ML20005E160: Difference between revisions

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| contact person =  
| contact person =  
| document report number = 89-844A, NUDOCS 9001040005
| document report number = 89-844A, NUDOCS 9001040005
| document type = REPORTABLE OCCURRENCE REPORT (SEE ALSO AO,LER), TEXT-SAFETY REPORT
| document type = REPORTABLE OCCURRENCE REPORT (SEE ALSO AO LER), TEXT-SAFETY REPORT
| page count = 2
| page count = 2
}}
}}


=Text=
=Text=
{{#Wiki_filter:t,                                                                     .e 4             )k x,;           Lo;
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              ,.-                            VIkGINIA ELECTRIC AND PowEn COMPANT RICHMOND, VIRGINIA 23261 December 22, 1989 U.S. Nuclear Regulatory Commission                               Serial No. 89 844A Attention: Document Control Desk                                 NO/DEQ/deq Washington, D.C. 20555                                           Docket Nos. 50-338 50 339' License Nos. NPF-4 NPF                       Gentlemen:
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VIRGINIA ELECTRIC AND POWER COMPANY NORTH ANNA POWER STATION UNITS 1 AND 2 SUPPLEMENTAL INFORMATION AND SPECIAL REPORT KAP RI-G d-178 and RI-VG-179 By letter dated December 11,1989 (Serial No. 89-844), Virginia Electric and Power
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                    - Company submitted a Special Report to the NRC, pursuant to Technical Specification 6.9.2, concerning the operability status of the Kaman Process Vent Radiation Monitor, RI-GW-178. s in this report, we identified the heat trace system _on the sample lines as
Lo; VIkGINIA ELECTRIC AND PowEn COMPANT RICHMOND, VIRGINIA 23261 December 22, 1989 U.S. Nuclear Regulatory Commission Serial No.
                    - being the cause for the inoperability. We also indicated that corrective measures were scheduled to be complete and radiation monitor RI-GW-178 returned to service by :
89 844A Attention: Document Control Desk NO/DEQ/deq Washington, D.C. 20555 Docket Nos.
50-338 50 339' License Nos. NPF-4 NPF Gentlemen:
VIRGINIA ELECTRIC AND POWER COMPANY NORTH ANNA POWER STATION UNITS 1 AND 2 SUPPLEMENTAL INFORMATION AND SPECIAL REPORT KAP RI-G d-178 and RI-VG-179 By {{letter dated|date=December 11, 1989|text=letter dated December 11,1989}} (Serial No. 89-844), Virginia Electric and Power
- Company submitted a Special Report to the NRC, pursuant to Technical Specification 6.9.2, concerning the operability status of the Kaman Process Vent Radiation Monitor, RI-GW-178. s in this report, we identified the heat trace system _on the sample lines as
- being the cause for the inoperability. We also indicated that corrective measures were scheduled to be complete and radiation monitor RI-GW-178 returned to service by :
December 22,1989.
December 22,1989.
As part of the corrective measutes, the radiation monitor check source was replaced.
As part of the corrective measutes, the radiation monitor check source was replaced.
However, in preparation for the repairs to the heat trace system on the sample lines, a document review revealed that Radiation Monitor RI GW-178 is considered a Regulatory Guide 1.97 Category 2 variable. As such,' the monitor should have a reliable power supply and be included in the Environmental Qualitication Program if it is located in a harsh environment. The radiation monitor is not locatedin a harsh environment. However, the review identified that the radiation monitor does not have a reliable power supply and that heat trace system for RI-GW-178 is located !n a harsh environment and should be environmentally qualified. As a result, a Justification for Continued Operation was written and an Engineering Work Request (EWR) was generated and approved to provide the radiation monitor with a rsliable power supply and environmentally qualify the heat trace system. Therefore, based on the revised scope of this project and current engineering and procurement schedules, RI-GW-178 should be returned to service by January 31,1990.
However, in preparation for the repairs to the heat trace system on the sample lines, a document review revealed that Radiation Monitor RI GW-178 is considered a Regulatory Guide 1.97 Category 2 variable. As such,' the monitor should have a reliable power supply and be included in the Environmental Qualitication Program if it is located in a harsh environment. The radiation monitor is not locatedin a harsh environment. However, the review identified that the radiation monitor does not have a reliable power supply and that heat trace system for RI-GW-178 is located !n a harsh environment and should be environmentally qualified. As a result, a Justification for Continued Operation was written and an Engineering Work Request (EWR) was generated and approved to provide the radiation monitor with a rsliable power supply and environmentally qualify the heat trace system. Therefore, based on the revised scope of this project and current engineering and procurement schedules, RI-GW-178 should be returned to service by January 31,1990.
                      - At 1336 hours on December 18,1989, with Unit 1 in Cold Shutdown (Mode 5) and Unit 2 at 100 percent power (Mode 1), operations personnel performing their periodic walkdowns identified the heat trace system for Kaman Vent Stack "A" Radiation Monitor RI VG-179 as being inoperable. RI VG-179 was removed from service and the
- At 1336 hours on December 18,1989, with Unit 1 in Cold Shutdown (Mode 5) and Unit 2 at 100 percent power (Mode 1), operations personnel performing their periodic walkdowns identified the heat trace system for Kaman Vent Stack "A" Radiation Monitor RI VG-179 as being inoperable. RI VG-179 was removed from service and the
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- <;: e Action Statement of Technical Specification 3.3.3.1 was entered. The heat trace
,                  Action Statement of Technical Specification 3.3.3.1 was entered. The heat trace             =!
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system for RI-VG 179 is not required to be environmentally qualified er,d the radiation     i monitor has a reliable power supply. However, the Vendor's Technice! Mepresentative
system for RI-VG 179 is not required to be environmentally qualified er,d the radiation i
                  . was contracted to evaluate the best method to fix the heat trace system on RI-VG-179.
monitor has a reliable power supply. However, the Vendor's Technice! Mepresentative
5                   As a result of the evaluation, the heat trace system for RI-VG 179 will be replaced with r
. was contracted to evaluate the best method to fix the heat trace system on RI-VG-179.
5 As a result of the evaluation, the heat trace system for RI-VG 179 will be replaced with r
an new heat trace system that will provide increased reliability. Based on current engineering and procurement schedules, RI-VG 179 is scheduled to be repaired and returned to service by. January 31, 1990.. Since the Action Statement of Technical Specification 3.3.3.1 requires that the radiation monitor be returned to operable status within.7 days or submit a Special Report within 14 days of the event, this event is reportable pursuant to Technical Specification 6.9.2.
an new heat trace system that will provide increased reliability. Based on current engineering and procurement schedules, RI-VG 179 is scheduled to be repaired and returned to service by. January 31, 1990.. Since the Action Statement of Technical Specification 3.3.3.1 requires that the radiation monitor be returned to operable status within.7 days or submit a Special Report within 14 days of the event, this event is reportable pursuant to Technical Specification 6.9.2.
1 This event will not posed any significant safety implications because the preplanned alternate method of monitoring was established within 72 hours as required by the         -!
1 This event will not posed any significant safety implications because the preplanned alternate method of monitoring was established within 72 hours as required by the Technical Specifications. The Westinghouse Vent Stack "A" Radiation Monitors, which provide high radiation Indication to the Control Room via a strip chart recorded,.
Technical Specifications. The Westinghouse Vent Stack "A" Radiation Monitors, which a
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provide high radiation Indication to the Control Room via a strip chart recorded,.           1 L                   common alarm, alarm lights, and the gaseous and particulate meters, remained operable throughout this. event. Additionally, the Nuclear Research Corporation Radiation Monitors continued to operate throughout this event as the Technical Specification required preplanned alternate monitoring method on the "A" Vent Stack.
L common alarm, alarm lights, and the gaseous and particulate meters, remained operable throughout this. event. Additionally, the Nuclear Research Corporation Radiation Monitors continued to operate throughout this event as the Technical Specification required preplanned alternate monitoring method on the "A" Vent Stack.
Additionally, the heat trace system on Kaman Process Vent Stack "B" Radiation                 i Monitor RI-VG-180 will be evaluated and repairs or modifications implemented as r                     necessary. If modifications to RI-VG 180 are necessary, and the radiation monitor is L
Additionally, the heat trace system on Kaman Process Vent Stack "B" Radiation i
removed from service greater that 7 days, a separate Special Report will be submitted pursuant to Technical Specification 6.9.2.
Monitor RI-VG-180 will be evaluated and repairs or modifications implemented as r
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necessary. If modifications to RI-VG 180 are necessary, and the radiation monitor is removed from service greater that 7 days, a separate Special Report will be submitted L
Very truly yAurs[/h I                         ,
pursuant to Technical Specification 6.9.2.
E 6                     W. L. Stewart
Very truly yAurs[/h A
,                    Senior Vice President - Nuclear E                     cc:                  U.S. Nuclear Regulatoy Commission Region ll 101 Marietta Street, N.W.
7 I
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W. L. Stewart Senior Vice President - Nuclear E
U.S. Nuclear Regulatoy Commission cc:
Region ll 101 Marietta Street, N.W.
Suite 2900 Atlanta, Georgia 30323 Mr. J. L. Caldwell P
Suite 2900 Atlanta, Georgia 30323 Mr. J. L. Caldwell P
NRC Senior Resident inspector North Anna Power Station M'
NRC Senior Resident inspector North Anna Power Station M'
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=                                                                                                                       '}}
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Latest revision as of 08:45, 23 December 2024

Special Rept:On 891218,heat Trace Sys for Kaman Vent Stack a Radiation Monitor RI-VG-179 Declared Inoperable.Sys Removed from Svc & Tech Spec 3.3.3.1 Action Statememt Entered.Sys Will Be Repaired & Returned to Svc by 900130
ML20005E160
Person / Time
Site: North Anna  Dominion icon.png
Issue date: 12/22/1989
From: Stewart W
VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
89-844A, NUDOCS 9001040005
Download: ML20005E160 (2)


Text

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Lo; VIkGINIA ELECTRIC AND PowEn COMPANT RICHMOND, VIRGINIA 23261 December 22, 1989 U.S. Nuclear Regulatory Commission Serial No.

89 844A Attention: Document Control Desk NO/DEQ/deq Washington, D.C. 20555 Docket Nos.

50-338 50 339' License Nos. NPF-4 NPF Gentlemen:

VIRGINIA ELECTRIC AND POWER COMPANY NORTH ANNA POWER STATION UNITS 1 AND 2 SUPPLEMENTAL INFORMATION AND SPECIAL REPORT KAP RI-G d-178 and RI-VG-179 By letter dated December 11,1989 (Serial No.89-844), Virginia Electric and Power

- Company submitted a Special Report to the NRC, pursuant to Technical Specification 6.9.2, concerning the operability status of the Kaman Process Vent Radiation Monitor, RI-GW-178. s in this report, we identified the heat trace system _on the sample lines as

- being the cause for the inoperability. We also indicated that corrective measures were scheduled to be complete and radiation monitor RI-GW-178 returned to service by :

December 22,1989.

As part of the corrective measutes, the radiation monitor check source was replaced.

However, in preparation for the repairs to the heat trace system on the sample lines, a document review revealed that Radiation Monitor RI GW-178 is considered a Regulatory Guide 1.97 Category 2 variable. As such,' the monitor should have a reliable power supply and be included in the Environmental Qualitication Program if it is located in a harsh environment. The radiation monitor is not locatedin a harsh environment. However, the review identified that the radiation monitor does not have a reliable power supply and that heat trace system for RI-GW-178 is located !n a harsh environment and should be environmentally qualified. As a result, a Justification for Continued Operation was written and an Engineering Work Request (EWR) was generated and approved to provide the radiation monitor with a rsliable power supply and environmentally qualify the heat trace system. Therefore, based on the revised scope of this project and current engineering and procurement schedules, RI-GW-178 should be returned to service by January 31,1990.

- At 1336 hours0.0155 days <br />0.371 hours <br />0.00221 weeks <br />5.08348e-4 months <br /> on December 18,1989, with Unit 1 in Cold Shutdown (Mode 5) and Unit 2 at 100 percent power (Mode 1), operations personnel performing their periodic walkdowns identified the heat trace system for Kaman Vent Stack "A" Radiation Monitor RI VG-179 as being inoperable. RI VG-179 was removed from service and the

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- <;: e Action Statement of Technical Specification 3.3.3.1 was entered. The heat trace

=!

system for RI-VG 179 is not required to be environmentally qualified er,d the radiation i

monitor has a reliable power supply. However, the Vendor's Technice! Mepresentative

. was contracted to evaluate the best method to fix the heat trace system on RI-VG-179.

5 As a result of the evaluation, the heat trace system for RI-VG 179 will be replaced with r

an new heat trace system that will provide increased reliability. Based on current engineering and procurement schedules, RI-VG 179 is scheduled to be repaired and returned to service by. January 31, 1990.. Since the Action Statement of Technical Specification 3.3.3.1 requires that the radiation monitor be returned to operable status within.7 days or submit a Special Report within 14 days of the event, this event is reportable pursuant to Technical Specification 6.9.2.

1 This event will not posed any significant safety implications because the preplanned alternate method of monitoring was established within 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> as required by the Technical Specifications. The Westinghouse Vent Stack "A" Radiation Monitors, which provide high radiation Indication to the Control Room via a strip chart recorded,.

a 1

L common alarm, alarm lights, and the gaseous and particulate meters, remained operable throughout this. event. Additionally, the Nuclear Research Corporation Radiation Monitors continued to operate throughout this event as the Technical Specification required preplanned alternate monitoring method on the "A" Vent Stack.

Additionally, the heat trace system on Kaman Process Vent Stack "B" Radiation i

Monitor RI-VG-180 will be evaluated and repairs or modifications implemented as r

necessary. If modifications to RI-VG 180 are necessary, and the radiation monitor is removed from service greater that 7 days, a separate Special Report will be submitted L

pursuant to Technical Specification 6.9.2.

Very truly yAurs[/h A

7 I

E 6

W. L. Stewart Senior Vice President - Nuclear E

U.S. Nuclear Regulatoy Commission cc:

Region ll 101 Marietta Street, N.W.

Suite 2900 Atlanta, Georgia 30323 Mr. J. L. Caldwell P

NRC Senior Resident inspector North Anna Power Station M'

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