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Appendix A i-NOTICE OF VIOLATION                                     i Wisconsin Electric Power Company                                         Docket No. 50-266 Point Beach Nuclear Plant                                                 Docket No. 50-301   l As a result of the inspection conducted on May 6-9, 1985 and in accordance with
Appendix A i-NOTICE OF VIOLATION i
                .the General Policy and Procedures for NRC Enforcement Actions, (10 CFR Part 2,                   l Appendix C), the following violation was identified:
Wisconsin Electric Power Company Docket No. 50-266 Point Beach Nuclear Plant Docket No. 50-301 As a result of the inspection conducted on May 6-9, 1985 and in accordance with
10_ CFR 50.54(q) requires that nuclear power reactor licensees follow and maintain in effect emergency' plans which meet the requirements of Appendix E
.the General Policy and Procedures for NRC Enforcement Actions, (10 CFR Part 2, Appendix C), the following violation was identified:
              ~
10_ CFR 50.54(q) requires that nuclear power reactor licensees follow and maintain in effect emergency' plans which meet the requirements of Appendix E to 10 CFR Part 50 and the planning standards.of 50.47(b).
to 10 CFR Part 50 and the planning standards.of 50.47(b). Section IV.B of Appendix E requires that a licenste's emergency plans shall include information to-demonstrate compliance with the following:                           '
Section IV.B of
~
Appendix E requires that a licenste's emergency plans shall include information to-demonstrate compliance with the following:
The means' for determining the magnitude and for continually assessing the impact of the release of radioactive material shall be described, including emergency action levels that are to be used as criteria for notification and participation of _ local and State agencies, the Commission, a'nd other Federal agencies, and the emergency action levels that are to be used fo'r determining when and what type of protective measures should be considered within and-
The means' for determining the magnitude and for continually assessing the impact of the release of radioactive material shall be described, including emergency action levels that are to be used as criteria for notification and participation of _ local and State agencies, the Commission, a'nd other Federal agencies, and the emergency action levels that are to be used fo'r determining when and what type of protective measures should be considered within and-
                .outside the site boundary to protect health and safety.
.outside the site boundary to protect health and safety.
Section 5.0 of Chapter 6.0 of the Point Beach Nuclear Plant Emergency Plan
Section 5.0 of Chapter 6.0 of the Point Beach Nuclear Plant Emergency Plan states in part that recommendations for offsite protective actions will be made only by the Emergency Support Manager, but that the Shift Superintendent will have the' responsibility and authority of the Emergency Support Manager at the beginning of an emergency evolution.
-                  states in part that recommendations for offsite protective actions will be made only by the Emergency Support Manager, but that the Shift Superintendent will have the' responsibility and authority of the Emergency Support Manager at the beginning of an emergency evolution.
Contrary to the above, Shift Superintendents, who have the initial respon-sibility and authority of the Emergency Support Manager to make offsite protection action. recommendations, were incapable of determining when and what type of protective measures should be considered outside the site boundary _ to protect public: health and safety.
Contrary to the above, Shift Superintendents, who have the initial respon-sibility and authority of the Emergency Support Manager to make offsite protection action. recommendations, were incapable of determining when and what type of protective measures should be considered outside the site boundary _ to protect public: health and safety.
This is'a Severity Level IV violation (Supplement VIII).
This is'a Severity Level IV violation (Supplement VIII).
o            -Pursuant to the provisions of 10 CFR 2.201, you are required to submit to this office within thirty days of the date of this Notice a written statement or
-Pursuant to the provisions of 10 CFR 2.201, you are required to submit to this o
                  -explanation in reply, including for each item of noncompliance: (1) corrective
office within thirty days of the date of this Notice a written statement or
    ,              action taken and the results achieved;-(2) corrective action to be taken to avoid further noncompliance; and (3) the date when full compliance will be achieved. Consideration may be given to extending your response time for good 4
-explanation in reply, including for each item of noncompliance:
cause shown.
(1) corrective action taken and the results achieved;-(2) corrective action to be taken to avoid further noncompliance; and (3) the date when full compliance will be achieved.
46 Dated' es&A C. J. Papyriello, Chief Emergency Preparedness and Radiological Protection Branch DR
Consideration may be given to extending your response time for good cause shown.
4 46 es&A Dated' C. J. Papyriello, Chief Emergency Preparedness and Radiological Protection Branch
[
[
DR


F:-:
F:-:
Appendix B EMERGENCY PREPAREDNESS WEAKNESSES E1. Although Emergency Plan Implementing Procedure (EPIP) 1.5 stated that evacuation . time estimates were to be used in making protective action recommendations, none of the estimates were provided in the procedure and no guidance was provided on how the estimates should be used.
Appendix B EMERGENCY PREPAREDNESS WEAKNESSES E1.
Although Emergency Plan Implementing Procedure (EPIP) 1.5 stated that evacuation. time estimates were to be used in making protective action recommendations, none of the estimates were provided in the procedure and no guidance was provided on how the estimates should be used.
(0 pen Item No. 266/85005-01; 301/85005-01)(Section 4)
(0 pen Item No. 266/85005-01; 301/85005-01)(Section 4)
: 2. Emergency kits'or cabinhts did not contain a copy of the applicable-
Emergency kits'or cabinhts did not contain a copy of the applicable-2.
                . inventory list. (0 pen Item No. 266/85005-02; 301/85005-02) (Section 10)
. inventory list.
                                                                                          - e_
(0 pen Item No. 266/85005-02; 301/85005-02) (Section 10)
    .)-,
- e_
                .}}
.)-,
.}}

Latest revision as of 14:33, 12 December 2024

Notice of Violation from Insp on 850506-09
ML20128C511
Person / Time
Site: Point Beach  
Issue date: 05/22/1985
From: Paperiello C
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
To:
Shared Package
ML20128C486 List:
References
50-266-85-05, 50-266-85-5, 50-301-85-05, 50-301-85-5, NUDOCS 8505280314
Download: ML20128C511 (2)


Text

..

Appendix A i-NOTICE OF VIOLATION i

Wisconsin Electric Power Company Docket No. 50-266 Point Beach Nuclear Plant Docket No. 50-301 As a result of the inspection conducted on May 6-9, 1985 and in accordance with

.the General Policy and Procedures for NRC Enforcement Actions, (10 CFR Part 2, Appendix C), the following violation was identified:

10_ CFR 50.54(q) requires that nuclear power reactor licensees follow and maintain in effect emergency' plans which meet the requirements of Appendix E to 10 CFR Part 50 and the planning standards.of 50.47(b).

Section IV.B of

~

Appendix E requires that a licenste's emergency plans shall include information to-demonstrate compliance with the following:

The means' for determining the magnitude and for continually assessing the impact of the release of radioactive material shall be described, including emergency action levels that are to be used as criteria for notification and participation of _ local and State agencies, the Commission, a'nd other Federal agencies, and the emergency action levels that are to be used fo'r determining when and what type of protective measures should be considered within and-

.outside the site boundary to protect health and safety.

Section 5.0 of Chapter 6.0 of the Point Beach Nuclear Plant Emergency Plan states in part that recommendations for offsite protective actions will be made only by the Emergency Support Manager, but that the Shift Superintendent will have the' responsibility and authority of the Emergency Support Manager at the beginning of an emergency evolution.

Contrary to the above, Shift Superintendents, who have the initial respon-sibility and authority of the Emergency Support Manager to make offsite protection action. recommendations, were incapable of determining when and what type of protective measures should be considered outside the site boundary _ to protect public: health and safety.

This is'a Severity Level IV violation (Supplement VIII).

-Pursuant to the provisions of 10 CFR 2.201, you are required to submit to this o

office within thirty days of the date of this Notice a written statement or

-explanation in reply, including for each item of noncompliance:

(1) corrective action taken and the results achieved;-(2) corrective action to be taken to avoid further noncompliance; and (3) the date when full compliance will be achieved.

Consideration may be given to extending your response time for good cause shown.

4 46 es&A Dated' C. J. Papyriello, Chief Emergency Preparedness and Radiological Protection Branch

[

DR

F:-:

Appendix B EMERGENCY PREPAREDNESS WEAKNESSES E1.

Although Emergency Plan Implementing Procedure (EPIP) 1.5 stated that evacuation. time estimates were to be used in making protective action recommendations, none of the estimates were provided in the procedure and no guidance was provided on how the estimates should be used.

(0 pen Item No. 266/85005-01; 301/85005-01)(Section 4)

Emergency kits'or cabinhts did not contain a copy of the applicable-2.

. inventory list.

(0 pen Item No. 266/85005-02; 301/85005-02) (Section 10)

- e_

.)-,

.