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{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION REGION II 245 PEACHTREE CENTER AVENUE NE, SUITE 1200 ATLANTA, GEORGIA 30303-1257 June 22, 2012  
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION REGION II 245 PEACHTREE CENTER AVENUE NE, SUITE 1200 ATLANTA, GEORGIA 30303-1257 June 22, 2012 EA-12-133 Mr. J.W. Shea Manager, Corporate Nuclear Licensing Tennessee Valley Authority 1101 Market Street, LP 4B-C Chattanooga, TN 37402-2801
 
EA-12-133  
 
Mr. J.W. Shea Manager, Corporate Nuclear Licensing Tennessee Valley Authority 1101 Market Street, LP 4B-C
 
Chattanooga, TN 37402-2801  


==SUBJECT:==
==SUBJECT:==
NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT  
NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT


==Dear Mr. Shea:==
==Dear Mr. Shea:==


This letter discusses one finding preliminarily determined to be White, that is, a finding of low to moderate increased safety significance that may require additional NRC inspections. The finding involved the failure to adequately accomplish the requirements contained in procedure NPG-SPP-09.3 "Plant Modifications and Engineer ing Change Control" which required that an evaluation of training needs be completed to support implementation of Design Change Notice (DCN) 69957. Specifically, on September 13, 2011, Procedures 0-SSI-25-1,-2,-3, and -26, "Safe Shutdown Instructions," were issued in support of DCN 69957 without adequately performing an evaluation of training needs. As a result, the systems approach to training was not properly implemented and the procedures coul d not be satisfactorily performed by plant operators and staff.  
This letter discusses one finding preliminarily determined to be White, that is, a finding of low to moderate increased safety significance that may require additional NRC inspections. The finding involved the failure to adequately accomplish the requirements contained in procedure NPG-SPP-09.3 Plant Modifications and Engineering Change Control which required that an evaluation of training needs be completed to support implementation of Design Change Notice (DCN) 69957. Specifically, on September 13, 2011, Procedures 0-SSI-25-1,-2,-3, and -26, Safe Shutdown Instructions, were issued in support of DCN 69957 without adequately performing an evaluation of training needs. As a result, the systems approach to training was not properly implemented and the procedures could not be satisfactorily performed by plant operators and staff.
 
This finding was assessed based on the best available information, using the applicable Significance Determination Process (SDP) and was determined utilizing Inspection Manual Chapter 0609, Appendix M, Significance Determination Process Using Qualitative Criteria.
This finding was assessed based on the best available information, using the applicable Significance Determination Process (SDP) and was determined utilizing Inspection Manual Chapter 0609, Appendix M, "Significance Determination Process Using Qualitative Criteria."
The final resolution of this finding will be conveyed in separate correspondence.
The final resolution of this finding will be conveyed in separate correspondence.  
 
Following the initial review of this matter using preliminary quantitative analysis, Appendix M was used considering the uncertainties in the bounding analysis and the insights from the qualitative review. There is a lack of quantitative data and probabilistic risk assessment tools to accurately assess the risk significance of the performance deficiency in a timely manner.
Following the initial review of this matter using preliminary quantitative analysis, Appendix M was used considering the uncertainties in the bounding analysis and the insights from the qualitative review. There is a lack of quantitative data and probabilistic risk assessment tools to accurately assess the risk significance of the performance deficiency in a timely manner.
Specifically, the failure to adequately identify and perform required training for implementation of procedures for combating plant fire events affected the licensee's ability to respond to a plant fire. Based on the qualitative and quantitative analyses, this NRC identified finding has preliminarily been determined to have low to moderate safety significance (White).
Specifically, the failure to adequately identify and perform required training for implementation of procedures for combating plant fire events affected the licensees ability to respond to a plant fire. Based on the qualitative and quantitative analyses, this NRC identified finding has preliminarily been determined to have low to moderate safety significance (White).
J. Shea 2
 
The finding is also an apparent violation (AV) of 10 CFR 50, Appendix B, Criterion V, "Instructions, Procedures, and Drawings," and was documented as Apparent Violation 05000259, 260, 296/2012-007-05, Failure to Properly Implement the Requirements of the Plant
 
Modifications and Engineering Change Control Procedure, in NRC Inspection Report (IR) 05000259,260,296/2012007 (ML12150A219). This AV is being considered for escalated enforcement action in accordance with the Enforcement Policy, which can be found on the NRC's Web site at http://www.nrc.gov/about-nrc/regulatory/enforcement/enforce-pol.html.
In accordance with NRC Inspection Manual Chapter (IMC) 0609, we intend to complete our evaluation using the best available information and issue our final determination of safety significance within 90 days of the date of the referenced report. The significance determination process encourages an open dialogue between t he NRC staff and the licensee; however, the dialogue should not impact the timeliness of the staff's final determination. Before we make a final decision on this matter, we are providing you with an opportunity (1) to attend a Regulatory Conference where you can present to the NRC your perspective on the facts and assumptions the NRC used to arrive at the finding and assess its significance, or (2)


submit your position on the finding to the NRC in writing. If you request a Regulatory Conference, it should be held within 30 days of the receipt of this letter and we encourage you to submit supporting documentation at least one week prior to the conference in an effort to make the conference more efficient and effective. If a Regulatory Conference is held, it will be open for public observation. If you decide to submit only a written response, such submittal should be sent to the NRC within 30 days of your receipt of this letter. If you decline to request a Regulatory Conference or submit a written response, you relinquish your right to appeal the final SDP determination, in that by not doing either, you fail to meet the appeal requirements stated in the Prerequisite and Limitation sections of Attachment 2 of IMC 0609.
J. Shea                                        2 The finding is also an apparent violation (AV) of 10 CFR 50, Appendix B, Criterion V, "Instructions, Procedures, and Drawings," and was documented as Apparent Violation 05000259, 260, 296/2012-007-05, Failure to Properly Implement the Requirements of the Plant Modifications and Engineering Change Control Procedure, in NRC Inspection Report (IR) 05000259,260,296/2012007 (ML12150A219). This AV is being considered for escalated enforcement action in accordance with the Enforcement Policy, which can be found on the NRCs Web site at http://www.nrc.gov/about-nrc/regulatory/enforcement/enforce-pol.html.
Please contact Eugene Guthrie at 404-997-4662 and in writing within 10 days from the issue date of this letter to notify the NRC of your intentions. If we have not heard from you within 10 days, we will continue with our significance determination and enforcement decision.  
In accordance with NRC Inspection Manual Chapter (IMC) 0609, we intend to complete our evaluation using the best available information and issue our final determination of safety significance within 90 days of the date of the referenced report. The significance determination process encourages an open dialogue between the NRC staff and the licensee; however, the dialogue should not impact the timeliness of the staffs final determination.
Before we make a final decision on this matter, we are providing you with an opportunity (1) to attend a Regulatory Conference where you can present to the NRC your perspective on the facts and assumptions the NRC used to arrive at the finding and assess its significance, or (2) submit your position on the finding to the NRC in writing. If you request a Regulatory Conference, it should be held within 30 days of the receipt of this letter and we encourage you to submit supporting documentation at least one week prior to the conference in an effort to make the conference more efficient and effective. If a Regulatory Conference is held, it will be open for public observation. If you decide to submit only a written response, such submittal should be sent to the NRC within 30 days of your receipt of this letter. If you decline to request a Regulatory Conference or submit a written response, you relinquish your right to appeal the final SDP determination, in that by not doing either, you fail to meet the appeal requirements stated in the Prerequisite and Limitation sections of Attachment 2 of IMC 0609.
Please contact Eugene Guthrie at 404-997-4662 and in writing within 10 days from the issue date of this letter to notify the NRC of your intentions. If we have not heard from you within 10 days, we will continue with our significance determination and enforcement decision.
Because the NRC has not made a final determination in this matter, no Notice of Violation is being issued for these inspection findings at this time. In addition, please be advised that the number and characterization of the apparent violation described in the referenced inspection report may change as a result of further NRC review.


Because the NRC has not made a final determination in this matter, no Notice of Violation is being issued for these inspection findings at this time. In addition, please be advised that the number and characterization of the apparent violation described in the referenced inspection report may change as a result of further NRC review.
J. Shea                                         3 In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and the Enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html.
 
Sincerely,
J. Shea 3  
                                                  /RA/
 
Richard P. Croteau, Director Division of Reactor Projects Docket Nos.: 50-259, 50-260, 50-296 License Nos.: DPR-33, DPR-52, DPR-68
In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and the Enclosure will be made available electronicall y for public inspection in the NRC Public Document Room or from the NRC's document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html.  
 
Sincerely,  
 
/RA/
Richard P. Croteau, Director Division of Reactor Projects Docket Nos.: 50-259, 50-260, 50-296 License Nos.: DPR-33, DPR-52, DPR-68


==Enclosures:==
==Enclosures:==
Appendix M Significance Determination Process Using           Qualitative Criteria - Table 4.1 cc w/encl: (See page 4)
Appendix M Significance Determination Process Using Qualitative Criteria - Table 4.1 cc w/encl: (See page 4)
J. Shea 4


cc w/encl:
J. Shea                                4 cc w/encl:                               James L. McNees, CHP K. J. Polson                             Director Site Vice President                     Office of Radiation Control Browns Ferry Nuclear Plant              Alabama Dept. of Public Health Tennessee Valley Authority              P. O. Box 303017 Electronic Mail Distribution            Montgomery, AL 36130-3017 C.J. Gannon General Manager Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution James E. Emens Manager, Licensing Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution Manager, Corporate Nuclear Licensing -
K. J. Polson Site Vice President  
BFN Tennessee Valley Authority Electronic Mail Distribution Edward J. Vigluicci Assistant General Counsel Tennessee Valley Authority Electronic Mail Distribution T. A. Hess Tennessee Valley Authority Electronic Mail Distribution Chairman Limestone County Commission 310 West Washington Street Athens, AL 35611 Donald E. Williamson State Health Officer Alabama Dept. of Public Health RSA Tower - Administration Suite 1552 P.O. Box 30317 Montgomery, AL 36130-3017


Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
J. Shea                                 5 Letter to Joseph W. Shea from Eugene Guthrie dated June 22, 2012
 
C.J. Gannon General Manager
 
Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution James E. Emens Manager, Licensing
 
Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution
 
Manager, Corporate Nuclear Licensing -
 
BFN Tennessee Valley Authority Electronic Mail Distribution Edward J. Vigluicci Assistant General Counsel Tennessee Valley Authority Electronic Mail Distribution T. A. Hess Tennessee Valley Authority Electronic Mail Distribution
 
Chairman Limestone County Commission 310 West Washington Street
 
Athens, AL  35611
 
Donald E. Williamson State Health Officer Alabama Dept. of Public Health RSA Tower - Administration
 
Suite 1552 P.O. Box 30317
 
Montgomery, AL  36130-3017
 
James L. McNees, CHP Director Office of Radiation Control Alabama Dept. of Public Health P. O. Box 303017
 
Montgomery, AL  36130-3017
 
J. Shea 5  
 
Letter to Joseph W. Shea from Eugene Guthrie dated June 22, 2012  


==SUBJECT:==
==SUBJECT:==
NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT  
NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT Distribution w/encl:
C. Evans, RII L. Douglas, RII OE Mail RIDSNRRDIRS PUBLIC RidsNrrPMBrownsFerry Resource


Distribution w/encl
APPENDIX M SIGNIFICANCE DETERMINATION PROCESS USING QUALITATIVE CRITERIA TABLE 4.1 Qualitative Decision-Making Attributes for NRC Management Review Although the Quantitative Risk-Informed SDP is the preferred path for determining the significance of findings in the Reactor Oversight Process, in this case Appendix M was used because the existing guidance is not adequate to provide a reasonable estimate of the significance. The NRC has made a qualitative determination of the significance by focusing on the 8 attributes in the table below.
: C. Evans, RII L. Douglas, RII OE Mail RIDSNRRDIRS
 
PUBLIC RidsNrrPMBrownsFerry Resource
 
Enclosure APPENDIX M SIGNIFICANCE DETERMINATION PROCESS USING QUALITATIVE CRITERIA TABLE 4.1 Qualitative Decision-Making Attributes for NRC Management Review
 
Although the Quantitative Risk-Informed SDP is the preferred path for determining the significance of findings in the Reactor Oversight Process, in this case Appendix M was used because the existing guidance is not adequate to provide a reasonable estimate of the significance. The NRC has made a qualitative determination of t he significance by focusing on the 8 attributes in the table below.
The significance of the finding is driven by the potential consequences of operators not properly implementing procedures to combat plant fire events. Proper implementation of the SSIs, including integration with the implementation of other plant procedures, is required during major fire events to ensure proper operator actions are taken to; 1) place all 3 Units into a safe condition; 2) prevent negative effects of spurious equipment operation; and 3) protect designated safe shutdown equipment and its associated power supplies from any fire related damage, in order to ensure safe shutdown and prevent core damage. The success of these procedures is heavily dependent on the knowledge, skills and abilities of the operators responsible for procedure implementation, and the proper evaluation and implementation of operator training is essential to the knowledge, skills and abilities of the operators.
The significance of the finding is driven by the potential consequences of operators not properly implementing procedures to combat plant fire events. Proper implementation of the SSIs, including integration with the implementation of other plant procedures, is required during major fire events to ensure proper operator actions are taken to; 1) place all 3 Units into a safe condition; 2) prevent negative effects of spurious equipment operation; and 3) protect designated safe shutdown equipment and its associated power supplies from any fire related damage, in order to ensure safe shutdown and prevent core damage. The success of these procedures is heavily dependent on the knowledge, skills and abilities of the operators responsible for procedure implementation, and the proper evaluation and implementation of operator training is essential to the knowledge, skills and abilities of the operators.
Based on the magnitude of the ignition sources and because fire is a significant contributor to the overall plant risk, the judgment of the SRA is that this performance deficiency is greater than green. Appendix I, Licensed Operator Requalification SDP, of IMC-609 was used to risk inform the Appendix M evaluation and help bound the significance of the finding. The performance deficiency is of Low to Moderate Safety Significance (White), based on a qualitative assessment of Appendix M attributes.  
Based on the magnitude of the ignition sources and because fire is a significant contributor to the overall plant risk, the judgment of the SRA is that this performance deficiency is greater than green. Appendix I, Licensed Operator Requalification SDP, of IMC-609 was used to risk inform the Appendix M evaluation and help bound the significance of the finding. The performance deficiency is of Low to Moderate Safety Significance (White), based on a qualitative assessment of Appendix M attributes.
Decision          Applicable  Basis for Input to Decision - Provide qualitative and/or Attribute              to      quantitative information for management review and decision Decision?    making.
Finding can          YES      In an effort to evaluate the significance in a timely manner, the be bounded                      guidance found in IP 71111.11, Licensed Operator Requalification using                          Program for evaluating crew performance during the simulator qualitative                    portion of the annual operating test and the criteria found in and/or                          Appendix I, Licensed Operator Requalification Significance quantitative                    Determination Process (SDP), of MC-609 was used to bound the information?                    significance of the finding.
This guidance establishes a bounding significance to similar scenarios based on the criteria found in Appendix I. Appendix I states that a failure of more than 40% of the crews on the simulator portion of the operating test indicates significant deficiencies in operator knowledge and would result in a White SDP determination. This is derived from the concept that deficiencies in the level of knowledge and abilities of licensed operators can have a direct impact on the risk and safety of a plant.
Enclosure


Decision Attribute Applicable to Decision?
2 Decision Applicable Basis for Input to Decision - Provide qualitative and/or Attribute    to      quantitative information for management review and decision Decision?  making.
Basis for Input to Decision - Provide qualitative and/or quantitative information for management review and decision  
To assess the extent of the level of knowledge of the operators and how that potentially affected the overall risk and safety of the plant at the time of the violation (when the procedures were issued), the following was taken into consideration:
 
making. Finding can
 
be bounded
 
using qualitative and/or quantitative
 
information? YES In an effort to evaluate the significance in a timely manner, the guidance found in IP 71111.11, Licensed Operator Requalification Program for evaluating crew performance during the simulator portion of the annual operating test and the criteria found in Appendix I, Licensed Operator Requalification Significance Determination Process (SDP), of MC-609 was used to bound the significance of the finding.
 
This guidance establishes a bounding significance to similar scenarios based on the criteria found in Appendix I. Appendix I states that a failure of more than 40% of the crews on the simulator portion of the operating test indicates significant deficiencies in operator knowledge and would result in a White SDP determination. This is derived from the concept that deficiencies in the level of knowledge and abilities of licensed operators can have a direct impact on the risk and safety of a plant.
2 Enclosure Decision Attribute Applicable to Decision?
Basis for Input to Decision - Provide qualitative and/or quantitative information for management review and decision making. To assess the extent of the level of knowledge of the operators and how that potentially affected the overall risk and safety of the plant at the time of the violation (when the procedures were issued), the following was taken into consideration:
: 1. 5 months after the procedures were issued, operators exhibited a significant lack of knowledge of, and demonstrated an inability to implement, the new SSIs as indicated by the following observations during a simulator training scenario:
: 1. 5 months after the procedures were issued, operators exhibited a significant lack of knowledge of, and demonstrated an inability to implement, the new SSIs as indicated by the following observations during a simulator training scenario:
* The crew was not able to perform required time critical actions as prescribed in the SSIs.
* The crew was not able to perform required time critical actions as prescribed in the SSIs.
* One crew member did not understand that the "TBD" identifiers listed before each step cross-referenced specific technical basis for the actions contained in the step.
* One crew member did not understand that the TBD identifiers listed before each step cross-referenced specific technical basis for the actions contained in the step.
* Several of the crew members needed to be instructed on the location of the technical bases for the procedure.
* Several of the crew members needed to be instructed on the location of the technical bases for the procedure.
* The crew was coached to postpone entering the EOIs when valid entry conditions existed until all ten-minute SSI actions were completed. However, this implementation strategy was not described in the new SSIs and was never addressed during the previous operator training; in fact, previous training directed the operators to enter the EOIs when entry conditions were met.
* The crew was coached to postpone entering the EOIs when valid entry conditions existed until all ten-minute SSI actions were completed. However, this implementation strategy was not described in the new SSIs and was never addressed during the previous operator training; in fact, previous training directed the operators to enter the EOIs when entry conditions were met.
* Following closure of the main steam isolation valves (MSIVs), the crew attempted to control reactor pressure manually by cycling the main st eam relief valves (MSRVs). The crew was coached to not take manual control of the MSRVs. However, during a subsequent simulator observation, the inspectors were informed that the operators were being given inappropriate instruction and taking manual control of reactor pressure was the appropriate action.
* Following closure of the main steam isolation valves (MSIVs), the crew attempted to control reactor pressure manually by cycling the main steam relief valves (MSRVs).
The crew was coached to not take manual control of the MSRVs. However, during a subsequent simulator observation, the inspectors were informed that the operators were being given inappropriate instruction and taking manual control of reactor pressure was the appropriate action.
* The simulator exercise terminated at the point where the SSI ten-minute actions were completed and were never exposed to conditions where integration with procedural actions outside the SSIs would occur, even though this was the major difference in implementation strategy between the new SSIs and the existing SSI procedures.
* The simulator exercise terminated at the point where the SSI ten-minute actions were completed and were never exposed to conditions where integration with procedural actions outside the SSIs would occur, even though this was the major difference in implementation strategy between the new SSIs and the existing SSI procedures.
* A training evaluation had never been performed to determine the scope and objectives of the training scenarios to ensure operators received appropriate levels  
* A training evaluation had never been performed to determine the scope and objectives of the training scenarios to ensure operators received appropriate levels of training.
 
Enclosure
of training.
 
Enclosure   2. During additional training provided to address the concerns of the inspectors, questions and discussions between the operators showed a clear lack of knowledge of the basics of the procedures and their implementation. 3. After the additional training was completed, the crew observed by the inspectors was also unable to satisfactorily implement the time critical actions of the procedure. 4. The failure of the crew to implement the time critical actions was not identified by the training and operations staff observing
 
the scenario until the NRC inspectors raised the issue with the staff. The crew received remedial training and successfully completed the time critical actions during a second attempt at the scenario
 
Both crews observed by inspectors demonstrated having significant issues in procedure understanding and implementation.
Other staff members, including those responsible for training and oversight of operators, also displayed a lack of knowledge associated with these procedures. This was indicative of a pervasive deficiency in the level of knowledge and proficiency associated with these procedures. 


3
: 2. During additional training provided to address the concerns of the inspectors, questions and discussions between the operators showed a clear lack of knowledge of the basics of the procedures and their implementation.
: 3. After the additional training was completed, the crew observed by the inspectors was also unable to satisfactorily implement the time critical actions of the procedure.
: 4. The failure of the crew to implement the time critical actions was not identified by the training and operations staff observing the scenario until the NRC inspectors raised the issue with the staff. The crew received remedial training and successfully completed the time critical actions during a second attempt at the scenario Both crews observed by inspectors demonstrated having significant issues in procedure understanding and implementation.
Other staff members, including those responsible for training and oversight of operators, also displayed a lack of knowledge associated with these procedures. This was indicative of a pervasive deficiency in the level of knowledge and proficiency associated with these procedures.
The observed operator level of knowledge and proficiency issues were determined to most likely be the current norm of capability for the operators and was even less capable when the procedures were issued, based on the following:
The observed operator level of knowledge and proficiency issues were determined to most likely be the current norm of capability for the operators and was even less capable when the procedures were issued, based on the following:
* A review of the training provided prior to the implementation of the new procedures was negligible.
* A review of the training provided prior to the implementation of the new procedures was negligible.
Line 148: Line 86:
* Operators and supervisors exhibited knowledge deficiencies during interviews and discussions with inspectors.
* Operators and supervisors exhibited knowledge deficiencies during interviews and discussions with inspectors.
* The integration of EOI/AOI procedures with SSIs is a new method of procedure implementation for the site.
* The integration of EOI/AOI procedures with SSIs is a new method of procedure implementation for the site.
It was concluded that based on the inspection findings that there is a very high probability the majority of the operators had unacceptable levels of knowledge and proficiency associated with the new SSIs when the new procedures were implemented. This would be consistent with the significance of a WHITE finding as determined in Appendix I for >40% demonstration deficiencies in operator level of knowledge & abilities.
It was concluded that based on the inspection findings that there is a very high probability the majority of the operators had unacceptable levels of knowledge and proficiency associated with the new SSIs when the new procedures were implemented. This would be consistent with the significance of a WHITE finding as determined in Appendix I for >40% demonstration deficiencies in operator level of knowledge & abilities.
 
Enclosure
4  Enclosure Defense-in-Depth affected? Yes The term "defense in depth" is commonly associated with the maintenance of the integrity and independence of the three fission product barriers. In addition, redundant and diverse safety systems, including trained licensed operators conducting operations in accordance with approved station procedures that were developed under an approved quality control program are integral to maintaining a "defense in depth."
This performance deficiency revealed operational weaknesses in the training and level of knowledge of licensed plant operators which had the potential to erode the defense in depth of the plant's safety. The operating crew plays a vital role in the maintenance of "defense in depth" from the perspective that they implement the procedures that contain the predetermined strategies to mitigate plant events and ensure the plant safety. Human errors due to a lack of knowledge of the strategies and procedures can lead to consequences that have the potential to compromise plant safety. Performance
 
Deficiency effect on the Safety Margin maintained?
No This performance deficiency had the potential to adversely affect the margin of safety but was not associated with an actual event. 
 
The extent the
 
performance
 
deficiency affects other equipment. Yes Because this issue is rooted partially in the ineffectiveness of the training program to identify the training needs and knowledge requirements of operators, it has the potential to affect the overall level of knowledge of the entire operations staff without detection until an actual event that requires a missing skill or piece of knowledge is required.
Degree of
 
degradation of
 
failed or
 
unavailable
 
component. N/A N/A 
 
Period of time (exposure
 
time) effect on
 
the performance deficiency. Yes The exposure period is relatively short ~150 days - therefore increased risk above the lower bound of White is unlikely through other risk analysis. But the exposure time would be greatly reduced had the licensee taken the correct actions when the issue was identified and entered into their CAP.
 
Enclosure The likelihood that the licensee's
 
recovery actions would successfully
 
mitigate the performance deficiency. No "Recovery Actions" are expected to be rooted in training operators about these specific procedures. But this issue spans multiple site departments and TVA corporate offices, and actions to mitigate future occurrences are not yet fully identified or implemented.
Additional
 
qualitative circumstances associated
 
with the finding that
 
regional management should consider in the


evaluation
4 Defense-in-    Yes The term defense in depth is commonly associated with the Depth              maintenance of the integrity and independence of the three fission affected?          product barriers. In addition, redundant and diverse safety systems, including trained licensed operators conducting operations in accordance with approved station procedures that were developed under an approved quality control program are integral to maintaining a defense in depth.
This performance deficiency revealed operational weaknesses in the training and level of knowledge of licensed plant operators which had the potential to erode the defense in depth of the plants safety. The operating crew plays a vital role in the maintenance of defense in depth from the perspective that they implement the procedures that contain the predetermined strategies to mitigate plant events and ensure the plant safety. Human errors due to a lack of knowledge of the strategies and procedures can lead to consequences that have the potential to compromise plant safety.
Performance    No  This performance deficiency had the potential to adversely affect Deficiency          the margin of safety but was not associated with an actual event.
effect on the Safety Margin maintained?
The extent the  Yes Because this issue is rooted partially in the ineffectiveness of the performance        training program to identify the training needs and knowledge deficiency          requirements of operators, it has the potential to affect the overall affects other      level of knowledge of the entire operations staff without detection equipment.          until an actual event that requires a missing skill or piece of knowledge is required.
Degree of      N/A N/A degradation of failed or unavailable component.
Period of time  Yes The exposure period is relatively short ~150 days - therefore (exposure          increased risk above the lower bound of White is unlikely through time) effect on    other risk analysis. But the exposure time would be greatly the                reduced had the licensee taken the correct actions when the issue performance        was identified and entered into their CAP.
deficiency.
Enclosure


process. Yes
5 The likelihood  No  Recovery Actions are expected to be rooted in training operators that the            about these specific procedures. But this issue spans multiple site licensee's          departments and TVA corporate offices, and actions to mitigate recovery            future occurrences are not yet fully identified or implemented.
* Multiple layers of procedure requirements were improperly implemented or ignored.
actions would successfully mitigate the performance deficiency.
* Decisions were made outside of established procedures to allow this condition to exist.
Additional      Yes
* TVA missed multiple additional opportunities to identify and prevent this finding. 1. Licensee failed to perform a systematic analysis of the new job requirements contained in the SSI's in accordance with the systems approach to training. 2. The underlying issue associated with the level of training provided was identified and conveyed to the licensee by an NRC inspector 2 months prior to this inspection. Yet when the issue was discussed with the Training Manager he did not know such an NRC observation was in the CAP.}}
* Multiple layers of procedure requirements were improperly qualitative            implemented or ignored.
circumstances
* Decisions were made outside of established procedures to associated              allow this condition to exist.
with the
* TVA missed multiple additional opportunities to identify and finding that            prevent this finding.
regional                1. Licensee failed to perform a systematic analysis of the new management                  job requirements contained in the SSIs in accordance with should                      the systems approach to training.
consider in the        2. The underlying issue associated with the level of training evaluation                  provided was identified and conveyed to the licensee by an process.                    NRC inspector 2 months prior to this inspection. Yet when the issue was discussed with the Training Manager he did not know such an NRC observation was in the CAP.
Enclosure}}

Latest revision as of 01:41, 12 November 2019

Choice Letter 2012012, Preliminary White Finding
ML12174A286
Person / Time
Site: Browns Ferry  Tennessee Valley Authority icon.png
Issue date: 06/22/2012
From: Croteau R
Division Reactor Projects II
To: James Shea
Tennessee Valley Authority
References
EA-12-133, IR-12-012
Download: ML12174A286 (10)


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UNITED STATES NUCLEAR REGULATORY COMMISSION REGION II 245 PEACHTREE CENTER AVENUE NE, SUITE 1200 ATLANTA, GEORGIA 30303-1257 June 22, 2012 EA-12-133 Mr. J.W. Shea Manager, Corporate Nuclear Licensing Tennessee Valley Authority 1101 Market Street, LP 4B-C Chattanooga, TN 37402-2801

SUBJECT:

NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT

Dear Mr. Shea:

This letter discusses one finding preliminarily determined to be White, that is, a finding of low to moderate increased safety significance that may require additional NRC inspections. The finding involved the failure to adequately accomplish the requirements contained in procedure NPG-SPP-09.3 Plant Modifications and Engineering Change Control which required that an evaluation of training needs be completed to support implementation of Design Change Notice (DCN) 69957. Specifically, on September 13, 2011, Procedures 0-SSI-25-1,-2,-3, and -26, Safe Shutdown Instructions, were issued in support of DCN 69957 without adequately performing an evaluation of training needs. As a result, the systems approach to training was not properly implemented and the procedures could not be satisfactorily performed by plant operators and staff.

This finding was assessed based on the best available information, using the applicable Significance Determination Process (SDP) and was determined utilizing Inspection Manual Chapter 0609, Appendix M, Significance Determination Process Using Qualitative Criteria.

The final resolution of this finding will be conveyed in separate correspondence.

Following the initial review of this matter using preliminary quantitative analysis, Appendix M was used considering the uncertainties in the bounding analysis and the insights from the qualitative review. There is a lack of quantitative data and probabilistic risk assessment tools to accurately assess the risk significance of the performance deficiency in a timely manner.

Specifically, the failure to adequately identify and perform required training for implementation of procedures for combating plant fire events affected the licensees ability to respond to a plant fire. Based on the qualitative and quantitative analyses, this NRC identified finding has preliminarily been determined to have low to moderate safety significance (White).

J. Shea 2 The finding is also an apparent violation (AV) of 10 CFR 50, Appendix B, Criterion V, "Instructions, Procedures, and Drawings," and was documented as Apparent Violation 05000259, 260, 296/2012-007-05, Failure to Properly Implement the Requirements of the Plant Modifications and Engineering Change Control Procedure, in NRC Inspection Report (IR) 05000259,260,296/2012007 (ML12150A219). This AV is being considered for escalated enforcement action in accordance with the Enforcement Policy, which can be found on the NRCs Web site at http://www.nrc.gov/about-nrc/regulatory/enforcement/enforce-pol.html.

In accordance with NRC Inspection Manual Chapter (IMC) 0609, we intend to complete our evaluation using the best available information and issue our final determination of safety significance within 90 days of the date of the referenced report. The significance determination process encourages an open dialogue between the NRC staff and the licensee; however, the dialogue should not impact the timeliness of the staffs final determination.

Before we make a final decision on this matter, we are providing you with an opportunity (1) to attend a Regulatory Conference where you can present to the NRC your perspective on the facts and assumptions the NRC used to arrive at the finding and assess its significance, or (2) submit your position on the finding to the NRC in writing. If you request a Regulatory Conference, it should be held within 30 days of the receipt of this letter and we encourage you to submit supporting documentation at least one week prior to the conference in an effort to make the conference more efficient and effective. If a Regulatory Conference is held, it will be open for public observation. If you decide to submit only a written response, such submittal should be sent to the NRC within 30 days of your receipt of this letter. If you decline to request a Regulatory Conference or submit a written response, you relinquish your right to appeal the final SDP determination, in that by not doing either, you fail to meet the appeal requirements stated in the Prerequisite and Limitation sections of Attachment 2 of IMC 0609.

Please contact Eugene Guthrie at 404-997-4662 and in writing within 10 days from the issue date of this letter to notify the NRC of your intentions. If we have not heard from you within 10 days, we will continue with our significance determination and enforcement decision.

Because the NRC has not made a final determination in this matter, no Notice of Violation is being issued for these inspection findings at this time. In addition, please be advised that the number and characterization of the apparent violation described in the referenced inspection report may change as a result of further NRC review.

J. Shea 3 In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and the Enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html.

Sincerely,

/RA/

Richard P. Croteau, Director Division of Reactor Projects Docket Nos.: 50-259, 50-260, 50-296 License Nos.: DPR-33, DPR-52, DPR-68

Enclosures:

Appendix M Significance Determination Process Using Qualitative Criteria - Table 4.1 cc w/encl: (See page 4)

J. Shea 4 cc w/encl: James L. McNees, CHP K. J. Polson Director Site Vice President Office of Radiation Control Browns Ferry Nuclear Plant Alabama Dept. of Public Health Tennessee Valley Authority P. O. Box 303017 Electronic Mail Distribution Montgomery, AL 36130-3017 C.J. Gannon General Manager Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution James E. Emens Manager, Licensing Browns Ferry Nuclear Plant Tennessee Valley Authority Electronic Mail Distribution Manager, Corporate Nuclear Licensing -

BFN Tennessee Valley Authority Electronic Mail Distribution Edward J. Vigluicci Assistant General Counsel Tennessee Valley Authority Electronic Mail Distribution T. A. Hess Tennessee Valley Authority Electronic Mail Distribution Chairman Limestone County Commission 310 West Washington Street Athens, AL 35611 Donald E. Williamson State Health Officer Alabama Dept. of Public Health RSA Tower - Administration Suite 1552 P.O. Box 30317 Montgomery, AL 36130-3017

J. Shea 5 Letter to Joseph W. Shea from Eugene Guthrie dated June 22, 2012

SUBJECT:

NRC REPORT 05000259/2012012, 05000260/2012012, AND 05000296/2012012; PRELIMINARY WHITE FINDING AT BROWNS FERRY NUCLEAR PLANT Distribution w/encl:

C. Evans, RII L. Douglas, RII OE Mail RIDSNRRDIRS PUBLIC RidsNrrPMBrownsFerry Resource

APPENDIX M SIGNIFICANCE DETERMINATION PROCESS USING QUALITATIVE CRITERIA TABLE 4.1 Qualitative Decision-Making Attributes for NRC Management Review Although the Quantitative Risk-Informed SDP is the preferred path for determining the significance of findings in the Reactor Oversight Process, in this case Appendix M was used because the existing guidance is not adequate to provide a reasonable estimate of the significance. The NRC has made a qualitative determination of the significance by focusing on the 8 attributes in the table below.

The significance of the finding is driven by the potential consequences of operators not properly implementing procedures to combat plant fire events. Proper implementation of the SSIs, including integration with the implementation of other plant procedures, is required during major fire events to ensure proper operator actions are taken to; 1) place all 3 Units into a safe condition; 2) prevent negative effects of spurious equipment operation; and 3) protect designated safe shutdown equipment and its associated power supplies from any fire related damage, in order to ensure safe shutdown and prevent core damage. The success of these procedures is heavily dependent on the knowledge, skills and abilities of the operators responsible for procedure implementation, and the proper evaluation and implementation of operator training is essential to the knowledge, skills and abilities of the operators.

Based on the magnitude of the ignition sources and because fire is a significant contributor to the overall plant risk, the judgment of the SRA is that this performance deficiency is greater than green. Appendix I, Licensed Operator Requalification SDP, of IMC-609 was used to risk inform the Appendix M evaluation and help bound the significance of the finding. The performance deficiency is of Low to Moderate Safety Significance (White), based on a qualitative assessment of Appendix M attributes.

Decision Applicable Basis for Input to Decision - Provide qualitative and/or Attribute to quantitative information for management review and decision Decision? making.

Finding can YES In an effort to evaluate the significance in a timely manner, the be bounded guidance found in IP 71111.11, Licensed Operator Requalification using Program for evaluating crew performance during the simulator qualitative portion of the annual operating test and the criteria found in and/or Appendix I, Licensed Operator Requalification Significance quantitative Determination Process (SDP), of MC-609 was used to bound the information? significance of the finding.

This guidance establishes a bounding significance to similar scenarios based on the criteria found in Appendix I. Appendix I states that a failure of more than 40% of the crews on the simulator portion of the operating test indicates significant deficiencies in operator knowledge and would result in a White SDP determination. This is derived from the concept that deficiencies in the level of knowledge and abilities of licensed operators can have a direct impact on the risk and safety of a plant.

Enclosure

2 Decision Applicable Basis for Input to Decision - Provide qualitative and/or Attribute to quantitative information for management review and decision Decision? making.

To assess the extent of the level of knowledge of the operators and how that potentially affected the overall risk and safety of the plant at the time of the violation (when the procedures were issued), the following was taken into consideration:

1. 5 months after the procedures were issued, operators exhibited a significant lack of knowledge of, and demonstrated an inability to implement, the new SSIs as indicated by the following observations during a simulator training scenario:
  • The crew was not able to perform required time critical actions as prescribed in the SSIs.
  • One crew member did not understand that the TBD identifiers listed before each step cross-referenced specific technical basis for the actions contained in the step.
  • Several of the crew members needed to be instructed on the location of the technical bases for the procedure.
  • The crew was coached to postpone entering the EOIs when valid entry conditions existed until all ten-minute SSI actions were completed. However, this implementation strategy was not described in the new SSIs and was never addressed during the previous operator training; in fact, previous training directed the operators to enter the EOIs when entry conditions were met.

The crew was coached to not take manual control of the MSRVs. However, during a subsequent simulator observation, the inspectors were informed that the operators were being given inappropriate instruction and taking manual control of reactor pressure was the appropriate action.

  • The simulator exercise terminated at the point where the SSI ten-minute actions were completed and were never exposed to conditions where integration with procedural actions outside the SSIs would occur, even though this was the major difference in implementation strategy between the new SSIs and the existing SSI procedures.
  • A training evaluation had never been performed to determine the scope and objectives of the training scenarios to ensure operators received appropriate levels of training.

Enclosure

3

2. During additional training provided to address the concerns of the inspectors, questions and discussions between the operators showed a clear lack of knowledge of the basics of the procedures and their implementation.
3. After the additional training was completed, the crew observed by the inspectors was also unable to satisfactorily implement the time critical actions of the procedure.
4. The failure of the crew to implement the time critical actions was not identified by the training and operations staff observing the scenario until the NRC inspectors raised the issue with the staff. The crew received remedial training and successfully completed the time critical actions during a second attempt at the scenario Both crews observed by inspectors demonstrated having significant issues in procedure understanding and implementation.

Other staff members, including those responsible for training and oversight of operators, also displayed a lack of knowledge associated with these procedures. This was indicative of a pervasive deficiency in the level of knowledge and proficiency associated with these procedures.

The observed operator level of knowledge and proficiency issues were determined to most likely be the current norm of capability for the operators and was even less capable when the procedures were issued, based on the following:

  • A review of the training provided prior to the implementation of the new procedures was negligible.
  • No simulator training was provided to operators until the LOR Cycle 1 training, which began on January 30, 2012 (approx 4.5 months after procedure issuance.)
  • The staff responsible for training the operators were discovered to have knowledge deficiencies and were providing negative training to operators.
  • Operators and supervisors exhibited knowledge deficiencies during interviews and discussions with inspectors.
  • The integration of EOI/AOI procedures with SSIs is a new method of procedure implementation for the site.

It was concluded that based on the inspection findings that there is a very high probability the majority of the operators had unacceptable levels of knowledge and proficiency associated with the new SSIs when the new procedures were implemented. This would be consistent with the significance of a WHITE finding as determined in Appendix I for >40% demonstration deficiencies in operator level of knowledge & abilities.

Enclosure

4 Defense-in- Yes The term defense in depth is commonly associated with the Depth maintenance of the integrity and independence of the three fission affected? product barriers. In addition, redundant and diverse safety systems, including trained licensed operators conducting operations in accordance with approved station procedures that were developed under an approved quality control program are integral to maintaining a defense in depth.

This performance deficiency revealed operational weaknesses in the training and level of knowledge of licensed plant operators which had the potential to erode the defense in depth of the plants safety. The operating crew plays a vital role in the maintenance of defense in depth from the perspective that they implement the procedures that contain the predetermined strategies to mitigate plant events and ensure the plant safety. Human errors due to a lack of knowledge of the strategies and procedures can lead to consequences that have the potential to compromise plant safety.

Performance No This performance deficiency had the potential to adversely affect Deficiency the margin of safety but was not associated with an actual event.

effect on the Safety Margin maintained?

The extent the Yes Because this issue is rooted partially in the ineffectiveness of the performance training program to identify the training needs and knowledge deficiency requirements of operators, it has the potential to affect the overall affects other level of knowledge of the entire operations staff without detection equipment. until an actual event that requires a missing skill or piece of knowledge is required.

Degree of N/A N/A degradation of failed or unavailable component.

Period of time Yes The exposure period is relatively short ~150 days - therefore (exposure increased risk above the lower bound of White is unlikely through time) effect on other risk analysis. But the exposure time would be greatly the reduced had the licensee taken the correct actions when the issue performance was identified and entered into their CAP.

deficiency.

Enclosure

5 The likelihood No Recovery Actions are expected to be rooted in training operators that the about these specific procedures. But this issue spans multiple site licensee's departments and TVA corporate offices, and actions to mitigate recovery future occurrences are not yet fully identified or implemented.

actions would successfully mitigate the performance deficiency.

Additional Yes

  • Multiple layers of procedure requirements were improperly qualitative implemented or ignored.

circumstances

  • Decisions were made outside of established procedures to associated allow this condition to exist.

with the

  • TVA missed multiple additional opportunities to identify and finding that prevent this finding.

regional 1. Licensee failed to perform a systematic analysis of the new management job requirements contained in the SSIs in accordance with should the systems approach to training.

consider in the 2. The underlying issue associated with the level of training evaluation provided was identified and conveyed to the licensee by an process. NRC inspector 2 months prior to this inspection. Yet when the issue was discussed with the Training Manager he did not know such an NRC observation was in the CAP.

Enclosure