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==SUBJECT:==
==SUBJECT:==
ARKANSAS NUCLEAR ONE, UNITS 1 AND 2 -AUDIT OF THE LICENSEE'S MANAGEMENT OF REGULATORY COMMITMENTS (TAC NOS. MF3467 AND MF3468)  
ARKANSAS NUCLEAR ONE, UNITS 1 AND 2 -AUDIT OF THE LICENSEE'S MANAGEMENT OF REGULATORY COMMITMENTS (TAC NOS. MF3467 AND MF3468)  


==Dear Sir/Madam:==
==Dear Sir/Madam:==
In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000, the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes," contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented. An audit of Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. Based on the audit, the NRC staff concludes that the licensee has implemented NRC commitments on a timely basis, and the licensee has implemented an effective program for managing NRC commitment changes at AN0-1 and 2. The details of the results of the audit, including the NRC staff observations and recommendations, are set forth in the enclosed audit report. I appreciate the assistance and support provided by your licensing staff during the audit, particularly Mr. David Bice and Mr. Robert Clark. If you have any questions, I can be contacted at (301) 415-1081 or via e-mail at andrea.george@nrc.gov. Docket Nos. 50-313 and 50-368  
 
In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000, the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes,"
contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented.
An audit of Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. Based on the audit, the NRC staff concludes that the licensee has implemented NRC commitments on a timely basis, and the licensee has implemented an effective program for managing NRC commitment changes at AN0-1 and 2. The details of the results of the audit, including the NRC staff observations and recommendations, are set forth in the enclosed audit report. I appreciate the assistance and support provided by your licensing staff during the audit, particularly Mr. David Bice and Mr. Robert Clark. If you have any questions, I can be contacted at (301) 415-1081 or via e-mail at andrea.george@nrc.gov.
Docket Nos. 50-313 and 50-368  


==Enclosure:==
==Enclosure:==
Audit Report cc w/encl: Distribution via Listserv Sincerely, Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 AUDIT REPORT BY THE OFFICE OF NUCLEAR REACTOR REGULATION LICENSEE MANAGEMENT OF REGULATORY COMMITMENTS ENTERGY OPERATIONS. INC. ARKANSAS NUCLEAR ONE. UNITS 1 AND 2 DOCKET NOS. 50-313 AND 50-368  
 
Audit Report cc w/encl: Distribution via Listserv Sincerely, Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 AUDIT REPORT BY THE OFFICE OF NUCLEAR REACTOR REGULATION LICENSEE MANAGEMENT OF REGULATORY COMMITMENTS ENTERGY OPERATIONS.
INC. ARKANSAS NUCLEAR ONE. UNITS 1 AND 2 DOCKET NOS. 50-313 AND 50-368  


==1.0 INTRODUCTION==
==1.0 INTRODUCTION==
AND BACKGROUND In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML003741774), the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes," contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation (NRR) has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented. NEI 99-04 defines a regulatory commitment as an explicit statement to take a specific action agreed to, or volunteered by, a licensee and submitted in writing on the docket to the NRC. NRR guidelines direct the NRR Project Manager to audit the licensee's commitment management program by assessing the adequacy of the licensee's implementation of a sample of commitments made to the NRC in past licensing actions (amendments, relief requests, exemptions, etc.) and licensing activities (bulletins, generic letters, etc.). The audit is to be performed every 3 years. 2.0 AUDIT PROCEDURE AND RESULTS An audit of the Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. The audit reviewed commitments made by the licensee since the previous audit on May 3-4, 2011, which was documented in an audit report dated September 30, 2011 (ADAMS Accession No. ML 111460604). The NRR Project Manager also Enclosure  reviewed the licensee's Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.59 summary reports and commitment change summary reports, dated September 16, 2011, May 3, 2012, and February 11,2014 (ADAMS Accession Nos. ML112640109, ML12129A220, and ML 14042A335, respectively). The audit consisted of three major parts: (1) verification of the licensee's implementation of regulatory commitments that have been completed, (2) verification of the licensee's program for managing changes to regulatory commitments, and (3) verification that all regulatory commitments reviewed were correctly applied in NRC staff licensing action reviews. 2.1 Verification of Licensee's Implementation of Regulatory Commitments The primary focus of this part of the audit is to confirm that the licensee has implemented those commitments made to the NRC as part of past licensing actions/activities. For commitments that had not yet been implemented, the NRC staff aimed to ascertain that they have been captured in an effective program for future implementation. The audit also verifies that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation. This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process. 2.1.1 Audit Scope The audit addressed a sample of commitments, majority of which were made during the review period of approximately the last 3 years. The audit focused on regulatory commitments made in writing to the NRC as a result of past licensing actions (amendments, exemptions, relief . requests, etc.) and licensing activities (bulletins, generic letters, etc.). Before the audit, the NRC staff searched the ADAMS for the licensee's submittals since the last audit and selected a representative sample for verification. The audit excluded the commitments that are internal to licensee processes such as those that are made on the licensee's own initiative among internal organizational components, those that pertain to milestones of licensing actions/activities, or those made as an internal reminder to take actions to comply with existing regulatory requirements such as regulations. 2.1.2 Audit Results Entergy has implemented Corporate Procedure EN-LI-11 0, "Commitment Management Program," which identifies the methods and site organization tools for managing development, review, and implementation of station commitments. The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments. The audit verified that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation. This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process. The documents furnished by the licensee during the audit included summary sheets providing the status of the commitments and appropriate backup documentation, as needed (i.e., commitment change evaluation forms, plant procedures, work orders, photographs, examination records, and/or other plant documentation). The NRC staff reviewed the documents and summarized the selected commitments information in the audit report. The NRC staff audit confirmed that the licensee has documented its implementation of regulatory commitments made to the NRC staff as part of past licensing actions. The NRC staff audit of the licensee's commitment management program for AN0-1 and 2 did not identify any regulatory commitments that were not satisfied or incorporated into its commitment management program for implementation. Generally, the licensee's commitment tracking database was found to be well-maintained and the commitments selected for this audit were easily traceable in the database. The NRC staff did note that some administrative errors were found in the database, including an incorrect commitment closure date, and a non-trivial commitment wording change between the licensee's submittal and the entry into the tracking system. Both discrepancies were immediately corrected in the database and entered into the licensee's corrective action program (CAP). Licensee personnel were able to demonstrate effective use of the commitment management database and provided status tracking to the applicable implementation document. The NRC staff found that generally, the selected commitments in the audit sample were effectively implemented. Using the Entergy tracking program as a starting point, the NRC staff sought to determine that commitments were implemented in documents such as plant procedures (both electronic and in paper copies, e.g. in the control room), or in appropriate engineering packages. The attached Audit Summary Table provides details of the audit and its results. Regarding the licensee's implementation of the Entergy fleet commitment management procedure, the NRC staff observed that contrary to EN-LI-11 0, "Commitment Management Program," step 1.0[4], the licensee did not have a method to clearly distinguish regulatory commitments from other internal commitments or action items, which are tracked in the same system. The licensee entered this discrepancy into its CAP (CR-ANO-C-2014-02701) and noted that new regulatory commitments are being coded by placing "regulatory commitment" in one of the database fields, to make regulatory commitments searchable. This should be an area of focus for the next NRR DORL Project Manager regulatory commitments audit. Based on the above, the NRC staff concludes that the licensee has implemented the regulatory commitments management program effectively in accordance with LIC-105, "Managing Regulatory Commitments Made by Licensees to the NRC," and consistent with NEI 99-04. 2.2 Verification of the Licensee's Program for Managing Regulatory Commitment Changes The primary focus of this part of the audit was to verify that the licensee has established administrative controls for satisfying, modifying, or deleting commitments made to the NRC. The audit seeks to ensure that changes to commitments (modifications or deletions) are evaluated in accordance with the licensee's programs and procedures, that the licensee's  technical evaluations adequately justify the change, and that the NRC is informed of commitment changes that have safety or regulatory significance. The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments. The process used at AN0-1 and 2 is contained in the Entergy Corporate Procedure EN-LI-11 0. During the current review period, the licensee made a revision to one regulatory commitment, and this commitment was included in the audit sample. 2.2.1 Audit Results The licensee carries out its obligations under its regulatory commitments by the processes that are outlined in the procedures. Any changes to the commitments are processed through the established processes and changes are reported to the NRC in accordance with the recommendations of LIC-105. In reviewing the licensee's change process for the revised commitment, the NRC staff reviewed the supporting documentation, including the commitment change evaluation form. The NRC staff concluded that the licensee is following NEI 99-04 guidelines for commitment tracking, commitment changes, and reporting requirements, via EN-LI-11 0. The attached Audit Summary Table provides details of this portion of the audit and its results. Based on the results of the on-site audit, the NRC staff believes the licensee has implemented regulatory commitment changes appropriately, in accordance with LIC-1 05 and consistent with NEI 99-04. 2.3 Review to Identify Misapplied Commitments The commitments reviewed for this audit were also evaluated to determine if they had been misapplied. A commitment is considered to be misapplied if the action comprising the commitment was relied on by the NRC staff in making a regulatory decision such as a finding of public health and safety in an NRC safety evaluation associated with a licensing action. Reliance on an action to support a regulatory decision must be elevated from a regulatory commitment to a legal obligation (e.g., license condition, condition of a relief request, regulatory exemption limitation or condition). A commitment is also considered to have been misapplied if the commitment involves actions that were safety significant (i.e., commitments used to ensure safety). Each of the commitments selected for the audit sample were reviewed to determine if any had been misapplied. There were no misapplied commitments identified during the audit. 2.3.1 Review of Safety Evaluation Reports for Licensing Actions since the Last Audit to Determine if They Are Properly Captured as Commitments or Obligations In addition to the commitments selected for the audit sample, all license amendment, exemption, and relief request safety evaluations that have been issued for a facility since the  last audit were identified. These documents were evaluated to determine if they contained any misapplied commitments as described above. No discrepancies were found regarding the capture of regulatory commitments in any safety evaluations issued since the last regulatory commitment audit.  
 
AND BACKGROUND In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML003741774),
the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes,"
contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation (NRR) has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented.
NEI 99-04 defines a regulatory commitment as an explicit statement to take a specific action agreed to, or volunteered by, a licensee and submitted in writing on the docket to the NRC. NRR guidelines direct the NRR Project Manager to audit the licensee's commitment management program by assessing the adequacy of the licensee's implementation of a sample of commitments made to the NRC in past licensing actions (amendments, relief requests, exemptions, etc.) and licensing activities (bulletins, generic letters, etc.). The audit is to be performed every 3 years. 2.0 AUDIT PROCEDURE AND RESULTS An audit of the Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. The audit reviewed commitments made by the licensee since the previous audit on May 3-4, 2011, which was documented in an audit report dated September 30, 2011 (ADAMS Accession No. ML 111460604).
The NRR Project Manager also Enclosure  reviewed the licensee's Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.59 summary reports and commitment change summary reports, dated September 16, 2011, May 3, 2012, and February 11,2014 (ADAMS Accession Nos. ML112640109, ML12129A220, and ML 14042A335, respectively).
The audit consisted of three major parts: (1) verification of the licensee's implementation of regulatory commitments that have been completed, (2) verification of the licensee's program for managing changes to regulatory commitments, and (3) verification that all regulatory commitments reviewed were correctly applied in NRC staff licensing action reviews.
2.1 Verification of Licensee's Implementation of Regulatory Commitments The primary focus of this part of the audit is to confirm that the licensee has implemented those commitments made to the NRC as part of past licensing actions/activities.
For commitments that had not yet been implemented, the NRC staff aimed to ascertain that they have been captured in an effective program for future implementation.
The audit also verifies that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation.
This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process.
2.1.1 Audit Scope The audit addressed a sample of commitments, majority of which were made during the review period of approximately the last 3 years. The audit focused on regulatory commitments made in writing to the NRC as a result of past licensing actions (amendments, exemptions, relief . requests, etc.) and licensing activities (bulletins, generic letters, etc.). Before the audit, the NRC staff searched the ADAMS for the licensee's submittals since the last audit and selected a representative sample for verification.
The audit excluded the commitments that are internal to licensee processes such as those that are made on the licensee's own initiative among internal organizational components, those that pertain to milestones of licensing actions/activities, or those made as an internal reminder to take actions to comply with existing regulatory requirements such as regulations.
2.1.2 Audit Results Entergy has implemented Corporate Procedure EN-LI-11 0, "Commitment Management Program,"
which identifies the methods and site organization tools for managing development, review, and implementation of station commitments.
The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments.
The audit verified that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation.
This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process. The documents furnished by the licensee during the audit included summary sheets providing the status of the commitments and appropriate backup documentation, as needed (i.e., commitment change evaluation forms, plant procedures, work orders, photographs, examination  
: records, and/or other plant documentation).
The NRC staff reviewed the documents and summarized the selected commitments information in the audit report. The NRC staff audit confirmed that the licensee has documented its implementation of regulatory commitments made to the NRC staff as part of past licensing actions.
The NRC staff audit of the licensee's commitment management program for AN0-1 and 2 did not identify any regulatory commitments that were not satisfied or incorporated into its commitment management program for implementation.
Generally, the licensee's commitment tracking database was found to be well-maintained and the commitments selected for this audit were easily traceable in the database.
The NRC staff did note that some administrative errors were found in the database, including an incorrect commitment closure date, and a non-trivial commitment wording change between the licensee's submittal and the entry into the tracking system. Both discrepancies were immediately corrected in the database and entered into the licensee's corrective action program (CAP). Licensee personnel were able to demonstrate effective use of the commitment management database and provided status tracking to the applicable implementation document.
The NRC staff found that generally, the selected commitments in the audit sample were effectively implemented.
Using the Entergy tracking program as a starting point, the NRC staff sought to determine that commitments were implemented in documents such as plant procedures (both electronic and in paper copies, e.g. in the control room), or in appropriate engineering packages.
The attached Audit Summary Table provides details of the audit and its results.
Regarding the licensee's implementation of the Entergy fleet commitment management procedure, the NRC staff observed that contrary to EN-LI-11 0, "Commitment Management Program,"
step 1.0[4], the licensee did not have a method to clearly distinguish regulatory commitments from other internal commitments or action items, which are tracked in the same system. The licensee entered this discrepancy into its CAP (CR-ANO-C-2014-02701) and noted that new regulatory commitments are being coded by placing "regulatory commitment" in one of the database fields, to make regulatory commitments searchable.
This should be an area of focus for the next NRR DORL Project Manager regulatory commitments audit. Based on the above, the NRC staff concludes that the licensee has implemented the regulatory commitments management program effectively in accordance with LIC-105, "Managing Regulatory Commitments Made by Licensees to the NRC," and consistent with NEI 99-04. 2.2 Verification of the Licensee's Program for Managing Regulatory Commitment Changes The primary focus of this part of the audit was to verify that the licensee has established administrative controls for satisfying, modifying, or deleting commitments made to the NRC. The audit seeks to ensure that changes to commitments (modifications or deletions) are evaluated in accordance with the licensee's programs and procedures, that the licensee's  technical evaluations adequately justify the change, and that the NRC is informed of commitment changes that have safety or regulatory significance.
The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments.
The process used at AN0-1 and 2 is contained in the Entergy Corporate Procedure EN-LI-11  
: 0. During the current review period, the licensee made a revision to one regulatory commitment, and this commitment was included in the audit sample. 2.2.1 Audit Results The licensee carries out its obligations under its regulatory commitments by the processes that are outlined in the procedures.
Any changes to the commitments are processed through the established processes and changes are reported to the NRC in accordance with the recommendations of LIC-105.
In reviewing the licensee's change process for the revised commitment, the NRC staff reviewed the supporting documentation, including the commitment change evaluation form. The NRC staff concluded that the licensee is following NEI 99-04 guidelines for commitment  
: tracking, commitment  
: changes, and reporting requirements, via EN-LI-11  
: 0. The attached Audit Summary Table provides details of this portion of the audit and its results.
Based on the results of the on-site audit, the NRC staff believes the licensee has implemented regulatory commitment changes appropriately, in accordance with LIC-1 05 and consistent with NEI 99-04. 2.3 Review to Identify Misapplied Commitments The commitments reviewed for this audit were also evaluated to determine if they had been misapplied.
A commitment is considered to be misapplied if the action comprising the commitment was relied on by the NRC staff in making a regulatory decision such as a finding of public health and safety in an NRC safety evaluation associated with a licensing action. Reliance on an action to support a regulatory decision must be elevated from a regulatory commitment to a legal obligation (e.g., license condition, condition of a relief request, regulatory exemption limitation or condition).
A commitment is also considered to have been misapplied if the commitment involves actions that were safety significant (i.e., commitments used to ensure safety).
Each of the commitments selected for the audit sample were reviewed to determine if any had been misapplied.
There were no misapplied commitments identified during the audit. 2.3.1 Review of Safety Evaluation Reports for Licensing Actions since the Last Audit to Determine if They Are Properly Captured as Commitments or Obligations In addition to the commitments selected for the audit sample, all license amendment, exemption, and relief request safety evaluations that have been issued for a facility since the  last audit were identified.
These documents were evaluated to determine if they contained any misapplied commitments as described above. No discrepancies were found regarding the capture of regulatory commitments in any safety evaluations issued since the last regulatory commitment audit.  


==3.0 CONCLUSION==
==3.0 CONCLUSION==
Based on the results of the audit, the NRC staff concludes that (1) the licensee had implemented or is tracking for future implementation regulatory commitments; and (2) the licensee had implemented an effective program to manage regulatory commitment changes, in accordance with LIC-105 and consistent with NEI 99-04. 4.0 LICENSEE PERSONNEL CONTACTED FOR THIS AUDIT Robert Clark David Bice Stephanie Pyle Principal Contributor: A. George Date: January 15, 2015  
 
Based on the results of the audit, the NRC staff concludes that (1) the licensee had implemented or is tracking for future implementation regulatory commitments; and (2) the licensee had implemented an effective program to manage regulatory commitment  
: changes, in accordance with LIC-105 and consistent with NEI 99-04. 4.0 LICENSEE PERSONNEL CONTACTED FOR THIS AUDIT Robert Clark David Bice Stephanie Pyle Principal Contributor:
A. George Date: January 15, 2015  


==Attachment:==
==Attachment:==
Summary of Audit Results TAC No. MF1182 MF1199 ME4544 ME6125 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 ADAMS Commitment Date of Accession No. Licensee's Documents Letter Subject No. Description Reviewed Entergy will follow the guidance established in LR-LAR-2013-Section 11 of NUMARC 93-01, "Industry 00061-CA11 8/19/2014 ML 14231A370 19265 Guidance for Monitoring the Effectiveness of Directive No. Maintenance at Nuclear Power Plants," Nuclear Management and Resource Council, COPD-024, "Risk Assessment Revision 4A, April 2011. Guidelines" Entergy commits to revising the associated Control Room Copy -TS Bases 8/10/2010 ML 102280537 18981 Technical Specification Bases consistent with TSTF-312, Revision 1, during implementation of LO-LAR-2010-the amendment. 0167-CA26 Entergy commits to revising the associated Control Room Copy -TS Bases 4/29/2011 ML 11190551 19036 Technical Specification Bases consistent with TSTF-513, Revision 3, during implementation of LO-LAR-2011-the amendment. 0032-CA20 --------Status & Comments Open, see Note (1 ). Closed. Verified TS Bases in Control Room updated (Rev. 43). Closed. Verified TS Bases in Control Room updated (Rev. 44). ----Attachment TAC No. ME4942 MC4663 MC4664 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19002 19003 10/26/2010 ML 100980614 6/9/2011 19004 12/21/2011 ML 120040124 19071 3/20/2013 ML 13080A347 19257 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Perform a code repair on Service Water line HBD-2-18. Weekly walk down the leak location. Re-examine the leak location every 90 days using UT. Entergy will inform the NRC of the final plans for disposition. Entergy plans to remove the insulation; or Entergy will document the acceptability of the as-left condition. Documents Reviewed LO-LAR-2011-0129-CA01 Work Order 00240369 CR-AN0-1-2010-02391 WT-WAN0-201 0-00019-CA071, 110, 120, 128, 134, 137, Work Order 00240369 LO-LAR-201 0-0304 CR-AN0-1-2010-2391-CA002, 013, 014,018,020,025 Work Order 00240369 Licensee letter dated 3/20/13 (1CAN031303). Work Order 00300452 Status & Comments Closed. Closed. Commitment closed on 5/4/11, but last UT was performed 8/24/11, and piping repair was performed in November 2011. Licensee corrected closure date in commitment tracking system. Closed. Closed. -
TAC No. Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19283 19284 5/16/2013 ML 13137A126 19285 19287 19288 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Complete bypass re-testing and incorporate results into Arkansas Nuclear One (ANO) calculations. Participate in Pressurized Water Reactor Owners Group in-vessel testing projects and incorporate results into ANO calculations as appropriate. Complete the necessary insulation replacements, remediation, or model refinements. Within six months of establishing the scope of insulation replacement or remediation, or model refinements, Entergy will submit a final updated supplemental response to support closure of GL 2004-02. Entergy will update the AN0-1 and AN0-2 Safety Analysis Reports following NRC acceptance of the updated supplemental response for AN0-1 and AN0-2 and completion of the identified removal or modification of insulation debris sources in containment. Documents Reviewed LO-LAR-20 13-0066-CA18 LO-LAR-2013-0066-CA18 LO-LAR-2013-0066-CA19 LO-LAR-2013-0066-CA21 LO-LAR-2013-0066-CA22 Status & Comments Open. Open. Text of the commitment says "Participate." In its tracking system, the licensee had entered "Follow." The entry was corrected to say "Participate." Open. Open. Open.
TAC No. N/A ME9300 ME9301 MC4663 MD7397 MC4664 MD7398 ME8909 ME8910 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 1/26/2012 ML 120260627 19088 ML 14034A412 2/3/2014 OCAN021401 19362? 8/31/2005 ML052560230 R18833 6/18/2012 ML 12171A463 19034 19035 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Entergy will add a commitment to the commitment tracking system to maintain the safety culture monitoring processes as described in NEI 09-07, "Fostering a Strong Nuclear Safety Culture." Entergy has committed to the generic schedule provided in the Industry OPC Initiative. It is Entergy's intention to meet the milestones of this schedule; however, deviations may be required to accommodate outage schedules, software and hardware availability, manufacturer's delivery capabilities, licensing delays, etc. Entergy committed to the measurement of latent debris quantities every third refueling outage to confirm that latent debris quantities used in strainer testing and downstream effects analysis remain bounding. Entergy will implement milestones 1, 2, 3, 4, 5, and 7 described in Attachment 4 of letter dated April 1, 2011 (OCAN0411 01 ), and the revised Milestone 6 in Attachment 4 of this submittal. -----Documents Reviewed Procedure EN-QV-136, "Nuclear Safety Culture Monitoring" CNR0-2013-00001 LO-LAR-2012-0248-CA017, 018, 019, 020 LO-LAR-2008-02247-CA16 Work Order 52268953 Operability Evaluation CR-AN0-1-2011-02915 Commitment Change Evaluation Form LO-LAR-2011-0169-CA08, 019 Status & Comments Open. See letter dated 5/6/13 (ML 13126A256). Open. Scheduled for 12/31/17 completion. Open (Revised), CMS-2012-0006 refers. See commitment change report dated 5/3/12). 19034-Ciosed. 19035-0pen. Amendment Issued 12/8/14 extended Milestone 8 due date. ----
TAC No. MF3277 MF3278 MF1512 MF1513 ME9991 ME9992 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 12/17/2013 ML 13358A304 19346 ML 13358A305 19272 19273 4/30/2013 ML 13121A431 19274 ML 12305A534 10/31/2012 ML 13091A328 19190 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Full implementation of Arkansas Nuclear One Cyber Security Plan for all safety, security, and emergency preparedness functions will be achieved. Entergy will perform this assessment as part of the Phase 2 staffing assessment. Entergy will identify any appropriate modifications to the ANO Emergency Plan Drill and Exercise Program upon completion of the mitigation strategies and associated guidance for NRC Order EA-12-049. Entergy will incorporate instructions into applicable fleet/site guidance for ANO based upon the conditions as described in NEI 12-01, Revision 0, dated May 2012. Enhancements identified within the assessment (Attachment 1) will be further developed as implementation progresses. Alternate approaches will be utilized if prudent (e.g., alternate/new technology, improved capability, cost savings, etc.). These enhancement commitments are subject to change as a result of Diverse and Flexible Coping Strategies (FLEX) developments, advances in technology, and progress in the manner of addressing the need for these enhancements Documents Reviewed LO-LAR-2011-0168-CA08 LO-LAR-2012-089-CA164 LO-LAR-2012-0089-CA164 LO-LAR-2012-0089-CA162 Flex Support Guideline No. CFSG-100, "BDBEE/ELAP Emergency Response" LR-LAR-2012-0089-CA166 Outage Summary Report 2R24 --_L...____ ___ Status & Comments Open, see Note (1). Amendment issued 12/8/14 to extend due date to 6/30/16. Closed. Closed. Closed. Open.
TAC No. MF0942 MF0943 Notes: Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19420 4/8/2014 ML 14098A114 19421 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description As an interim measure, instructions will be in place by startup from the Arkansas Nuclear One (ANO}, Unit-1 refueling outage 1 R25 for connecting a portable diesel generator to the 285 load center should the AN0-2 286 load center not be capable of being powered for some unforeseen reason during an extended loss of alternating current power. The 285 load center modification will be the only aspect of the AN0-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1 R25 (e.g., FLEX Support Guidelines, training, equipment staged, and modifications installed). Documents Reviewed LR-LAR-2014-0087-CA50 LR-LAR-2014-0087-CA51 (1) License amendment request still under staff review at the time of the audit. Status & Comments Open. Open. 


ML 14357A259 Sincerely, IRA/ Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation OFFICE NRR/DORULPL4-1/PM NRR/DORLILPL4-1/LA NRR/DORLILPL4-1/BC(A) NRR/DORULPL4-1/PM NAME A George JBurkhardt EOesterle AGeorge DATE 1/14/15 1/14/15 1/14/15 1/15/15}}
Summary of Audit Results TAC No. MF1182 MF1199 ME4544 ME6125 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 ADAMS Commitment Date of Accession No. Licensee's Documents Letter Subject No. Description Reviewed Entergy will follow the guidance established in LR-LAR-2013-Section 11 of NUMARC 93-01, "Industry 00061-CA11 8/19/2014 ML 14231A370 19265 Guidance for Monitoring the Effectiveness of Directive No. Maintenance at Nuclear Power Plants,"
Nuclear Management and Resource
: Council, COPD-024, "Risk Assessment Revision 4A, April 2011. Guidelines" Entergy commits to revising the associated Control Room Copy -TS Bases 8/10/2010 ML 102280537 18981 Technical Specification Bases consistent with TSTF-312, Revision 1, during implementation of LO-LAR-2010-the amendment.
0167-CA26 Entergy commits to revising the associated Control Room Copy -TS Bases 4/29/2011 ML 11190551 19036 Technical Specification Bases consistent with TSTF-513, Revision 3, during implementation of LO-LAR-2011-the amendment.
0032-CA20
--------Status & Comments Open, see Note (1 ). Closed. Verified TS Bases in Control Room updated (Rev. 43). Closed. Verified TS Bases in Control Room updated (Rev. 44). ----Attachment TAC No. ME4942 MC4663 MC4664 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19002 19003 10/26/2010 ML 100980614 6/9/2011 19004 12/21/2011 ML 120040124 19071 3/20/2013 ML 13080A347 19257 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Perform a code repair on Service Water line HBD-2-18.
Weekly walk down the leak location.
Re-examine the leak location every 90 days using UT. Entergy will inform the NRC of the final plans for disposition.
Entergy plans to remove the insulation; or Entergy will document the acceptability of the as-left condition.
Documents Reviewed LO-LAR-2011-0129-CA01 Work Order 00240369 CR-AN0-1-2010-02391 WT-WAN0-201 0-00019-CA071, 110, 120, 128, 134, 137, Work Order 00240369 LO-LAR-201 0-0304 CR-AN0-1-2010-2391-CA002, 013, 014,018,020,025 Work Order 00240369 Licensee letter dated 3/20/13 (1CAN031303).
Work Order 00300452 Status & Comments Closed. Closed. Commitment closed on 5/4/11, but last UT was performed 8/24/11, and piping repair was performed in November 2011. Licensee corrected closure date in commitment tracking system. Closed. Closed. -
TAC No. Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19283 19284 5/16/2013 ML 13137A126 19285 19287 19288 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Complete bypass re-testing and incorporate results into Arkansas Nuclear One (ANO) calculations.
Participate in Pressurized Water Reactor Owners Group in-vessel testing projects and incorporate results into ANO calculations as appropriate.
Complete the necessary insulation replacements, remediation, or model refinements.
Within six months of establishing the scope of insulation replacement or remediation, or model refinements, Entergy will submit a final updated supplemental response to support closure of GL 2004-02.
Entergy will update the AN0-1 and AN0-2 Safety Analysis Reports following NRC acceptance of the updated supplemental response for AN0-1 and AN0-2 and completion of the identified removal or modification of insulation debris sources in containment.
Documents Reviewed LO-LAR-20 13-0066-CA18 LO-LAR-2013-0066-CA18 LO-LAR-2013-0066-CA19 LO-LAR-2013-0066-CA21 LO-LAR-2013-0066-CA22 Status & Comments Open. Open. Text of the commitment says "Participate."
In its tracking system, the licensee had entered "Follow."
The entry was corrected to say "Participate."
Open. Open. Open.
TAC No. N/A ME9300 ME9301 MC4663 MD7397 MC4664 MD7398 ME8909 ME8910 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 1/26/2012 ML 120260627 19088 ML 14034A412 2/3/2014 OCAN021401 19362? 8/31/2005 ML052560230 R18833 6/18/2012 ML 12171A463 19034 19035 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Entergy will add a commitment to the commitment tracking system to maintain the safety culture monitoring processes as described in NEI 09-07, "Fostering a Strong Nuclear Safety Culture."
Entergy has committed to the generic schedule provided in the Industry OPC Initiative.
It is Entergy's intention to meet the milestones of this schedule;
: however, deviations may be required to accommodate outage schedules, software and hardware availability, manufacturer's delivery capabilities, licensing delays, etc. Entergy committed to the measurement of latent debris quantities every third refueling outage to confirm that latent debris quantities used in strainer testing and downstream effects analysis remain bounding.
Entergy will implement milestones 1, 2, 3, 4, 5, and 7 described in Attachment 4 of letter dated April 1, 2011 (OCAN0411 01 ), and the revised Milestone 6 in Attachment 4 of this submittal.
-----Documents Reviewed Procedure EN-QV-136, "Nuclear Safety Culture Monitoring" CNR0-2013-00001 LO-LAR-2012-0248-CA017, 018, 019, 020 LO-LAR-2008-02247-CA16 Work Order 52268953 Operability Evaluation CR-AN0-1-2011-02915 Commitment Change Evaluation Form LO-LAR-2011-0169-CA08, 019 Status & Comments Open. See letter dated 5/6/13 (ML 13126A256).
Open. Scheduled for 12/31/17 completion.
Open (Revised),
CMS-2012-0006 refers. See commitment change report dated 5/3/12).
19034-Ciosed.
19035-0pen.
Amendment Issued 12/8/14 extended Milestone 8 due date. ----
TAC No. MF3277 MF3278 MF1512 MF1513 ME9991 ME9992 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 12/17/2013 ML 13358A304 19346 ML 13358A305 19272 19273 4/30/2013 ML 13121A431 19274 ML 12305A534 10/31/2012 ML 13091A328 19190 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Full implementation of Arkansas Nuclear One Cyber Security Plan for all safety, security, and emergency preparedness functions will be achieved.
Entergy will perform this assessment as part of the Phase 2 staffing assessment.
Entergy will identify any appropriate modifications to the ANO Emergency Plan Drill and Exercise Program upon completion of the mitigation strategies and associated guidance for NRC Order EA-12-049.
Entergy will incorporate instructions into applicable fleet/site guidance for ANO based upon the conditions as described in NEI 12-01, Revision 0, dated May 2012. Enhancements identified within the assessment (Attachment
: 1) will be further developed as implementation progresses.
Alternate approaches will be utilized if prudent (e.g., alternate/new technology, improved capability, cost savings, etc.). These enhancement commitments are subject to change as a result of Diverse and Flexible Coping Strategies (FLEX) developments, advances in technology, and progress in the manner of addressing the need for these enhancements Documents Reviewed LO-LAR-2011-0168-CA08 LO-LAR-2012-089-CA164 LO-LAR-2012-0089-CA164 LO-LAR-2012-0089-CA162 Flex Support Guideline No. CFSG-100, "BDBEE/ELAP Emergency Response" LR-LAR-2012-0089-CA166 Outage Summary Report 2R24 --_L...____
___ Status & Comments Open, see Note (1). Amendment issued 12/8/14 to extend due date to 6/30/16.
Closed. Closed. Closed. Open.
TAC No. MF0942 MF0943 Notes: Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19420 4/8/2014 ML 14098A114 19421 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description As an interim measure, instructions will be in place by startup from the Arkansas Nuclear One (ANO}, Unit-1 refueling outage 1 R25 for connecting a portable diesel generator to the 285 load center should the AN0-2 286 load center not be capable of being powered for some unforeseen reason during an extended loss of alternating current power. The 285 load center modification will be the only aspect of the AN0-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1 R25 (e.g., FLEX Support Guidelines,
: training, equipment staged, and modifications installed).
Documents Reviewed LR-LAR-2014-0087-CA50 LR-LAR-2014-0087-CA51 (1) License amendment request still under staff review at the time of the audit. Status & Comments Open. Open. If you have any questions, I can be contacted at (301) 415-1081 or via e-mail at andrea.george@nrc.gov.
Docket Nos. 50-313 and 50-368
 
==Enclosure:==
 
Audit Report cc w/encl: Distribution via Listserv DISTRIBUTION:
PUBLIC LPL4-1 Reading RidsAcrsAcnw_MaiiCTR Resource RidsNrrDorllpl4-1 Resource RidsNrrPMANO Resource RidsNrrLAJBurkhardt Resource RidsRgn4MaiiCenter Resource TOrf, NRR/DORL ADAMS Accession No.: ML 14357A259 Sincerely, IRA/ Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation OFFICE NRR/DORULPL4-1/PM NRR/DORLILPL4-1/LA NRR/DORLILPL4-1/BC(A)
NRR/DORULPL4-1/PM NAME A George JBurkhardt EOesterle AGeorge DATE 1/14/15 1/14/15 1/14/15 1/15/15 OFFICIAL RECORD COPY}}

Revision as of 06:11, 1 July 2018

Arkansas Nuclear One, Units 1 and 2, Audit of Licensee'S Management of Regulatory Commitments, Audit Performed October 14-16, 2014 (TAC Nos. MF3467 and MF3468)
ML14357A259
Person / Time
Site: Arkansas Nuclear  Entergy icon.png
Issue date: 01/15/2015
From: George A E
Plant Licensing Branch IV
To:
Entergy Operations
George A E
References
TAC MF3467, TAC MF3468
Download: ML14357A259 (14)


Text

Vice President, Operations Arkansas Nuclear One Entergy Operations, Inc. 1448 S.R. 333 Russellville, AR 72802 UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 January 15, 2015

SUBJECT:

ARKANSAS NUCLEAR ONE, UNITS 1 AND 2 -AUDIT OF THE LICENSEE'S MANAGEMENT OF REGULATORY COMMITMENTS (TAC NOS. MF3467 AND MF3468)

Dear Sir/Madam:

In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000, the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes,"

contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented.

An audit of Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. Based on the audit, the NRC staff concludes that the licensee has implemented NRC commitments on a timely basis, and the licensee has implemented an effective program for managing NRC commitment changes at AN0-1 and 2. The details of the results of the audit, including the NRC staff observations and recommendations, are set forth in the enclosed audit report. I appreciate the assistance and support provided by your licensing staff during the audit, particularly Mr. David Bice and Mr. Robert Clark. If you have any questions, I can be contacted at (301) 415-1081 or via e-mail at andrea.george@nrc.gov.

Docket Nos. 50-313 and 50-368

Enclosure:

Audit Report cc w/encl: Distribution via Listserv Sincerely, Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 AUDIT REPORT BY THE OFFICE OF NUCLEAR REACTOR REGULATION LICENSEE MANAGEMENT OF REGULATORY COMMITMENTS ENTERGY OPERATIONS.

INC. ARKANSAS NUCLEAR ONE. UNITS 1 AND 2 DOCKET NOS. 50-313 AND 50-368

1.0 INTRODUCTION

AND BACKGROUND In U.S. Nuclear Regulatory Commission (NRC) Regulatory Issue Summary 2000-17, "Managing Regulatory Commitments Made by Power Reactor Licensees to the NRC Staff," dated September 21, 2000 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML003741774),

the NRC informed licensees that the Nuclear Energy Institute (NEI) document NEI 99-04, "Guidelines for Managing NRC Commitment Changes,"

contains acceptable guidance for controlling regulatory commitments and encouraged licensees to use the NEI guidance or similar administrative controls to ensure that regulatory commitments are implemented and that changes to the regulatory commitments are evaluated and, when appropriate, reported to the NRC. The NRC Office of Nuclear Reactor Regulation (NRR) has instructed its staff to perform an audit of licensees' commitment management programs once every 3 years to determine whether the licensees' programs are consistent with the industry guidance in NEI 99-04, and that the regulatory commitments are being effectively implemented.

NEI 99-04 defines a regulatory commitment as an explicit statement to take a specific action agreed to, or volunteered by, a licensee and submitted in writing on the docket to the NRC. NRR guidelines direct the NRR Project Manager to audit the licensee's commitment management program by assessing the adequacy of the licensee's implementation of a sample of commitments made to the NRC in past licensing actions (amendments, relief requests, exemptions, etc.) and licensing activities (bulletins, generic letters, etc.). The audit is to be performed every 3 years. 2.0 AUDIT PROCEDURE AND RESULTS An audit of the Entergy Operations, Inc.'s (Entergy's, the licensee's) commitment management program for Arkansas Nuclear One, Units 1 and 2 (AN0-1 and 2) was performed at the plant site on October 14-16, 2014. The audit reviewed commitments made by the licensee since the previous audit on May 3-4, 2011, which was documented in an audit report dated September 30, 2011 (ADAMS Accession No. ML 111460604).

The NRR Project Manager also Enclosure reviewed the licensee's Title 10 of the Code of Federal Regulations (1 0 CFR) Section 50.59 summary reports and commitment change summary reports, dated September 16, 2011, May 3, 2012, and February 11,2014 (ADAMS Accession Nos. ML112640109, ML12129A220, and ML 14042A335, respectively).

The audit consisted of three major parts: (1) verification of the licensee's implementation of regulatory commitments that have been completed, (2) verification of the licensee's program for managing changes to regulatory commitments, and (3) verification that all regulatory commitments reviewed were correctly applied in NRC staff licensing action reviews.

2.1 Verification of Licensee's Implementation of Regulatory Commitments The primary focus of this part of the audit is to confirm that the licensee has implemented those commitments made to the NRC as part of past licensing actions/activities.

For commitments that had not yet been implemented, the NRC staff aimed to ascertain that they have been captured in an effective program for future implementation.

The audit also verifies that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation.

This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process.

2.1.1 Audit Scope The audit addressed a sample of commitments, majority of which were made during the review period of approximately the last 3 years. The audit focused on regulatory commitments made in writing to the NRC as a result of past licensing actions (amendments, exemptions, relief . requests, etc.) and licensing activities (bulletins, generic letters, etc.). Before the audit, the NRC staff searched the ADAMS for the licensee's submittals since the last audit and selected a representative sample for verification.

The audit excluded the commitments that are internal to licensee processes such as those that are made on the licensee's own initiative among internal organizational components, those that pertain to milestones of licensing actions/activities, or those made as an internal reminder to take actions to comply with existing regulatory requirements such as regulations.

2.1.2 Audit Results Entergy has implemented Corporate Procedure EN-LI-11 0, "Commitment Management Program,"

which identifies the methods and site organization tools for managing development, review, and implementation of station commitments.

The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments.

The audit verified that the licensee's commitment management system includes a mechanism to ensure traceability of commitments following initial implementation.

This ensures that licensee personnel are able to recognize that future proposed changes to the affected design features or operating practices require evaluation in accordance with the commitment change control process. The documents furnished by the licensee during the audit included summary sheets providing the status of the commitments and appropriate backup documentation, as needed (i.e., commitment change evaluation forms, plant procedures, work orders, photographs, examination

records, and/or other plant documentation).

The NRC staff reviewed the documents and summarized the selected commitments information in the audit report. The NRC staff audit confirmed that the licensee has documented its implementation of regulatory commitments made to the NRC staff as part of past licensing actions.

The NRC staff audit of the licensee's commitment management program for AN0-1 and 2 did not identify any regulatory commitments that were not satisfied or incorporated into its commitment management program for implementation.

Generally, the licensee's commitment tracking database was found to be well-maintained and the commitments selected for this audit were easily traceable in the database.

The NRC staff did note that some administrative errors were found in the database, including an incorrect commitment closure date, and a non-trivial commitment wording change between the licensee's submittal and the entry into the tracking system. Both discrepancies were immediately corrected in the database and entered into the licensee's corrective action program (CAP). Licensee personnel were able to demonstrate effective use of the commitment management database and provided status tracking to the applicable implementation document.

The NRC staff found that generally, the selected commitments in the audit sample were effectively implemented.

Using the Entergy tracking program as a starting point, the NRC staff sought to determine that commitments were implemented in documents such as plant procedures (both electronic and in paper copies, e.g. in the control room), or in appropriate engineering packages.

The attached Audit Summary Table provides details of the audit and its results.

Regarding the licensee's implementation of the Entergy fleet commitment management procedure, the NRC staff observed that contrary to EN-LI-11 0, "Commitment Management Program,"

step 1.0[4], the licensee did not have a method to clearly distinguish regulatory commitments from other internal commitments or action items, which are tracked in the same system. The licensee entered this discrepancy into its CAP (CR-ANO-C-2014-02701) and noted that new regulatory commitments are being coded by placing "regulatory commitment" in one of the database fields, to make regulatory commitments searchable.

This should be an area of focus for the next NRR DORL Project Manager regulatory commitments audit. Based on the above, the NRC staff concludes that the licensee has implemented the regulatory commitments management program effectively in accordance with LIC-105, "Managing Regulatory Commitments Made by Licensees to the NRC," and consistent with NEI 99-04. 2.2 Verification of the Licensee's Program for Managing Regulatory Commitment Changes The primary focus of this part of the audit was to verify that the licensee has established administrative controls for satisfying, modifying, or deleting commitments made to the NRC. The audit seeks to ensure that changes to commitments (modifications or deletions) are evaluated in accordance with the licensee's programs and procedures, that the licensee's technical evaluations adequately justify the change, and that the NRC is informed of commitment changes that have safety or regulatory significance.

The NRC staff compared the licensee's process for controlling regulatory commitments to the guidelines in NEI 99-04, which the NRC has found to be an acceptable guide for licensees to follow for managing and changing commitments.

The process used at AN0-1 and 2 is contained in the Entergy Corporate Procedure EN-LI-11

0. During the current review period, the licensee made a revision to one regulatory commitment, and this commitment was included in the audit sample. 2.2.1 Audit Results The licensee carries out its obligations under its regulatory commitments by the processes that are outlined in the procedures.

Any changes to the commitments are processed through the established processes and changes are reported to the NRC in accordance with the recommendations of LIC-105.

In reviewing the licensee's change process for the revised commitment, the NRC staff reviewed the supporting documentation, including the commitment change evaluation form. The NRC staff concluded that the licensee is following NEI 99-04 guidelines for commitment

tracking, commitment
changes, and reporting requirements, via EN-LI-11
0. The attached Audit Summary Table provides details of this portion of the audit and its results.

Based on the results of the on-site audit, the NRC staff believes the licensee has implemented regulatory commitment changes appropriately, in accordance with LIC-1 05 and consistent with NEI 99-04. 2.3 Review to Identify Misapplied Commitments The commitments reviewed for this audit were also evaluated to determine if they had been misapplied.

A commitment is considered to be misapplied if the action comprising the commitment was relied on by the NRC staff in making a regulatory decision such as a finding of public health and safety in an NRC safety evaluation associated with a licensing action. Reliance on an action to support a regulatory decision must be elevated from a regulatory commitment to a legal obligation (e.g., license condition, condition of a relief request, regulatory exemption limitation or condition).

A commitment is also considered to have been misapplied if the commitment involves actions that were safety significant (i.e., commitments used to ensure safety).

Each of the commitments selected for the audit sample were reviewed to determine if any had been misapplied.

There were no misapplied commitments identified during the audit. 2.3.1 Review of Safety Evaluation Reports for Licensing Actions since the Last Audit to Determine if They Are Properly Captured as Commitments or Obligations In addition to the commitments selected for the audit sample, all license amendment, exemption, and relief request safety evaluations that have been issued for a facility since the last audit were identified.

These documents were evaluated to determine if they contained any misapplied commitments as described above. No discrepancies were found regarding the capture of regulatory commitments in any safety evaluations issued since the last regulatory commitment audit.

3.0 CONCLUSION

Based on the results of the audit, the NRC staff concludes that (1) the licensee had implemented or is tracking for future implementation regulatory commitments; and (2) the licensee had implemented an effective program to manage regulatory commitment

changes, in accordance with LIC-105 and consistent with NEI 99-04. 4.0 LICENSEE PERSONNEL CONTACTED FOR THIS AUDIT Robert Clark David Bice Stephanie Pyle Principal Contributor:

A. George Date: January 15, 2015

Attachment:

Summary of Audit Results TAC No. MF1182 MF1199 ME4544 ME6125 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 ADAMS Commitment Date of Accession No. Licensee's Documents Letter Subject No. Description Reviewed Entergy will follow the guidance established in LR-LAR-2013-Section 11 of NUMARC 93-01, "Industry 00061-CA11 8/19/2014 ML 14231A370 19265 Guidance for Monitoring the Effectiveness of Directive No. Maintenance at Nuclear Power Plants,"

Nuclear Management and Resource

Council, COPD-024, "Risk Assessment Revision 4A, April 2011. Guidelines" Entergy commits to revising the associated Control Room Copy -TS Bases 8/10/2010 ML 102280537 18981 Technical Specification Bases consistent with TSTF-312, Revision 1, during implementation of LO-LAR-2010-the amendment.

0167-CA26 Entergy commits to revising the associated Control Room Copy -TS Bases 4/29/2011 ML 11190551 19036 Technical Specification Bases consistent with TSTF-513, Revision 3, during implementation of LO-LAR-2011-the amendment.

0032-CA20


Status & Comments Open, see Note (1 ). Closed. Verified TS Bases in Control Room updated (Rev. 43). Closed. Verified TS Bases in Control Room updated (Rev. 44). ----Attachment TAC No. ME4942 MC4663 MC4664 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19002 19003 10/26/2010 ML 100980614 6/9/2011 19004 12/21/2011 ML 120040124 19071 3/20/2013 ML 13080A347 19257 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Perform a code repair on Service Water line HBD-2-18.

Weekly walk down the leak location.

Re-examine the leak location every 90 days using UT. Entergy will inform the NRC of the final plans for disposition.

Entergy plans to remove the insulation; or Entergy will document the acceptability of the as-left condition.

Documents Reviewed LO-LAR-2011-0129-CA01 Work Order 00240369 CR-AN0-1-2010-02391 WT-WAN0-201 0-00019-CA071, 110, 120, 128, 134, 137, Work Order 00240369 LO-LAR-201 0-0304 CR-AN0-1-2010-2391-CA002, 013, 014,018,020,025 Work Order 00240369 Licensee letter dated 3/20/13 (1CAN031303).

Work Order 00300452 Status & Comments Closed. Closed. Commitment closed on 5/4/11, but last UT was performed 8/24/11, and piping repair was performed in November 2011. Licensee corrected closure date in commitment tracking system. Closed. Closed. -

TAC No. Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19283 19284 5/16/2013 ML 13137A126 19285 19287 19288 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Complete bypass re-testing and incorporate results into Arkansas Nuclear One (ANO) calculations.

Participate in Pressurized Water Reactor Owners Group in-vessel testing projects and incorporate results into ANO calculations as appropriate.

Complete the necessary insulation replacements, remediation, or model refinements.

Within six months of establishing the scope of insulation replacement or remediation, or model refinements, Entergy will submit a final updated supplemental response to support closure of GL 2004-02.

Entergy will update the AN0-1 and AN0-2 Safety Analysis Reports following NRC acceptance of the updated supplemental response for AN0-1 and AN0-2 and completion of the identified removal or modification of insulation debris sources in containment.

Documents Reviewed LO-LAR-20 13-0066-CA18 LO-LAR-2013-0066-CA18 LO-LAR-2013-0066-CA19 LO-LAR-2013-0066-CA21 LO-LAR-2013-0066-CA22 Status & Comments Open. Open. Text of the commitment says "Participate."

In its tracking system, the licensee had entered "Follow."

The entry was corrected to say "Participate."

Open. Open. Open.

TAC No. N/A ME9300 ME9301 MC4663 MD7397 MC4664 MD7398 ME8909 ME8910 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 1/26/2012 ML 120260627 19088 ML 14034A412 2/3/2014 OCAN021401 19362? 8/31/2005 ML052560230 R18833 6/18/2012 ML 12171A463 19034 19035 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Entergy will add a commitment to the commitment tracking system to maintain the safety culture monitoring processes as described in NEI 09-07, "Fostering a Strong Nuclear Safety Culture."

Entergy has committed to the generic schedule provided in the Industry OPC Initiative.

It is Entergy's intention to meet the milestones of this schedule;

however, deviations may be required to accommodate outage schedules, software and hardware availability, manufacturer's delivery capabilities, licensing delays, etc. Entergy committed to the measurement of latent debris quantities every third refueling outage to confirm that latent debris quantities used in strainer testing and downstream effects analysis remain bounding.

Entergy will implement milestones 1, 2, 3, 4, 5, and 7 described in Attachment 4 of letter dated April 1, 2011 (OCAN0411 01 ), and the revised Milestone 6 in Attachment 4 of this submittal.


Documents Reviewed Procedure EN-QV-136, "Nuclear Safety Culture Monitoring" CNR0-2013-00001 LO-LAR-2012-0248-CA017, 018, 019, 020 LO-LAR-2008-02247-CA16 Work Order 52268953 Operability Evaluation CR-AN0-1-2011-02915 Commitment Change Evaluation Form LO-LAR-2011-0169-CA08, 019 Status & Comments Open. See letter dated 5/6/13 (ML 13126A256).

Open. Scheduled for 12/31/17 completion.

Open (Revised),

CMS-2012-0006 refers. See commitment change report dated 5/3/12).

19034-Ciosed.

19035-0pen.

Amendment Issued 12/8/14 extended Milestone 8 due date. ----

TAC No. MF3277 MF3278 MF1512 MF1513 ME9991 ME9992 Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 12/17/2013 ML 13358A304 19346 ML 13358A305 19272 19273 4/30/2013 ML 13121A431 19274 ML 12305A534 10/31/2012 ML 13091A328 19190 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description Full implementation of Arkansas Nuclear One Cyber Security Plan for all safety, security, and emergency preparedness functions will be achieved.

Entergy will perform this assessment as part of the Phase 2 staffing assessment.

Entergy will identify any appropriate modifications to the ANO Emergency Plan Drill and Exercise Program upon completion of the mitigation strategies and associated guidance for NRC Order EA-12-049.

Entergy will incorporate instructions into applicable fleet/site guidance for ANO based upon the conditions as described in NEI 12-01, Revision 0, dated May 2012. Enhancements identified within the assessment (Attachment

1) will be further developed as implementation progresses.

Alternate approaches will be utilized if prudent (e.g., alternate/new technology, improved capability, cost savings, etc.). These enhancement commitments are subject to change as a result of Diverse and Flexible Coping Strategies (FLEX) developments, advances in technology, and progress in the manner of addressing the need for these enhancements Documents Reviewed LO-LAR-2011-0168-CA08 LO-LAR-2012-089-CA164 LO-LAR-2012-0089-CA164 LO-LAR-2012-0089-CA162 Flex Support Guideline No. CFSG-100, "BDBEE/ELAP Emergency Response" LR-LAR-2012-0089-CA166 Outage Summary Report 2R24 --_L...____

___ Status & Comments Open, see Note (1). Amendment issued 12/8/14 to extend due date to 6/30/16.

Closed. Closed. Closed. Open.

TAC No. MF0942 MF0943 Notes: Summary of Regulatory Commitment Audit Results Performed on October 14-16, 2014 Arkansas Nuclear One, Units 1 and 2 ADAMS Date of Accession No. Licensee's Letter Subject No. 19420 4/8/2014 ML 14098A114 19421 Entergy Operations, Inc. Docket Nos. 50-313 and 50-368 Commitment Description As an interim measure, instructions will be in place by startup from the Arkansas Nuclear One (ANO}, Unit-1 refueling outage 1 R25 for connecting a portable diesel generator to the 285 load center should the AN0-2 286 load center not be capable of being powered for some unforeseen reason during an extended loss of alternating current power. The 285 load center modification will be the only aspect of the AN0-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1 R25 (e.g., FLEX Support Guidelines,

training, equipment staged, and modifications installed).

Documents Reviewed LR-LAR-2014-0087-CA50 LR-LAR-2014-0087-CA51 (1) License amendment request still under staff review at the time of the audit. Status & Comments Open. Open. If you have any questions, I can be contacted at (301) 415-1081 or via e-mail at andrea.george@nrc.gov.

Docket Nos. 50-313 and 50-368

Enclosure:

Audit Report cc w/encl: Distribution via Listserv DISTRIBUTION:

PUBLIC LPL4-1 Reading RidsAcrsAcnw_MaiiCTR Resource RidsNrrDorllpl4-1 Resource RidsNrrPMANO Resource RidsNrrLAJBurkhardt Resource RidsRgn4MaiiCenter Resource TOrf, NRR/DORL ADAMS Accession No.: ML 14357A259 Sincerely, IRA/ Andrea E. George, Project Manager Plant Licensing Branch IV-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation OFFICE NRR/DORULPL4-1/PM NRR/DORLILPL4-1/LA NRR/DORLILPL4-1/BC(A)

NRR/DORULPL4-1/PM NAME A George JBurkhardt EOesterle AGeorge DATE 1/14/15 1/14/15 1/14/15 1/15/15 OFFICIAL RECORD COPY