|
|
Line 3: |
Line 3: |
| | issue date = 09/01/2011 | | | issue date = 09/01/2011 |
| | title = IR 05000293-11-012, on 05/16/2011 - 07/20/2011, Pilgrim Nuclear Power Station, Inspection Procedure 93812, Special Inspection | | | title = IR 05000293-11-012, on 05/16/2011 - 07/20/2011, Pilgrim Nuclear Power Station, Inspection Procedure 93812, Special Inspection |
| | author name = Miller C G | | | author name = Miller C |
| | author affiliation = NRC/RGN-I/DRS | | | author affiliation = NRC/RGN-I/DRS |
| | addressee name = Smith R G | | | addressee name = Smith R |
| | addressee affiliation = Entergy Nuclear Operations, Inc | | | addressee affiliation = Entergy Nuclear Operations, Inc |
| | docket = 05000293 | | | docket = 05000293 |
Line 54: |
Line 54: |
|
| |
|
| ===Enclosure:=== | | ===Enclosure:=== |
| Inspection Report 05000293/201 1012 | | Inspection Report 05000293/201 1012 w/Attachments: |
| | Supplemental Information (Attachment 1 )Special Inspection Team Charter (Attachment 2)Detailed Sequence of Events (Attachment 3)Appendix M Table 4.1 (Attachment 4) |
|
| |
|
| ===w/Attachments:===
| | REGION I 50-293 DPR-35 05000293/2011012 Entergy Nuclear Operations, Inc Pilgrim Nuclear Power Station (PNPS)600 Rocky Hill Road Plymouth, MA 02360 May 16 through July 20,2011 R. McKinley, Senior Emergency Response Coordinator Division of Reactor Safety B. Haagensen, Resident Inspector, Division of Reactor Projects D. Molteni, Operations Engineer, Division of Reactor Safety Donald E. Jackson, Chief Operations Branch Division of Reactor Safety Enclosure |
| Supplemental Information (Attachment 1 )Special Inspection Team Charter (Attachment 2)Detailed Sequence of Events (Attachment 3)Appendix M Table 4.1 (Attachment 4)cc w/encl: Distribution via ListServ
| |
| | |
| Sincerely,&
| |
| R, Smith Because the NRC has not made a final determination in this matter, no Notice of Violation is being issued for this inspection finding at this time. Please be advised that the number and characterization of the apparent violation described in the enclosed inspection report may change as a result of further NRC review.In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room and from the Publicly Available Records (PARS) component of NRC's document system, Agencywide Documents Access and Management System (ADAMS).ADAMS is accessible from the NRC Website at http://www.nrc.qov/readinq-rm/adams.html (the Public Electronic Reading Room).
| |
| | |
| Sincerely,/RA/Christopher G. Miller, Director Division of Reactor Safety Docket No. 50-293 License No. DPR-35
| |
| | |
| ===Enclosure:===
| |
| lnspection Report 05000293/201 1012
| |
| | |
| ===w/Attachments:===
| |
| Supplemental Information (Attachment 1 )Special Inspection Team Charter (Attachment 2)Detailed Sequence of Events (Attachment 3)Appendix M Table 4.1 (Attachment 4)cc w/encl: Distribution via ListServ Distribution:
| |
| See next page SUNSI Review Complete:
| |
| rrm* (Reviewer's Initials)DOCUMENT NAME: G:\DRS\Operations Branch\M0KINLE\lPilgrim SIT June 20'11\lnspection Report Drafts\Pilgrim SIT Concurrence\Pilgrim 2011 SIT Report Final.docx After declaring this document "An Official Agency Record" it will be released to the Public.MLI12440't00 To teceivs a coov of this documGnt.
| |
| | |
| indicate in the box: "C" = CoDy without attachmenvenclosure "E" = Copy with attachmenvenclosure
| |
| 'N" = No OFFICE RIiDRS RI/DRS RI/ORA RI/DRP RI/DRP NAME RMcKinley/rrm*
| |
| Prior concurrence DJackson/dej*
| |
| Prior concurrence DHolody/aed for*Prior concurrence RBellamy/tcs for*Prior concurrence DRoberts/djr-
| |
| Prior concurrence DATE 08t19t11 08t19t11 08t19t11 08/ t11 08/30/1 1 OFFICE RI/DRS NAME CMiller/cgm DATE 08131111 OFFICIAL RECORD COPY Docket No.: License No.: Report No,: Licensee: Facility: Location: Dates: Team Leader: Team: Approved By: U. S. NUCLEAR REGULATORY COMMISSION REGION I 50-293 DPR-35 05000293/2011012 Entergy Nuclear Operations, Inc Pilgrim Nuclear Power Station (PNPS)600 Rocky Hill Road Plymouth, MA 02360 May 16 through July 20,2011 R. McKinley, Senior Emergency Response Coordinator Division of Reactor Safety B. Haagensen, Resident Inspector, Division of Reactor Projects D. Molteni, Operations Engineer, Division of Reactor Safety Donald E. Jackson, Chief Operations Branch Division of Reactor Safety Enclosure
| |
|
| |
|
| =SUMMARY OF FINDINGS= | | =SUMMARY OF FINDINGS= |
Line 270: |
Line 251: |
| during Reactor Startup (Section 2) | | during Reactor Startup (Section 2) |
| ==LIST OF DOCUMENTS== | | ==LIST OF DOCUMENTS== |
| REVIEWED Procedures:
| |
| : 1.3.34, "Operations Administrative policies and Procedures," Revision 1 19 1 .3.37 , "Post-Trip Reviews," Revision 27 1.3,63, "Conduct of Event Review Meetings," Revision 25 1.3.109, "lssue Management," Revision 8 2.1.1, "Startup from Shutdown," Revision 173 2.1.4, "Approach to Critical," Revision 26 2.1.7, "Vessel Heat-up and Cool Down," Revision 54 2.4.11, "Control Rod Positioning Malfunctions," Revision 35 2.4.11.1, "CRD System Malfunctions," Revision 21 Attachment
| |
| : A-1-2 SUPPLEMENTAL
| |
| : INFORMATION
| |
| : NOP96A3, "Reactivity Management Peer Panel," Revision 10
| |
| : EN-FAP-AD-OO1, "Fleet Administrative
| |
| ===Procedure===
| |
| (FAP) Process," Revision 0
| |
| : EN-FAP-OM-006, "Working Hour Limits for Non-Covered Workers," Revision 2
| |
| : EN-FAP-OP-008, "Reactivity Management Performance Indicator Program," Revision 0
| |
| : EN-FAP-OP-01
| |
| : 1, "Operator Human Performance Indicator Program," Revision 0
| |
| : EN-HU-102, "Human Performance Tools," Revision 5
| |
| : EN-HU-103, "Human Performance Error Reviews," Revision 4
| |
| : EN-NS-102, "Fitness for Duty Program," Revision 9
| |
| : EN-OM-119, "On-Site Safety Review Committee," Revision 7
| |
| : EN-OM-123, "Fatigue Management Program," Revision 3
| |
| : EN-OP-103, "Reactivity Management Program," Revision 5
| |
| : EN-OP-1 15, "Conduct of Operations," Revision 10
| |
| : EN-OP-1 16, "lnfrequently Performed Tests of Evolutions," Revision 7
| |
| : EN-RE-214, "Conduct of Reactor Engineering," Revision 0
| |
| : EN-RE-215, "Reactivity Maneuver Plan," Revision 1
| |
| : EN-RE-219, "Startup sequence Criticality Controls (BWR)," Revision 0 Condition Reports:
| |
| : CR-PNP-2011-02475
| |
| and associated Root Cause Evaluation Report, Revision 1
| |
| : CR-PNP-201
| |
| : 1-02488 cR-PNP-2011-02493
| |
| cR-PNP-2011-02504
| |
| : CR-PNP-201
| |
| : 1-02506 CR-PNP-2011-02546
| |
| : CR-PNP-201
| |
| : 1-02568 CR-PNP-2011-02572
| |
| cR-PNP-2011-02577
| |
| : CR-PNP-201
| |
| : 1-03598 Self Assessments:
| |
| : LO-PNPLO-2009-00071, "Focused Assessment on Reactivity Management"
| |
| : LO-PNPLO-2010-00106, "Snapshot Assessment on Reactivity Management
| |
| ===Procedure===
| |
| : Revision lmplementation"
| |
| : LO-PNPLO-2010-00106, "Snapshot Assessment on SOER 07-01 Recommendation Reactivity Management Operations Training" Technical Specifications:
| |
| : 3.5.C, "HPCI System" 3.5.D,'RCIC
| |
| : System" 5.4.1, "PROCEDURES" Traininq Material: lnstructional Module, Reactor Startup and Criticality
| |
| (& Main Turbine Overspeed)
| |
| : Just in Time Training used for
| |
| : 0511012011
| |
| and
| |
| : 0511112011
| |
| : Startup JITT Instructional Module, Reactor Startup and Criticality May 2011 Just in Time Training used for 051
| |
| : 1812011 Startup JITT Attachment
| |
| : A-1-3 SUPPLEMENTAL
| |
| : INFORMATION
| |
| : Just in Time Training PowerPoint used for 05/1812011
| |
| : Startup JITT lnstructor Lesson Plan JITT
| |
| : RFO 18 Hydro 2.1 .8.5 Simulator
| |
| : JITT Reactor Shutdown 2.1.5 and Vessel Cooldown 2.1.7 , Revised 0410112011
| |
| : Simulator
| |
| : JITT Reactor Shutdown 2.1.5 and Vessel Cooldown 2.1 .7 , Revised 0211912011
| |
| : Training Schedules for Outage Training Cycle
| |
| : 0311412011
| |
| -0410712011
| |
| : Training Schedules for Training Cycle 020211312011
| |
| -0211712011
| |
| : Training Schedules for Training Cycle 01
| |
| : 1112212010 - 0112212011
| |
| : Training Records and Remediation Training for Current Licensed Operators lnitial License Class 2009-2011
| |
| : Class Schedule O-RO-03-02, "Reactor Plant Startup Certification Unit Guide," Revision 10 O-RO-03-01-19, "Reactivity Management and Control Instructor/Student Guide," Revision 2 O-RO-03-01
| |
| -20, "Simulator Scenario, Operations Standards," Revision 0 O-RO-03-02-01, "lnstructional Module - Day One Cold Reactor Startup," Revision 7 O-RO-03-02-02, "lnstructional Module - Day Two Hot Reactor Startup," Revision 7 O-RO-03-02-03, "lnstructional Module * Day Three Cold Reactor Startup," Revision 3 O-RO-03-02-04, "lnstructional Module - Day Four Hot Reactor Startup," Revision 3 O*RO-03-02-05, "lnstructional Module - Day Five Cold Reactor Startup," Revision 3 O-RO-03-02-06, "lnstructional Module - Day Six Cold Reactor Startup," Revision 3 O-RO-03-02-07, "lnstructional Module - Day Seven 905 Certification Practice," Revision 3 O-RO-03-02-08, "lnstructional Module * Day Eight 905 Certification Practice," Revision 2 O-RO-03-02-09, "lnstructional Module - Day Nine Reactor Power Operations," Revision 1 O-RO-03-02-51, "lnstructional Module - SOER 90-3 Nuclear Instrument Miscalibration," Revision 3 Miscellaneous:
| |
| : Crew Briefing Sheet from May 10,2011 SCRAM Operations Section Standing Order 11-03 OSRC Meeting 2011-008 Meeting Minutes Post-Trip Review Package from May 10,2011 SCRAM with Attachments and Supporting Data"EN-OP-116
| |
| : 9,3 ITPE Supplemental Controls," developed for Post-Refueling Outage Startup Reactor Engineer's calculations pertaining to criticality prior to the reactor SCRAM eSOMS Control Room Logs from
| |
| : 0510912011
| |
| through 0511112011
| |
| : SRM and Moderator Temperature Traces with Calculated
| |
| : SRM Period 0511012011
| |
| : Control Room Personnel Chart Dayshift 0511012011
| |
| : Control Rod Notch History from Reactor Critical to Reactor SCRAM 0511012011
| |
| : Control Rod Notch Worth Calculations for 05/1012011
| |
| : Reactor Startup Power Maneuver Plan Cycle 19-01 Attachment
| |
| : A-1-4 SUPPLEMENTAL
| |
| : INFORMATION
| |
| ==LIST OF ACRONYMS==
| |
| ACRS Assistant
| |
| Control Room Supervisor
| |
| ADAMS Agency-wide
| |
| Documents
| |
| Access and Management
| |
| System AOM Assistant
| |
| Operations
| |
| Manager
| |
| : [[ATC]] [[At the Controls]]
| |
| : [[AV]] [[Apparent Violation]]
| |
| : [[BOP]] [[Balance of Plant]]
| |
| CCDP Conditional
| |
| Core Damage Probability
| |
| : [[CFR]] [[Code of Federal Regulations]]
| |
| CR Condition
| |
| Report
| |
| : [[CRD]] [[Control Rod Drive]]
| |
| : [[CRS]] [[Control Room Supervisor]]
| |
| : [[DRP]] [[Division of Reactor Projects]]
| |
| : [[DRS]] [[Division of Reactor Safety]]
| |
| : [[FFD]] [[Fitness for Duty]]
| |
| : [[HEP]] [[Human Error Probability]]
| |
| : [[HPCI]] [[High Pressure Coolant Injection]]
| |
| HUR Heatup Rate IMC lnspection
| |
| Manual Chapter IPTE Infrequently
| |
| Performed
| |
| Tests or Evolutions
| |
| IRM Intermediate
| |
| Range Monitor
| |
| : [[JITT]] [[Just in Time Training]]
| |
| NRC Nuclear Regulatory
| |
| Commission
| |
| : [[OPS]] [[]]
| |
| MGR Operations
| |
| Manager PARS Publicly Available
| |
| Records PD Performance
| |
| Deficiency
| |
| : [[PNPS]] [[Pilgrim Nuclear Power Station]]
| |
| : [[POAH]] [[Point of Adding Heat]]
| |
| : [[PPC]] [[Plant Process Computer]]
| |
| PRA Probabilistic
| |
| Risk Assessment
| |
| : [[RCE]] [[Root Cause Evaluation]]
| |
| RCIC Reactor Core lsolation
| |
| Cooling
| |
| : [[RE]] [[Reactor Engineer]]
| |
| RG Regulatory
| |
| Guide
| |
| : [[RO]] [[Reactor Operator]]
| |
| RO-ATC Reactor Operator at the Controls RPS Reactor Protection
| |
| System SDP Significance
| |
| Determination
| |
| Process
| |
| : [[SM]] [[Shift Manager]]
| |
| : [[SRI]] [[Senior Resident Inspector]]
| |
| : [[SRM]] [[Source Range Monitor]]
| |
| SRO Senior Reactor Operator SIT Special Inspection
| |
| Team STA Shift Technical
| |
| Advisor TS Technical
| |
| Specification
| |
|
| |
| A-2-1
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| : [[CHARTE]] [[R]]
| |
| : [[UNITED]] [[]]
| |
| : [[STATES]] [[N]]
| |
| : [[UCLEAR]] [[]]
| |
| REGULATORY
| |
| : [[COMMIS]] [[SION]]
| |
| : [[REGION]] [[I 475]]
| |
| : [[ALLEND]] [[ALE]]
| |
| : [[ROAD]] [[]]
| |
| : [[KING]] [[]]
| |
| : [[OF]] [[]]
| |
| : [[PRUSSI]] [[A.]]
| |
| : [[PA]] [[19406-1415]]
| |
| MEMORANDUM
| |
| : [[TO]] [[: SPECIAL INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER May 13, 2011 Samuel L. Hansell Jr., Manager Special Inspection
| |
| Team Raymond R. McKinley, Leader Special Inspection
| |
| Team Christopher
| |
| : [[G.]] [[Miller, Director /]]
| |
| : [[RA]] [[/Division of Reactor Safety Darrell]]
| |
| : [[J.]] [[Roberts, Director /]]
| |
| : [[RA]] [[by Paul Krohn Acting For/Division of Reactor Projects SPECIAL INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| : [[CHARTE]] [[R -PILGRIM NUCLEAR]]
| |
| : [[POWER]] [[]]
| |
| : [[STATIO]] [[N OPERATOR PERFORMANCE]]
| |
| : [[DURING]] [[]]
| |
| : [[REACTO]] [[R STARTUP]]
| |
| : [[ON]] [[]]
| |
| MAY 1Q.2011 FROM: SUBJECT: In accordance
| |
| with lnspection
| |
| Manual Chapter (lMC) 0309, "Reactive
| |
| Inspection
| |
| Decision Basis for Reactors," a Special Inspection
| |
| Team (SlT) is being chartered
| |
| to evaluate operator performance
| |
| and organizational
| |
| decision-making
| |
| associated
| |
| with a reactor scram that occurred during a startup on May 10,2011, The decision to conduct this special inspection
| |
| was based on meeting the deterministic
| |
| criteria (the event involved questions
| |
| or concerns pertaining
| |
| to licensee operational
| |
| performance)
| |
| and risk criteria specified
| |
| in Enclosure
| |
| of IMC 0309. The calculable
| |
| increase in conditional
| |
| core damage probability (CCDP), which was in the low E-6 range, was based on application
| |
| of an Initiating
| |
| Event Analysis in Sapphire 8 due to the reactor scram, which was then modified for the conditions
| |
| of the reactor when the transient
| |
| occurred, The SIT will expand on the event follow-up
| |
| inspection
| |
| activities
| |
| started by the resident inspectors
| |
| and augmented
| |
| by a Division of Reactor Projects (DRP) inspector
| |
| who was dispatched
| |
| to the site soon after the event. The Team will review the causes of the event, and Entergy's
| |
| organizational
| |
| and operator response during and after the event, The Team will Attachment
| |
| t rt *.r. i
| |
| A-2-2
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER perform interviews, as necessary, to understand
| |
| the scope of operator actions performed
| |
| during the event. The Team will also assess whether the SIT should be upgraded to an Augmented Inspection
| |
| Team in accordance
| |
| with IMC 0309.The inspection
| |
| will be conducted
| |
| in accordance
| |
| with the guidance contained
| |
| in NRC Inspection
| |
| Procedure
| |
| 93812, "Special Inspection," and an inspection
| |
| report will be issued within 45 days following
| |
| the final exit meeting for the inspection.
| |
| The Special Inspection
| |
| willcommence
| |
| on May 16, 2411. The following
| |
| personnel
| |
| have been assigned to this effort: Manager: Samuel L. Hansell, Jr., Branch Chief Operations
| |
| Branch, DRS, Region I Team Leader: Team Members: Enclosure:
| |
| Special Inspection
| |
| Team Charter Raymond R. McKinley, Senior Emergency
| |
| Response Coordinator
| |
| Plant Support Branch, DRS, Region I Brian C. Haagensen, Millstone
| |
| Power Station Resident Inspector Division of Reactor Projects, DRP, Region I David L. Molteni, Operations
| |
| Engineer Operations
| |
| Branch, DRS, Region I Attachment
| |
|
| |
| A-2-3
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER Special Inspection
| |
| Team Charter Pilgrim Nuclear Power Station Operator Performance
| |
| During Reactor Startup May 10,2011 Backqround:
| |
| During startup from a refueling
| |
| outage, Entergy operators
| |
| withdrew rods to criticality
| |
| the afternoon
| |
| of May 10,2011 and continued
| |
| to withdraw control rods to the point of adding heat (approximately
| |
| 1o/o power). While continuing
| |
| to increase power, operators
| |
| identified
| |
| a higher than expected heat-up rate (HUR) with a five minute average HUR that, if allowed to continue, would have resulted in exceeding
| |
| the technical
| |
| specification
| |
| limit. Operators
| |
| made the Control Room Supervisor (CRS) and Shift Manager (SM) aware of the condition
| |
| and proceeded
| |
| to insert five control rods (two notches each) to lower the HUR to approximately
| |
| 65"F/hr. At the time, it was not identified
| |
| by the operators, reactor engineers
| |
| or management
| |
| oversight
| |
| in the control room that the control rod insertions
| |
| brought the reactor to a subcritical
| |
| state (approximately
| |
| 0.35% subcritical
| |
| by later calculations).
| |
| After reducing the HUR, the operators (without recognition
| |
| of the subcritical
| |
| reactor condition), proceeded
| |
| to withdraw the five control rods back to their previous position.
| |
| While withdrawing
| |
| the fifth control rod back to its original position, the reactor experienced
| |
| a full SCRAM on Intermediate
| |
| Range Monitor (lRM) Hl-Hl flux signals. All rods inserted and equipment
| |
| responded
| |
| as expected.Pilgrim initially
| |
| investigated
| |
| potential
| |
| equipment
| |
| related causes for the automatic
| |
| scram as communicated
| |
| to the NRC on the afternoon
| |
| of May 10,2011. Subsequent
| |
| analysis revealed that human performance
| |
| errors made by the operators
| |
| were the cause of the scram. NRC was informed of this in the early morning hours of May 11,2011. Entergy is continuing
| |
| its investigation
| |
| of the operator actions taken during this event. Entergy suspended
| |
| the qualifications
| |
| of the operators
| |
| and the Shift Manager directly involved with the event while the investigation
| |
| continues.
| |
| Additional
| |
| actions have been taken by Entergy that include more restrictive
| |
| controls on reactivity
| |
| additions
| |
| following
| |
| a negative reactivity
| |
| insertion
| |
| of any kind, briefing to other operating
| |
| crews regarding
| |
| the event, and initiation
| |
| of a root cause evaluation.
| |
| The Pilgrim resident inspectors
| |
| and a resident inspector
| |
| from a different
| |
| site provided follow-up to this event under the Reactor Oversight
| |
| Process (ROP) baseline inspection
| |
| program, Basis for the Formation
| |
| of the SIT: The IMC 0309 review concluded
| |
| that one of the deterministic
| |
| criteria was met due to questions or concerns pertaining
| |
| to licensee operational
| |
| performance.
| |
| This criterion
| |
| was met based on human performance
| |
| errors that occurred and led to the unanticipated
| |
| automatic
| |
| reactor scram.The human performance
| |
| errors included:. Reactor operators
| |
| were focused on monitoring
| |
| heatup rate (HUR)without
| |
| appropriate
| |
| focus on power level throughout
| |
| the startup event;. Reactor operators
| |
| and control room supervision
| |
| did not have proper sensitivity
| |
| for the impacts from negative reactivity
| |
| insertions
| |
| with the reactor at low power conditions;
| |
|
| |
| A-2-4
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER. The operators
| |
| did not identify or utilize available
| |
| plant indications
| |
| that indicated
| |
| the reactor was subcritical;. Reactor operators
| |
| did not follow shift manager instructions
| |
| to maintain reactor power within the current IRM power band while addressing
| |
| the elevated HUR;. Operators
| |
| and control room supervision
| |
| did not engage reactor engineering
| |
| staff with regard to planned rod movement after the reactor was made subcritical;
| |
| and o Prior to the identification
| |
| of the unexpected
| |
| HUR, reactor operators
| |
| did not implemenVenter
| |
| the required abnormal operating
| |
| procedure
| |
| for a mispositioned
| |
| control rod (Rod 30-1 1).In accordance
| |
| with IMC 0309, the event was evaluated
| |
| for risk significance
| |
| because one deterministic
| |
| criterion
| |
| was met, A Region I SRA evaluated
| |
| the transient (reactor scram)from
| |
| low reactor power using the Initiating
| |
| Event Assessment
| |
| feature of Saphire 8. The lE-Trans basic event probability
| |
| was set to 1.0 and all other initiating
| |
| events were set to zero. The resulting
| |
| dominant core damage sequences
| |
| were subsequently
| |
| evaluated
| |
| by the SRA to account for the low reactor power conditions
| |
| and alternating
| |
| current (AC) power being supplied by off-site sources at the time of the event. The resulting
| |
| conditional
| |
| core damage probability (CCDP)was
| |
| conservatively
| |
| estimated
| |
| in the low E-6 range, which is the overlap region between an SIT and No Additional
| |
| inspection
| |
| required.
| |
| The dominant core damage sequences
| |
| involve failure of direct current (DC) power sources and failure of residual heat removal. However, with the low decay heat load following
| |
| the refuel outage, these core damage sequences
| |
| represent
| |
| a conservative
| |
| estimate of risk.Additionally, this event involved multiple licensed operators
| |
| not recognizing
| |
| the reactivity
| |
| status of an operating
| |
| reactor during startup and demonstrating
| |
| a poor understanding
| |
| of reactor physics in a low power condition.
| |
| In light of the aforementioned
| |
| human performance
| |
| errors, and consistent
| |
| with the risk evaluation
| |
| and Section 4.04, Region I has decided to initiate an SlT.Obiectives
| |
| of the Special Inspection:
| |
| The Team will review the causes of the event, and Entergy's
| |
| organizational
| |
| and operator response during and following
| |
| the event. The Team will perform interviews, as necessary, to understand
| |
| the scope of operator actions performed
| |
| during the event.To accomplish
| |
| these objectives, the Team will: 1. Develop a complete sequence of events including
| |
| follow-up
| |
| actions taken by Entergy, and the sequence of communications
| |
| within Entergy and to the NRC subsequent
| |
| to the event;2. Review and assess crew operator performance
| |
| and crew decision making, including adherence
| |
| to expected roles and responsibilities, the use of the command and control elements associated
| |
| with reactivity
| |
| manipulations, the use of procedures, the use of diverse instrumentation
| |
| to assess plant conditions, response to alarms and overall implementation
| |
| of operations
| |
| department
| |
| and station standards;
| |
|
| |
| A-2-5
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER Evaluate the extent of condition
| |
| with respect to the other crews;Review the adequacy of operator requalification
| |
| training as it relates to this event, including
| |
| the integration
| |
| of newly licensed operators
| |
| into the operator requalification
| |
| training program;Review the adequacy of the preparation
| |
| by the operations
| |
| staff for the reactor startup including
| |
| training prior to the evolution
| |
| and briefings
| |
| by the operations
| |
| staff.Review the adequacy of the simulator
| |
| to model the behavior of the current reactor core during startup activities
| |
| and the current adequacy of the simulator
| |
| for use in reactor startup training ;Assess the decision making and actions taken by the operators
| |
| and station management
| |
| during the initial and subsequent
| |
| reactor startup to determine
| |
| if there are any implications
| |
| related to safety culture;Review and assess the effectiveness
| |
| of Entergy's
| |
| response to this event and corrective
| |
| actions taken to date. This includes overall organizational
| |
| response, and adequacy of immediate, interim and proposed longterm corrective
| |
| actions. This will also include evaluation
| |
| of the root cause analysis when developed
| |
| by the licensee;9. Review the adequacy of the Entergy and Site fitness for duty processes
| |
| and procedures
| |
| when a human performance
| |
| error has occurred;10. Evaluate Entergy's
| |
| application
| |
| of pertinent
| |
| industry operating
| |
| experience, including
| |
| : [[INPO]] [[]]
| |
| : [[SOER]] [[10-2, "Engaged, Thinking Organizations,"]]
| |
| : [[INPO]] [[]]
| |
| SOER 07-1, "Reactivity
| |
| Management," and other recent events involving
| |
| reactivity
| |
| management
| |
| errors to assess the effectiveness
| |
| of any actions taken in response to the operating experience;
| |
| and 11. Document the inspection
| |
| findings and conclusions
| |
| in a Special Inspection
| |
| Team final report within 45 days of inspection
| |
| completion.
| |
| Guidance: Inspection
| |
| Procedure
| |
| 93812, "Special Inspection", provides additional
| |
| guidance to be used by the SlT. Team duties will be as described
| |
| in Inspection
| |
| Procedure
| |
| 93812. The inspection
| |
| should emphasize
| |
| fact-finding
| |
| in its review of the circumstances
| |
| surrounding
| |
| the event. Safety concerns identified
| |
| that are not directly related to the event should be reported to the Region I office for appropriate
| |
| action.The Team will conduct an entrance meeting and begin the inspection
| |
| on May 16,2011. While on-site, the Team Leader will provide daily briefings
| |
| to Region I management, who will coordinate
| |
| with the Office of Nuclear Reactor Regulation
| |
| to ensure that all other pertinent parties are kept informed.
| |
| The Team will also coordinate
| |
| with the Region I State Liaison Officer Attachment
| |
| 3.4.5.6.7.8.
| |
| A-2-6
| |
| : [[SPECIA]] [[L INSPECTION]]
| |
| : [[TEAM]] [[]]
| |
| CHARTER to implement
| |
| the Memorandum
| |
| of Understanding
| |
| between the NRC and the State of Massachusetts
| |
| to offer observation
| |
| of the inspection
| |
| by representatives
| |
| of the state. A report documenting
| |
| the results of the inspection
| |
| will be issued within 45 days following
| |
| the final exit meeting for the inspection.
| |
| Before the end of the first day onsite, the Team Manager shall provide a recommendation
| |
| to the Regional Administrator
| |
| as to whether the SIT should continue or be upgraded to an Augmented Inspection
| |
| Team response.This Charter may be modified should the Team develop significant
| |
| new information
| |
| that warrants review.Attachment
| |
|
| |
| A,3-1
| |
| : [[DETAIL]] [[ED SEQUENCE]]
| |
| : [[OF]] [[]]
| |
| EVENTS May 10,2011, Reactor Scram Event The team constructed
| |
| the sequence of events from a review of control room narrative
| |
| logs, plant process computer (PPC) data (alarm printout, sequence of event printout, plant parameter graphs) and plant personnel
| |
| interviews.
| |
| Time Event 05/09/11 Two Sessions Just In Time Training (JITT) was conducted
| |
| for the reactor startup. Certain key members of the operating
| |
| crew that were directly involved with this event were not present for the training including
| |
| the Shift Manager (SM), the Assistant
| |
| Control Room Supervisor (ACRS) who temporarily
| |
| relieved the Control Room Supervisor (CRS) prior to the scram, and the Reactor Operator who was at the controls (RO-ATC)when the scram occurred.05/10/1 1 0626 The reactor mode switch was moved to the startup position.-0630 The oncoming day shift operators
| |
| received a reactor maneuvering
| |
| plan briefing.The Reactor Engineers (REs) led the brief.0641 Operators
| |
| commenced
| |
| control rod withdrawal.
| |
| 0700 The day shift operating
| |
| crew assumed the shift, and control rod withdraw continues.
| |
| 212 The reactor became critical.1227 The point of adding heat was reached.-1231 The
| |
| : [[CRS]] [[was relieved for lunch by the]]
| |
| ACRS. The oncoming CRS providing
| |
| the relief did not receive Just In Time Training (JITT), nor did he participate
| |
| in the reactor maneuvering
| |
| plan briefing.-1231 The RO-ATC was relieved for lunch by the Licensed Operator previously
| |
| assigned as the ATC verifier.
| |
| The oncoming RO-ATC providing
| |
| the relief did not receive Just In Time Training (JITT), but he did participate
| |
| in the reactor maneuvering
| |
| plan briefing.-1231 A Licensed Operator previously
| |
| assigned to other startup activities
| |
| was reassigned
| |
| to fill the role of ATC verifier.
| |
| This individual
| |
| received JITT training, and he also received a separate reactor maneuvering
| |
| plan briefing from a RE upon arriving to work at approximately
| |
| 100.1246 The RO-ATC withdrew 5 rods 2 notches to establish
| |
| a heat-up rate.Attachment
| |
|
| |
| A-3-2
| |
| : [[DETAIL]] [[ED SEQUENCE]]
| |
| : [[OF]] [[]]
| |
| EVENTS Time Event 1255 The RO-ATC attempts to withdraw control rod 30-11 from position 08 to position 10 using single notch control, but the control rod does not move, The RO-ATC raised drive water pressure and attempted
| |
| several notch withdraw commands, but the control rod failed to move.1257 The RO-ATC attempts to withdraw control rod 30-1 1 from position 08 to position 10 using a "double clutch" maneuver, but the control rod incorrectly
| |
| inserted one notch to position 06. The RO-ATC does not discuss the control rod mispositioning
| |
| error with the crew.1257 The
| |
| : [[ATC]] [[verifier and]]
| |
| CRS also saw control rod 30-11 move incorrectly
| |
| to position 06, but the control rod mispositioning
| |
| error is not discussed.
| |
| 1302 The RO-ATC then withdraws
| |
| control rod 30-11 from position 06 to position 12.-1 305 The crew observes that the 5 minute average reactor coolant heat-up rate is 18"F over the 5 minute period, and the crew determines
| |
| that this corresponded
| |
| to a 216'Flhour
| |
| heat-up rate. In actuality, the 5 minute average heat-up rate reflected the instantaneous
| |
| heat-up rate. The actual hourly heat-up rate was 50'F/hour.
| |
| The crew informs the SM of the perceived
| |
| heat-up rate.-1 306 The
| |
| : [[SM]] [[directed the]]
| |
| : [[RO]] [[-ATC to insert control rods to reduce the heat-up rate, but the]]
| |
| : [[SM]] [[did not specify the number of control rods or notches to insert.1307 The]]
| |
| : [[RO]] [[-ATC begins to drive 5 rods 2 notches into the core to the reduce heatup rate.-1 308 The]]
| |
| : [[RE]] [[question the]]
| |
| SM regarding
| |
| the decision to insert control rods, and the
| |
| : [[SM]] [[told the]]
| |
| REs that the insertion
| |
| was needed to control the heat-up rate. There was no further discussion.
| |
| -1 309 The Assistant
| |
| Operations
| |
| Manager (AOM-Shift)
| |
| cautioned
| |
| the SM that there was the potential
| |
| to drive the reactor sub-critical
| |
| by inserting
| |
| control rods and that they needed to be careful. The SM also recalled being concerned
| |
| about the potential
| |
| to drive the reactor sub-critical.
| |
| The operating
| |
| crew at the controls was not made aware of these concerns.1310 Control rod insertion
| |
| is stopped. The control rods are now at the same position as when the reactor initially
| |
| became critical;
| |
| however, moderator
| |
| temperature
| |
| is now 40"F higher than it was at initial criticality.
| |
| The higher moderator
| |
| temperature
| |
| in conjunction
| |
| with the control rod insertion
| |
| rendered the reactor sub-critical, but the operators
| |
| were not aware of this.-1310 The
| |
| : [[SM]] [[left the control room to take a break, and the]]
| |
| AOM-Shift
| |
| left the controls area to get his lunch in the control room kitchen.Attachment
| |
|
| |
| A-3-3
| |
| : [[DETAIL]] [[ED SEQUENCE]]
| |
| : [[OF]] [[]]
| |
| EVENTS Time Event-1311 The operators
| |
| range down the Intermediate
| |
| Range Monitors (lRMs)two
| |
| decades from Range 8 to Range 6 in response to the lowering neutron flux.-1312 The original
| |
| : [[CRS]] [[returns from break and resumes duties as]]
| |
| CRS as well as responsibility
| |
| for the reactivity
| |
| maneuver as the Reactivity
| |
| SRO.1313 After observing
| |
| a O"F/hour heat-up rate, the
| |
| : [[CRS]] [[directs the]]
| |
| RO-ATC to resume control rod withdrawalto
| |
| establish
| |
| a positive heat-up rate. The RO-ATC begins to withdraw 5 rods 2 notches each to restore the heat-up rate.1315 While notch withdrawing
| |
| control rod 14-19 from position 08 to position 12, IRM readings begin to rise again requiring
| |
| the operators
| |
| to range up on the lRMs in response to the rising neutron flux. The reactor has returned to a critical condition, but the operators
| |
| are not aware of the change in reactor status with regards to criticality.
| |
| 1316 The RO-ATC notch withdraws
| |
| control rod 22-43 from position 08 to position 12 resulting
| |
| in a more rapid rise in IRM readings, The reactor period was calculated
| |
| to be 40 seconds during the post trip review.-1318 The RO-ATC attempts to notch withdraw control rod 30-11 from position 08 to position 10 resulting
| |
| in a sharp rise in IRM readings.1318 The reactor automatically
| |
| scrammed on IRM high-high
| |
| flux level prior to completing
| |
| the withdrawal
| |
| of rod 30-1 1 to position 10. Post event analysis determined
| |
| that the reactor period was approximately
| |
| seconds, and that the scram occurred at approximately
| |
| 1.7o/o equivalent
| |
| Average Power Range Monitor (APRM) power.-1320 The RE stated that he recognized
| |
| that the operators
| |
| had caused the reactor scram by withdrawing
| |
| rods to criticality.
| |
| 345 The crew debriefed
| |
| the events leading up to the reactor scram.-1400 The RE participated
| |
| in a conference
| |
| call with the fuels group in Jackson (corporate
| |
| reactor engineering
| |
| staff) to discuss the event. The RE informed the conference
| |
| call participants
| |
| that the reactor scram had been caused by human error.-1 600 The RE participated
| |
| in a conference
| |
| callwith General Electric (GE) to discuss the event.-1 630 The RE informed the Director of Engineering
| |
| that the reactor scram was caused by human error.-1 700 The
| |
| : [[RE]] [[informed the General Manager Plant Operations (]]
| |
| : [[GMPO]] [[) that the reactor scram was caused by human error. The]]
| |
| : [[GMPO]] [[asked the]]
| |
| RE to draft a memo describing
| |
| what happened and send it to him.Attachment
| |
|
| |
| A-3-4 Time Event 1730 The GMPO met with the Operations
| |
| Manager (OPS MGR) and the operators involved in the re-criticality
| |
| to discuss the events.-1 900 After shift turnover, the Assistant
| |
| Operations
| |
| Manager (AOM) recognized
| |
| that human error was the cause of the scram. Equipment
| |
| issues had been ruled out.-1 930 To*2200 The
| |
| : [[GMPO]] [[recalls meeting with the]]
| |
| OPS MGR, RE and corporate
| |
| core design group to discuss issues associated
| |
| with the scram. The GMPO indicated
| |
| that his team was certain that the scram was caused by a human performance
| |
| / knowledge deficiency
| |
| problem.-2330 The Operations
| |
| Manager (OPS MGR) prepared a written briefing for the crew on the event.5t11111 0030 An On-site Safety Review Committee (OSRC) conference
| |
| callwas convened to review the event and evaluate a recommendation
| |
| to restart the reactor.01 30 The OSRC recommended
| |
| restarting
| |
| the reactor. The
| |
| : [[GMPO]] [[was briefed regarding the]]
| |
| OSRC recommendations.
| |
| 200 The GMPO approved restarting
| |
| the reactor. He directed the
| |
| : [[OPS]] [[]]
| |
| : [[MGR]] [[to call the]]
| |
| : [[NRC]] [[Senior Resident lnspector (]]
| |
| : [[SR]] [[l).0200 The]]
| |
| : [[OPS]] [[]]
| |
| : [[MGR]] [[called the]]
| |
| : [[SRI]] [[to inform him of the decision to restart the plant. The]]
| |
| : [[OPS]] [[]]
| |
| : [[MGR]] [[informed the]]
| |
| : [[SRI]] [[that the cause of the scram was due to human error.0215 The]]
| |
| : [[SRI]] [[called the]]
| |
| NRC Region I Division of Reactor Projects (DRP) Branch Chief to inform him of the decision to restart the plant. The SRI then responded
| |
| to the site to observe the startup.-0300 The reactor mode switch was placed in the startup position.-0300 The
| |
| : [[SRI]] [[arrives onsite.*0300 The]]
| |
| : [[DRP]] [[Branch Chief called the]]
| |
| : [[GMPO]] [[to discuss the decision to restart the reactor.]]
| |
| : [[DETAIL]] [[ED SEQUENCE]]
| |
| : [[OF]] [[]]
| |
| EVENTS Attachment
| |
|
| |
| A-4-1
| |
| : [[IMC]] [[0609,]]
| |
| APPENDIX M, Qualitative
| |
| Decision-Making
| |
| Attributes
| |
| for
| |
| : [[TABLE]] [[4.1]]
| |
| NRC Management
| |
| Review Decision Attribute Applicable
| |
| to Decision?Basis for Input to Decision - Provide qualitative
| |
| and/or quantitative
| |
| information
| |
| for management
| |
| review and decision making.Finding can be bounded using qualitative
| |
| and/or quantitative
| |
| information?
| |
| No IMC 0609 Appendix G is not appropriate
| |
| since the conditions
| |
| for reactor shutdown operations
| |
| were not met. The at-power safety Significance
| |
| Determination
| |
| Process, IMC 0609 Appendix A, quantitative
| |
| analysis methodology
| |
| is not adequate to provide reasonable
| |
| estimates
| |
| of the finding's
| |
| significance.
| |
| Furthermore, the SDP does not model errors of commission
| |
| and does not provide a method of accurately
| |
| estimating
| |
| changes to the human error probabilities
| |
| caused for errors of omission.
| |
| As a result, no quantitative
| |
| risk evaluation
| |
| can be performed
| |
| for this finding.lmproper use and execution
| |
| of procedures
| |
| coupled with weak work control practices
| |
| has the potential
| |
| to increase the human error probability (HEP) for credited operator actions. The probabilistic
| |
| risk assessment
| |
| models are highly sensitive
| |
| to small variations
| |
| in
| |
| : [[HEP]] [[changes. The existing]]
| |
| PRA research does not currently support a method for varying the performance
| |
| shaping factors in response to defined error forcing contexts.
| |
| lt is not possible to calculate
| |
| a valid single point risk estimate.
| |
| Human performance
| |
| is a very large contributor
| |
| to PRA uncertainty.
| |
| Defense-in-Depth
| |
| affected?Yes The term "defense in depth" is commonly associated
| |
| with the maintenance
| |
| of the integrity
| |
| and independence
| |
| of the three fission product barriers as well as emergency
| |
| response actions. In addition, redundant and diverse safety systems, including
| |
| trained licensed operators
| |
| conducting
| |
| operations
| |
| in accordance
| |
| with approved station procedures
| |
| that were developed under an approved quality control program are integral to maintaining
| |
| a "defense in depth." While an automatic reactor scram was initiated
| |
| as designed to protect the core during this event, the fuel barrier was not actually compromised
| |
| by the crew's actions since the automatic protective
| |
| action was successful.
| |
| However, this performance
| |
| deficiency
| |
| revealed organizational
| |
| and human performance
| |
| weaknesses
| |
| which eroded defense in depth. The operating
| |
| crew Attachment
| |
| : [[IMC]] [[0609,]]
| |
| APPENDIX M, TABLE 4.1 plays a vital role in the maintenance
| |
| of "defense in depth" from the perspective
| |
| that they directly operate station controls.
| |
| Human errors can lead to consequences
| |
| that have the potential
| |
| to compromise
| |
| the three fission product barriers.
| |
| The commission
| |
| of multiple unforeseen
| |
| human errors in a short period of time during the reactor startup degraded the operator's
| |
| performance
| |
| as an important "defense in depth" barrier.These operator human performance
| |
| errors resulted in a challenge
| |
| to the automatic
| |
| Reactor Protection
| |
| System which successfully
| |
| terminated
| |
| the event in this particular
| |
| case.Performance
| |
| Deficiency
| |
| effect on the Safety Margin maintained?
| |
| Yes This performance
| |
| deficiency
| |
| had the potential
| |
| to adversely
| |
| affect the margin of safety. In this particular
| |
| event, the failure to implement
| |
| conduct of operations
| |
| and reactivity
| |
| control standards
| |
| and procedures
| |
| led to a reactor protection
| |
| set-point
| |
| being exceeded, causing a reactor scram. In fact, non-conservative
| |
| operator actions led to an unrecognized
| |
| subcriticality
| |
| followed by an unrecognized
| |
| return to criticality.
| |
| These operator actions caused a rapid rise in neutron flux and reactor power such that the IRM Hl-Hl neutron flux reactor trip set point was exceeded resulting
| |
| in an automatic reactor scram, In this case, the
| |
| : [[IRM]] [[Hl-Hl neutron flux]]
| |
| RPS protective
| |
| function successfully
| |
| terminated
| |
| the event and prevented
| |
| exceeding
| |
| fuel barrier design safety margin and the potential
| |
| for subsequent
| |
| fuel barrier damage. lt should also be noted that the Average Power Range Monitor (APRM) Low Power RPS set point was available
| |
| as a backup to the IRM trip function.
| |
| The
| |
| : [[APRM]] [[Low Power set point will initiate a reactor scram at less than or equal to 15% power whenever the mode switch is]]
| |
| NOT in "RUN".While there was no reduction
| |
| in the quantitative
| |
| design margin, there was a qualitative
| |
| reduction
| |
| in the safety margin as there is an expectation
| |
| that the operators
| |
| will maintain an understanding
| |
| of the status of the reactor and approach criticality
| |
| in a deliberate
| |
| and carefully controlled
| |
| manner. ln this case, the operators
| |
| lost situational
| |
| awareness
| |
| regarding
| |
| the status of the reactor and subsequently
| |
| initiated
| |
| incorrect
| |
| actions that led to an unrecognized
| |
| subcriticality
| |
| followed by an Attachment
| |
|
| |
| A-4-3 unrecognized
| |
| return to criticality
| |
| resulting
| |
| in an automatic
| |
| reactor scram.The extent the performance
| |
| deficiency
| |
| affects other eq uipment.Yes The inspectors
| |
| reviewed the Entergy root cause evaluation
| |
| team report and determined
| |
| that the underlying
| |
| causes of this performance
| |
| deficiency
| |
| exist across the Operations
| |
| organization, This includes weaknesses
| |
| in oversight, human performance
| |
| behaviors, as well as operator knowledge, skills, and abilities
| |
| deficiencies
| |
| associated
| |
| with low power reactor physics and operations
| |
| in the IRM range. lt should be noted that the performance
| |
| deficiency
| |
| did not degrade physical plant equipment;
| |
| however, the requirement
| |
| that licensed operators
| |
| conduct licensed activities
| |
| in accordance
| |
| with station approved procedures
| |
| is integral to maintaining
| |
| plant safety. Faulty operator performance
| |
| has the potential
| |
| to adversely
| |
| affect plant equipment.
| |
| Degree of degradation
| |
| of failed or unavailable
| |
| component(s).
| |
| N/A N/A Period of time (exposure time) effect on the performance
| |
| deficiency.
| |
| Yes With respect to the issues underlying
| |
| this performance
| |
| deficiency, the exposure time is indeterminate, but clearly developed
| |
| over an extended period of time.The Entergy root cause evaluation
| |
| team determined
| |
| that the causal factors for the event had existed for a considerable
| |
| period of time, but they did not quantify the exposure time, A number of condition
| |
| reports were written over the last year, including
| |
| a Fleet Assessment
| |
| performed
| |
| in February 2011, which identified
| |
| shortfalls
| |
| in oversight
| |
| and adherence
| |
| to conduct of operations
| |
| human performance
| |
| standards.
| |
| This assessment
| |
| is complicated
| |
| by the fact that there were not any apparent significant
| |
| licensed operator performance
| |
| issues at Pilgrim before this event. ln the Human Performance
| |
| cross-cutting
| |
| area, none of the aspects currently
| |
| has a theme, nor has there been a theme in the recent past. The behaviors
| |
| outlined by the performance
| |
| deficiency
| |
| have not been observed by the resident inspector
| |
| staff prior to this event.IMC 0609,
| |
| : [[APPEND]] [[IX M,]]
| |
| : [[TABLE]] [[4.1 Attachment]]
| |
| IMC 0609, APPENDIX M, TABLE 4.1 The likelihood
| |
| that the licensee's
| |
| recovery actions would successfully
| |
| mitigate the performance
| |
| deficiency.
| |
| Yes Although "recovery
| |
| actions" do not equate to "corrective
| |
| actions," this section lends itself to a discussion
| |
| of licensee corrective
| |
| action in that completion
| |
| of these actions would mitigate the performance
| |
| deficiency.
| |
| The licensee's
| |
| root cause analysis was thorough and appeared to identify all underlying
| |
| causal factors. The associated
| |
| proposed corrective
| |
| actions appear to adequately
| |
| address the undedying
| |
| causal factors.Short term corrective
| |
| actions have been completed
| |
| to correct the specific issues associated
| |
| with this event.Longer term corrective
| |
| actions are in progress to address programmatic
| |
| weakness in training and human performance
| |
| behaviors.
| |
| Additional
| |
| qualitative
| |
| circumstances
| |
| associated
| |
| with the finding that regional management
| |
| should consider in the evaluation
| |
| process.Yes In this event, there were a significant
| |
| number of lapses in operator human performance
| |
| fundamentals
| |
| as described
| |
| in the conduct of operations
| |
| and reactivity
| |
| control standards
| |
| and procedures.
| |
| These lapses in human performance
| |
| fundamentals
| |
| degraded individual
| |
| operator performance, crew performance, as well as management
| |
| oversight
| |
| performance.
| |
| The lack of enforcement
| |
| of, and adherence
| |
| to, the conduct of operations
| |
| and reactivity
| |
| control standards
| |
| and procedures
| |
| were identified
| |
| as the root cause of the reactor scram event.The inspectors, as well as the Entergy root cause evaluation
| |
| team, determined
| |
| that the extent of condition existed across multiple crews of the Operations
| |
| department
| |
| and has the potential
| |
| to exist across all Pilgrim Nuclear Power Station departments.
| |
| It should be noted that overall licensee operational
| |
| performance
| |
| has been acceptable.
| |
| The plant runs well, and there are few bhallenges
| |
| to the licensed operators since the plant tends to run reliably through the operating
| |
| cycle.The inspectors
| |
| noted that licensee corrective
| |
| actions to correct this performance
| |
| deficiency
| |
| prior to this event were ineffective, and that this pattern continued
| |
| to manifest itself immediately
| |
| before the reactor scram and in the days immediately
| |
| following
| |
| the reactor scram. For example, the Entergy root cause team identified
| |
| a number of condition
| |
| reports that were Attachment
| |
|
| |
|
| A-4-5
| |
| : [[IMC]] [[0609,]]
| |
| APPENDIX M, TABLE 4.1 written over the past year that identified
| |
| shortfalls
| |
| in oversight
| |
| and adherence
| |
| to conduct of operations
| |
| human performance
| |
| standards, Corrective
| |
| actions were narrowly focused and failed to arrest the degrading
| |
| trend. Inspectors
| |
| also noted that, during the startup leading to the reactor scram, there were numerous lapses in human performance
| |
| fundamentals
| |
| and missed opportunities
| |
| to correct those behavioral
| |
| deficiencies.
| |
| lmmediately
| |
| following
| |
| the reactor scram, the licensee's
| |
| post trip reviews and OSRC reviews failed to fully evaluate the extent and scope of the human performance
| |
| and knowledge
| |
| deficiencies
| |
| prior to authorizing
| |
| the restart of the reactor. For instance, NRC inspectors
| |
| identified
| |
| that a control rod had been mispositioned
| |
| during the startup and that an lnfrequently
| |
| Performed
| |
| Test or Evolution (IPTE) briefing had not been conducted
| |
| during the initial and subsequent
| |
| startups.
| |
| The control rod mispositioning
| |
| and failure to perform the IPTE briefing were not identified
| |
| by the licensee.
| |
| In addition, in the days immediately
| |
| following
| |
| the event, inspectors
| |
| continued
| |
| to observe a lack of formality
| |
| in operator communications, a lack of apparent peer checking, and a number of control room distractions, While it will clearly take time to fully change the behaviors
| |
| associated
| |
| with this performance
| |
| deficiency, the inspectors
| |
| did observe progress being made during the inspection.
| |
| The licensee's
| |
| Significant
| |
| Event Review Team (SERT) and root cause analysis team performed thorough reviews of the event, and the licensee has identified
| |
| a number of appropriate
| |
| corrective
| |
| actions that should correct the performance
| |
| deficiency.
| |
| In addition, licensee line personnel
| |
| up through senior plant management
| |
| were interviewed
| |
| extensively
| |
| by the inspectors
| |
| in the days and weeks following
| |
| the event, and it appears as though the licensee has fully internalized
| |
| the significance
| |
| of this event.However, while progress is being made to correct the performance
| |
| deficiency, add itiona I follow-u p inspection(s)
| |
| may be warranted
| |
| to confirm the future effectiveness
| |
| of the licensee's
| |
| corrective
| |
| actions.Attachment
| |
| 4
| |
| }} | | }} |
|
---|
Category:Inspection Report
MONTHYEARIR 05000293/20240022024-08-21021 August 2024 NRC Inspection Report No. 05000293/2024002 IR 05000293/19570012024-06-12012 June 2024 640304-Amendment 10 License 50-29357-01/030-38077 for Providence Imaging Center (PIC) IR 05000293/20240012024-05-0707 May 2024 NRC Inspection Report No. 05000293/2024001 IR 05000293/20230032024-02-29029 February 2024 NRC Inspection Report Nos. 05000293/2023003 and 05000293/2023004 IR 05000293/20234012023-08-31031 August 2023 NRC Inspection Report No. 05000293/2023401 & 2023001 (Cover Letter Only) IR 05000293/20230022023-08-0404 August 2023 NRC Inspection Report No. 05000293/2023002 IR 05000293/20220042023-02-15015 February 2023 NRC Inspection Report No. 05000293/2022004 IR 05000293/20220032022-11-18018 November 2022 NRC Inspection Report No. 05000293/2022003 IR 05000293/20220022022-08-12012 August 2022 NRC Inspection Report No. 05000293/2022002 IR 05000293/20220012022-05-11011 May 2022 NRC Inspection Report No. 05000293/2022001 IR 05000293/20210042022-02-0909 February 2022 NRC Inspection Report No. 05000293/2021004 IR 05000293/20210032021-11-12012 November 2021 NRC Inspection Report No. 05000293/2021003 IR 05000293/20210022021-08-10010 August 2021 NRC Innspection Report No. 05000293/2021002 ML21187A2702021-07-12012 July 2021 NRC Independent Spent Fuel Storage Security Inspection Report No. 07201044/2021401 IR 05000293/20214022021-07-12012 July 2021 Security Decommissioning Inspection Report 05000293/2021402 IR 05000293/20210012021-05-13013 May 2021 NRC Inspection Report No. 05000293/2021001, Holtec Decommissioning International, LLC, Pilgrim Nuclear Power Station IR 05000293/20214012021-04-27027 April 2021 Security Decommissioning Inspection Report 05000293/2021401 IR 05000293/20200042021-02-22022 February 2021 NRC Inspection Report No. 05000293/2020004, Holtec Decommissioning International, LLC, Pilgrim Nuclear Power Station, Plymouth, Massachusetts IR 05000293/20204012020-12-17017 December 2020 Security Decommissioning Inspection Report 05000293/2020401 Without OUO Enclosure (Public Cover Letter Only) IR 05000293/20200022020-11-30030 November 2020 NRC Inspection Report No. 05000293/2020002 & 2020003, Holtec Decommissioning International, LLC, Pilgrim Nuclear Power Station, Plymouth, Massachusetts ML20335A0092020-11-30030 November 2020 NRC Inspection Report No. 05000293/2020002 & 2020003, Holtec Decommissioning International, LLC, Pilgrim Nuclear Power Station, Plymouth, Massachusetts ML20070P3342020-03-10010 March 2020 NRC Inspection Report No. 07201044/2019001, Holtec Decomissioning International, LLC, Pilgrim Nuclear Power Station, Plymouth, Massachusetts IR 05000293/19820012020-01-0303 January 2020 David Paul Dba C.Q.C. Company; Termination; License 50-29382-01; Docket 030-38241; Control 616184 IR 05000293/20190022019-07-24024 July 2019 Integrated Inspection Report 05000293/2019002 and Assessment Follow-up Letter IR 05000293/20190012019-05-13013 May 2019 Integrated Inspection Report 05000293/2019001 IR 05000293/20180062019-03-0404 March 2019 Annual Assessment Letter for Pilgrim Nuclear Power Station (Report 05000293/2018006) and Confirmatory Action Letter Closure IR 05000293/20180042019-02-13013 February 2019 Integrated Inspection Report 05000293/2018004 and Independent Spent Fuel Storage Installation Report 07201044/2018201 IR 05000293/20180132019-01-23023 January 2019 Confirmatory Action Letter (EA-17-086) Follow-Up Inspection Report 05000293/2018013 IR 05000293/20185012018-12-0606 December 2018 Evaluated Emergency Preparedness Exercise Inspection Report 05000293/2018501 IR 05000293/20180152018-11-21021 November 2018 Triennial Fire Protection Inspection Report 05000293/2018015 IR 05000293/20180032018-11-13013 November 2018 Integrated Inspection Report 05000293/2018003 and Independent Spent Fuel Storage Installation Inspection Report 07201014/2018001 IR 05000293/20180122018-11-0101 November 2018 Confirmatory Action Letter (EA-17-086) Follow-Up Inspection Report 05000293/2018012 IR 05000293/20180112018-10-0909 October 2018 Confirmatory Action Letter (EA-17-086) Follow-Up Inspection Report 05000293/2018011 IR 05000293/20184112018-09-24024 September 2018 Baseline Security Inspection Report 05000293/2018411 IR 05000293/20180052018-08-28028 August 2018 Assessment Follow-up Letter and Updated Inspection Plan (Inspection Report 05000293/2018005) IR 05000293/20180022018-08-14014 August 2018 Integrated Inspection Report 05000293/2018002 IR 05000293/20184102018-06-20020 June 2018 Baseline Security Inspection Report 05000293/2018410 (Letter Only) IR 05000293/20180102018-06-13013 June 2018 Confirmatory Action Letter (EA-17-086) Follow-Up Inspection Report 05000293/2018010 IR 05000293/20180012018-05-14014 May 2018 Integrated Inspection Report 05000293/2018001 IR 05000416/20170142018-03-12012 March 2018 Confirmatory Order, NRC Inspection Report 05000416/2017014, and NRC Investigation Reports 4-2016-004 and 4-2014-021 IR 05000293/20170062018-02-28028 February 2018 Annual Assessment Letter for Pilgrim Nuclear Power Station (Reports 05000293/2017006, 05000293/2017402, and 05000293/2017501) IR 05000293/20170042018-02-14014 February 2018 Integrated Inspection Report 05000293/2017004 IR 05000293/20170102018-02-0101 February 2018 Confirmatory Action Letter (EA-17-086) Follow-Up Inspection Report 05000293/2017010 IR 05000293/20170092017-12-21021 December 2017 Problem Identification and Resolution Inspection Report 05000293/2017009 IR 05000293/20172012017-11-21021 November 2017 NRC Security Inspection Report 05000293/2017201 IR 05000293/20170032017-11-14014 November 2017 Integrated Inspection Report 05000293/2017003 IR 05000293/20174042017-10-17017 October 2017 Material Control and Accounting Program Inspection Report 05000293/2017404 (Letter Only) IR 05000293/20174032017-10-12012 October 2017 Baseline Security Inspection Report 05000293/2017403, (Letter Only) IR 05000293/20170072017-09-28028 September 2017 Design Bases Assurance Inspection Report 05000293/2017007 IR 05000293/20174052017-09-0505 September 2017 Problem Identification and Resolution Sample Inspection Report 05000293/2017405 (Letter Only) 2024-08-21
[Table view] Category:Letter
MONTHYEARML24240A1692024-09-18018 September 2024 Cy 2023 Summary of Decommissioning Trust Fund Status IR 05000293/20240022024-08-21021 August 2024 NRC Inspection Report No. 05000293/2024002 PNP 2024-030, Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 02024-08-0202 August 2024 Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 0 ML24151A6482024-06-0303 June 2024 Changes in Reactor Decommissioning Branch Project Management Assignments for Some Decommissioning Facilities ML24129A1042024-05-26026 May 2024 Preapplication Readiness Assessment Plan for the Holtec Decommissioning International License Termination Plan ML24135A3212024-05-14014 May 2024 Annual Radioactive Effluent Release Report, January 1 Through December 31, 2023 ML24136A2382024-05-14014 May 2024 Annual Radiological Environmental Operating Report for 2023 IR 05000293/20240012024-05-0707 May 2024 NRC Inspection Report No. 05000293/2024001 L-24-009, HDI Annual Occupational Radiation Exposure Data Reports - 20232024-04-29029 April 2024 HDI Annual Occupational Radiation Exposure Data Reports - 2023 L-24-010, Request for Preapplication Readiness Assessment of the Draft License Termination Plan2024-04-22022 April 2024 Request for Preapplication Readiness Assessment of the Draft License Termination Plan L-24-007, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI)2024-03-29029 March 2024 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI) IR 05000293/20230032024-02-29029 February 2024 NRC Inspection Report Nos. 05000293/2023003 and 05000293/2023004 L-24-002, Late LLRW Shipment Investigation Report Pursuant to 10 CFR 20, Appendix G2024-02-0202 February 2024 Late LLRW Shipment Investigation Report Pursuant to 10 CFR 20, Appendix G ML23342A1182024-01-0909 January 2024 Independent Spent Fuel Storage Installation Security Inspection Plan L-23-019, Proof of Financial Protection 10 CFR 140.152023-12-18018 December 2023 Proof of Financial Protection 10 CFR 140.15 ML23334A1822023-11-30030 November 2023 Biennial Report for the Defueled Safety Analysis Report Update, Technical Specification Bases Changes, 10 CFR 50.59 Evaluation Summary, and Regulatory Commitment Change Summary – November 2021 Through October 2023 L-23-012, Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point2023-11-13013 November 2023 Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point ML23306A0992023-11-0202 November 2023 And Indian Point Energy Center, Notification of Changes in Schedule in Accordance with 10 CFR 50.82(a)(7) ML23300A0022023-10-27027 October 2023 10 CFR 72.48 Biennial Change Summary Report IR 05000293/20234012023-08-31031 August 2023 NRC Inspection Report No. 05000293/2023401 & 2023001 (Cover Letter Only) IR 05000293/20230022023-08-0404 August 2023 NRC Inspection Report No. 05000293/2023002 ML23143A0872023-05-23023 May 2023 Correction to Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI) ML23135A2152023-05-15015 May 2023 Annual Radioactive Effluent Release Report, January 1 Through December 31, 2022 ML23136A7792023-05-15015 May 2023 Annual Radiological Environmental Operating Report, January 1 Through December 31, 2022 L-23-004, HDI Annual Occupational Radiation Exposure Data Reports - 20222023-04-24024 April 2023 HDI Annual Occupational Radiation Exposure Data Reports - 2022 L-23-003, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations2023-03-31031 March 2023 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations ML23088A0382023-03-29029 March 2023 Stations 1, 2, & 3, Palisades Nuclear Plant, and Big Rock Point - Nuclear Onsite Property Damage Insurance ML23069A2782023-03-13013 March 2023 Request for Scoping Comments Concerning the Environmental Review of Monticello Nuclear Generating Plant, Unit 1 Subsequent License Renewal Application ML22361A1022023-02-24024 February 2023 Reactor Decommissioning Branch Project Management Changes for Some Decommissioning Facilities and Establishment of Backup Project Manager for All Decommissioning Facilities IR 05000293/20220042023-02-15015 February 2023 NRC Inspection Report No. 05000293/2022004 ML22356A0712023-01-31031 January 2023 Issuance of Exemption for Pilgrim Nuclear Power Station ISFSI Regarding Annual Radioactive Effluent Release Report - Cover Letter ML22347A2782022-12-21021 December 2022 Independent Spent Fuel Storage Installation Security Inspection Plan Dated December 21, 2022 L-22-042, Oyster, Pilgrim, Indian Point, Palisades and Big Rock Point - Proof of Financial Protection 10 CFR 140.152022-12-14014 December 2022 Oyster, Pilgrim, Indian Point, Palisades and Big Rock Point - Proof of Financial Protection 10 CFR 140.15 L-22-041, Supplemental Information to Enhance Exemption Request Detail for Pilgrim ISFSI Annual Radioactive Effluent Release Report Due Date Extension2022-12-0909 December 2022 Supplemental Information to Enhance Exemption Request Detail for Pilgrim ISFSI Annual Radioactive Effluent Release Report Due Date Extension IR 05000293/20220032022-11-18018 November 2022 NRC Inspection Report No. 05000293/2022003 ML22276A1762022-10-24024 October 2022 Decommissioning International Proposed Revisions to the Quality Assurance Program Approval Forms for Radioactive Material Packages ML22266A1922022-09-23023 September 2022 And Pilgrim Nuclear Power Station - Request to Withdraw Prior Submissions from NRC Consideration ML22272A0352022-09-22022 September 2022 S. Lynch-Benttinen Letter Regarding U.S. Citizen Intent to Sue U.S. Fish and Wildlife and NOAA Fisheries Representing the Endangered Species (Na Right Whale) Which Will Be Adversely Affected by Holtec International Potential Actions ML22269A4202022-09-22022 September 2022 Citizen Lawsuit ML22241A1122022-08-29029 August 2022 Request for Exemption from 10 CFR 72.212(a)(2), (b)(2), (b)(3), (b)(4), (B)(5)(i), (b)(11), and 72.214 for Pilgrim ISFSI Annual Radioactive Effluent Release Report IR 05000293/20220022022-08-12012 August 2022 NRC Inspection Report No. 05000293/2022002 ML22215A1772022-08-0303 August 2022 Decommissioning International (HDI) Proposed Revisions to the Quality Assurance Program Approval Forms for Radioactive Material Packages ML22221A2592022-08-0101 August 2022 LTR-22-0217-1-NMSS - Town of Duxbury Letter Opposing the Irradiated Water Release from Pilgrim (Docket No. 05000293) ML22206A1512022-08-0101 August 2022 NRC Office of Investigations Case Nos. 1-2022-002 & 1-2022-006 ML22193A1662022-07-28028 July 2022 LTR-22-0154-1 - Heather Govern, VP, Clean Air and Water Program, Et Al., Letter Regarding Radioactive Wastewater Disposal from the Pilgrim Nuclear Power Station (Docket No. 05000293) ML22175A1732022-07-28028 July 2022 LTR-22-0153-1 - Response Letter to D. Turco, Cape Downwinders, from A. Roberts, NRC, Regarding Holtec-Pilgrim Plans to Dump One Million Gallons of Radioactive Waste Into Cape Cod Bay ML22154A4882022-06-0101 June 2022 Letter from Conservation Law Foundation Regarding Irradiated Water Release from Pilgrim ML22154A1622022-05-26026 May 2022 Letter and Email from Save Our Bay/Diane Turco Regarding Irradiated Water Release from Pilgrim ML22136A2602022-05-16016 May 2022 Submittal of Annual Radiological Environmental Operating Report for January 1 Through December 31, 2021 ML22136A2572022-05-16016 May 2022 Submittal of Annual Radioactive Effluent Release Report for January 1 Through December 31, 2021 2024-09-18
[Table view] |
Inspection Report - Pilgrim - 2011012 |
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Text
,2+**ti UNITED STATES N UCLEAR REGU LATORY COMM ISSION REGION I 475 ALLENDALE ROAD KING OF PRUSSIA. PENNSYLVANIA 19406-1415 September 1, 2011 EA-11-174 Mr. Robert Site Vice President Entergy Nuclear Operations, Inc.Pilgrim Nuclear Power Station 600 Rocky Hill Road Plymouth, MA 02360-5508 PILGRIM NUCLEAR POWER STATION . NRC SPECIAL INSPECTION REPORT 05000293/2011012:
PRELIMINARY WHITE FINDING
Dear Mr. Smith:
On July 2Q,2011, the U.S. Nuclear Regulatory Commission (NRC) completed a Special Inspection at your Pilgrim Nuclear Power Station (PNPS). The inspection was conducted in response to the May 10,2011, reactor scram event that occurred due to an unrecognized subcriticality and subsequent unrecognized return to criticality.
The NRC's initial evaluation of this event satisfied the criteria in NRC Inspection Manual Chapter (lMC) 0309, "Reactive lnspection Decision Basis for Reactors," for conducting a Special Inspection.
The Special Inspection Team (SlT) Charter (Attachment 2 of the enclosed report) provides the basis and additional details concerning the scope of the inspection.
The enclosed inspection report documents the inspection results, which were discussed at the exit meeting on July 20,2011, with you and other members of your staff.The inspection team examined activities conducted under your license as they relate to safety and compliance with Commission rules and regulations and with the conditions of your license.The inspection team reviewed selected procedures and records, observed activities, and interviewed personnel.
In particular, the inspection team reviewed event evaluations, causal investigations, relevant performance history, and extent of condition to assess the significance and potential consequences of issues related to the May 10 event.The inspection team concluded that the plant operated within acceptable power limits, and no equipment malfunctioned during the power transient and subsequent reactor scram.Nonetheless, the inspection team identified several issues related to human performance and compliance with conduct of operations and reactivity control standards and procedures that contributed to the event. The enclosed chronology (Attachment 3 of the enclosed report)provides additional details regarding the sequence of events.
R, Smith 2 This report documents one finding that, using the reactor safety Significance Determination Process (SDP), has preliminarily been determined to be White, or of low to moderate safety significance.
The finding involves the failure of Pilgrim personnel to implement conduct of operations and reactivity control standards and procedures during a reactor startup, which contributed to an unrecognized subcriticality followed by an unrecognized return to criticality and subseq uent reactor scram.This finding was assessed using NRC IMC 0609, Appendix M, "Significance Determination Process Using Qualitative Criteria," because probabilistic risk assessment tools were not well suited to evaluate the multiple human performance errors associated with this issue.Preliminarily, the NRC has determined this finding to be of low to moderate safety significance based on a qualitative assessment.
There was no significant impact on the plant following the transient because the event itself did not result in power exceeding license limits or fuel damage. Additionally, interim corrective actions were taken, which included removing the Pilgrim control room personnel involved in the event from operational duties pending remediation, providing additional training for operators not involved with the event, and providing increased management oversight presence in the Pilgrim control room while long term corrective actions were developed.
The finding involved one apparent violation (AV) of NRC requirements regarding Technical Specification 5.4, "Procedures," that is being considered for escalated enforcement action in accordance with the NRC's Enforcement Policy, which can be found on NRC's website at http://www.
nrc.qov/read inq-rom/doc-col lections/enforcemenU.
ln accordance with NRC IMC 0609, we will complete our evaluation using the best available information and issue our final determination of safety significance within 90 days of the date of this letter. The SDP encourages an open dialogue between the NRC staff and the licensee;however, the dialogue should not impact the timeliness of the staff's final determination.
Before we make a final decision on this matter, we are providing you with an opportunity to (1) attend a Regulatory Conference where you can present to the NRC your perspective on the facts and assumptions the NRC used to arrive at the finding and assess its significance, or (2) submit your position on the finding to the NRC in writing. lf you request a Regulatory Conference, it should be held within 30 days of your response to this letter, and we encourage you to submit supporting documentation at least one week prior to the conference in an effort to make the conference more efficient and effective.
lf a Regulatory Conference is held, it will be open for public observation.
lf you decide to submit only a written response, such submittal should be sent to the NRC within 30 days of your receipt of this letter. lf you decline to request a Regulatory Conference or submit a written response, you relinquish your right to appeal the final SDP determination, in that by not doing either, you fail to meet the appeal requirements stated in the Prerequisite and Limitation Sections of Attachment 2 of IMC 0609.Please contact Mr. Donald E. Jackson by telephone at (610) 337-5306 within 10 days from the issue date of this letter to notify the NRC of your intentions.
lf we have not heard from you within 10 days, we will continue with our significance determination and enforcement decision.The final resolution of this matter will be conveyed in separate correspondence. Because the NRC has not made a final determination in this matter, no Notice of Violation is being issued for this inspection finding at this time. Please be advised that the number and characterization of the apparent violation described in the enclosed inspection report may change as a result of further NRC review.In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response (if any) will be available electronically for public inspection in the NRC Public Document Room and from the Publicly Available Records (PARS) component of NRC's document system, Agencywide Documents Access and Management System (ADAMS), ADAMS is accessible from the NRC Website at http://www.nrc.qov/readinq-rm/adams.html (the Public Electronic Reading Room).Division of Reactor Safety Docket No. 50-293 License No. DPR-35
Enclosure:
Inspection Report 05000293/201 1012 w/Attachments:
Supplemental Information (Attachment 1 )Special Inspection Team Charter (Attachment 2)Detailed Sequence of Events (Attachment 3)Appendix M Table 4.1 (Attachment 4)
REGION I 50-293 DPR-35 05000293/2011012 Entergy Nuclear Operations, Inc Pilgrim Nuclear Power Station (PNPS)600 Rocky Hill Road Plymouth, MA 02360 May 16 through July 20,2011 R. McKinley, Senior Emergency Response Coordinator Division of Reactor Safety B. Haagensen, Resident Inspector, Division of Reactor Projects D. Molteni, Operations Engineer, Division of Reactor Safety Donald E. Jackson, Chief Operations Branch Division of Reactor Safety Enclosure
SUMMARY OF FINDINGS
lR 0500029312011012; 0511612011 - 071201201 1; Pilgrim Nuclear Power Station (PNPS);lnspection Procedure 93812, Special Inspection.
A three-person NRC team, comprised of two regional inspectors and one resident inspector, conducted this Special lnspection.
One finding with potentialfor greater than Green safety significance was identified.
The significance of most findings is indicated by their color (Green, White, Yellow, or Red) using lnspection Manual Chapter (lMC) 0609, "Significance Determination Process" (SDP). The cross-cutting aspect was determined using IMC 0310,"Components Within the Cross-Cutting Areas." Findings for which the SDP does not apply may be Green or be assigned a severity level after NRC management review. The NRC's program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process," Revision 4, dated December 2006.NRC ldentified and Self Revealing Findings
Cornerstone: Initiating
Events. Preliminary White: A self-revealing finding was identified involving the failure of Pilgrim personnel to implement conduct of operations and reactivity control standards and procedures during a reactor startup, which contributed to an unrecognized subcriticality followed by an unrecognized return to criticality and subsequent reactor scram.The significance of the finding has preliminarily been determined to be White, or of low to moderate safety significance.
The finding is also associated with one apparent violation of NRC requirements specified by Technical Specification 5.4, "Procedures." There was no significant impact on the plant following the transient because the event itself did not result in power exceeding license limits or fuel damage. Additionally, interim corrective actions were taken, which included removing the Pilgrim control room personnel involved in the event from operational duties pending remediation, providing additional training for operators not involved with the event, and providing increased management oversight presence in the Pilgrim control room while long term corrective actions were developed.
Entergy staff entered this issue, including the evaluation of extent of condition, into its corrective action program (CR-PNP-2011-2475)and performed a Root Cause Evaluation (RcE).The finding is more than minor because it was associated with the Human Performance attribute of the Initiating Events cornerstone and affected the cornerstone objective of limiting the likelihood of those events that upset plant stability and challenge critical safety functions during power operations.
Specifically, the failure of Pilgrim personnel to effectively implement conduct of operations and reactivity control standards and procedures during a reactor startup caused an unrecognized subcriticality followed by an unrecognized return to criticality and subsequent reactor scram. Because the finding primarily involved multiple human performance errors, probabilistic risk assessment tools were not well suited for evaluating its significance.
The inspection team determined that the criteria for using IMC 0609, Appendix.M, "Significance Determination Process Using lll
Qualitative Criteria," were met, and the finding was evaluated using this guidance, as described in Attachment to this report. Based on the qualitative review of this finding, the NRC has preliminarily concluded that the finding was of low to moderate safety significance (preliminary White).The inspection team determined that multiple factors contributed to this performance deficiency, including:
inadequate enforcement of operating standards, failure to follow procedures, and ineffective operator training.
The Entergy RCE determined that the primary cause was a failure to adhere to established Entergy standards and expectations due to a lack of consistent supervisory and management enforcement.
The inspection team concluded that the finding had a cross-cutting aspect in the Human Performance cross-cutting area, Work Practices component, because Entergy did not adequately enforce human error prevention techniques, such as procedural adherence, holding pre-job briefs, self and peer checking, and proper documentation of activities during a reactor startup, which is a risk significant evolution.
Additionally, licensed personnel did not effectively implement the human performance prevention techniques mentioned above, and they proceeded when they encountered unceftainty and unexpected circumstances during the reactor startup H.4(a). (Section 2)iv
1.
REPORT DETAILS
Backoround and Description of Event In accordance with the Special Inspection Team (SlT) Charter (Attachment 2), the inspection team conducted a detailed review of the May 10, 2011, reactor scram event at Pilgrim Nuclear Power Station, including a review of the Pilgrim operators' response to the event. The inspection team gathered information from the plant process computer (PPC) alarm printouts and parameter trends, interviewed station personnel, observed on-going control room activities, and reviewed procedures, logs, and various technical documents to develop a detailed timeline of the event (Attachment 3).On May 10,2011, following a refueling outage, the reactor mode switch was taken to startup at 0626, and control rod withdrawal commenced at 0641. The control room crew consisted of the following personnel (additional licensed operators were present in the control room conducting various startup related activities):
o Assistant Operations Manager (AOM-Shift) - Senior Line Management oversight r Shift Manager (SM)- management oversight. Reactivity Senior Reactor Operator (SRO/Control Room Supervisor (CRS) -command and control o Assistant Control Room Supervisor (ACRS). Reactor Operator At-The-Controls (RO-ATC)o Reactor Operator (Verifier)
- ATC verifier r Reactor Engineer (RE). RE in Training At 1212, the reactor was made critical when control rod 38-19 was moved to position 12.Power continued to rise to the point of adding heat (POAH), and the POAH was achieved at 1227. Once the POAH was achieved, the RO-ATC operator inserted rod 38-19 to position 10 to obtain lntermediate Range Monitor (lRM) overlap correlation data. Following the data collection, the RO-ATC operator withdrew rod 38-19 back to position 12.At approximately 1231, the Reactivity SRO/CRS and the RO-ATC operator were relieved by other licensed operators who continued with plant startup. The crew withdrew control rods to establish a moderator heat-up rate. The RO-ATC operator withdrew control rods 14-35, 38-35 , 14-19 and 22-43 from position 08 to 12 without incident.The RO-ATC operator continued with the rod withdrawal sequence and tried to withdraw control rod 30-11 from position 08 to 12, but the control rod would not move using normal notch withdraw commands.
The RO-ATC then attempted to withdraw control rod 30-11 using a "double-clutch" maneuver in accordance with procedures; however, the control rod inadvertently inserted and settled at position 06. As stated during interviews with the NRC inspectors, the RO-ATC operator, the ATC verifier, and the Reactivity SRO/CRS all saw the control rod in the incorrect position.
However, the operators did not enter and follow Pilgrim Nuclear Power Station (PNPS) Procedure 2.4.11, "Control Rod Positioning Malfunctions" as required.
This procedure required the operators to assess the amount of the mispositioning to determine the appropriate course of remedial 2 action before proceeding, and it also required the issue to be documented in a condition report. The operators did not perform an assessment, and they moved the control rod back to position 08 and ultimately to position 12, which was the correct final position in accordance with reactor engineering maneuvering instructions.
During interviews with the NRC inspectors, the three operators each indicated that there was confusion in their mind regarding whether or not the control rod met the definition of a mispositioned control rod because the control rod was only out of position by one notch from the initial position, but none of the operators referred to the procedure, and there was no discussion or challenge regarding the proper course of action among the operators.
The condition was not logged, and a condition report was not generated until the issue was identified by NRC inspectors.
In addition, the problem of the mispositioned control rod was not discovered by the licensee during the post trip review.Following withdrawal of the five control rods (ten control rod notches), the RO-ATC observed the process computer displaying a high short{erm (five minute average)moderator heat-up rate reading of 18'F per 5 minutes that he mistakenly believed corresponded to an hourly heat-up rate of 216"Flhr (the actual hourly heatup rate was 50"F/hr).
The heat-up rate concern was discussed among the SM, Reactivity SRO/CRS, RO-ATC operator, Verifier and AOM-Shift.
After the discussion, the SM directed the crew at the controls to insert control rods to reduce the heat-up rate. This direction did not include specific guidance or limitations regarding the number of control rod notches to insert, At this point, the AOM-Shift and SM left the front panels area of the control room.The RE and RE-in-training were working at their computer terminals in the control room performing procedurally required calculations related to the startup. The REs had been occupied with these tasks from the time criticality had been achieved and had not been consulted on the plan to insert control rods to reduce the heatup rate. The RE-in-training overheard the operator conversation about inserting control rods. He informed the RE, who in turn, questioned the SM about the decision to insert rods. The SM responded that the actions were necessary to control heat-up rate. No further discussion occurred between the SM and the RE regarding the number of control rods/notches to be used to control the heat-up rate or if there was a need to modify the reactor maneuvering plan. During interviews with the NRC inspectors, the SM and the AOM-Shift stated that they both discussed that there was a need to be careful to avoid taking the reactor subcritical and that the action of inserting control rods had the potential to cause the reactor to become subcritical.
However, this important information was never communicated to any of the operators at the controls, including at the time when the SM directed the at-the-controls crew to insert control rods to reduce the heat-up rate.As a result of the previous control rod withdrawal, moderator temperature was 40"F higher than it was at initial criticality resulting in slightly increased control rod worth.The crew did not factor this increased control rod worth into their decision regarding the number of control rod notches to insert.Over the next three minutes, the RO-ATC operator proceeded to re-insert the following control rods from positions 12 to 8 (10 notches total) that had been previously withdrawn Enclosure 2.3 to establish the heat-up: 30-1 1 , 22-43, 14-19,38-35 and 14-35. At the end of the rod insertion evolution, the SM directed the Reactivity SRO/CRS and the RO-ATC operator to keep reactor power on IRM range 7. This communication was not acknowledged by the RO-ATC operator.
During interviews with the NRC inspectors, none of the operators recalled receiving such instructions.
The SM then left the control room to take a break.The AOM-Shift left the controls area to get lunch in the control room kitchen.As a result of the control rod insertions, reactor power lowered, thus requiring the RO-ATC operator to range the lRMs down to range 7 and then to range 6. The reactor had become subcritical, but the crew did not recognize the change in reactor status.Approximately four minutes after the control rods were inserted to reduce the heat-up rate, the RO-ATC operator observed the process computer displaying a 0'F/hr heat-up rate. At this time, the SRO who had previously been relieved, returned and re-assumed his role as Reactivity SRO/CRS. The Reactivity SRO/CRS and the RO-ATC operator decided to once again withdraw control rods to re-establish the desired heat-up rate.Three of the same control rods (14-35, 38-35, and 14-19) were withdrawn from positions 8-12 resulting in a rising IRM count rate that was observed by the operators.
However, the crew did not recognize that the reactor status had changed from subcritical to critical.At this point, the AOM-Shift returned to the reactor panel area. The RO-ATC operator continued rod withdrawal with control rod 22-43 from position 08 to 10. The RO-ATC operator and the Verifier ranged the lRMs up as reactor power increased.
The RO-ATC operator then withdrew control rod 22-43 from position 10 to 12. The operators did not recognize the increasing rate of change in IRM power.Finally, the RO-ATC operator selected and withdrew control rod 30-11 from position 8 to 10. At 1318, IRM readings rose sharply and an IRM Hi-Hi flux condition was experienced on both Reactor Protection System (RPS) channels resulting in an automatic reactor scram at approximately 1
.7 o/o reactor power.Operator Human Performance
Inspection Scope The inspection team interviewed the Pilgrim control room personnel that responded to the May 10,2011, event including the SM, AOM-Shift, CRS, ACRS, RO-ATC, RO verifier, and the REs to determine whether these personnel performed their duties in accordance with plant procedures and training.
The inspection team also reviewed narrative logs, sequence of events and alarm printouts, condition reports, PPC trend data, procedures implemented by the crew, and procedures regarding the conduct of operations.
a.Enclosure 4 b. Findinqs/Observations Failure to lmplement Procedures durinq Reactor Startup
Introduction:
A self-revealing finding was identified involving the failure of Pilgrim personnel to implement conduct of operations and reactivity control standards and procedures during a reactor startup, which contributed to an unrecognized subcriticality followed by an unrecognized return to criticality and subsequent reactor scram. The significance of the finding has preliminarily been determined to be White, or of low to moderate safety significance.
The finding is also associated with one apparent violation of NRC requirements specified by Technical Specification 5.4, "Procedures."
Description:
On May 10,2011, following a refueling outage, operators were in the process of conducting a reactor startup. During the course of the startup, multiple licensed operators failed to implement written procedures as described below:. Entergy procedure EN-OP-1 15, "Conduct of Operations," Revision 10, Section 4.0, states that the SM is to "provide oversight of activities supporting complex and infrequently performed plant evolutions such as plant heat-up [and] startup." Additionally, the SM is responsible for ensuring "conservative actions are taken during unusual conditions
... when dealing with reactivity control," However, the SM did not oversee the activities in progress during reactor heatup and left the control room when the heat-up rate was being adjusted with control rod insertion, The SM did not ensure the actions taken to reestablish or adjust the reactor heatup rate were conservative nor did he reinforce those actions with the operating crew.r Entergy procedure EN-OP-1 15, "Conduct of Operations," Revision 10, Section 4.0, states that the CRS is required to "Ensure Pre-Evolution Briefings are held [and]plant operations are conducted in compliance with administrative and regulatory requirements." PNPS procedure 1.3.34, "Operations Administrative Policies and Procedures," Revision 1 17, Section 6.10.1
.1 states, "All complex or infrequently
performed activities warrant a pre-evolution briefing." Section 6,10.1.1[8]
lists an Infrequently Performed Tests or Evolutions Briefing as one type of pre-evolution briefing, and Section 6.10.1
.1 [4] states, "lnfrequently
Performed Tests or Evolutions Briefings for the performance of Procedures classified as "lnfrequently Performed Tests or Evolutions" (IPTE) should be performed with Senior Line Manager oversight as specified in EN-OP-116, "lnfrequently Performed Tests or Evolutions." Entergy Procedure EN-OP-116, Revision 7, Attachment 9.1 identifies "Reactor Startup" as an IPTE. However, in this case, the licensee conducted a reactor startup without performing an IPTE briefing or any other type of pre-evolution briefing as defined in PNPS procedure 1.3.34. lt is noteworthy to point out that an IPTE briefing package was previously prepared, approved, and scheduled; however, the IPTE briefing was never performed as required by the procedures described above. In addition, an IPTE briefing was also not performed for the startup following this event. Finally, the CRSs did not ensure the administrative requirements of the conduct of operations procedures or the regulatory requirement to implement the control rod mispositioning procedure were met. This issue was identified by the NRC inspectors.
5 Entergy procedure EN-OP-115, "Conduct of Operations," Revision 10, Section 5.2, states control room operators are required to "develop and implement a plan that includes contingencies and compensatory measures" and when implementing those plans the "crew ... continuously evaluates the plan for changing conditions" and"Human Performance (HU) tools (..., peer/cross-checking, oversight, questioning attitude, etc.) are utilized ..." In addition, "When the control room team is faced with a time critical decision:
Use all available resources...do not proceed in the face of uncertainty..." However, the control room operators failed to develop contingency plans or compensatory measures for adjusting reactor heat-up rate or addressing higher than expected reactor heat-up rates. The crew also failed to develop or implement contingencies for control rods which were difficult to maneuver when they were at low reactor power. Additionally, the use of human performance tools was ineffective in addressing the actions or conditions that led to the unexpected reactor heatup rate and the mispositioning of control rod 30-11. Specifically, failures in the use of peer checking and questioning the conditions that led to the unexpected reactor heat-up rate directly contributed to the mispositioned control rod and the subsequent reactor scram. Lastly, the control room team did not use all available resources by involving Reactor Engineering staff in its decision-making, and proceeded in the face of uncertainty by failing to consider the consequences of the reactivity changes.Entergy procedure EN-OP-115, "Conduct of Operations," Revision 10, Section 5.4 states that reactor operators are expected to perform reactivity manipulations "in a deliberate, carefully controlled manner while the reactor is monitored to ensure the desired result is obtained." However, the reactor operators did not adequately monitor the conditions of the reactor while attempting to establish and adjust the reactor heat-up rate. Although the reactor operators were watching the response of both the lRMs and the computer point displaying a five minute average reactor heatup, they were moving control rods faster than the plant temperature could respond and therefore taking actions to continue control rod movement before the desired result of their manipulations could be assessed.
Additionally, after inserting control rods to adjust the reactor heat-up rate, the operators had sufficient indications that the reactor was significantly subcritical as evidenced by the required ranging down of lRMs, the drop in Source Range Monitor (SRM) count rates, and establishing a negative reactor period. The operator's failure to adequately monitor the status of the reactor led to an unrecognized subcritical condition and subsequent return to criticality resulting in an eventual reactor scram.PNPS procedure 1.3.34, "Operations Administrative Policies and Procedures," Revision 1 17, Section 6.7.5 states, "Any relief occurring during the shift (either short-term or for the remainder of the shift) will be recorded in the CRS log." lt further states, "...a verbal discussion of plant status and off-normal conditions must be conducted." However, several people in watch standing positions changed from the start of the shift, but none of those changes were entered into the control room log. In addition, when the ACRS was turning over to the CRS, there was no discussion of the mispositioning of control rod 30-11.Enclosure
6. PNPS Procedure
2.4.11, "Control Rod Positioning Malfunctions," Revision 35, Section 5.4 defines a mispositioned control rod as "a control rod found to be left in a position other than the intended position $ a control rod that moves more than one notch beyond its intended position." Attachment 4 Step [3] and Step [a] of the same procedure requires the operators to assess the degree of mispositioning and take the appropriate remedial action depending on the degree of mispositioning.
4 Step [5] also states, "lf the control rod is determined to be mispositioned, then record the event as a condition report." In this case, the RO-ATC attempted to withdraw control rod 30-11 from position 08 to position 10 (intended position), but the rod inadvertently insertbd to position 06. Upon recognizing the error, the operators did not enter the procedure when control rod 30-11 was found to be left in a position other than the intended position and which was more than one notch from the intended position.
The operators did not assess the amount of the control rod mispositioning in accordance with the procedure, nor was there any discussion about the mispositioning on the crew. Furthermore, the event was not logged, nor was a condition report generated.
Instead, the operators did not enter and follow the procedure, and they continued on with the startup in the face of uncertainty.
This issue was not detected during the licensee posttrip review. lt was identified by the NRC inspectors.
o PNPS Procedure 2.1.1, "Startup from Shutdown," Revision 173, Page 53, Caution 2 states, "ln the event the reactor goes subcritical after achieving initial criticality, then return to step [53] and re-perform the steps to restore the Reactor to a critical condition." In addition, PNPS Procedure 2.1.4, "Approach to Critical," Revision 26, Section 5.0 states, "ln the event the reactor goes subcritical after achieving initial criticality, then with Reactor Engineering guidance, re-perform Section 7.0 Steps [6]and [7] to restore the Reactor to a critical condition." However, the operators did not recognize that the reactor had become subcritical and did not re-perform the procedural steps mentioned above to restore the reactor to a critical condition in a controlled manner under the guidance of Reactor Engineering.
There was sufficient information available to the operators to identify that the reactor had become subcritical.
In addition, REs were available in the control room, but they were not consulted by the operators.
Analvsis:
The inspection team determined that the failure of Pilgrim personnel to implement conduct of operations and reactivity control standards and procedures during a reactor startup was a performance deficiency that was reasonably within Entergy's ability to foresee and prevent. The finding is more than minor because it was associated with the Human Performance attribute of the Initiating Events cornerstone and affected the cornerstone objective of limiting the likelihood of those events that upset plant stability and challenge critical safety functions during power operations.
Specifically, the failure of Pilgrim personnel to effectively implement conduct of operations and reactivity control standards and procedures during a reactor startup caused an unrecognized subcriticality followed by an unrecognized return to criticality and subsequent reactor scram.Enclosure 7 The inspection team determined that multiple factors contributed to this performance deficiency including:
inadequate enforcement of operating standards, failure to follow procedures, and ineffective operator training.
The Entergy RCE documented that the primary cause was a failure to adhere to established Entergy standards and expectations due to a lack of consistent supervisory and management enforcement.
In addition, the Entergy RCE specified a number of condition reports and self assessment reports written in the months preceding this event that demonstrated that the performance deficiency existed over an extended period of time and affected all operating crews. While the performance deficiency manifested itself during this particular low power event, there was the potential for the performance deficiency to result in a more consequential event under different circumstances.
Because the finding primarily involved multiple human performance errors, probabilistic risk assessment tools were not well suited for evaluating its significance.
The inspection team determined that the criteria for using IMC 0609, Appendix M, "Significance Determination Process Using Qualitative Criteria," were met, and the finding was evaluated using this guidance as described in Attachment 4 to this report. Based on the qualitative review of this finding, the NRC concluded that the finding was preliminarily of low to moderate safety significance (preliminary White). The completed Appendix M table is attached to this report (Attachment 4). There was no significant impact on the plant following the transient because the event itself did not result in power exceeding license limits or fuel damage. Additionally, interim corrective actions were taken, which included removing the Pilgrim control room personnel involved in the event from operational duties pending remediation, providing additional training for operators not involved with the event, and providing increased management oversight presence in the Pilgrim control room while long term corrective actions were developed.
This finding had a cross-cutting aspect in the Human Performance cross-cutting area, Work Practices component, because Entergy management and supervision did not adequately enforce human error prevention techniques, such as procedural adherence, holding pre-job briefs, self and peer checking, and proper documentation of activities during a reactor startup, which is a risk significant evolution.
Additionally, licensed personnel did not effectively implement the human performance prevention techniques mentioned above, and they proceeded when they encountered uncertainty and unexpected circumstances during the reactor startup [H.a(a)].Enforcement:
Technical Specification 5.4, "Procedures," states, in part, that written procedures shall be established, implemented, and maintained covering the applicable procedures recommended in Appendix "A" of Regulatory Guide (RG) 1.33, February, 1978. RG 1.33, Appendix "A," requires that typical safety-related activities listed therein be covered by written procedures.
Contrary to the above, on May 10,2011, as reflected in the examples listed in the description section of this finding, the licensee failed to implement safety-related procedures related to RG 1.33, Appendix "A," Paragraph 1,"Administrative Procedures;" Paragraph 2, "General Plant Operating Procedures;" and, Paragraph 4, "Procedures for Startup, Operation, and Shutdown of Safety-Related BWR Systems." Enclosure 3.I Following a review of the event, the licensee documented the condition in the corrective action program (CR-PNP-2011-2475).
There was no significant impact on the plant following the transient because the event itself did not result in power exceeding license limits or fuel damage. Additionally, interim corrective actions were taken, which included removing the Pilgrim control room personnel involved in the event from operational duties pending remediation, providing additional training for operators not involved with the event, and providing increased management oversight presence in the Pilgrim control room while long term corrective actions were developed.
Pending determination of final safety significance, this finding with the associated apparent violation will be tracked as AV 05000293/2011012-01, Failure to lmplement Gonduct of Operations and Reactivity Gontrol Procedures during Reactor Startup.Fitness for Dutv Inspection Scope The inspection team interviewed the control room personnel that were directly involved with the May 10,2011, reactor scram event as well as management personnel involved with the immediate post event investigation.
The inspection team also reviewed Entergy Fitness for Duty (FFD) program requirements contained in the corporate and site procedures.
Fi nd i nos/Observations No findings were identified.
Traininq Inspection Scope The inspection team interviewed personnel, reviewed simulator modeling and performance, and reviewed training material related to Just in Time Training (JITT)material for the initial and subsequent startups, remedial training for the operators involved with the event, and training plans for startups and reactivity maneuvers.
Fi nd i nqs/Observations No findings were identified.
The inspection team observed that the JITT training that was provided prior to the initial startup was very limited in scope in that it only covered the approach to criticality up to the POAH. lt did not cover the full range of reactor heat-up, and it covered very little Operating Experience.
In addition, several operators that were directly involved with this event did not attend the JITT training including the SM, the ACRS who temporarily relieved the CRS prior to the scram, and the RO who was at the controls when the scram occurred.a.h 4.a.b.Enclosure 5.I Orqanizational Response lmmediate Response Inspection Scope The inspection team interviewed personnel, reviewed various procedures and records, and observed control room operations to assess immediate response of station personnel to the reactor scram event.Fi nd i nqs/Observations No findings were identified.
The inspection team observed that Entergy's initial response to the event was not appropriately thorough and was narrowly focused. lmmediately foilowing the event, operators were debriefed in an attempt to ascertain the cause of the event. Initially, Entergy personnel focused on a potential IRM malfunction as the potential cause of the event despite the fact that multiple IRM channels accurately tracked reactor power along with operator reactivity inputs. lmmediate post event interviews with the crew did not probe human error as a potential cause even though the SM, the AOM-Shift, and the REs had expressed concerns just prior to the scram regarding the insertion of control rods so near the point of criticality.
Operators involved with the event were dismissed for the day as the investigation continued to incorrectly focus on equipment malfunction as the most likely cause of the event. Several hours passed before it became clear to site management that human error was the cause of the event. As a result, the operators involved with the event were not thoroughly interviewed to ensure that all of the human performance aspects were fully understood prior to proceeding with the next startup. In addition, the inspection team identified that the posttrip review failed to identify that a control rod had been mispositioned just prior to the scram and that an IPTE briefing had not been conducted for the startup. Consequently, additional human performance issues were not evaluated, and the licensee again failed to perform an IPTE briefing prior to the subsequent startup as required by Entergy procedures.
Post-Event Root Cause Evaluation and Actions Inspection Scope The inspection team reviewed Entergy's Root Cause Evaluation (RCE) report for the event to determine whether the causes and associated human performance issues were properly identified.
Additionally, the inspection team assessed whether interim and planned long term corrective actions were appropriate to address the cause(s).61 a.b.5.2 a.Enclosure b.10 Find inqs/Observations No findings were identified.
The RCE was thorough and appeared to identify the underlying causal factors. The associated proposed corrective actions appeared to adequately address the underlying causal factors. Entergy identified the root cause as a lack of consistent supervisory and management enforcement of administrative procedure requirements and management expectations for command and control, roles and responsibilities, reactivity manipulations, clear communications, proper briefings, and proper turnovers.
The RCE also identified contributing causes including weaknesses in monitoring plant status and parameters as well as weaknesses in operator proficiency with regards to low power operations.
Meetinqs.
Includinq Exit Exit Meetino Summarv On July 20,2011, the inspection team discussed the inspection results with Mr. R. Smith, Site Vice President, and members of his staff. The inspection team confirmed that proprietary information reviewed during the inspection period was returned to Entergy.40A6 Enclosure Enterov Personnel R. Smith J. Dreyfuss D. Noyes J. Macdonald R. Probasco J. Couto S. Anderson T. Tomon J. Byron J. Hayhurst S. Bethay J. Lynch T. White F. McGinnis R. Byrne V. Fallacara S. Reininghaus J. House V. Magnatta R. Paranjape A,1-1
=SUPPLEMENTAL
INFORMATION=
KEY POINTS OF CONTACT
Site Vice President General Manager Plant Operations
Manager, Operations
Assistant
Manager, Operations
Shift Manager, Operations
Shift Supervisor, Operations
Shift Supervisor, Operations
Reactor Operator, Operations
Reactor Operator, Operations
Reactor Operator, Operations
Director, Nuclear Safety Assurance Manager, Licensing Manager, Quality Assurance Engineer, Licensing Senior Engineer, Licensing Director, Engineering
Manager, Training Supervisor, Operations
Training Lead lnstructor, Operations
Training Reactor Engineer
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
Ooened
- 05000293/2011012-01
AV Failure to lmplement
Conduct of Operations
and Reactivity
Control Procedures
during Reactor Startup (Section 2)
LIST OF DOCUMENTS