safety significance and it was entered into Entergy's CAP (CR-IP3-201 1-03831), it is being treated as an NCV consistent with the Enforcement Policy. (NGV 05000286/2011010-02, Inadequate Gorrective Action for Degraded EDG SW Piping)Assessment of the Use of Operatino Experience (OE)Insoection Scope The inspectors selected a sample of CRs associated with the review of industry OE to determine whether Entergy personnel appropriately evaluated the OE information for applicability to Indian Point Unit 3 and had taken appropriate actions, when warranted.
=====Enforcement.=====
10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," requires, in part, that, "Measures shall be established to assure that conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations, defective material and equipment, and non-conformances are promptly identified and corrected." Contrary to the above, Entergy staff did not promptly correct the degraded condition of the EDG SW piping from September 30, 2008, to August 2, 2011. Because this violation was of very low safety significance and it was entered into Entergy's CAP (CR-IP3-201 1-03831), it is being treated as an NCV consistent with the Enforcement Policy. (NGV 05000286/2011010-02, Inadequate Gorrective Action for Degraded EDG SW Piping)
Assessment of the Use of Operatino Experience (OE)
Insoection Scope The inspectors selected a sample of CRs associated with the review of industry OE to determine whether Entergy personnel appropriately evaluated the OE information for applicability to Indian Point Unit 3 and had taken appropriate actions, when warranted.


The inspectors reviewed CR evaluations of OE documents associated with a sample of NRC generic letters and information notices to ensure that Entergy staff adequately considered the underlying problems associated with the issues for resolution through their CAP. The inspectors also observed CRG and CARB meetings to determine if industry OE was considered during the CR screening and resolution processes.
The inspectors reviewed CR evaluations of OE documents associated with a sample of NRC generic letters and information notices to ensure that Entergy staff adequately considered the underlying problems associated with the issues for resolution through their CAP. The inspectors also observed CRG and CARB meetings to determine if industry OE was considered during the CR screening and resolution processes.


Assessment The inspectors determined that, in general, Entergy staff appropriately considered industry OE information for applicability, and used the information for corrective and preventive actions to identify and prevent similar issues when appropriate.
Assessment The inspectors determined that, in general, Entergy staff appropriately considered industry OE information for applicability, and used the information for corrective and preventive actions to identify and prevent similar issues when appropriate. The inspectors determined that OE was appropriately applied and lessons learned were communicated and incorporated into plant operations and procedures when applicable.


The inspectors determined that OE was appropriately applied and lessons learned were communicated and incorporated into plant operations and procedures when applicable.
The inspectors observed that industry OE was discussed and considered during the conduct of CRG and CARB meetings. However, the inspectors noted in one CR that, Entergy staff had not appropriately considered internal and industry OE and/or effectively used the information to implement timely corrective and preventive actions. For example:
r The inspectors noted that Entergy staff had received from industry sources operating experience related to the Calvert Cliffs plant, where water intrusion from a roof leak had caused a dual unit trip in 2010. The inspectors noted that, in May 2010, Entergy staff determined that the Indian Point Units were not susceptible to the same type of event due to the design of the electrical systems, in that the Units are electrically isolated from one another. Entergy staff determined that no additional actions were necessary to address this industry OE. The inspectors determined that, in this instance, Entergy's response was narrowly focused, given the presence of roof leaks in the Unit 3 PAB and the identified roof leak in the 31 EDG cell (WO 225582).


The inspectors observed that industry OE was discussed and considered during the conduct of CRG and CARB meetings.
b.


However, the inspectors noted in one CR that, Entergy staff had not appropriately considered internal and industry OE and/or effectively used the information to implement timely corrective and preventive actions. For example: r The inspectors noted that Entergy staff had received from industry sources operating experience related to the Calvert Cliffs plant, where water intrusion from a roof leak had caused a dual unit trip in 2010. The inspectors noted that, in May 2010, Entergy staff determined that the Indian Point Units were not susceptible to the same type of event due to the design of the electrical systems, in that the Units are electrically isolated from one another. Entergy staff determined that no additional actions were necessary to address this industry OE. The inspectors determined that, in this instance, Entergy's response was narrowly focused, given the presence of roof leaks in the Unit 3 PAB and the identified roof leak in the 31 EDG cell (WO 225582).b.Enclosure
===.3 a.===
However, the inspectors noted that, as of July 2Q11, Entergy had an open action item in their CAP to perform an OE review of NRC Information Notice 2011-12, "Reactor Trips Resulting from Water Intrusion into Electrical Equipment," which the NRC issued in June 2Q11in response to the Calvert Cliffs event. Therefore, because none of the leaks challenged or impacted equipment important to safety, and Entergy has open actions to address potential site-specific applicability of the OE regarding roof leaks, the inspectors determined that the performance aspects regarding this issue were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy.


===.3 a.13 However, the inspectors===
Findinqs No findings were identified.


noted that, as of July 2Q11, Entergy had an open action item in their CAP to perform an OE review of NRC Information Notice 2011-12,"Reactor Trips Resulting from Water Intrusion into Electrical Equipment," which the NRC issued in June 2Q11in response to the Calvert Cliffs event. Therefore, because none of the leaks challenged or impacted equipment important to safety, and Entergy has open actions to address potential site-specific applicability of the OE regarding roof leaks, the inspectors determined that the performance aspects regarding this issue were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy.Findinqs No findings were identified.
Assessment of Self-Asqegsmentg and Audits Inspection Scope The inspectors reviewed a sample of Quality Assurance (aA) audits, including a review of several of the findings from the most recent audit of the CAP, and self-assessments focused on various plant programs. These reviews were performed to determine if problems identified through these assessments were entered into the CAP, when appropriate, and whether corrective actions were initiated to address identified deficiencies. The effectiveness of the audits and assessments was evaluated by comparing audit and assessment results against self-revealing and NRC-identified observations made during the inspection.


Assessment of Self-Asqegsmentg and Audits Inspection Scope The inspectors reviewed a sample of Quality Assurance (aA) audits, including a review of several of the findings from the most recent audit of the CAP, and self-assessments focused on various plant programs.
Assessment The inspectors concluded that QA audits and self-assessments were critical, thorough, and generally effective in identifying issues. The inspectors observed that these audits and self-assessments were completed by personnel knowledgeable in the subject areas and were completed to a sufficient depth to identify issues that were then entered into the CAP for evaluation. Corrective actions associated with the issues were implemented commensurate with their safety significance.


These reviews were performed to determine if problems identified through these assessments were entered into the CAP, when appropriate, and whether corrective actions were initiated to address identified deficiencies.
Findinqs No findings were identified.


The effectiveness of the audits and assessments was evaluated by comparing audit and assessment results against self-revealing and NRC-identified observations made during the inspection.
Assessment of Safetv Conscious Work Environment lnspection Scope During interviews with station personnel, the inspectors assessed aspects of the safety conscious work environment at Indian Point Unit 3. Specifically, as part of personnel interviews during the inspection, the inspectors asked questions to identify whether station personnel were hesitant to raise safety concerns to their management and/or the NRC. The inspectors also interviewed the station Employee Concerns Program (ECP)b.


Assessment The inspectors concluded that QA audits and self-assessments were critical, thorough, and generally effective in identifying issues. The inspectors observed that these audits and self-assessments were completed by personnel knowledgeable in the subject areas and were completed to a sufficient depth to identify issues that were then entered into the CAP for evaluation.
===.4 a.===
coordinator to determine what actions were implemented to ensure employees were aware of the program and its availability with regard to raising concerns. The inspectors reviewed a numder of ECP files to ensure that issues were entered into the CAP when appropriate.


Corrective actions associated with the issues were implemented commensurate with their safety significance.
b.


Findinqs No findings were identified.
Assessment During interviews, plant staff expressed a willingness to use the CAP to identify plant issueJ and deficiencies and indicated that they were willing to raise safety issues. The inspectors noted that no one interviewed stated that they personally experienced or were aware of a situation where there were indications an individual had been hesitant to raise a safety issue. All persons interviewed demonstrated an adequate knowledge of the CAp unO gCp. Based on these limited interviews, the inspectors concluded that there was no evidence of significant challenges to the free flow of information regarding safety concerns.


Assessment of Safetv Conscious Work Environment lnspection Scope During interviews with station personnel, the inspectors assessed aspects of the safety conscious work environment at Indian Point Unit 3. Specifically, as part of personnel interviews during the inspection, the inspectors asked questions to identify whether station personnel were hesitant to raise safety concerns to their management and/or the NRC. The inspectors also interviewed the station Employee Concerns Program (ECP)b..4 a.Enclosure 14 coordinator to determine what actions were implemented to ensure employees were aware of the program and its availability with regard to raising concerns.
c.


The inspectors reviewed a numder of ECP files to ensure that issues were entered into the CAP when appropriate.
Findinqs No findings were identified.


b. Assessment During interviews, plant staff expressed a willingness to use the CAP to identify plant issueJ and deficiencies and indicated that they were willing to raise safety issues. The inspectors noted that no one interviewed stated that they personally experienced or were aware of a situation where there were indications an individual had been hesitant to raise a safety issue. All persons interviewed demonstrated an adequate knowledge of the CAp unO gCp. Based on these limited interviews, the inspectors concluded that there was no evidence of significant challenges to the free flow of information regarding safety concerns.c. Findinqs No findings were identified.
4046 Meetinqs. lncludinq Exit Exit Meetinq Summarv On August 5,2011, the inspectors presented the inspection results-to Mr' Joseph pollocli, Site Vice President, and other members of the Entergy staff' The inspectors reviewed proprietary information, which was returned to Entergy staff at the end of the inspection. The inspectors verified that no proprietary information was retained by the inspectors or documented in this report.


4046 Meetinqs.
ATTACHMENT:


lncludinq Exit Exit Meetinq Summarv On August 5,2011, the inspectors presented the inspection results-to Mr' Joseph pollocli, Site Vice President, and other members of the Entergy staff' The inspectors reviewed proprietary information, which was returned to Entergy staff at the end of the inspection.
=SUPPLEMENTAL INFORMATION=


The inspectors verified that no proprietary information was retained by the inspectors or documented in this report.ATTACHMENT:
Enterqv Personnel
 
J. Pollock
=SUPPLEMENTAL
R. Aguiar
INFORMATION=
B. Altadonna
 
J. Bencivenga
Enterqv Personnel J. Pollock R. Aguiar B. Altadonna J. Bencivenga
M. Burney
M. Burney P. Conroy K. Curley G. Dahl M. Ferretti E. Firth D. Gagnon M. Haggstrom C. Hasenbein T. lavicoli R. Johnson J. Lafferty R. Martin F. Philips J. Reynolds B. Schmidt B. Taggart M. Tumicki J. Ventosa A-1 SUPPLEMENTAL
P. Conroy
INFORMATION
K. Curley
KEY POINTS OF CONTACT Site Vice President Security Supervisor
G. Dahl
Programs and Components
M. Ferretti
Engineer Design Engineering
E. Firth
Licensing
D. Gagnon
Specialist
M. Haggstrom
Director, Nuclear Safety Assurance System Engineer Licensing
C. Hasenbein
Specialist
T. lavicoli
Maintenance
R. Johnson
Supervisor
J. Lafferty
Manager, Corrective
R. Martin
Action & Assessment
F. Philips
Site Security Manager System Engineer System Engineer Radiation
J. Reynolds
Protection
B. Schmidt
Specialist
B. Taggart
Maintenance
M. Tumicki
Supervisor
J. Ventosa
System Engineering
SUPPLEMENTAL INFORMATION
Supervisor
KEY POINTS OF CONTACT
Senior Planner, Emergency
Site Vice President
Planning Senior Planner, Emergency
Security Supervisor
Planning Corrective
Programs and Components Engineer
Action & Assessment
Design Engineering
Specialist
Licensing Specialist
Director, Nuclear Safety Assurance
System Engineer
Licensing Specialist
Maintenance Supervisor
Manager, Corrective Action & Assessment
Site Security Manager
System Engineer
System Engineer
Radiation Protection Specialist
Maintenance Supervisor
System Engineering Supervisor
Senior Planner, Emergency Planning
Senior Planner, Emergency Planning
Corrective Action & Assessment Specialist
Operations
Operations
Employee Concerns Program Coordinator
Employee Concerns Program Coordinator
Corrective
Corrective Action & Assessment Specialist
Action & Assessment
Specialist
General Manager, Plant Operations
General Manager, Plant Operations
LIST OF ITEMS OPENED, CLOSED AND DISCUSSED Opened and Closed 05000286/201
LIST OF ITEMS OPENED, CLOSED AND DISCUSSED
01 0-01 05000286/2011010-02
Opened and Closed
FIN NCV Procedural
05000286/201 1 01 0-01
Requirements
05000286/2011010-02
of Engineering
FIN
Change Process Not lmplemented
NCV
Inadequate
Procedural Requirements of Engineering Change
Corrective
Process Not lmplemented
Action for Degraded EDG SW Piping Attachment
Inadequate Corrective Action for Degraded EDG
LIST OF DOGUMENTS
SW Piping
REVIEWED Section 4OA2: ldentification
 
and Resolution
LIST OF DOGUMENTS REVIEWED
of Problems Audits and Self-Assessments
Section 4OA2: ldentification and Resolution of Problems
LO-lP3LO-2009-00067, "Plant Status and Configuration
Audits and Self-Assessments
Control - IPEC Snapshot Self-Assessment
LO-lP3LO-2009-00067, "Plant Status and Configuration Control - IPEC Snapshot Self-
Report," dated December 12,2009 LO-lP3LO-2009-00071, "QA NIEP Audit Criteria - IPEC Focused Self-Assessment
Assessment Report," dated December 12,2009
Report," dated July 13,2009 LO-lP3LO-2010-00008, "Quality of CR Closures Performed
LO-lP3LO-2009-00071, "QA NIEP Audit Criteria - IPEC Focused Self-Assessment Report,"
by Department
dated July 13,2009
lmprovement
LO-lP3LO-2010-00008, "Quality of CR Closures Performed by Department lmprovement
Coordinators (DPlCs) - IPEC Snapshot Self-Assessment
Coordinators (DPlCs) - IPEC Snapshot Self-Assessment Report," dated December 31,
Report," dated December 31, 2010 LO-lP3LO-2010-00074, "Conduct of Operations - IPEC Snapshot Self-Assessment
2010
Report," dated November 13,2010 LO-lP3LO-2010-00157, "Tone Alert Radio Program Administration
LO-lP3LO-2010-00074, "Conduct of Operations - IPEC Snapshot Self-Assessment Report,"
and Recordkeeping - IPEC Snapshot Self-Assessment
dated November 13,2010
Report," dated May 10,2010 LO-lP3LO-2011-00023, "Operations
LO-lP3LO-2010-00157, "Tone Alert Radio Program Administration and Recordkeeping - IPEC
Facilities
Snapshot Self-Assessment Report," dated May 10,2010
and Equipment - IPEC Snapshot Setf-Adsessment
LO-lP3LO-2011-00023, "Operations Facilities and Equipment - IPEC Snapshot Setf-
Report," dated June 1 ,2011 LO-lP3LO-2010-00035, "Snapshot
Adsessment Report," dated June 1,2011
Self-Assessment
LO-lP3LO-2010-00035, "Snapshot Self-Assessment on Access Controls," dated May 26,2Q10
on Access Controls," dated May 26,2Q10 LO-lP3_LO-2010-00078, "Focused Self-Assessment
LO-lP3_LO-2010-00078, "Focused Self-Assessment on Closed Cooling Water Chemistry," dated
on Closed Cooling Water Chemistry," dated TtAay 14,2010 LO-lP3LO-201
TtAay 14,2010
0-00045, "Fatigue Rule Compliance", dated February 23, 2010 LO-lP3LO-2010-00196, "Preventive
LO-lP3LO-201 0-00045, "Fatigue Rule Compliance", dated February 23, 2010
Maintenance (PM) Feedback," dated September
LO-lP3LO-2010-00196, "Preventive Maintenance (PM) Feedback," dated September 28,2010
28,2010 QA-07-2011-lP-1, "Emergency
QA-07-2011-lP-1, "Emergency Preparedness (EP) Quality Assurance Audit Report," dated June
Preparedness (EP) Quality Assurance
13,2011
Audit Report," dated June 13,2011 QA-12-2009-lP-1, "Operations/Technical
QA-12-2009-lP-1, "Operations/Technical Specifications Quality Assurance Audit Report," dated
Specifications
August 3, 2009
Quality Assurance
QA-04-2010-lP-1, "Engineering Design Control Quality Assurance Audit Report," dated May 27,
Audit Report," dated August 3, 2009 QA-04-2010-lP-1, "Engineering
2010
Design Control Quality Assurance
QA-10-2010-1P-1, "Maintenance Quality Assurance Audit Report," dated October 13, 2010
Audit Report," dated May 27, 2010 QA-10-2010-1P-1 , "Maintenance
QA-01-2009-lP-1, "Fitness for Duty Quality Assurance Audit Report," dated August 20,20Qg
Quality Assurance
QA-1 6-2009-l P-1, "Security Quality Assurance Audit Report," dated December 17, zQQg
Audit Report," dated October 13, 2010 QA-01-2009-lP-1, "Fitness for Duty Quality Assurance
QA-16-2010-lP-1, "security Quality Assurance Audit Report," dated February 9,2011
Audit Report," dated August 20,20Qg QA-1 6-2009-l P-1, "Security
Calculations
Quality Assurance
lP3-CALC-SWS-02022, "Operability Determination and Supports Repair in the Zurn Pit,"
Audit Report," dated December 17, zQQg QA-16-2010-lP-1, "security
Revision 0
Quality Assurance
lP-CALC-08-00118, "Evaluation of Through Wall Leak for Tee Downstream of SWN-38 for Line
Audit Report," dated February 9,2011 Calculations
408," Revision 0
lP3-CALC-SWS-02022, "Operability
Completed Surveillances
Determination
3-PT-M079A, "31 EDG Functional Test," performed May 15,2011 and June 16, 2011
and Supports Repair in the Zurn Pit," Revision 0 lP-CALC-08-00118, "Evaluation
3-PT-M0798, "32 EDG Functional Test," performed May 17, 2011 and June 13, 2011
of Through Wall Leak for Tee Downstream
3-PT-M079C, "33 EDG Functional Test," performed June 14,2011
of SWN-38 for Line 408," Revision 0 Completed
3-PT-Q120F, "32 ABFP (Turbine Driven) Surveillance and lST," performed April 15, 2011
Surveillances
3-PT-Q134A, "31 RHR Pump FunctionalTest (RHR Cooling Not in Service)," performed June 3,
3-PT-M079A, "31 EDG Functional
2011
Test," performed
 
May 15,2011 and June 16, 2011 3-PT-M0798, "32 EDG Functional
3-PT-Q1348,"32 RHR Pump Functional Test (RHR Cooling Not in Service)," performed June
Test," performed
29,2011
May 17, 2011 and June 13, 2011 3-PT-M079C, "33 EDG Functional
3-PT-R0078, "32 ABFP Full Flow Test," performed April 6, 201 1
Test," performed
3-PT-R090E, "Local Operation of 32 ABFP," performed July 5,2011
June 14,2011 3-PT-Q120F, "32 ABFP (Turbine Driven) Surveillance
3-PT-R1604, "31 EDG Capacity Test," performed March 29,2011
and lST," performed
3-PT-R1608,"32 EDG Capacity Test," performed March 29,2011
April 15, 2011 3-PT-Q134A, "31 RHR Pump FunctionalTest (RHR Cooling Not in Service)," performed
3-PT-R160C, "33 EDG Capacity Test," performed March 20,2011
June 3, 2011 Attachment
3-PT-R189A, "Functional Test of 31 Automatic Trips," performed March 24,2011
3-PT-Q1348,"32
3-PT-R189B, "Functional Test of 32 Automatic Trips," performed March 28,2011
RHR Pump Functional
3-PT-R189C, "Functional Test of 33 Automatic Trips," performed March 17, 2Q11
Test (RHR Cooling Not in Service)," performed
3-PT-R198,"32 ABFP Turbine Overspeed Test," performed April 1,2011
June 29,2011 3-PT-R0078, "32 ABFP Full Flow Test," performed
3-PT-Q1168,"32 Safety Injection Pump," dated July 11,2011
April 6, 201 1 3-PT-R090E, "Local Operation
3-PT-Q1 168, "32 Safety Injection Pump," dated July 12, 2011
of 32 ABFP," performed
Condition Reports (CR-lP2-)
July 5,2011 3-PT-R1604, "31 EDG Capacity Test," performed
201 1-03604-
March 29,2011 3-PT-R1608,"32
2010-00746
EDG Capacity Test," performed
March 29,2011 3-PT-R160C, "33 EDG Capacity Test," performed
March 20,2011 3-PT-R189A, "Functional
Test of 31 Automatic
Trips," performed
March 24,2011 3-PT-R189B, "Functional
Test of 32 Automatic
Trips," performed
March 28,2011 3-PT-R189C, "Functional
Test of 33 Automatic
Trips," performed
March 17 , 2Q11 3-PT-R198,"32
ABFP Turbine Overspeed
Test," performed
April 1 ,2011 3-PT-Q1168,"32
Safety Injection
Pump," dated July 11,2011 3-PT-Q1 168, "32 Safety Injection
Pump," dated July 12, 2011 Condition
Reports (CR-lP2-)201 1-03604-2010-00746
2010-05639
2010-05639
2010-06497
2010-06497
2010-06527
2010-06527
201 1-00654 201 1-0'1608 2011-01610
201 1-00654
201 1-0'1608
2011-01610
2011-02392
2011-02392
201 1-03603.* CR written as a result of this inspection
201 1-03603.
Condition
* CR written as a result of this inspection
Reports (CR-lP3-)2003-01600
Condition Reports (CR-lP3-)
2003-0361
2003-01600
2003-0361 3
2003-04298
2003-04298
2006-0001
2006-0001 3
2006-00290
2006-00290
2006-01 596 2006-02071
2006-01 596
2006-02071
2006-04063
2006-04063
2007-00275
2007-00275
2007-01 01 0 2007-01512
2007-01 01 0
2007-01512
2007-03393
2007-03393
2007-04212
2007-04212
Line 371: Line 362:
2008-00698
2008-00698
2008-00717
2008-00717
2008-01 589 2008-02026
2008-01 589
2008-02026
2008-02137
2008-02137
2008-021 66 2008-02383
2008-021 66
2008-02383
2008-02787
2008-02787
2008-03009
2008-03009
2009-00381
2009-00381
2009-0051
2009-0051 2
2009-00572
2009-00572
2009-02368
2009-02368
Line 392: Line 385:
2009-03040
2009-03040
2009-03089
2009-03089
2009-031 50 2009-03177
2009-031 50
2009-0331
2009-03177
2009-0331 1
2009-03321
2009-03321
2009-03336
2009-03336
Line 408: Line 402:
2009-03786
2009-03786
2009-03808
2009-03808
2009-0381
2009-0381 I
I 2009-03867
2009-03867
2009-03904
2009-03904
2009-03908
2009-03908
Line 441: Line 435:
2009-04694
2009-04694
2009-04769
2009-04769
2009-0481
2009-0481 9
2009-04867
2009-04867
2009-04876
2009-04876
2009-04901
2009-04901
201 0-00007 2010-00045
201 0-00007
201 0-00060 2010-00202
2010-00045
201 0-00269 2010-00347
201 0-00060
2010-00202
201 0-00269
2010-00347
2010-00410
2010-00410
2010-00419
2010-00419
2010-00420
2010-00420
2010-00421
2010-00421
201 0-00549 2010-00631
201 0-00549
201 0-00735 201 0-00853 201 0-00863 2010-00917
2010-00631
201 0-00998 2010-01028
201 0-00735
201 0-01 034 2010-01217
201 0-00853
201 0-00863
2010-00917
201 0-00998
2010-01028
201 0-01 034
2010-01217
2010-01227
2010-01227
2010-01238
2010-01238
2010-01433
2010-01433
201 0-01 533 201 0-01 543 2010-01692
201 0-01 533
201 0-01 543
2010-01692
2010-01730
2010-01730
201Q-Q1825
201Q-Q1825
201 0-01 883 201 0-01 890 2010-01924
201 0-01 883
201 0-01 890
2010-01924
2010-01964
2010-01964
2010-02005
2010-02005
Line 476: Line 484:
2010-02384
2010-02384
2010-02395
2010-02395
201 0-02396 2010-02444
201 0-02396
2010-02444
2010-02501
2010-02501
2010-02504
2010-02504
Line 482: Line 491:
2010-02614
2010-02614
2010-Q2617
2010-Q2617
201 0-02690 2010-02723
201 0-02690
2010-02723
2010-02731
2010-02731
2010-02755
2010-02755
2010-02854
2010-02854
201 0-02900 2010-03061
201 0-02900
201 0-03099 201 0-031 09 2010-031 19 2010-03141
2010-03061
201 0-03099
201 0-031 09
2010-031 19
2010-03141
2010-03216
2010-03216
2010-03229
2010-03229
201 0-03299 201 0-03469 2010-03478
201 0-03299
201 0-03554 201 0-03686 201 0-03687 201 0-03696 201 0-03859 201 1-00018 2011-00021
201 0-03469
201 1 -00039 2011-00205
2010-03478
201 0-03554
201 0-03686
201 0-03687
201 0-03696
201 0-03859
201 1-00018
2011-00021
201 1 -00039
2011-00205
2011-00232
2011-00232
2011-00259
2011-00259
201 1-00318 201 1-00369 2011-00394
201 1-00318
201 1 -00396 2011-00433
201 1-00369
2011-00394
201 1 -00396
2011-00433
2011-00574
2011-00574
2011-00575
2011-00575
201 1-00576 2011-00577
201 1-00576
201 1-00580 201 1 -00858 201 1 -00860 2011-00926
2011-00577
201 1-00955 2011-01028
201 1-00580
201 1 -00858
201 1 -00860
2011-00926
201 1-00955
2011-01028
2011-01052
2011-01052
201 1-01056 2011-01078
201 1-01056
2011-01078
2011-01107
2011-01107
2011-01115
2011-01115
Line 515: Line 547:
2011-01260
2011-01260
2011-01327
2011-01327
201 1-01 330 2011-01345
201 1-01 330
2011-01345
2011-01371
2011-01371
2011-01377
2011-01377
201 1-01398 2011-01403
201 1-01398
2011-01403
2011-01434
2011-01434
2011-01447
2011-01447
Line 530: Line 564:
2011-01619
2011-01619
2011-01745
2011-01745
201 1-01869 2011-01915
201 1-01869
2011-01915
2011-01917
2011-01917
2011-01929
2011-01929
Line 568: Line 603:
2011-02918
2011-02918
2011-02920
2011-02920
201 1-03080 2011-03127
201 1-03080
2011-03127
2011-03148
2011-03148
2011-03170
2011-03170
Line 574: Line 610:
2011-03280
2011-03280
2011-03295
2011-03295
201 1-03360 2011-03481
201 1-03360
2011-03481
2011-03522
2011-03522
201 1-03561 2011-03574
201 1-03561
201 1-03583 2011-03584
2011-03574
201 1-03583
2011-03584
2Q11-03592
2Q11-03592
201 1-03594 201 1-03596 201 1-03599 201 1 -03609 201 1-03613 2011-03614
201 1-03594
201 1-03616 2011-03617
201 1-03596
201 1-03619 201 1-03631 2011-03632*
201 1-03599
201 1 -03609
201 1-03613
2011-03614
201 1-03616
2011-03617
201 1-03619
201 1-03631
2011-03632*
2011-03648*
2011-03648*
2011-03654*
2011-03654*
201 1 -03656.201 1-03663.2011-03664
201 1 -03656.
201 1-03663.
2011-03664
2011-03672*
2011-03672*
2011-03676
2011-03676
2011-Q3682*
2011-Q3682*
201 1-03685.2011-Q3704
201 1-03685.
2011-Q3704
2011-03705.
2011-03705.
201 1-03709" 2011-03713
201 1-03709"
2011-03713
2011-03727
2011-03727
2011-03729*
2011-03729*
Line 597: Line 648:
2011-03759
2011-03759
2011-03779
2011-03779
2011-03789
2011-03789
2011-03806" 2011-03831*
2011-03806"
2011-03831*
2011-03845.
2011-03845.
2011-03798.
2011-03798.
Line 611: Line 664:
2011-03840.
2011-03840.
* CR written as a result of this inspection
* CR written as a result of this inspection
Drawinqs 9321-F-20333
Drawinqs
Sheets. 1 &2, "Flow Diagram Service Water System," Revisions
21-F-20333 Sheets. 1 &2, "Flow Diagram Service Water System," Revisions 50 and 28
and 28 9321-F-20343
21-F-20343 Sheets. 1 &2, "Flow Diagram City Water," Revisions 36 and 20
Sheets. 1 &2, "Flow Diagram City Water," Revisions
21-F-21223, "Flow Diagram Appendix'R'6.9 KV Emergency Diesel Generator Jacket Water
and 20 9321-F-21223, "Flow Diagram Appendix'R'6.9
System," Revision 3
KV Emergency
21-F-27533, "Flow Diagram Hydrogen Recombiner System," Revision 12
Diesel Generator
21-F-33733, "Logic Tripping Diagram for RCS Overpressurization Protection System,"
Jacket Water System," Revision 3 9321-F-27533, "Flow Diagram Hydrogen Recombiner
Revision 3
System," Revision 12 9321-F-33733, "Logic Tripping Diagram for RCS Overpressurization
21-H-20283, "Flow Diagram Jacket Water to Diesel Generators," Revision 22
Protection
INSUL-50453, "Containment Building Restraint & Support Design Line 62 Insulation Details,"
System," Revision 3 9321-H-20283, "Flow Diagram Jacket Water to Diesel Generators," Revision 22 INSUL-50453, "Containment
Revision 0
Building Restraint  
Emerqencv Preparedness Related
& Support Design Line 62 Insulation
Binder #EOF-1, "Emergency Director Emergency Response Organization Position Binder,"
Details," Revision 0 Emerqencv
updated July 8, 2011
Preparedness
Binder #EOF-4, "RadiologicalAssessment Coordinator Emergency Response Organization
Related Binder #EOF-1, "Emergency
Position Binder," updated July 8, 2011
Director Emergency
Binder #EOF-5, "Dose Assessor Emergency Response Organization Position Binder," updated
Response Organization
July 8,2011
Position Binder," updated July 8, 2011 Binder #EOF-4, "RadiologicalAssessment
Binder #lCP-1, "Security Coordinator lCP," updated July 8,2011
Coordinator
Binder #TSC-1, "Emergency Plant Manager Emergency Response Organization Position
Emergency
Binder," updated July 8, 2011
Response Organization
Binder #TSC-4, "Reactor Engineer Emergency Response Organization Position Binder,"
Position Binder," updated July 8, 2011 Binder #EOF-5, "Dose Assessor Emergency
updated July 8, 2011
Response Organization
Binder #TSC-8, "TSC Communicator Emergency Response Organization Position Binder,"
Position Binder," updated July 8,2011 Binder #lCP-1, "Security
updated July 8, 2011
Coordinator
Drill Number 2008-7, "Emergency Preparedness Unit 3 Exercise December 3, 2008
lCP," updated July 8,2011 Binder #TSC-1, "Emergency
Performance Report," Revision 0
Plant Manager Emergency
Drill Number 2Q1O-5, "Emergency Preparedness Unit 2 FEMA/NRC Exercise September 14,
Response Organization
2010 Performance Report," dated October 12,2010
Position Binder," updated July 8, 2011 Binder #TSC-4, "Reactor Engineer Emergency
Drill Number 2010-6, "Emergency Preparedness Unit 2 Training Drill December 7, 2010
Response Organization
Performance Report," dated December 15,2010
Position Binder," updated July 8, 2011 Binder #TSC-8, "TSC Communicator
Drill Number 2011-1, "Emergency Preparedness Unit 2 Training Drill February 3,2Q11
Emergency
Performance Report," dated February 10,2011
Response Organization
Drill Number 2011-2, "Emergency Preparedness Unit 3 SAMG Training Drill June 9,2011
Position Binder," updated July 8, 2011 Drill Number 2008-7 , "Emergency
Performance Report," dated June 30,2011
Preparedness
EN-PL-155 Attachment 9.1, "Notification Forms Revision Change Management Checklist,"
Unit 3 Exercise December 3, 2008 Performance
dated January 25,2011
Report," Revision 0 Drill Number 2Q1O-5, "Emergency
Form EP-3, "Control Room NOE Notification Checklist," Revision 14
Preparedness
Form EP-4,.CCR Initial Notification Checklist - AlerUSAElGE," Revision 13
Unit 2 FEMA/NRC Exercise September
 
14, 2010 Performance
Form EP-5, "Upgrade/Update Notification - AIeTUSAE/GE Checklist," Revision 11
Report," dated October 12,2010 Drill Number 2010-6, "Emergency
lP-EP-AD33, "IPEC ATI Siren System Quarterly Preventative Maintenance," Revision 6
Preparedness
lP-EP-AD34, "IPEC ATI Control Station Semi-Annual Preventative Maintenance," Revision 4
Unit 2 Training Drill December 7, 2010 Performance
lP-EP-AD35, "IPEC ATI Siren Site Annual Preventative Maintenance," Revision 4
Report," dated December 15,2010 Drill Number 2011-1, "Emergency
Siren-01, "Siren Main and Auxiliary Amplifier Board Replacement," Revision 4
Preparedness
TSC-1, "lndian Point Energy Center Emergency Telephone Directory," July 2011
Unit 2 Training Drill February 3,2Q11 Performance
Evaluations
Report," dated February 10,2011 Drill Number 2011-2, "Emergency
CR lP2-2009-03701, "Alert Notification System Test Failure Root Cause Analysis Report,"
Preparedness
Revision 1
Unit 3 SAMG Training Drill June 9,2011 Performance
CR lP3-2009-02640, "32 Main Boiler Feed Pump Rework Root Cause Analysis Report,"
Report," dated June 30,2011 EN-PL-155
Revision 1
9.1, "Notification
CR lP3-2009-02831, "Lifting of Sl-855 Relief Valve During 3PT-Q1168 Functional Test for 32 Sl
Forms Revision Change Management
Pump Apparent Cause Evaluation," dated July 15,2009
Checklist," dated January 25,2011 Form EP-3, "Control Room NOE Notification
CR lP3-2009-02968, "Emergency Plan Contingency Actions with the Seismic Monitoring
Checklist," Revision 14 Form EP-4, .CCR Initial Notification
Instrumentation Out-of-Service Apparent Cause Evaluation," dated August 4,2009
Checklist - AlerUSAElGE," Revision 13 Attachment
CR lP3-2009-04454, "Main Line "A" Phase Fuse Blown to the 33 EDG Auxiliaries in MCC 39
Form EP-5, "Upgrade/Update
Cubicle SBL Apparent Cause Evaluation," dated December 9, 2009
Notification - AIeTUSAE/GE
CR lP3-2010-01542, "Two Performance Indicator Opportunities Were Missed During
Checklist," Revision 11 lP-EP-AD33, "IPEC ATI Siren System Quarterly
Emergency Planning Drill Apparent Cause Evaluation," dated June 29, 2010
Preventative
CR lP3-2010-02082, "MIDAS (Meteorological Information and Data Acquisition System)
Maintenance," Revision 6 lP-EP-AD34, "IPEC ATI Control Station Semi-Annual
Program Displayed an Incorrect Emergency Classification Apparent Cause Evaluation,"
Preventative
dated August 9, 2010
Maintenance," Revision 4 lP-EP-AD35, "IPEC ATI Siren Site Annual Preventative
CR lP3-2011-00680, "U3 Service Water Leak Downstream of SWN-6 Root Cause Analysis
Maintenance," Revision 4 Siren-01, "Siren Main and Auxiliary
Report," Revision 1
Amplifier
PMRQ 50068322-02,"1Y INSP HX (Tube-Side) IAW HTX-}Z2-EDG PM Deferral Request,"
Board Replacement," Revision 4 TSC-1, "lndian Point Energy Center Emergency
dated May 19, 2011
Telephone
SW Line 1222Equipment Failure Evaluation, Revision 0
Directory," July 2011 Evaluations
Learninq Orqanization Trackino Reports (LO-lP3LO-)
CR lP2-2009-03701, "Alert Notification
201 0-001 64
System Test Failure Root Cause Analysis Report," Revision 1 CR lP3-2009-02640, "32 Main Boiler Feed Pump Rework Root Cause Analysis Report," Revision 1 CR lP3-2009-02831, "Lifting of Sl-855 Relief Valve During 3PT-Q1168
201 0-001 89
Functional
Licensee Event Reports
Test for 32 Sl Pump Apparent Cause Evaluation," dated July 15,2009 CR lP3-2009-02968, "Emergency
LER 0500028612009-009-01, "Loss of a Single Train Neutron Flux Detector N-38 Required for
Plan Contingency
Plant Shutdown Remote from the Control Room due to a Power Supply Failure," dated
Actions with the Seismic Monitoring
October 29,2010
Instrumentation
Maintenance Rule. Svstem Health. and Trendinq
Out-of-Service
ABFP Oil Analysis Report Summary, dated August 3,2Q10 - July 5,2011
Apparent Cause Evaluation," dated August 4,2009 CR lP3-2009-04454, "Main Line "A" Phase Fuse Blown to the 33 EDG Auxiliaries
lP3-WebCDMS Sample Analysis Results Summary (EDG Fuel Oil), dated July 2,2011 - August
in MCC 39 Cubicle SBL Apparent Cause Evaluation," dated December 9, 2009 CR lP3-2010-01542, "Two Performance
1, 2011
Indicator
IPEC Top Ten Equipment Reliability lssues, dated July 14,2011
Opportunities
lP-RPT-1 1-00020, 'tMaintenance Rule Structural Monitoring lnspection Report (4th Cycle) for
Were Missed During Emergency
Intake Structure," dated April 15,2011
Planning Drill Apparent Cause Evaluation," dated June 29, 2010 CR lP3-2010-02082, "MIDAS (Meteorological
LO-lP3LO2011-00003, "Operations Department Quarterly Trend Report, 4tn Quarter 201Q"
Information
 
and Data Acquisition
LO-IP3LO2011-00125, "Operations Department Quarterly Trend Report, 1" Quarter 2011"
System)Program Displayed
SEP-SW-001 Attachment G, "31 EDG JW & LO Coolers Inspection Report," dated August 1 1,
an Incorrect
2010 and July 14,2011
Emergency
SOP-WDS-O10 Attachment 1, "Containment Sump Flow Daily Average," dated April 1 0, 2011 -
Classification
July 29,2011
Apparent Cause Evaluation," dated August 9, 2010 CR lP3-2011-00680, "U3 Service Water Leak Downstream
Unit #3 Boric Acid Walkdown, performed July 13,2011
of SWN-6 Root Cause Analysis Report," Revision 1 PMRQ 50068322-02,"1Y
lP3-RPT-IA-O1891, "Maintenance Rule Basis Document for Instrument Air and Instrument Air
INSP HX (Tube-Side)
Closed Cooling Systems," Revision 0
IAW HTX-}Z2-EDG
System Health Report Unit 3 AFW, 1" Quarter 2011
PM Deferral Request," dated May 19, 2011 SW Line 1222Equipment
System Health Report Unit 3 DC, 1't Quarter 2011
Failure Evaluation, Revision 0 Learninq Orqanization
Miscellaneous
Trackino Reports (LO-lP3LO-)
3-PT-D001, "CCR TS Rounds," dated July 3-9, 2011
201 0-001 64 201 0-001 89 Licensee Event Reports LER 0500028612009-009-01, "Loss of a Single Train Neutron Flux Detector N-38 Required for Plant Shutdown Remote from the Control Room due to a Power Supply Failure," dated October 29,2010 Maintenance
3-PT-D001C, "Field TS Rounds," dated July 3-9, 2011
Rule. Svstem Health. and Trendinq 32 ABFP Oil Analysis Report Summary, dated August 3,2Q10 - July 5,2011 lP3-WebCDMS
3-RND-CV, "Conventional Rounds," dated July 3-9, 2011, and July 19,2011
Sample Analysis Results Summary (EDG Fuel Oil), dated July 2,2011 - August 1, 2011 IPEC Top Ten Equipment
3-RND-NUC, "Nuclear Rounds," dated July 3-9, 2011
Reliability
EN-MA-1 18 Attachment 9.6, "lntake Structure Access Port Line 409 Foreign Material Exclusion
lssues, dated July 14,2011 lP-RPT-1 1-00020, 'tMaintenance
Component Close-Out," dated March 25,2011
Rule Structural
IPEC Operations Shift Order, dated June 24, 2011, June 27-30, 2011, July 5-8, 2011, and July
Monitoring
11, 2011
lnspection
Log Entries Report, dated June 19-24,2011 and July 3-9, 2011
Report (4th Cycle) for Intake Structure," dated April 15,2011 LO-lP3LO2011-00003, "Operations
SIPD 1248, "lnstall Status Light on EDG JWPS 1 and 2 Air Start Pressure Switches," dated
Department
June 1,2410
Quarterly
TS-MS-003, "Technical Specification for Piping and Equipment Insulation," Revision 8
Trend Report, 4tn Quarter 201Q" Attachment
Unit 3 Control Room Deficiency Log, dated June 15,2011
LO-IP3LO2011-00125, "Operations
Unit 3 Operations Feedback Report for Group 3-AOP, dated July 13,2011
Department
Unit 3 Operations Feedback Report for Group 3-ARP, dated July 13,2011
Quarterly
Unit 3 Operations Feedback Report for Group 3-ECA, dated July 13,2011
Trend Report, 1" Quarter 2011" SEP-SW-001
EC 8501, "Replace existing Gould Shawmut model number TRS4R fuses for 33 Instrument Air
G, "31 EDG JW & LO Coolers Inspection
Desiccant Dryer Blower Motor with Ferraz Shawmut model number TRSOR fuses,"
Report," dated August 1 1, 2010 and July 14,2011 SOP-WDS-O10
Revision 0
1, "Containment
Maintenance Aggregate Index, as of May 2011
Sump Flow Daily Average," dated April 1 0, 2011 -July 29,2011 Unit #3 Boric Acid Walkdown, performed
Non-Outage Fluid Leaks, as of May 2011
July 13,2011 lP3-RPT-IA-O1891, "Maintenance
On-Line Corrective Maintenance Backlog, as of May 2011
Rule Basis Document for Instrument
On-Line Deficient Maintenance, as of May 2011
Air and Instrument
Outage Corrective Maintenance Backlog, as of May 2011
Air Closed Cooling Systems," Revision 0 System Health Report Unit 3 AFW, 1" Quarter 2011 System Health Report Unit 3 DC, 1't Quarter 2011 Miscellaneous
Outage Deficient Maintenance, as of May 2011
3-PT-D001, "CCR TS Rounds," dated July 3-9, 2011 3-PT-D001C, "Field TS Rounds," dated July 3-9, 2011 3-RND-CV, "Conventional
Outage Fluid Leaks, as of May 2011
Rounds," dated July 3-9, 2011, and July 19,2011 3-RND-NUC, "Nuclear Rounds," dated July 3-9, 2011 EN-MA-1 18 Attachment
PIR Rework Analysis, as of May 2011
9.6, "lntake Structure
Non-Cited Violations and Findinqs
Access Port Line 409 Foreign Material Exclusion Component
FIN 0500028612010003-02, "Failure to Perform an Adequate Operability Evaluation for Neutron
Close-Out," dated March 25,2011 IPEC Operations
Detector N-38 Anomalous Behavior"
Shift Order, dated June 24, 2011, June 27-30 , 2011, July 5-8, 2011, and July 11, 2011 Log Entries Report, dated June 19-24,2011
NCV 0500028612009005-02, "Untimely Compensatory Measures for Degraded EDG Pressure
and July 3-9, 2011 SIPD 1248, "lnstall Status Light on EDG JWPS 1 and 2 Air Start Pressure Switches," dated June 1,2410 TS-MS-003, "Technical
Switches"
Specification
NCV 05000 286 l 2009005-03, "S i ren Test Fa i I u re"
for Piping and Equipment
NCV 0500028612009005-04, "Failure to Promptly ldentify and Correct a Molded Case Circuit
Insulation," Revision 8 Unit 3 Control Room Deficiency
Breaker Service Life Nonconformance"
Log, dated June 15,2011 Unit 3 Operations
 
Feedback Report for Group 3-AOP, dated July 13,2011 Unit 3 Operations
NCV 0500028612010004-01, "Untimely Corrective Actions for Degraded Capacitors for the 31
Feedback Report for Group 3-ARP, dated July 13,2011 Unit 3 Operations
Static lnverted'
Feedback Report for Group 3-ECA, dated July 13,2011 EC 8501, "Replace existing Gould Shawmut model number TRS4R fuses for 33 Instrument
NCV 0500028612010005-03, "Failure of the Offsite Notification Procedure to Meet the
Air Desiccant
Requirements of the Site Emergency Plan"
Dryer Blower Motor with Ferraz Shawmut model number TRSOR fuses," Revision 0 Maintenance
NCV 0500028612010009-01, "lnadequate Design Control of Service Water Strainer Room Flood
Aggregate
Barrier"
Index, as of May 2011 Non-Outage
NCV 0500028612010005-01, "Repeated Control Room Air Conditioner Gasket Failures"
Fluid Leaks, as of May 2011 On-Line Corrective
Non-Destructive Examination Reports
Maintenance
lP3-UT-08-034,"18-inch Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion Examination,"
Backlog, as of May 2011 On-Line Deficient
performed August 24, 2008
Maintenance, as of May 2011 Outage Corrective
lP3-UT-08-055, "18-inch Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion Examination,"
Maintenance
performed November 10, 2008
Backlog, as of May 2011 Outage Deficient
lP3-UT-09-083, "Gas Intrusion - 4" Line #16 @ Penetration Q - PAB Side of Containment UT"
Maintenance, as of May 2011 Outage Fluid Leaks, as of May 2011 PIR Rework Analysis, as of May 2011 Non-Cited
Calibration/Examination," performed July 16, 2009
Violations
IP3-UT-10-008, "31 SW Pump Discharge 14" Line #1081UT Erosion/Corrosion Examination,"
and Findinqs FIN 0500028612010003-02, "Failure to Perform an Adequate Operability
performed February 5, 2Q10
Evaluation
lP3-UT-10-009, "32 SW Pump Discharge 14" Line #1082 UT Erosion/Corrosion Examination,"
for Neutron Detector N-38 Anomalous
performed February 5, 2010
Behavior" NCV 0500028612009005-02, "Untimely
lP3-UT-10-010, "33 SW Pump Discharge 14" Line #1083 UT Erosion/Corrosion Examination,"
Compensatory
performed February 5, 2010
Measures for Degraded EDG Pressure Switches" NCV 05000 286 l 2009005-03, "S i ren Test Fa i I u re" NCV 0500028612009005-04, "Failure to Promptly ldentify and Correct a Molded Case Circuit Breaker Service Life Nonconformance" Attachment
lP3-UT-10-01 1, "34 SW Pump Discharge 14" Line #1084 UT Erosion/Corrosion Examination,"
NCV 0500028612010004-01, "Untimely
performed February 5, 2010
Corrective
IP3-UT-10-012, "35 SW Pump Discharge 14" Line #1085 UT Erosion/Corrosion Examination,"
Actions for Degraded Capacitors
performed February 5, 2010
for the 31 Static lnverted'NCV 0500028612010005-03, "Failure of the Offsite Notification
lP3-UT-10-013, "36 SW Pump Discharge 14" Line #1086 UT Erosion/Corrosion Examination,"
Procedure
performed February 5, 2010
to Meet the Requirements
W-07-033, SW "34 Support-ATT Visual Examination of Component Supports and Snubbers
of the Site Emergency
(Vr-1)", performed January 22, 2QQT
Plan" NCV 0500028612010009-01, "lnadequate
W-07-034, "AFW 32 Support Visual Examination of Component Supports and Snubbers (W-
Design Control of Service Water Strainer Room Flood Barrier" NCV 0500028612010005-01, "Repeated
3)," performed January 22,2007
Control Room Air Conditioner
W-07-067, "SW-H&R-12C-17 Visual Examination of Pipe Hanger, Support or Restraint (VT-3),"
Gasket Failures" Non-Destructive
performed March 8,2007
Examination
W-07-069, "SW-H&R-128-12-ATl Visual Examination of Pipe Hanger, Support or Restraint
Reports lP3-UT-08-034,"18-inch
(VI-1)," performed March 9,2007
Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion
Operatinq Experience
Examination," performed
CR-fP2-2010-7322, "NRC-IN-2010-23, Malfunctions of Emergency Diesel Generator Speed
August 24, 2008 lP3-UT-08-055, "18-inch Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion
Switch Circuits," dated February 9,2011
Examination," performed
CR-lP2-2011-00832, CA-2, "Containment Insulation Walkdowns at domestic PWRs in Support
November 10, 2008lP3-UT-09-083, "Gas Intrusion - 4" Line #16 @ Penetration
of NRC Generic Safety lssue 191," dated April 8, 201 1
Q - PAB Side of Containment
CR-lP2-2011-00834, CA-2, "Containment Insulation Drawing Review in Support of NRC
UT" Calibration/Examination," performed
Generic Safety lssue 191," dated June 21, 2011
July 16, 2009 IP3-UT-10-008, "31 SW Pump Discharge
CR-lP2-2011-00835, CA-2, "lnsulation Specification Update for Unit 3 (TS-MS-003) to identify
14" Line #1081UT Erosion/Corrosion
GSI-191 related information," dated May 25,2011
Examination," performed
CR-lP2-201 1-00836, CA-1, "Control of Containment Insulation in Support of NRC Generic
February 5, 2Q10 lP3-UT-10-009, "32 SW Pump Discharge
Safety lssue 191," dated March 10,2011
14" Line #1082 UT Erosion/Corrosion
 
Examination," performed
CR-lP3-201 1-0381 1, "10CFR21-0102 Concerning the Potential for Failures of SS810 Air Start
February 5, 2010 lP3-UT-10-010, "33 SW Pump Discharge
Motors," dated August 2,2011
14" Line #1083 UT Erosion/Corrosion
LO-WTIPC-2011-OOO29, CA-49, "NRC-IN-2011-02 Operator Performance lssues Involving
Examination," performed
Reactivity Management at Nuclear Power Plants," Revision 0
February 5, 2010lP3-UT-10-01  
LO-WTIPC-2011-00029, CA-60, "NRC-Event-4607-A2-lPC-001, Potential Voiding in Auxiliary
, "34 SW Pump Discharge
Feedwater Alternate Suction Line," Revision 0
14" Line #1084 UT Erosion/Corrosion
NRC Information Notice 2007-06, "Potential Common Cause Vulnerabilities in Essential Service
Examination," performed
Water Systems," dated February 9,2007
February 5, 2010 IP3-UT-10-012, "35 SW Pump Discharge
NRC Information Notice 2008-11, "Service Water System Degradation at Brunswick Steam
14" Line #1085 UT Erosion/Corrosion
Electric Plant Unit 1," dated June 18, 2008
Examination," performed
NRC lnformation Notice2011-l2, "ReactorTrips Resulting from Water Intrusion into Electrical
February 5, 2010 lP3-UT-10-013, "36 SW Pump Discharge
Equipment," dated June 16,2011
14" Line #1086 UT Erosion/Corrosion
Procedures
Examination," performed
O-AOP-SEC-3, "Event Contingency Actions," Revision 3
February 5, 2010 W-07-033, SW "34 Support-ATT
0-GNR-403-ELC, "Emergency Diesel Generator Quarterly Inspection," Revision 2
Visual Examination
3-AOP-Flood-1, "Flooding," Revision 4
of Component
3-AOP-Leak-1, "Sudden Increase in Reactor Coolant System Leakage," Revision 5
Supports and Snubbers (Vr-1)", performed
3-ARP-009, "VC Sump Pump Running," Revision 41
January 22, 2QQT W-07-034, "AFW 32 Support Visual Examination
3-ARP-011, "Panel SHF Electrical," Revision 33
of Component
3-ARP-019, "Panel Local-Diesel Generators," Revision 26
Supports and Snubbers (W-3)," performed
3-ECA-0.0, "Loss of All AC Power," Revision 6
January 22,2007 W-07-067, "SW-H&R-12C-17
3-ECA-1.2, "LOCA Outside Containment," Revision 0
Visual Examination
3-PT-W001, "Emergency Diesel Support Systems Inspection," Revision 40
of Pipe Hanger, Support or Restraint (VT-3)," performed
3-SAG-2, "Depressurize the RCS," Revision 1
March 8,2007 W-07-069, "SW-H&R-128-12-ATl
3-SOP-AFW-001, "Auxiliary Feedwater System Operation," Revision 3
Visual Examination
3-SOP-CB-002, "Containment Entry and Egress," Revision 33
of Pipe Hanger, Support or Restraint (VI-1)," performed
3-SOP-EL-001, "Diesel Generator Operation," Revision 45
March 9,2007 Operatinq
3-SOP-EL-005A, "480 Volt Electrical System Operation," Revision 12
Experience
EN-LI-102, "Corrective Action Process," Revision 16
CR-fP2-2010-7322, "NRC-IN-2010-23, Malfunctions
EN-Ll-104, "Self-Assessment and Benchmark Process," Revision 7
of Emergency
EN-Ll-1 18, "Root Cause Evaluation Process," Revision 14
Diesel Generator
EN-LI-118-06, "Common Cause Analysis (CCA)," Revision 1
Speed Switch Circuits," dated February 9,2011 CR-lP2-2011-00832, CA-2, "Containment
EN-Ll-119, "Apparent Cause Evaluation (ACE) Process," Revision 12
Insulation
EN-Ll-121, "Entergy Trending Process," Revision 10
Walkdowns
EN-OE-100, "Operating Experience Program," Revision 12
at domestic PWRs in Support of NRC Generic Safety lssue 191," dated April 8, 201 1 CR-lP2-2011-00834, CA-2, "Containment
EN-OP-1 15, "Conduct of Operations," Revision 1 1
Insulation
EN-WM-107, "Post Maintenance Testing," Revision 3
Drawing Review in Support of NRC Generic Safety lssue 191," dated June 21, 2011 CR-lP2-2011-00835, CA-2, "lnsulation
IPEC Emergency Action Levels," Revision 10-2
Specification
SEP-SW-OO1, "NRC Generic Letter 89-13 Service Water Program," Revision 4
Update for Unit 3 (TS-MS-003)
EN-Ll-1 02, "Corrective Action Process," Revision 16
to identify GSI-191 related information," dated May 25,2011 CR-lP2-201
EN-WM-107, "Post Maintenance Testing," Revision 3
1-00836, CA-1, "Control of Containment
3-REF-002-GEN, "lndian Point Unit 3 Refueling Procedure," Revision 4
Insulation
3-PT-M108, "RHRySI/CS System Venting," Revision 14
in Support of NRC Generic Safety lssue 191," dated March 10,2011 Attachment
0-CY-2510, "Closed Cooling Water Chemistry Specifications and Frequency," Revision 12
CR-lP3-201
EN-RP-101, "Access Controlfor Radiologically Controlled Areas," Revision 6
1-0381 1 , "10CFR21-0102
0-RP-RWP-407, "Refueling Support," Revision 2
Concerning
3-PT-R032A, "Fuel Storage Building Filtration System," Revision 20
the Potential
0-NF-311, "NlS Power Range Gain Adjustment," Revision 2
for Failures of SS810 Air Start Motors," dated August 2,2011 LO-WTIPC-2011-OOO29, CA-49, "NRC-IN-2011-02
 
Operator Performance
EN-DC-117, "Post Modification Testing and Special Instructions," Revision 4
lssues Involving Reactivity
3-SOP-lA-001, "lnstrument Air System Operation," Revision 25
Management
EN-DC-1 15, "Engineering Change Process," Revision 1 1
at Nuclear Power Plants," Revision 0 LO-WTIPC-2011-00029, CA-60, "NRC-Event-4607-A2-lPC-001, Potential
3-ARP-012,"Panel SJF - Cooling Water and Air," Revision 48
Voiding in Auxiliary Feedwater
3-AOP-AlR-1, "Air Systems Malfunction," Revision 3
Alternate
EN-DC-205, "Maintenance Rule Monitoring," Revision 3
Suction Line," Revision 0 NRC Information
EN-DC-204, "Maintenance Rule Scope and Basis," Revision 2
Notice 2007-06, "Potential
EN-DC-206, "Maintenance Rule (aX1) Process," Revision 1
Common Cause Vulnerabilities
Safetv Culture / Emplovee Concerns Proqram
in Essential
LO-HQNLO-2010-00002, "Entergy Nuclear Fleet 2009 Nuclear Safety Culture Survey Action
Service Water Systems," dated February 9,2007 NRC Information
Plan," dated January 28,2010
Notice 2008-11, "Service Water System Degradation
LO-lP3LO-2009-00164, "lndian Point Energy Center 2009 Nuclear Safety Culture Survey Action
at Brunswick
Plan," dated January 28,2010
Steam Electric Plant Unit 1," dated June 18, 2008 NRC lnformation
LO-lP3LO-2010-00138, "Security Department Nuclear Safety Culture Survey Action Plan,"
Notice2011-l2, "ReactorTrips
dated January 28,2010
Resulting
LO-lP3LO-2009-00164, "lndian Point Employee Concerns lmprovement Plan," dated November
from Water Intrusion
30, 2009
into Electrical
Meeting Minutes, Indian Point Energy Center Executive Protocol Group Meeting 09-016, dated
Equipment," dated June 16,2011 Procedures
December 7,2009
O-AOP-SEC-3, "Event Contingency
Meeting Minutes, Indian Point Energy Center Special Executive Protocol Group Meeting
Actions," Revision 3 0-GNR-403-ELC, "Emergency
10-001, dated January 8,2010
Diesel Generator
Summary List of ECP Cases for 2009, 2010, and 2Q11
Quarterly
IPEC ECP Monthly Report for June, 2011
Inspection," Revision 2 3-AOP-Flood-1, "Flooding," Revision 4 3-AOP-Leak-1, "Sudden Increase in Reactor Coolant System Leakage," Revision 5 3-ARP-009, "VC Sump Pump Running," Revision 41 3-ARP-011, "Panel SHF Electrical," Revision 33 3-ARP-019, "Panel Local- Diesel Generators," Revision 26 3-ECA-0.0, "Loss of All AC Power," Revision 6 3-ECA-1.2, "LOCA Outside Containment," Revision 0 3-PT-W001, "Emergency
lndian Point Employee Concerns Data Analysis Reports for 2009 and 2010
Diesel Support Systems Inspection," Revision 40 3-SAG-2, "Depressurize
Self-Assessment of IPEC Nuclear Plant Employee Concerns Program, dated October, 2010
the RCS," Revision 1 3-SOP-AFW-001, "Auxiliary
Work Orders
Feedwater
2036144
System Operation," Revision 3 3-SOP-CB-002, "Containment
001 85072
Entry and Egress," Revision 33 3-SOP-EL-001, "Diesel Generator
001 95796
Operation," Revision 45 3-SOP-EL-005A, "480 Volt Electrical
233344
System Operation," Revision 12 EN-LI-102, "Corrective
214280
Action Process," Revision 16 EN-Ll-104, "Self-Assessment
001 63657
and Benchmark
278896
Process," Revision 7 EN-Ll-1 18, "Root Cause Evaluation
ADAMS
Process," Revision 14 EN-LI-118-06, "Common Cause Analysis (CCA)," Revision 1 EN-Ll-119, "Apparent
AFW
Cause Evaluation (ACE) Process," Revision 12 EN-Ll-121, "Entergy Trending Process," Revision 10 EN-OE-100, "Operating
CA
Experience
CAP
Program," Revision 12 EN-OP-1 15, "Conduct of Operations," Revision 1 1 EN-WM-107, "Post Maintenance
CARB
Testing," Revision 3 IPEC Emergency
CFR
Action Levels," Revision 10-2 SEP-SW-OO1, "NRC Generic Letter 89-13 Service Water Program," Revision 4 EN-Ll-1 02, "Corrective
CR
Action Process," Revision 16 EN-WM-107, "Post Maintenance
CRG
Testing," Revision 3 3-REF-002-GEN, "lndian Point Unit 3 Refueling
CW
Procedure," Revision 4 3-PT-M108, "RHRySI/CS
DRS
System Venting," Revision 14 0-CY-2510, "Closed Cooling Water Chemistry
EC
Specifications
ECP
and Frequency," Revision 12 EN-RP-101, "Access Controlfor
EDG
Radiologically
Entergy
Controlled
FIN
Areas," Revision 6 0-RP-RWP-407, "Refueling
GL
Support," Revision 2 3-PT-R032A, "Fuel Storage Building Filtration
gpm
System," Revision 20 0-NF-311, "NlS Power Range Gain Adjustment," Revision 2 Attachment
HX
EN-DC-117, "Post Modification
tMc
Testing and Special Instructions," Revision 4 3-SOP-lA-001, "lnstrument
IST
Air System Operation," Revision 25 EN-DC-1 15, "Engineering
KV
Change Process," Revision 1 1 3-ARP-012,"Panel
LO
SJF - Cooling Water and Air," Revision 48 3-AOP-AlR-1, "Air Systems Malfunction," Revision 3 EN-DC-205, "Maintenance
MCC
Rule Monitoring," Revision 3 EN-DC-204, "Maintenance
NCV
Rule Scope and Basis," Revision 2 EN-DC-206, "Maintenance
NPO
Rule (aX1) Process," Revision 1 Safetv Culture / Emplovee Concerns Proqram LO-HQNLO-2010-00002, "Entergy Nuclear Fleet 2009 Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2009-00164, "lndian Point Energy Center 2009 Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2010-00138, "Security
NRC
Department
OE
Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2009-00164, "lndian Point Employee Concerns lmprovement
PAB
Plan," dated November 30, 2009 Meeting Minutes, Indian Point Energy Center Executive
PMT
Protocol Group Meeting 09-016, dated December 7,2009 Meeting Minutes, Indian Point Energy Center Special Executive
QA
Protocol Group Meeting 10-001, dated January 8,2010 Summary List of ECP Cases for 2009, 2010, and 2Q11 IPEC ECP Monthly Report for June, 2011 lndian Point Employee Concerns Data Analysis Reports for 2009 and 2010 Self-Assessment
SCWE
of IPEC Nuclear Plant Employee Concerns Program, dated October, 2010 Work Orders 52036144 001 85072 001 95796 00233344 52214280 001 63657 00278896 Attachment
SDP
ADAMS AFW CA CAP CARB CFR CR CRG CW DRS EC ECP EDG Entergy FIN GL gpm HX tMc IST KV LO MCC NCV NPO NRC OE PAB PMT QA SCWE SDP SSC ST SW TS unsat UT WO A-12 LIST OF ACRONYMS Agencywide
SSC
Document Management
ST
System auxiliary
SW
feedwater corrective
TS
action corrective
unsat
action program Corrective
UT
Action Review Board Code of Federal Regulations
WO
condition
LIST OF ACRONYMS
report Condition
Agencywide Document Management System
Review Group city water Division of Reactor Safety engineering
auxiliary feedwater
change Employee Concerns Program emergency
corrective action
diesel generator Entergy Nuclear Northeast finding Generic Letter gallons per minute heat exchanger inspection
corrective action program
manual chapter in-service
Corrective Action Review Board
test kilovolt lubricating
Code of Federal Regulations
oil motor control center non-cited
condition report
violation nuclear plant operator Nuclear Regulatory
Condition Review Group
Commission
city water
operating
Division of Reactor Safety
experience
engineering change
primary auxiliary
Employee Concerns Program
building post-maintenance
emergency diesel generator
test quality assurance safety conscious
Entergy Nuclear Northeast
work environment
finding
significance
Generic Letter
determination
gallons per minute
process structures, systems, and components
heat exchanger
surveillance
inspection manual chapter
test service water Tech nical Specifications
in-service test
kilovolt
lubricating oil
motor control center
non-cited violation
nuclear plant operator
Nuclear Regulatory Commission
operating experience
primary auxiliary building
post-maintenance test
quality assurance
safety conscious work environment
significance determination process
structures, systems, and components
surveillance test
service water
Tech nical Specifications
unsatisfactory
unsatisfactory
ultrasonic
ultrasonic testing
testing work order Attachment
work order
Attachment
}}
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Latest revision as of 02:05, 13 January 2025

IR 05000286/2011010; 07/18/11-08/05/11; Indian Point Nuclear Generating (Indian Point) 3; Biennial Baseline Inspection of Problem Identification and Resolution
ML112570059
Person / Time
Site: Indian Point Entergy icon.png
Issue date: 09/14/2011
From: Mel Gray
Reactor Projects Branch 2
To: Joseph E Pollock
Entergy Nuclear Operations
References
IR-11-010
Download: ML112570059 (29)


Text

{{#Wiki_filter:UNITED STATES N UCLEAR REGU LATORY COMMISSION

REGION I

475 ALLENDALE ROAD KING OF PRUSSIA, PENNSYLVANIA 19406.1415 September 14, 2OII Mr. Joseph Site Vice President Entergy Nuclear Operations, lnc.

lndian Point Energy Center 450 Broadway, GSB Buchanan. NY 1051 1-0249 INDIAN POINT NUCLEAR GENERATING UNIT 3 - NRC PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000286/2011010

Dear Mr. Pollock:

On August 5,2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at Indian Point Nuclear Generating Uriit 3. The enclosed report documents the inspection results, which were discussed on August 5,2011, with you and other members of your staff.

This inspection examined activities conducted under your license as they relate to the identification and resolution of problems and compliance with the Commission's rules and regulations and with the conditions of your license. Within these areas, the inspection involved examination of selected procedures and representative records, observations of activities, and interviews with personnel.

Based on the samples selected for review, the inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems. Entergy personnel identified problems and entered them into the Corrective Action Program (CAP) at a low threshold.

Station personnel generally screened issues appropriately for operability and reportability, and prioritized issues commensurate with the safety significance of the problems. Corrective actions addressed the identified problems and were typically implemented in a timely manner.

This report documents two NRC-identified findings of very low safety significance (Green). The inspectors determined that one of the findings also involved a violation of NRC requirements.

However, because of its very low safety significance and because it was entered into your CAP, the NRC is treating this as a non-cited violation (NCV) consistent with Section 2.3.2 of the NRC Enforcement Policy, lf you contest this NCV, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the Regional Administrator, Region 1; the Director, Office of Enforcement, United States Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, Region 1, and the NRC Senior Resident Inspector at Indian Point Nuclear Generating Unit 3. ln accordance with Title 10 of the Code of Federal Regulations Part 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Web Site at http://rnnrrrw.nrc.sov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely, k/'-A -V^oy.- ,r MelGray, Chief Projects Branch 2 Division of Reactor Projects Docket No. 50-286 License No. DPR-26 Enclosure: Inspection ReportNo. 05000286/2011010 M Attachment: Supplemental lnformation

SUMMARY OF FINDINGS

lR 050002g612011a10;7118111 - 815t11; Indian Point Nuclear Generating (lndian Point) unit 3;

Biennial Baseline lnspection of Problem ldentification and Resolution. The inspectors identified two findings in the area of effectiveness of identification and prioritization of issues.

This NRC team inspection was performed by two resident and two region-based inspectors.

Two findings of very low significance (Green) were identified. One finding was also determined to be a non-cited violation [Ncvy of trtilc requirements. The significance of most findings is indicated by their color (Grben, \\rvhite, Yellow, Red) using Inspection Manual Chapter (lMC)0609,,,significance Determination Process." Findings for which the significance determination process tsopl does not apply may be Green, or be assigned a severity level after NRC management ieview. The cross-cutting aspects for the findings were determined using IMC 0310, "Components within the Cross-Cutting Areas.' fng NRC's program for overseeing safe operation of commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process," Revision 4, dated December 2006' ldentification and Resolution of Problems The inspectors concluded that Entergy was generally effective in identifying, evaluating, and resolving problems. Entergy personnet iOeniified problems, entered them into the corrective action piogram at a low thre*shold, and prioritized issues commensurate with their safety significancl. In most cases, Entergy personnel appropriately screened issues,for operability arid reportability, and performed ca-usal analyses that appropriately considered extent of condition, generic issues and previous occuirences. The inspectors also determined that Entergy stJff typically implemented corrective actions to address the problems identified in the corrective action pro6t"r in a timely manner. However, the inspectors identified two findings, one of which was als-o a violation of regulatory requirements, and several weaknesses of minor safety significance associated with pro-blem identification, evaluation, and prioritization of corrective actions.

The inspectors concluded that, in general, Entergy adequately identified, reviewed, and applied relevant industry operating experience to Indian Point Nuclear Generating Unit 3 operations' In addition. based on those ilems selected for review, the inspectors determined that Entergy's audits and self-assessments were thorough.

Based on the interviews the inspectors conducted over the course of the inspection, observations of plant activities, and reviews of individual cAP and employee concerns program issues, the inspectors did not identify any indications that site personnel were unwilling to raise safety l.ru", nor oio they identify conditions that could have had a negative impact on the site's safety conscious work environment.

Cornerstone: Mitigating SYstems

.

Green.

The inspectors identified a finding of very low safety significance (Green) because Entergy personnel did not adequately imptemeni the procedural requirements of EN-DC-1 15,,ngineering Change Process,'i during the installation of a modification to the 33 instrument air deiiccantiryer. Specifically, Entergy staff incorrectly replaced fuses in the motor control center(MCC] which powers the dryer with smaller capacity fuses, rather than replacing existing control power fuses in the dryer control panel with fuses of increased capacityl as inteided by the design change. As a result, the fuses in the MCC performed their intended function ind burned out, deenergizing the dryer, and leading to excessive unavailability of the dryer and high humidity air in the instrument air header. Entergy staff entered this issue into their corrective action process as condition report (cR)-lP3-2011-03798.

The inspectors determined the finding was more than minor because the finding was similar to the'more than minor if'statement associated with example 5 b of Inspection Manual Chapter (lMC) 0612 Appendix E, "Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability and capability of systems that respond to initiating events to prevent undesirable con""qu"nces (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer caused moist air in the instrument air heider which in turn led to high humidity and low prersrre alarms on the 33 instrument air header. The inspectors_ evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - Initial Screening and Characterization of Findlngs," and determined the finding was of very low safety significance because the finding was not a Jesign or qualificaiion deficiency, did not represent a loss of system safety functi5n, and did not sireen as potentially risk significant due to external initiating events.

This finding had a cross-cutting aspect in tne arel of Human Performance, associated with the Work Controf attribute. Specifically, Entergy personnel did not adequately coordinate the planning and implementaiion of tne engineering change process, which involved several site departments, and resulted in incorrectly installed fuses and multiple missed opportunities to both prevent and identify the error. (H'3(b)) (Section aOA2'1'c(1)) .

Green.

The inspectors identified a Green non-cited violation (NCV) of 10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," for Entergy's failure to take adequate corrective actions for a condition adverse to quality involving service water (SW) pipes to the emergency diesel generators (EDGs). Speciiically, Entergy personnel did not take timely and appropriate corrective actions ior carbon steel pipe wall thinning on the common SW supply lines to the EDGs. Entergy staff entered this issue into their corrective action process as condition report (cR)-lCa-201 1-03g31. Entergy's short-term corrective actions included a structural engineering inspection, an operabilit--y evaluation, redirecting the source of continual wetting, anI reprior-itizinblnl sw piping refuibishment work order. subsequent to this inspection, Entergy personiel performed Jltrasonic testing of the affected area on one of the pipes that they fincluded was most affected and confirmed that the pipe remained operable.

The finding was more than minor because if left uncorrected the performance deficiency had i^.,!^^ .^,n{{inn the potentLl to lead to a more significant safety concern. Specifically,.the continuing wetting .' 'l.l ^ll.

raraahr and associated external corrosion of the pipe without appropriate monitoring. could adversely impact the structural integrity of one or both EDG SW supply headers' Ttte^inspectors evaluated the findin! in aicordance with lnspection Manual Chapter (lMC) 9609' Attachment 0609, Attachment 4, "Phase 1 - initial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) because it was not a design or lualification def[iency, did not represent a loss of system safety function, and was noi risk significant with iespect to external events' This finding had a cross-cutting aspect in the irea of problem ldentification and Resolution, associated with the corrective Action Program attribute. specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall thinning due to external corrosion and periodically monitor the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d)) (Section 4OA2'1.c(2))

REPORT DETAILS

OTHER ACTIVITIES

4OA2 Problem ldentification and Resolution (71152B- - 1 sample)

This inspection constitutes one biennial sample of problem identification and resolution as defined by Inspection Procedure71152. All documents reviewed during this inspection are listed in the Attachment to this report'

.1 a.

Inspection ScoPe The inspectors reviewed the procedures that described Entergy's corrective action program at Indian point Unit 3. To assess the effectiveness of the corrective action pro!r"t, the inspectors reviewed performance in three primary areas: problem iOeititication, prioritization and evaluation of issues, and corrective action implementat'on. The inspectors compared perfo_rmance in these areas to the requirements and standards contained in Title 10, Code of Federal Regulations (10 Cfnl part 50, Appendix B, Criterion XVl, "Corrective Action," and Entergy's procedure EN-LI-102, "Coriective Action Process," Revision 16. For each of these areas, the inspectors'considered risk insights from the station's risk analysis and reviewed condition reports (CRs) selectid across the seven cornerstones of safety in the NRCs Reactor Oversighi process. Additionally, the inspectors attended multiple Operations Focus, Condition Review Group (CRG);and Corrective Action Review Board (CARB)meetings. The inspectors selected items from the following functional areas for review: engine6ring, operations, maintenance, emergency preparedness, radiation protection' chemistry, physical security, and oversight programs'

(1) Effectiveness of Problem ldentification ln addition to the items described above, the inspectors reviewed a sample of completed corrective and preventative maintenance work orders, completed surveillance test procedures, operator logs, and periodic trend reports. The inspectors also completed field walkdowns of vario-us plani systems, such as the service water (SW)' auxiliary feedwater (AFW), and instrument air systems. Additionally, the inspectors reviewed a slmpte of condition reports written to document issues identified through internal self-assessments, audits, emergency preparedness drills, and the operating experience frogr"r. The inspectors c5mpleted this review to verify that Entergy staff entered conditions adverse to quality into their corrective action program as appropriate'
(2) Effectiveness of Prioritization and Evaluation of lssues The inspectors reviewed the evaluation and prioritization of a sample of cRs issued since the last NRC biennial problem ldentification and Resolution inspection completed in June 2009. The inspectors also reviewed cRs that were assigned lower levels of iign6i"un"e that did not include formal cause evaluations to ensure that they were properly classified. The inspectors' review included the appropriateness of the assigned significince, the scope and depth of the causal analysis, and the timeliness of resolution. The inspectors assessed whether the evaluations identified likely causes for the issues and developed appropriate corrective actions to address the identified causes. Further, the inspectors reviewed equipment operability determinations, reportability assessments, and extent-of-condition reviews for selected problems to verify these processes adequately addressed equipment operability, reporting of issues to the NRC, and the extent of the issues'
(3) Effectiveness of Corrective Actions The inspectors reviewed Entergy's completed corrective actions through documentation review and, in some cases, field walkdowns to determine whether the actions addressed the identified causes of the problems. The inspectors also reviewed CRs for adverse trends and repetitive problems to determine whether corrective actions were effective in addressing the broader issues. The inspectors reviewed Entergy's timeliness in implemeniing corrective actions and effectiveness in precluding recurrence for significant conditions adverse to quality. The inspectors also reviewed a sample of CRs associated with non-cited violations (NCVs) and findings to verify that Entergy personnel properly evaluated and resolved these issues. In addition, the inspectors expanded the corrective action review to five years to evaluate Entergy's actions related to conditions adverse to quality associated with SW system corrosion, instrument air system performance, and AFW system performance' b.

Assessment

(1) Effectiveness of Problem ldentification Based on the selected samples reviewed, plant walkdowns, and interviews of site personnel, the inspectors determined that Entergy personnel identified problems and entered them into the CAP at a low threshold. For the issues reviewed, the inspectors determined that problems or concerns were generally documented in sufficient detail to understand the issues. The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure clarification of the issues. The inspectors determined Entergy personnel trended equipment and programmatic issues at low levels and CR descriptions appropriately included reference io repeat occurrences of issues. ln general, the inspectors did not identify issues or concerns that had not been appropriately entered into the CAP for evaluation and resolution. However, the inspectors identified the following example of a minor issue that was not adequately identified by Entergy staff. Entergy staff promptly entered the issue into the CAP for resolution.

. The inspectors identified that Entergy personnel performed maintenance on three AFW 1ow control valves during tne 2Ot 1 refueling outage, but did not perform the required post maintenance tests (PMTs) on the valves prior to declaring the AFW system operable. The inspectors also identified the PMTs were not correctly scheduled to be completed after the maintenance that occurred during the outage' The inspectors noted that Entergy personnel subsequently satisfactorily stroked the valves during the next normally scheduled, quarterly AFW in-service testing approximately one week later.

The inspectors determined that the missed PMT for the valves was a performance deficiency. However, because the subsequent valve stroke times a week later indicated that the AFW valves were operable, the inspectors determined that the issue was of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff initiated CR-IP3-2011-03815 for this performance deficiency.

(2) Effectiveness of Prioritization and Evaluation of lssues The inspectors determined that, in general, Entergy personnel appropriately prioritized and evaluated issues commensurate with their safety significance. CRs were screened for operability and reportability, categorized by significance, and assigned to a department for evaluation and resolution. The CR screening process considered human performance issues, radiological safety concerns, repetitiveness, and adverse trends.

The inspectors observed managers and supervisors at CRG and CARB meetings appropriately questioning and challenging CRs to ensure appropriate prioritization.

The inspectors determined that CRs were generally categorized for evaluation and resolution commensurate with the significance of the issues. Based on the sample of CRs reviewed, the guidance provided by the Entergy implementing procedures appeared sufficient to ensure consistency in categorization of the issues. Operability and reportability determinations were generally performed when conditions warranted and the evaluations supported the conclusions. Causal analyses appropriately considered the extent of the condition or problem, generic issues, and previous occurrences of the issue.

Notwithstanding these conclusions, the inspectors identified the following example where the evaluation of a repeat issue was not commensurate with the potential significance of the issue.

e Based on a nuclear plant operator (NPO) log and CAP database review, the inspectors noted that on several occasions NPOs documented degraded conditions regarding roof leaks and housekeeping issues in the primary auxiliary building (PAB)during the week of July 3, 2011. Further, the inspectors noted that some of these conditions had existed for six months. The inspectors determined that Entergy staff missed an opportunity to trend these conditions and ensure conditions were appropriately addressed in a timely manner consistent with CAP expectations.

However, because none of the leaks or housekeeping conditions challenged or impacted equipment important to safety, the inspectors determined that the issues were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy. Entergy staff documented this issue in CR-lP3-2011-03295.

I

(3) Effqcjivene,ss oJ C-orrective Aptions The inspectors concluded that corrective actions for identified deficiencies were generally timely and adequately implemented. For significant conditions adverse to quality, corrective actions were identified to prevent recurrence. The inspectors concluded that corrective actions to address the sample of NRC NCVs and findings since the last problem identification and resolution inspection were timely and effective.

The inspectors noted, based on the samples inspected, that Entergy staff completed effectiveness reviews for significant issues to verify that implemented corrective actions were effective. However, the inspectors identified two issues (replacement of incorrect fuses associated with the 33 instrument air dryer, and ineffective actions taken to address leakage from a SW vacuum breaker that was causing corrosion issues) that had contributed to findings that were determined to be more than minor (Green). These findings are documented in the following Section (Section 4OA2.1.c).

c.

Findinqs

(1) Ineffeqtive Us,e of the Enqineerinq Chanoe Plocess Durinq l/lodification of the 33 Inslrument Air Drver
Introduction:

The inspectors identified a finding of very low safety significance (Green)because Entergy personnel did not adequately implement the procedural requirements of EN-DC-115, "Engineering Change Process," during the installation of a modification to 33 instrument air desiccant dryer.

Description:

Entergy personnel developed Engineering Change (EC) 8501 to prevent intermittent failures of the 33 instrument air desiccant dryer blower motor due to high motor inrush currents during startup. Based on a vendor recommendation, the EC directed the replacement of existing four amp control power fuses with six amp fuses.

The fuses are located in the 33 instrument air dryer control panel.

During implementation of the EC on May 11, 2011, Entergy personnel removed 15 amp fuseslrom the 33 motor control center (MCC), which powers the 33 instrument air dryer, rather than removing the four amp fuses from the dryer control panel. The electricians proceeded to replace the 15 amp fuses with the new six amp fuses. When the instrument air dryer was reenergized, the six amp fuses, which did not have sufficient amperage capacity for the MCC application, performed their intended function and burned out, deenergizing the dryer. The dryer remained deenergized and unavailable for a period of approximately two weeks until Entergy personnel found water in the air supply to BFD-PCV-3, the steam generator blowdown recovery outlet backpressure controller. Upon troubleshooting the water issue, Entergy personnelfound and corrected the undersized fuses in 33 MCC and placed the dryer back in service. On June 9, 2011, the four amp fuses in the dryer control panel were correctly replaced with six amp fuses, in accordance with the EC. This issue was previously entered into Entergy's CAP as CR-lP3-2011-02767, CR-lP3-2011-02918, and CR-lP3-2011-02920' At tne iime of the inspection, these CRs had been closed to corrective actions already taken, which included correcting the fuse error and coaching personnel to read the EC documentation more thoroughlY.

The inspectors questioned the causes of humidity and low pressure alarms on the 33 instrument air header, which had been documented in condition reports initiated in June and July 2011. Through interviews with the system engin-eer, the inspectors learned that after the fuse issue ha-d been resolved, troubleshooting of high humidity and low pressure alarms on the 33 instrument air header had revealed that the 33 instrument air dryer had been degraded by moisture passing into the air header while the dryer had been unavailable due to the blown fuses. Degradation of the dryer's tower swapping mechanism allowed air to partially bypass the dryer, thereby causing lhe high humidity and low pressure alarms.

'The inspectors noted that additional unavailability of the dryer was acciued while Entergy personnel performed troubleshooting and repair of the degraded dryer. Based on ine inspectors' questioning, lltergy personneldocumented thjissue as a maintenance rule functional failure of the 33 instrument air dryer and calculated the total cumulative unavailability of the dryer attributed to the modification error. The calculated unavailability was 580 hours, which exceeded the licensee's established Maintenance Rule (10 CFR 50.65) threshold of 525 hours for (a)(1 ) consideration.

The inspectors reviewed EN-DC-1 15, "Engineering Change Process," and identified several examples where Entergy personnel did not implement the requirements of the modification process. First, the EC package incorrectly identified the location of the fuses, and tfris error was translated into the work package which was used by maintenance personnelwho implemented the EC. Specifically, the Post Modification Test plan pait age stated that the four amp fuses were located in the 33 MCC' Additionally, the maintenance personnelwho implemented the EC did not follow the fuse verification procedure when removing the 15 amp fuses from the MCC and prior to reinstalling ihe six amp fuses. Finally, the PMT was not performed in a timely manner in that the 3i instrumentair train was piaced back in service without a PMT having been performed. The inspectors determined that each of these examples had been opportunities, or "barriers", built into the Engineering change process, through which eniergy personnel could have either prevented or recognized the error and avoided the cumulative unavailability of the instrument air dryer and associated moist air in the air header.

The inspectors determined these problems were not identified by Entergy personnel' Entergy staff entered this issue inio their CAP as CR-lP3-2011-03798' Planned correJtiue actions include performing an Apparent Cause Evaluation for the issue.

Analvsis: The inspectors determined that the issue was a performance deficiency o-e Entergy personnel did not follow procedures to.effectively implement the engineering cnihge to the 33 instrument air dryer. The inspectors determined that the finjing was-morelhan minor because the finding was similar to the "more than minor if' statement associated with example 5.b of Inspection Manual chapter (lMc) 0612 Appendix E,,,Examples of Minor lssues." Additionally, the finding was more than minor because it was associated with the Equipment Performance attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to ensure the availability ano capauility of systems that respond to initiating events to prevent undesirable consequences (i.e., core damage). Specifically, the unavailability of the 33 instrument air dryer resulted in moist air in the instrument air header which in turn led to high humidity and low pressure conditions on the 33 instrument air header. The inspectors evaluated the finding using IMC 0609, Attachment 4, "Phase 1 - lnitial Screening and Characterization of Findings," and determined the finding was of very low safety significance (Green) becaJse the finding was not a !9sio1 or qualification deficiency, did nJt,"pr"r"ni a loss of system safety function, and did not screen as potentially risk significant due to external initiating events.

The inspectors determined that the finding had a cross-cutting aspect in the area of Human performance, associated with the Work Control attribute, because Entergy personnel did not appropriately coordinate work activities by incorporating actions to address: 1) the n"eO tor workgroups to communicate, coordinate, and cooperate with each otherduring activities in wnicn interdepartmental coordination is necessary to assure plant and human performance; and 2) the need to keep personnel apprised of work status and the operational impact of work activities. Specifically, Entergy personnel did not adequately coordinate the planning and implementation of the engineering clrange process, which involved several site departments, and resulted in incorrectly instalTed'fuses and multiple missed opportunities to both prevent and subsequently identify the error. (H.3(b))

Enforcement:

Enforcement does not apply because the performance deficiency did not involve a violation of regulatory requirements. The instrument air system is not a safety r"l"t"O system and 10 Cfn pirt 50 Appendix B requirements are not applicable.

Because this issue does not involve a violation of regulatory requiremenls 91{ is of very tow safety significance, it is being treated as a finding (FlN). (FlN 0500028612011010'01' Frocedural Requ i rements of Engineeri ng Change Process Not I mplemented)lntroduction. The inspectors identified a Green non-cited violation of 10 CFR 50' App".d" q Criterion XVl, "Corrective Action," for Entergy's failure to take adequate coirective actions for a condition adverse to quality involving SW pipes to the EDGs' Specifically, Entergy personnel did not take timely and appropriate corrective actions for carbon steel pipe w-ati tninning on the common SW supply lines to the EDGs'

Description.

on July 19,2011, the inspectors observed that a leaking sw return line ffi breaker (SWN-6g) ported water into the piping pit in the EDG valve room, which inJirectly sprayed'the bottom of both redundant EDG SW supply pipe headers' The inspectors'not-eo that this portion of both 1o-inch diameter sw supply headers was continuously wetted over a length of approximately two fe_et. The inspectors noted that the vacuum breaker had been leaking since February 2009. Based on the corroded condition of the bottom portion of both headers and the quantity of accumulated rust flakes/pieces beneath both headers, the inspectors questioned the condition of these pipes.

Entergy personnel informed the inspectors that they had originally identifled the external corrosion on the SW supply lines aithat specific location on Septembgr 30, 2008 (CR Lp3-2008-02383). Tne inspectors reviewed CR-;P3-2008-02383 and Entergy's associated corrective actions and noted the following:

(1) the CR initiator, operations, and cRG screened the cR as not requiring an operability review (thus no operability review was performed for this safety-related SW piping degraded condition);
(2) CRG classified the CR as significance "D" and closed the CR to WO 166970;
(3) WO 166970 was created to clean, repaint and inspect the piping per the external corrosion monitoring program;
(4) planning took the WO to "plan" status on October 1, 2008; and
(5) as of August 2011, the WO was active and targeted to work in 2015. The inspectors requested operability evaluations of this degrading condition, other associated CRs, documented inspections (including ultrasonic tests) or trending reports, and any associated WOs since October 2008. Entergy personnel stated that no additional documented information was identified but indicated that the system engineers periodically inspected the piping during their walkdowns.

Based on the inspectors' questions, Entergy staff initiated CR-lP3-2011-03831. Entergy structural engineering personnel inspected the piping on July 21. Based on their input regarding iron oxide exfoliation, an estimate of SW piping wall loss and no leakage, engineering personnel determined that the structural integrity of the pipe was not affected and that the pipe remained operable. The inspectors reviewed Entergy's operability evaluation and determined that it was adequate based on the information available. Entergy's short-term corrective actions also included redirecting the vacuum breaker discharge to a local sump (completed on August 2) and reprioritizing the SW piping refurbishment work order (scheduled to work in 2011). Subsequent to this inspeition, Entergy personnel performed ultrasonic testing of the affected area on one of the pipes that they concluded was most affected and confirmed that the pipe remained operable.

Analvsis. The inspectors determined that Entergy's failure to take adequate corrective actions for an adverse condition associated with the EDG SW supply piping was a performance deficiency that was reasonably within Entergy's ability to foresee and prevent. Specifically, Entergy personnel did not take timely and appropriate corrective actions commensurate with the safety significance of a potential common mode failure of all three EDGs due to carbon steel pipe wall thinning on the common SW supply. The finding was determined to be more than minor because if left uncorrected the performance deficiency had the potential to lead to a more significant safety concern.

Specifically, the continuing wetting and associated external corrosion of the pipe without appropriate monitoring could adversely impact the structural integrity of one or both EDG SW supply headers. The inspectors evaluated the finding in accordance with IMC 0609, 0609.04, "Phase 1 - Initial Screening and Characterization of Findings," Table 4afor the Mitigating Systems Cornerstone. The inspectors determined that the finding was of very low safety significance (Green) because it was not a design or qualification deficiency, did not represent a loss of system safety function, and was not risk significant with respect to external events.

This finding had a cross-cutting aspect in the area of Problem ldentification and Resolution, associated with the Corrective Action Program attribute, because Entergy personnel did not take appropriate corrective actions to address an adverse trend in a timely manner, commensurate with the safety significance. Specifically, Entergy personnel did not take timely corrective actions to address SW carbon steel pipe wall ifrinning due to external corrosion, such as eliminating the source of the wetting by redireciing the flow of water, evaluating the as-found structural integrity of the pipe, and

.2 a.

periodically monitoring the pipe for further degradation, commensurate with the safety significance of the pipe. (P.1(d))

Enforcement.

10 CFR 50, Appendix B, Criterion XVl, "Corrective Action," requires, in part, that, "Measures shall be established to assure that conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations, defective material and equipment, and non-conformances are promptly identified and corrected." Contrary to the above, Entergy staff did not promptly correct the degraded condition of the EDG SW piping from September 30, 2008, to August 2, 2011. Because this violation was of very low safety significance and it was entered into Entergy's CAP (CR-IP3-201 1-03831), it is being treated as an NCV consistent with the Enforcement Policy. (NGV 05000286/2011010-02, Inadequate Gorrective Action for Degraded EDG SW Piping) Assessment of the Use of Operatino Experience (OE) Insoection Scope The inspectors selected a sample of CRs associated with the review of industry OE to determine whether Entergy personnel appropriately evaluated the OE information for applicability to Indian Point Unit 3 and had taken appropriate actions, when warranted.

The inspectors reviewed CR evaluations of OE documents associated with a sample of NRC generic letters and information notices to ensure that Entergy staff adequately considered the underlying problems associated with the issues for resolution through their CAP. The inspectors also observed CRG and CARB meetings to determine if industry OE was considered during the CR screening and resolution processes.

Assessment The inspectors determined that, in general, Entergy staff appropriately considered industry OE information for applicability, and used the information for corrective and preventive actions to identify and prevent similar issues when appropriate. The inspectors determined that OE was appropriately applied and lessons learned were communicated and incorporated into plant operations and procedures when applicable.

The inspectors observed that industry OE was discussed and considered during the conduct of CRG and CARB meetings. However, the inspectors noted in one CR that, Entergy staff had not appropriately considered internal and industry OE and/or effectively used the information to implement timely corrective and preventive actions. For example: r The inspectors noted that Entergy staff had received from industry sources operating experience related to the Calvert Cliffs plant, where water intrusion from a roof leak had caused a dual unit trip in 2010. The inspectors noted that, in May 2010, Entergy staff determined that the Indian Point Units were not susceptible to the same type of event due to the design of the electrical systems, in that the Units are electrically isolated from one another. Entergy staff determined that no additional actions were necessary to address this industry OE. The inspectors determined that, in this instance, Entergy's response was narrowly focused, given the presence of roof leaks in the Unit 3 PAB and the identified roof leak in the 31 EDG cell (WO 225582).

b.

.3 a.

However, the inspectors noted that, as of July 2Q11, Entergy had an open action item in their CAP to perform an OE review of NRC Information Notice 2011-12, "Reactor Trips Resulting from Water Intrusion into Electrical Equipment," which the NRC issued in June 2Q11in response to the Calvert Cliffs event. Therefore, because none of the leaks challenged or impacted equipment important to safety, and Entergy has open actions to address potential site-specific applicability of the OE regarding roof leaks, the inspectors determined that the performance aspects regarding this issue were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy.

Findinqs No findings were identified.

Assessment of Self-Asqegsmentg and Audits Inspection Scope The inspectors reviewed a sample of Quality Assurance (aA) audits, including a review of several of the findings from the most recent audit of the CAP, and self-assessments focused on various plant programs. These reviews were performed to determine if problems identified through these assessments were entered into the CAP, when appropriate, and whether corrective actions were initiated to address identified deficiencies. The effectiveness of the audits and assessments was evaluated by comparing audit and assessment results against self-revealing and NRC-identified observations made during the inspection.

Assessment The inspectors concluded that QA audits and self-assessments were critical, thorough, and generally effective in identifying issues. The inspectors observed that these audits and self-assessments were completed by personnel knowledgeable in the subject areas and were completed to a sufficient depth to identify issues that were then entered into the CAP for evaluation. Corrective actions associated with the issues were implemented commensurate with their safety significance.

Findinqs No findings were identified.

Assessment of Safetv Conscious Work Environment lnspection Scope During interviews with station personnel, the inspectors assessed aspects of the safety conscious work environment at Indian Point Unit 3. Specifically, as part of personnel interviews during the inspection, the inspectors asked questions to identify whether station personnel were hesitant to raise safety concerns to their management and/or the NRC. The inspectors also interviewed the station Employee Concerns Program (ECP)b.

.4 a.

coordinator to determine what actions were implemented to ensure employees were aware of the program and its availability with regard to raising concerns. The inspectors reviewed a numder of ECP files to ensure that issues were entered into the CAP when appropriate.

b.

Assessment During interviews, plant staff expressed a willingness to use the CAP to identify plant issueJ and deficiencies and indicated that they were willing to raise safety issues. The inspectors noted that no one interviewed stated that they personally experienced or were aware of a situation where there were indications an individual had been hesitant to raise a safety issue. All persons interviewed demonstrated an adequate knowledge of the CAp unO gCp. Based on these limited interviews, the inspectors concluded that there was no evidence of significant challenges to the free flow of information regarding safety concerns.

c.

Findinqs No findings were identified.

4046 Meetinqs. lncludinq Exit Exit Meetinq Summarv On August 5,2011, the inspectors presented the inspection results-to Mr' Joseph pollocli, Site Vice President, and other members of the Entergy staff' The inspectors reviewed proprietary information, which was returned to Entergy staff at the end of the inspection. The inspectors verified that no proprietary information was retained by the inspectors or documented in this report.

ATTACHMENT:

SUPPLEMENTAL INFORMATION

Enterqv Personnel J. Pollock R. Aguiar B. Altadonna J. Bencivenga M. Burney P. Conroy K. Curley G. Dahl M. Ferretti E. Firth D. Gagnon M. Haggstrom C. Hasenbein T. lavicoli R. Johnson J. Lafferty R. Martin F. Philips J. Reynolds B. Schmidt B. Taggart M. Tumicki J. Ventosa SUPPLEMENTAL INFORMATION KEY POINTS OF CONTACT Site Vice President Security Supervisor Programs and Components Engineer Design Engineering Licensing Specialist Director, Nuclear Safety Assurance System Engineer Licensing Specialist Maintenance Supervisor Manager, Corrective Action & Assessment Site Security Manager System Engineer System Engineer Radiation Protection Specialist Maintenance Supervisor System Engineering Supervisor Senior Planner, Emergency Planning Senior Planner, Emergency Planning Corrective Action & Assessment Specialist Operations Employee Concerns Program Coordinator Corrective Action & Assessment Specialist General Manager, Plant Operations LIST OF ITEMS OPENED, CLOSED AND DISCUSSED Opened and Closed 05000286/201 1 01 0-01 05000286/2011010-02 FIN NCV Procedural Requirements of Engineering Change Process Not lmplemented Inadequate Corrective Action for Degraded EDG SW Piping

LIST OF DOGUMENTS REVIEWED Section 4OA2: ldentification and Resolution of Problems Audits and Self-Assessments LO-lP3LO-2009-00067, "Plant Status and Configuration Control - IPEC Snapshot Self- Assessment Report," dated December 12,2009 LO-lP3LO-2009-00071, "QA NIEP Audit Criteria - IPEC Focused Self-Assessment Report," dated July 13,2009 LO-lP3LO-2010-00008, "Quality of CR Closures Performed by Department lmprovement Coordinators (DPlCs) - IPEC Snapshot Self-Assessment Report," dated December 31, 2010 LO-lP3LO-2010-00074, "Conduct of Operations - IPEC Snapshot Self-Assessment Report," dated November 13,2010 LO-lP3LO-2010-00157, "Tone Alert Radio Program Administration and Recordkeeping - IPEC Snapshot Self-Assessment Report," dated May 10,2010 LO-lP3LO-2011-00023, "Operations Facilities and Equipment - IPEC Snapshot Setf- Adsessment Report," dated June 1,2011 LO-lP3LO-2010-00035, "Snapshot Self-Assessment on Access Controls," dated May 26,2Q10 LO-lP3_LO-2010-00078, "Focused Self-Assessment on Closed Cooling Water Chemistry," dated TtAay 14,2010 LO-lP3LO-201 0-00045, "Fatigue Rule Compliance", dated February 23, 2010 LO-lP3LO-2010-00196, "Preventive Maintenance (PM) Feedback," dated September 28,2010 QA-07-2011-lP-1, "Emergency Preparedness (EP) Quality Assurance Audit Report," dated June 13,2011 QA-12-2009-lP-1, "Operations/Technical Specifications Quality Assurance Audit Report," dated August 3, 2009 QA-04-2010-lP-1, "Engineering Design Control Quality Assurance Audit Report," dated May 27, 2010 QA-10-2010-1P-1, "Maintenance Quality Assurance Audit Report," dated October 13, 2010 QA-01-2009-lP-1, "Fitness for Duty Quality Assurance Audit Report," dated August 20,20Qg QA-1 6-2009-l P-1, "Security Quality Assurance Audit Report," dated December 17, zQQg QA-16-2010-lP-1, "security Quality Assurance Audit Report," dated February 9,2011 Calculations lP3-CALC-SWS-02022, "Operability Determination and Supports Repair in the Zurn Pit," Revision 0 lP-CALC-08-00118, "Evaluation of Through Wall Leak for Tee Downstream of SWN-38 for Line 408," Revision 0 Completed Surveillances 3-PT-M079A, "31 EDG Functional Test," performed May 15,2011 and June 16, 2011 3-PT-M0798, "32 EDG Functional Test," performed May 17, 2011 and June 13, 2011 3-PT-M079C, "33 EDG Functional Test," performed June 14,2011 3-PT-Q120F, "32 ABFP (Turbine Driven) Surveillance and lST," performed April 15, 2011 3-PT-Q134A, "31 RHR Pump FunctionalTest (RHR Cooling Not in Service)," performed June 3, 2011

3-PT-Q1348,"32 RHR Pump Functional Test (RHR Cooling Not in Service)," performed June 29,2011 3-PT-R0078, "32 ABFP Full Flow Test," performed April 6, 201 1 3-PT-R090E, "Local Operation of 32 ABFP," performed July 5,2011 3-PT-R1604, "31 EDG Capacity Test," performed March 29,2011 3-PT-R1608,"32 EDG Capacity Test," performed March 29,2011 3-PT-R160C, "33 EDG Capacity Test," performed March 20,2011 3-PT-R189A, "Functional Test of 31 Automatic Trips," performed March 24,2011 3-PT-R189B, "Functional Test of 32 Automatic Trips," performed March 28,2011 3-PT-R189C, "Functional Test of 33 Automatic Trips," performed March 17, 2Q11 3-PT-R198,"32 ABFP Turbine Overspeed Test," performed April 1,2011 3-PT-Q1168,"32 Safety Injection Pump," dated July 11,2011 3-PT-Q1 168, "32 Safety Injection Pump," dated July 12, 2011 Condition Reports (CR-lP2-) 201 1-03604- 2010-00746 2010-05639 2010-06497 2010-06527 201 1-00654 201 1-0'1608 2011-01610 2011-02392 201 1-03603.

  • CR written as a result of this inspection

Condition Reports (CR-lP3-) 2003-01600 2003-0361 3 2003-04298 2006-0001 3 2006-00290 2006-01 596 2006-02071 2006-04063 2007-00275 2007-01 01 0 2007-01512 2007-03393 2007-04212 2008-00334 2008-00369 2008-00409 2008-00489 2008-00698 2008-00717 2008-01 589 2008-02026 2008-02137 2008-021 66 2008-02383 2008-02787 2008-03009 2009-00381 2009-0051 2 2009-00572 2009-02368 2009-02443 2009-02462 2009-02539 2009-02573 2009-02587 2009-02626 2009-02716 2AA9-02720 2009-02791 2009-02831 2009-03040 2009-03089 2009-031 50 2009-03177 2009-0331 1 2009-03321 2009-03336 2009-03341 2009-03343 2009-03375 2009-03386 2009-03481 2009-03538 2009-03546 2009-03562 2009-03578 2009-03590 2009-03786 2009-03808 2009-0381 I 2009-03867 2009-03904 2009-03908 2009-03943 2009-03956 2009-04006 2009-04035 2009-04077 2009-04123 2009-04219 2009-04262 2009-04281 2009-04282 2009-04288 2009-04359 2009-04401 2009-04420 2009-04450 2009-04452 2009-04462 2009-04482 2009-04498 2009-04499 2009-04502 2009-04523 2009-04585 2009-04607 2009-04638 2009-04655 2009-04693 2009-04694 2009-04769 2009-0481 9 2009-04867 2009-04876 2009-04901 201 0-00007 2010-00045 201 0-00060 2010-00202 201 0-00269 2010-00347 2010-00410 2010-00419

2010-00420 2010-00421 201 0-00549 2010-00631 201 0-00735 201 0-00853 201 0-00863 2010-00917 201 0-00998 2010-01028 201 0-01 034 2010-01217 2010-01227 2010-01238 2010-01433 201 0-01 533 201 0-01 543 2010-01692 2010-01730 201Q-Q1825 201 0-01 883 201 0-01 890 2010-01924 2010-01964 2010-02005 2010-02204 2010-02231 2010-02288 2010-02294 2010-02331 2A10-02348 2010-02376 2010-02377 2010-02379 2010-02384 2010-02395 201 0-02396 2010-02444 2010-02501 2010-02504 2010-02588 2010-02614 2010-Q2617 201 0-02690 2010-02723 2010-02731 2010-02755 2010-02854 201 0-02900 2010-03061 201 0-03099 201 0-031 09 2010-031 19 2010-03141 2010-03216 2010-03229 201 0-03299 201 0-03469 2010-03478 201 0-03554 201 0-03686 201 0-03687 201 0-03696 201 0-03859 201 1-00018 2011-00021 201 1 -00039 2011-00205 2011-00232 2011-00259 201 1-00318 201 1-00369 2011-00394 201 1 -00396 2011-00433 2011-00574 2011-00575 201 1-00576 2011-00577 201 1-00580 201 1 -00858 201 1 -00860 2011-00926 201 1-00955 2011-01028 2011-01052 201 1-01056 2011-01078 2011-01107 2011-01115 2011-01120 2011-01136 2011-01156 2011-01186 2011-01246 2011-01252 2011-01254 2011-01260 2011-01327 201 1-01 330 2011-01345 2011-01371 2011-01377 201 1-01398 2011-01403 2011-01434 2011-01447 2011-01465 2011-01492 2011-01496 2011-01517 2011-01525 2011-01588 2011-01615 2011-01619 2011-01745 201 1-01869 2011-01915 2011-01917 2011-01929 2011-01944 2011-01997 2011-02131 2011-02139 2011-02142 2011-02146 2011-02204 2011-Q2227 2011-02240 2011-02305 2011-02309 2011-02352 2011-02358 2011-02391 2011-02397 2011-02403 2011-02413 2011-02417 2011-02474 2011-02496 2011-02504 2011-02520 2011-02521 2011-02524 2011-02594 2011-02609 2011-02749 2011-02767 2011-02785 2011-02834 2011-02835 2011-02844 2011-02867 2011-02918 2011-02920 201 1-03080 2011-03127 2011-03148 2011-03170 2011-03243 2011-03280 2011-03295 201 1-03360 2011-03481 2011-03522 201 1-03561 2011-03574 201 1-03583 2011-03584 2Q11-03592 201 1-03594 201 1-03596 201 1-03599 201 1 -03609 201 1-03613 2011-03614 201 1-03616 2011-03617 201 1-03619 201 1-03631 2011-03632* 2011-03648* 2011-03654* 201 1 -03656. 201 1-03663. 2011-03664 2011-03672* 2011-03676 2011-Q3682* 201 1-03685. 2011-Q3704 2011-03705. 201 1-03709" 2011-03713 2011-03727 2011-03729* 2011-03734. 2011-03735 2011-03759 2011-03779

2011-03789 2011-03806" 2011-03831* 2011-03845. 2011-03798. 2011-03810. 2011-03832* 2011-04040* 2011-03804. 2011-03815* 2011-03833* 2011-03805. 2011-03827. 2011-03840.

  • CR written as a result of this inspection

Drawinqs 21-F-20333 Sheets. 1 &2, "Flow Diagram Service Water System," Revisions 50 and 28 21-F-20343 Sheets. 1 &2, "Flow Diagram City Water," Revisions 36 and 20 21-F-21223, "Flow Diagram Appendix'R'6.9 KV Emergency Diesel Generator Jacket Water System," Revision 3 21-F-27533, "Flow Diagram Hydrogen Recombiner System," Revision 12 21-F-33733, "Logic Tripping Diagram for RCS Overpressurization Protection System," Revision 3 21-H-20283, "Flow Diagram Jacket Water to Diesel Generators," Revision 22 INSUL-50453, "Containment Building Restraint & Support Design Line 62 Insulation Details," Revision 0 Emerqencv Preparedness Related Binder #EOF-1, "Emergency Director Emergency Response Organization Position Binder," updated July 8, 2011 Binder #EOF-4, "RadiologicalAssessment Coordinator Emergency Response Organization Position Binder," updated July 8, 2011 Binder #EOF-5, "Dose Assessor Emergency Response Organization Position Binder," updated July 8,2011 Binder #lCP-1, "Security Coordinator lCP," updated July 8,2011 Binder #TSC-1, "Emergency Plant Manager Emergency Response Organization Position Binder," updated July 8, 2011 Binder #TSC-4, "Reactor Engineer Emergency Response Organization Position Binder," updated July 8, 2011 Binder #TSC-8, "TSC Communicator Emergency Response Organization Position Binder," updated July 8, 2011 Drill Number 2008-7, "Emergency Preparedness Unit 3 Exercise December 3, 2008 Performance Report," Revision 0 Drill Number 2Q1O-5, "Emergency Preparedness Unit 2 FEMA/NRC Exercise September 14, 2010 Performance Report," dated October 12,2010 Drill Number 2010-6, "Emergency Preparedness Unit 2 Training Drill December 7, 2010 Performance Report," dated December 15,2010 Drill Number 2011-1, "Emergency Preparedness Unit 2 Training Drill February 3,2Q11 Performance Report," dated February 10,2011 Drill Number 2011-2, "Emergency Preparedness Unit 3 SAMG Training Drill June 9,2011 Performance Report," dated June 30,2011 EN-PL-155 Attachment 9.1, "Notification Forms Revision Change Management Checklist," dated January 25,2011 Form EP-3, "Control Room NOE Notification Checklist," Revision 14 Form EP-4,.CCR Initial Notification Checklist - AlerUSAElGE," Revision 13

Form EP-5, "Upgrade/Update Notification - AIeTUSAE/GE Checklist," Revision 11 lP-EP-AD33, "IPEC ATI Siren System Quarterly Preventative Maintenance," Revision 6 lP-EP-AD34, "IPEC ATI Control Station Semi-Annual Preventative Maintenance," Revision 4 lP-EP-AD35, "IPEC ATI Siren Site Annual Preventative Maintenance," Revision 4 Siren-01, "Siren Main and Auxiliary Amplifier Board Replacement," Revision 4 TSC-1, "lndian Point Energy Center Emergency Telephone Directory," July 2011 Evaluations CR lP2-2009-03701, "Alert Notification System Test Failure Root Cause Analysis Report," Revision 1 CR lP3-2009-02640, "32 Main Boiler Feed Pump Rework Root Cause Analysis Report," Revision 1 CR lP3-2009-02831, "Lifting of Sl-855 Relief Valve During 3PT-Q1168 Functional Test for 32 Sl Pump Apparent Cause Evaluation," dated July 15,2009 CR lP3-2009-02968, "Emergency Plan Contingency Actions with the Seismic Monitoring Instrumentation Out-of-Service Apparent Cause Evaluation," dated August 4,2009 CR lP3-2009-04454, "Main Line "A" Phase Fuse Blown to the 33 EDG Auxiliaries in MCC 39 Cubicle SBL Apparent Cause Evaluation," dated December 9, 2009 CR lP3-2010-01542, "Two Performance Indicator Opportunities Were Missed During Emergency Planning Drill Apparent Cause Evaluation," dated June 29, 2010 CR lP3-2010-02082, "MIDAS (Meteorological Information and Data Acquisition System) Program Displayed an Incorrect Emergency Classification Apparent Cause Evaluation," dated August 9, 2010 CR lP3-2011-00680, "U3 Service Water Leak Downstream of SWN-6 Root Cause Analysis Report," Revision 1 PMRQ 50068322-02,"1Y INSP HX (Tube-Side) IAW HTX-}Z2-EDG PM Deferral Request," dated May 19, 2011 SW Line 1222Equipment Failure Evaluation, Revision 0 Learninq Orqanization Trackino Reports (LO-lP3LO-) 201 0-001 64 201 0-001 89 Licensee Event Reports LER 0500028612009-009-01, "Loss of a Single Train Neutron Flux Detector N-38 Required for Plant Shutdown Remote from the Control Room due to a Power Supply Failure," dated October 29,2010 Maintenance Rule. Svstem Health. and Trendinq ABFP Oil Analysis Report Summary, dated August 3,2Q10 - July 5,2011 lP3-WebCDMS Sample Analysis Results Summary (EDG Fuel Oil), dated July 2,2011 - August 1, 2011 IPEC Top Ten Equipment Reliability lssues, dated July 14,2011 lP-RPT-1 1-00020, 'tMaintenance Rule Structural Monitoring lnspection Report (4th Cycle) for Intake Structure," dated April 15,2011 LO-lP3LO2011-00003, "Operations Department Quarterly Trend Report, 4tn Quarter 201Q"

LO-IP3LO2011-00125, "Operations Department Quarterly Trend Report, 1" Quarter 2011" SEP-SW-001 Attachment G, "31 EDG JW & LO Coolers Inspection Report," dated August 1 1, 2010 and July 14,2011 SOP-WDS-O10 Attachment 1, "Containment Sump Flow Daily Average," dated April 1 0, 2011 - July 29,2011 Unit #3 Boric Acid Walkdown, performed July 13,2011 lP3-RPT-IA-O1891, "Maintenance Rule Basis Document for Instrument Air and Instrument Air Closed Cooling Systems," Revision 0 System Health Report Unit 3 AFW, 1" Quarter 2011 System Health Report Unit 3 DC, 1't Quarter 2011 Miscellaneous 3-PT-D001, "CCR TS Rounds," dated July 3-9, 2011 3-PT-D001C, "Field TS Rounds," dated July 3-9, 2011 3-RND-CV, "Conventional Rounds," dated July 3-9, 2011, and July 19,2011 3-RND-NUC, "Nuclear Rounds," dated July 3-9, 2011 EN-MA-1 18 Attachment 9.6, "lntake Structure Access Port Line 409 Foreign Material Exclusion Component Close-Out," dated March 25,2011 IPEC Operations Shift Order, dated June 24, 2011, June 27-30, 2011, July 5-8, 2011, and July 11, 2011 Log Entries Report, dated June 19-24,2011 and July 3-9, 2011 SIPD 1248, "lnstall Status Light on EDG JWPS 1 and 2 Air Start Pressure Switches," dated June 1,2410 TS-MS-003, "Technical Specification for Piping and Equipment Insulation," Revision 8 Unit 3 Control Room Deficiency Log, dated June 15,2011 Unit 3 Operations Feedback Report for Group 3-AOP, dated July 13,2011 Unit 3 Operations Feedback Report for Group 3-ARP, dated July 13,2011 Unit 3 Operations Feedback Report for Group 3-ECA, dated July 13,2011 EC 8501, "Replace existing Gould Shawmut model number TRS4R fuses for 33 Instrument Air Desiccant Dryer Blower Motor with Ferraz Shawmut model number TRSOR fuses," Revision 0 Maintenance Aggregate Index, as of May 2011 Non-Outage Fluid Leaks, as of May 2011 On-Line Corrective Maintenance Backlog, as of May 2011 On-Line Deficient Maintenance, as of May 2011 Outage Corrective Maintenance Backlog, as of May 2011 Outage Deficient Maintenance, as of May 2011 Outage Fluid Leaks, as of May 2011 PIR Rework Analysis, as of May 2011 Non-Cited Violations and Findinqs FIN 0500028612010003-02, "Failure to Perform an Adequate Operability Evaluation for Neutron Detector N-38 Anomalous Behavior" NCV 0500028612009005-02, "Untimely Compensatory Measures for Degraded EDG Pressure Switches" NCV 05000 286 l 2009005-03, "S i ren Test Fa i I u re" NCV 0500028612009005-04, "Failure to Promptly ldentify and Correct a Molded Case Circuit Breaker Service Life Nonconformance"

NCV 0500028612010004-01, "Untimely Corrective Actions for Degraded Capacitors for the 31 Static lnverted' NCV 0500028612010005-03, "Failure of the Offsite Notification Procedure to Meet the Requirements of the Site Emergency Plan" NCV 0500028612010009-01, "lnadequate Design Control of Service Water Strainer Room Flood Barrier" NCV 0500028612010005-01, "Repeated Control Room Air Conditioner Gasket Failures" Non-Destructive Examination Reports lP3-UT-08-034,"18-inch Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion Examination," performed August 24, 2008 lP3-UT-08-055, "18-inch Line-408 U/S Valve SWN-40-2 UT Erosion/Corrosion Examination," performed November 10, 2008 lP3-UT-09-083, "Gas Intrusion - 4" Line #16 @ Penetration Q - PAB Side of Containment UT" Calibration/Examination," performed July 16, 2009 IP3-UT-10-008, "31 SW Pump Discharge 14" Line #1081UT Erosion/Corrosion Examination," performed February 5, 2Q10 lP3-UT-10-009, "32 SW Pump Discharge 14" Line #1082 UT Erosion/Corrosion Examination," performed February 5, 2010 lP3-UT-10-010, "33 SW Pump Discharge 14" Line #1083 UT Erosion/Corrosion Examination," performed February 5, 2010 lP3-UT-10-01 1, "34 SW Pump Discharge 14" Line #1084 UT Erosion/Corrosion Examination," performed February 5, 2010 IP3-UT-10-012, "35 SW Pump Discharge 14" Line #1085 UT Erosion/Corrosion Examination," performed February 5, 2010 lP3-UT-10-013, "36 SW Pump Discharge 14" Line #1086 UT Erosion/Corrosion Examination," performed February 5, 2010 W-07-033, SW "34 Support-ATT Visual Examination of Component Supports and Snubbers (Vr-1)", performed January 22, 2QQT W-07-034, "AFW 32 Support Visual Examination of Component Supports and Snubbers (W- 3)," performed January 22,2007 W-07-067, "SW-H&R-12C-17 Visual Examination of Pipe Hanger, Support or Restraint (VT-3)," performed March 8,2007 W-07-069, "SW-H&R-128-12-ATl Visual Examination of Pipe Hanger, Support or Restraint (VI-1)," performed March 9,2007 Operatinq Experience CR-fP2-2010-7322, "NRC-IN-2010-23, Malfunctions of Emergency Diesel Generator Speed Switch Circuits," dated February 9,2011 CR-lP2-2011-00832, CA-2, "Containment Insulation Walkdowns at domestic PWRs in Support of NRC Generic Safety lssue 191," dated April 8, 201 1 CR-lP2-2011-00834, CA-2, "Containment Insulation Drawing Review in Support of NRC Generic Safety lssue 191," dated June 21, 2011 CR-lP2-2011-00835, CA-2, "lnsulation Specification Update for Unit 3 (TS-MS-003) to identify GSI-191 related information," dated May 25,2011 CR-lP2-201 1-00836, CA-1, "Control of Containment Insulation in Support of NRC Generic Safety lssue 191," dated March 10,2011

CR-lP3-201 1-0381 1, "10CFR21-0102 Concerning the Potential for Failures of SS810 Air Start Motors," dated August 2,2011 LO-WTIPC-2011-OOO29, CA-49, "NRC-IN-2011-02 Operator Performance lssues Involving Reactivity Management at Nuclear Power Plants," Revision 0 LO-WTIPC-2011-00029, CA-60, "NRC-Event-4607-A2-lPC-001, Potential Voiding in Auxiliary Feedwater Alternate Suction Line," Revision 0 NRC Information Notice 2007-06, "Potential Common Cause Vulnerabilities in Essential Service Water Systems," dated February 9,2007 NRC Information Notice 2008-11, "Service Water System Degradation at Brunswick Steam Electric Plant Unit 1," dated June 18, 2008 NRC lnformation Notice2011-l2, "ReactorTrips Resulting from Water Intrusion into Electrical Equipment," dated June 16,2011 Procedures O-AOP-SEC-3, "Event Contingency Actions," Revision 3 0-GNR-403-ELC, "Emergency Diesel Generator Quarterly Inspection," Revision 2 3-AOP-Flood-1, "Flooding," Revision 4 3-AOP-Leak-1, "Sudden Increase in Reactor Coolant System Leakage," Revision 5 3-ARP-009, "VC Sump Pump Running," Revision 41 3-ARP-011, "Panel SHF Electrical," Revision 33 3-ARP-019, "Panel Local-Diesel Generators," Revision 26 3-ECA-0.0, "Loss of All AC Power," Revision 6 3-ECA-1.2, "LOCA Outside Containment," Revision 0 3-PT-W001, "Emergency Diesel Support Systems Inspection," Revision 40 3-SAG-2, "Depressurize the RCS," Revision 1 3-SOP-AFW-001, "Auxiliary Feedwater System Operation," Revision 3 3-SOP-CB-002, "Containment Entry and Egress," Revision 33 3-SOP-EL-001, "Diesel Generator Operation," Revision 45 3-SOP-EL-005A, "480 Volt Electrical System Operation," Revision 12 EN-LI-102, "Corrective Action Process," Revision 16 EN-Ll-104, "Self-Assessment and Benchmark Process," Revision 7 EN-Ll-1 18, "Root Cause Evaluation Process," Revision 14 EN-LI-118-06, "Common Cause Analysis (CCA)," Revision 1 EN-Ll-119, "Apparent Cause Evaluation (ACE) Process," Revision 12 EN-Ll-121, "Entergy Trending Process," Revision 10 EN-OE-100, "Operating Experience Program," Revision 12 EN-OP-1 15, "Conduct of Operations," Revision 1 1 EN-WM-107, "Post Maintenance Testing," Revision 3 IPEC Emergency Action Levels," Revision 10-2 SEP-SW-OO1, "NRC Generic Letter 89-13 Service Water Program," Revision 4 EN-Ll-1 02, "Corrective Action Process," Revision 16 EN-WM-107, "Post Maintenance Testing," Revision 3 3-REF-002-GEN, "lndian Point Unit 3 Refueling Procedure," Revision 4 3-PT-M108, "RHRySI/CS System Venting," Revision 14 0-CY-2510, "Closed Cooling Water Chemistry Specifications and Frequency," Revision 12 EN-RP-101, "Access Controlfor Radiologically Controlled Areas," Revision 6 0-RP-RWP-407, "Refueling Support," Revision 2 3-PT-R032A, "Fuel Storage Building Filtration System," Revision 20 0-NF-311, "NlS Power Range Gain Adjustment," Revision 2

EN-DC-117, "Post Modification Testing and Special Instructions," Revision 4 3-SOP-lA-001, "lnstrument Air System Operation," Revision 25 EN-DC-1 15, "Engineering Change Process," Revision 1 1 3-ARP-012,"Panel SJF - Cooling Water and Air," Revision 48 3-AOP-AlR-1, "Air Systems Malfunction," Revision 3 EN-DC-205, "Maintenance Rule Monitoring," Revision 3 EN-DC-204, "Maintenance Rule Scope and Basis," Revision 2 EN-DC-206, "Maintenance Rule (aX1) Process," Revision 1 Safetv Culture / Emplovee Concerns Proqram LO-HQNLO-2010-00002, "Entergy Nuclear Fleet 2009 Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2009-00164, "lndian Point Energy Center 2009 Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2010-00138, "Security Department Nuclear Safety Culture Survey Action Plan," dated January 28,2010 LO-lP3LO-2009-00164, "lndian Point Employee Concerns lmprovement Plan," dated November 30, 2009 Meeting Minutes, Indian Point Energy Center Executive Protocol Group Meeting 09-016, dated December 7,2009 Meeting Minutes, Indian Point Energy Center Special Executive Protocol Group Meeting 10-001, dated January 8,2010 Summary List of ECP Cases for 2009, 2010, and 2Q11 IPEC ECP Monthly Report for June, 2011 lndian Point Employee Concerns Data Analysis Reports for 2009 and 2010 Self-Assessment of IPEC Nuclear Plant Employee Concerns Program, dated October, 2010 Work Orders 2036144 001 85072 001 95796 233344 214280 001 63657 278896 ADAMS AFW CA CAP CARB CFR CR CRG CW DRS EC ECP EDG Entergy FIN GL gpm HX tMc IST KV LO MCC NCV NPO NRC OE PAB PMT QA SCWE SDP SSC ST SW TS unsat UT WO LIST OF ACRONYMS Agencywide Document Management System auxiliary feedwater corrective action corrective action program Corrective Action Review Board Code of Federal Regulations condition report Condition Review Group city water Division of Reactor Safety engineering change Employee Concerns Program emergency diesel generator Entergy Nuclear Northeast finding Generic Letter gallons per minute heat exchanger inspection manual chapter in-service test kilovolt lubricating oil motor control center non-cited violation nuclear plant operator Nuclear Regulatory Commission operating experience primary auxiliary building post-maintenance test quality assurance safety conscious work environment significance determination process structures, systems, and components surveillance test service water Tech nical Specifications unsatisfactory ultrasonic testing work order Attachment }}