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{{Adams | |||
| number = ML090350505 | |||
| issue date = 01/19/2009 | |||
| title = Reply to Notice of Violation; EA-08-296, Inspection Report No. 05000361/2008013 and 05000362/2008013 | |||
| author name = Ridenoure R | |||
| author affiliation = Southern California Edison Co | |||
| addressee name = | |||
| addressee affiliation = NRC/Document Control Desk, NRC/RGN-IV | |||
| docket = 05000361, 05000362 | |||
| license number = | |||
| contact person = | |||
| case reference number = EA-08-296, IR-08-13 | |||
| document type = Letter, Licensee Response to Notice of Violation | |||
| page count = 4 | |||
}} | |||
See also: [[see also::IR 05000361/2008013]] | |||
=Text= | |||
{{#Wiki_filter:SOUTHERN CALIFORNIA | |||
n ED DISON An EDISON INTERNATIONAL& | |||
Company Ross T. Ridenoure Senior Vice President | |||
and CNO San Onofre Nuclear Generating | |||
Station January 19, 2009 U.S. Nuclear Regulatory | |||
Commission | |||
Attn: Document Control Desk Washington, D.C. 20555 Subject: References: | |||
Docket Nos. 50-361 and 50-362 Reply to Notice of Violation; | |||
EA-08-296 Inspection | |||
Report No. 05000361/2008013 | |||
and 05000362/2008013 | |||
San Onofre Nuclear Generation | |||
Station, Units 2 and 3 Letter from Mr. E. E. Collins (NRC) to Ross T. Ridenoure (SCE) dated December 19, 2008 and LER 2008-006, dated September | |||
17, 2008 Dear Sir or Madam: The reference | |||
letter transmitted | |||
the results of NRC Inspection | |||
Report No.05000361/2008013 | |||
and 05000362/2008013 | |||
to Southern California | |||
Edison (SCE). The Special Inspection | |||
was conducted | |||
between August 4, 2008 and December 11, 2008 at San Onofre Nuclear Generating | |||
Station (SONGS), Units 2 and 3. The referenced | |||
report also transmitted | |||
a Notice of Violation (EA-08-296). | |||
The attachment | |||
to this letter provides the required response to the Notice of violation. | |||
If you have any questions, please feel free to contact me or Mr. A. E. Scherer.Sincerely, Enclosure: | |||
As stated cc: E. E. Collins, Regional Administrator, NRC Region IV G. Warnick, NRC Senior Resident Inspector, San Onofre Units 2 and 3 Mail Stop D45 P.O. Box 128 San Clemente, CA 92672 (949) 368-6255 PAX 86255 Fax: (949) 368-6183 Ross.Ridenoure@sce.com | |||
J~t~DI | |||
ENCLOSURE REPLY TO A NOTICE OF VIOLATION The Enclosure | |||
to Mr. E. E. Collin's letter dated December 19, 2008, states in Part: During an NRC inspection | |||
completed | |||
on December 11, 2008, a violation | |||
of NRC requirements | |||
was identified. | |||
In accordance | |||
with the NRC Enforcement | |||
Policy, the violation | |||
is listed below: 10 CFR Part 50, Appendix B, Criterion | |||
V, "Instructions, Procedures, and Drawings," states, in part, that activities | |||
affecting | |||
quality shall be prescribed | |||
by documented | |||
instructions, procedures, or drawings of a type appropriate | |||
to the circumstances | |||
and shall be accomplished | |||
in accordance | |||
with these instructions, procedures, or drawings. | |||
Instructions | |||
and procedures | |||
shall include appropriate | |||
quantitative | |||
or qualitative | |||
acceptance | |||
criteria for determining | |||
that important activities | |||
have been satisfactorily | |||
accomplished. | |||
Contrary to the above, in March 2004, the licensee engaged in activities | |||
affecting quality that were not prescribed | |||
by documented | |||
instructions | |||
or procedures | |||
of the type appropriate | |||
to the circumstances. | |||
Specifically, maintenance | |||
and work control personnel | |||
failed to develop appropriate | |||
instructions | |||
or procedures, and failed to include quantitative | |||
or qualitative | |||
steps to ensure the maintenance | |||
activities | |||
on safety-related | |||
125 Vdc station battery Breaker 2D201 had been satisfactorily | |||
completed. | |||
The work plan described | |||
in Maintenance | |||
Order 03100406000 | |||
was incomplete | |||
and lacked the steps necessary | |||
to ensure that-electrical | |||
connection | |||
fasteners | |||
on Breaker 2D201 upper stud to bus bar connections | |||
were properly installed. | |||
This failure resulted in the Unit 2 safety-related | |||
Battery 2B008 being inoperable | |||
between March 2004 and March 25, 2008.This violation | |||
is associated | |||
with a White significance | |||
determination | |||
process finding. | |||
SCE RESPONSE TO VIOLATION BACKGROUND | |||
AND EVENT SUMMARY On March 25, 2008, while performing | |||
a weekly surveillance | |||
of a 1 E battery, plant personnel | |||
discovered | |||
its voltage below the required value. SCE determined | |||
the low voltage was caused by loose bolts to the DC breaker connecting | |||
the battery to the source of the battery charging current, the 1 E 125 VDC bus. SCE determined | |||
that the degraded electrical | |||
connection | |||
to the DC breaker was due to an inadequate | |||
work plan and lack of checks during installation | |||
in March 2004. A report of the event was submitted | |||
on September | |||
17, 2008 (LER 2008-013). | |||
As discussed | |||
with the Nuclear Regulatory | |||
Commission | |||
during the Special Inspection | |||
Exit meeting on December 11, 2008, SCE does not contest the violation | |||
or the NRC's determination | |||
of its significance. | |||
1. Reason for the Violation The SCE Root Cause Evaluation | |||
for the maintenance | |||
activity of the 2004 installation | |||
of the DC breaker identified | |||
two root causes leading to the deficient | |||
work. First, SCE concluded | |||
that the Work Order was not sufficient | |||
in detail to match the significance | |||
of the work activity. | |||
SCE planner personnel | |||
do not consistently | |||
perform to the same set of standards. | |||
In this case, the Maintenance | |||
Order Planner did not include critical steps in the work plan and did not provide adequate instruction | |||
to verify the tightness | |||
of the breaker bolts. The work plan was reliant on a single barrier (the electrician's | |||
performance) | |||
to ensure proper tightening | |||
of the bolts.SCE concluded | |||
the event involved not only planners not meeting procedure expectations, but also electricians | |||
not meeting expectations | |||
for applying their skills/knowledge | |||
in the conduct of their work. In addition, the supervisor | |||
was not overseeing | |||
work and verifying | |||
critical steps were complete. | |||
Underlying | |||
these behaviors was a lack of accountability. | |||
2. Corrective | |||
Actions Taken and Results Achieved a. On March 25, 2008, SCE tightened | |||
the loose connections | |||
for 2D201 which restored battery 2B008 to Operable status.b. On March 25-26, 2008, SCE inspected | |||
the bolt/connections | |||
for the seven similar breakers and verified that they were tight.c. SCE revised appropriate | |||
maintenance | |||
procedures | |||
to provide additional | |||
assurance | |||
that critical electrical | |||
connections, as defined by procedure, disturbed during maintenance | |||
activities | |||
are restored to their design condition. | |||
These changes include: o Additional | |||
verifications | |||
of connection | |||
torque or tightness. | |||
o Specification | |||
of torque values in procedure | |||
or work order instructions. | |||
o Post maintenance | |||
verification | |||
testing to confirm the connection | |||
is restored to design condition. | |||
d. To assess the extent of condition, SCE reviewed over 1300 Maintenance | |||
Orders for the electrical | |||
portion of the Emergency | |||
Diesel systems, the Auxiliary Feedwater | |||
system and the 1 E electrical | |||
system. This review covered the previous 3 years and focused on identifying | |||
previously | |||
performed | |||
work in which the work plan lacked critical steps and verification. | |||
e. Based upon the review described | |||
in 2.d, SCE has initiated | |||
inspection | |||
of the limited set of connections | |||
based upon the work plans that lacked critical steps and verification. | |||
This effort is on-going.f. SCE has initiated | |||
independent | |||
reviews to find and correct deficiencies | |||
of previously | |||
planned Maintenance | |||
Order work plans prior to issuance to the field.(This review includes the equipment | |||
whose failure may initiate (a) a plant trip, (b)a 5% reduction | |||
in load, (c) entry into a 72-hour or less Technical | |||
Specification | |||
required shutdown or (d) DG inoperability.) | |||
g. To initially | |||
address the issue of not meeting expectations, SCE has reviewed the lessons learned from this event with the planners, electricians | |||
and supervisors | |||
involved with the 2004 installation. | |||
3. Corrective | |||
Actions That Will Be Taken a. SCE recognizes | |||
the importance | |||
of its responsibilities | |||
with respect to identifying | |||
and correcting | |||
significant | |||
degraded conditions, not meeting expectations | |||
and lack of accountability. | |||
Consequently, the RCE that addressed | |||
the causes of this event is being expanded and broadened. | |||
Additional | |||
Corrective | |||
Actions are anticipated | |||
that will further address the root causes and reduce the likelihood | |||
of a future safety significant | |||
equipment | |||
functional | |||
failure due to loose electrical | |||
connections. | |||
b. SCE is developing | |||
training modules to train planners in planning fundamentals. | |||
These modules will address the use of newly revised planning procedures | |||
as well as other applicable | |||
division and site procedures. | |||
SCE anticipates | |||
the program will be implemented | |||
and training will begin in April 2009.4. Date When Full Compliance | |||
Will Be Achieved Full compliance | |||
with the Technical | |||
Specifications | |||
was achieved with the maintenance | |||
performed | |||
on March 25, 2008 and Battery 2B008 restored to Operable status.Full compliance | |||
with 10 CFR 50 Appendix B, Criterion | |||
V was achieved on December 31, 2008 when revised procedures (in 2.c) were issued. | |||
}} |
Revision as of 02:45, 12 July 2019
ML090350505 | |
Person / Time | |
---|---|
Site: | San Onofre |
Issue date: | 01/19/2009 |
From: | Ridenoure R Southern California Edison Co |
To: | Document Control Desk, NRC Region 4 |
References | |
EA-08-296, IR-08-13 | |
Download: ML090350505 (4) | |
See also: IR 05000361/2008013
Text
SOUTHERN CALIFORNIA
n ED DISON An EDISON INTERNATIONAL&
Company Ross T. Ridenoure Senior Vice President
and CNO San Onofre Nuclear Generating
Station January 19, 2009 U.S. Nuclear Regulatory
Commission
Attn: Document Control Desk Washington, D.C. 20555 Subject: References:
Docket Nos. 50-361 and 50-362 Reply to Notice of Violation;
EA-08-296 Inspection
Report No. 05000361/2008013
and 05000362/2008013
San Onofre Nuclear Generation
Station, Units 2 and 3 Letter from Mr. E. E. Collins (NRC) to Ross T. Ridenoure (SCE) dated December 19, 2008 and LER 2008-006, dated September
17, 2008 Dear Sir or Madam: The reference
letter transmitted
the results of NRC Inspection
Report No.05000361/2008013
and 05000362/2008013
to Southern California
Edison (SCE). The Special Inspection
was conducted
between August 4, 2008 and December 11, 2008 at San Onofre Nuclear Generating
Station (SONGS), Units 2 and 3. The referenced
report also transmitted
a Notice of Violation (EA-08-296).
The attachment
to this letter provides the required response to the Notice of violation.
If you have any questions, please feel free to contact me or Mr. A. E. Scherer.Sincerely, Enclosure:
As stated cc: E. E. Collins, Regional Administrator, NRC Region IV G. Warnick, NRC Senior Resident Inspector, San Onofre Units 2 and 3 Mail Stop D45 P.O. Box 128 San Clemente, CA 92672 (949) 368-6255 PAX 86255 Fax: (949) 368-6183 Ross.Ridenoure@sce.com
J~t~DI
ENCLOSURE REPLY TO A NOTICE OF VIOLATION The Enclosure
to Mr. E. E. Collin's letter dated December 19, 2008, states in Part: During an NRC inspection
completed
on December 11, 2008, a violation
of NRC requirements
was identified.
In accordance
with the NRC Enforcement
Policy, the violation
is listed below: 10 CFR Part 50, Appendix B, Criterion
V, "Instructions, Procedures, and Drawings," states, in part, that activities
affecting
quality shall be prescribed
by documented
instructions, procedures, or drawings of a type appropriate
to the circumstances
and shall be accomplished
in accordance
with these instructions, procedures, or drawings.
Instructions
and procedures
shall include appropriate
quantitative
or qualitative
acceptance
criteria for determining
that important activities
have been satisfactorily
accomplished.
Contrary to the above, in March 2004, the licensee engaged in activities
affecting quality that were not prescribed
by documented
instructions
or procedures
of the type appropriate
to the circumstances.
Specifically, maintenance
and work control personnel
failed to develop appropriate
instructions
or procedures, and failed to include quantitative
or qualitative
steps to ensure the maintenance
activities
on safety-related
125 Vdc station battery Breaker 2D201 had been satisfactorily
completed.
The work plan described
in Maintenance
Order 03100406000
was incomplete
and lacked the steps necessary
to ensure that-electrical
connection
fasteners
on Breaker 2D201 upper stud to bus bar connections
were properly installed.
This failure resulted in the Unit 2 safety-related
Battery 2B008 being inoperable
between March 2004 and March 25, 2008.This violation
is associated
with a White significance
determination
process finding.
SCE RESPONSE TO VIOLATION BACKGROUND
AND EVENT SUMMARY On March 25, 2008, while performing
a weekly surveillance
of a 1 E battery, plant personnel
discovered
its voltage below the required value. SCE determined
the low voltage was caused by loose bolts to the DC breaker connecting
the battery to the source of the battery charging current, the 1 E 125 VDC bus. SCE determined
that the degraded electrical
connection
to the DC breaker was due to an inadequate
work plan and lack of checks during installation
in March 2004. A report of the event was submitted
on September
17, 2008 (LER 2008-013).
As discussed
with the Nuclear Regulatory
Commission
during the Special Inspection
Exit meeting on December 11, 2008, SCE does not contest the violation
or the NRC's determination
of its significance.
1. Reason for the Violation The SCE Root Cause Evaluation
for the maintenance
activity of the 2004 installation
of the DC breaker identified
two root causes leading to the deficient
work. First, SCE concluded
that the Work Order was not sufficient
in detail to match the significance
of the work activity.
SCE planner personnel
do not consistently
perform to the same set of standards.
In this case, the Maintenance
Order Planner did not include critical steps in the work plan and did not provide adequate instruction
to verify the tightness
of the breaker bolts. The work plan was reliant on a single barrier (the electrician's
performance)
to ensure proper tightening
of the bolts.SCE concluded
the event involved not only planners not meeting procedure expectations, but also electricians
not meeting expectations
for applying their skills/knowledge
in the conduct of their work. In addition, the supervisor
was not overseeing
work and verifying
critical steps were complete.
Underlying
these behaviors was a lack of accountability.
2. Corrective
Actions Taken and Results Achieved a. On March 25, 2008, SCE tightened
the loose connections
for 2D201 which restored battery 2B008 to Operable status.b. On March 25-26, 2008, SCE inspected
the bolt/connections
for the seven similar breakers and verified that they were tight.c. SCE revised appropriate
maintenance
procedures
to provide additional
assurance
that critical electrical
connections, as defined by procedure, disturbed during maintenance
activities
are restored to their design condition.
These changes include: o Additional
verifications
of connection
torque or tightness.
o Specification
of torque values in procedure
or work order instructions.
o Post maintenance
verification
testing to confirm the connection
is restored to design condition.
d. To assess the extent of condition, SCE reviewed over 1300 Maintenance
Orders for the electrical
portion of the Emergency
Diesel systems, the Auxiliary Feedwater
system and the 1 E electrical
system. This review covered the previous 3 years and focused on identifying
previously
performed
work in which the work plan lacked critical steps and verification.
e. Based upon the review described
in 2.d, SCE has initiated
inspection
of the limited set of connections
based upon the work plans that lacked critical steps and verification.
This effort is on-going.f. SCE has initiated
independent
reviews to find and correct deficiencies
of previously
planned Maintenance
Order work plans prior to issuance to the field.(This review includes the equipment
whose failure may initiate (a) a plant trip, (b)a 5% reduction
in load, (c) entry into a 72-hour or less Technical
Specification
required shutdown or (d) DG inoperability.)
g. To initially
address the issue of not meeting expectations, SCE has reviewed the lessons learned from this event with the planners, electricians
and supervisors
involved with the 2004 installation.
3. Corrective
Actions That Will Be Taken a. SCE recognizes
the importance
of its responsibilities
with respect to identifying
and correcting
significant
degraded conditions, not meeting expectations
and lack of accountability.
Consequently, the RCE that addressed
the causes of this event is being expanded and broadened.
Additional
Corrective
Actions are anticipated
that will further address the root causes and reduce the likelihood
of a future safety significant
equipment
functional
failure due to loose electrical
connections.
b. SCE is developing
training modules to train planners in planning fundamentals.
These modules will address the use of newly revised planning procedures
as well as other applicable
division and site procedures.
SCE anticipates
the program will be implemented
and training will begin in April 2009.4. Date When Full Compliance
Will Be Achieved Full compliance
with the Technical
Specifications
was achieved with the maintenance
performed
on March 25, 2008 and Battery 2B008 restored to Operable status.Full compliance
with 10 CFR 50 Appendix B, Criterion
V was achieved on December 31, 2008 when revised procedures (in 2.c) were issued.