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{{#Wiki_filter:) '-" NRCFORM366 U.S. NUCLEAR REGULATORY COMMISSION APPROVED BYOMB NO. 3150-0104 (4-96) EXPIRES 04/30198 ESTIMATED BURDEN PER RESPONSE TO COMPLY WITH THIS MANDATORY INFORMATION COUECTION REQUEST: 50.0 HRS. REPORTED LESSONS LEARNED ARE INCORPORATED INTO THE LICENSEE EVENT REPORT (LER) LICENSING PROCESS AND FED BACK TO INDUSTRY.
{{#Wiki_filter:NRCFORM366                             U.S. NUCLEAR REGULATORY COMMISSION                                                         APPROVED BYOMB NO. 3150-0104
FORWARD COMMENTS REGARDING BURDEN ESTIMATE TO THE INFORMATION (See reverse for required number of AND RECORDS MANAGEMENT BRANCH (T NUCLEAR REGULATORY COMMISSION, WASHINGTON, DC 20 , AND TO digits/characters for each block) THE PAPERWORK REDUCTION PROJECT (3150-0104), OFFICE OF MANAGEMENT AND BUDGET, WASHINGTON, DC 20503. FACILITY NAllE (1) I uu .. ,.c I **----* l"'I PAGE (3) SALEM GENERATING STATION, UNIT 2 05000311 1 OF4 TITLE (4) Waste Gas Decay Tank Oxygen Concentration Exceeded Technical Specifications Limit EVENT DATE (5) LER NUMBER (6) REPORT DATE (7) OTHER FACILITIES INVOLVED (8) YEAR I FACILITY NAME DOCKET NUMBER MONTH DAY YEAR SEQUENTIAL  
  ) (4-96)                                                                                                                                         EXPIRES 04/30198 ESTIMATED BURDEN PER RESPONSE TO COMPLY WITH THIS
'REVISION MONTH DAY YEAR NUMBER NUMBER Salem Unit 1 05000272 01 09 11 96 FACILITY NAME DOCKET NUMBER 07 01 96 96 -002 -05000 OPERATING N THIS REPORT IS SUBMITTED PURSUANT TO THE REQUIREMENTS OF 10 CFR §: (Check orie or more) (11) MODE (9) 20.2201(b) 20.2203(a)(2)(v) x 50. 73(a)(2)(i)
'-"                                                                                                                MANDATORY INFORMATION COUECTION REQUEST: 50.0 HRS.
: 50. 73(a)(2)(viii)
REPORTED LESSONS LEARNED ARE INCORPORATED INTO THE LICENSEE EVENT REPORT (LER)                                                                 LICENSING PROCESS AND FED BACK TO INDUSTRY.                     FORWARD COMMENTS REGARDING BURDEN ESTIMATE TO THE INFORMATION AND RECORDS MANAGEMENT BRANCH (T~ F33~ NUCLEAR (See reverse for required number of                                                   REGULATORY COMMISSION, WASHINGTON, DC 20                       , AND TO THE PAPERWORK REDUCTION PROJECT (3150-0104), OFFICE OF digits/characters for each block)                                                    MANAGEMENT AND BUDGET, WASHINGTON, DC 20503.
POWER 000 20.2203(a)(1) 20.2203(a)(3)(i) 50.73(a)(2)(ii)
FACILITY NAllE (1)                                                                                           I uu .. ,.c I * * - - - -
: 50. 73(a)(2)(x)
* l"'I                           PAGE (3)
LEVEL (10) 20.2203(a)(2)(i) 20.2203(a)(3)(ii)
SALEM GENERATING STATION, UNIT 2                                                                                   05000311                             1 OF4 TITLE (4)
: 50. 73(a)(2)(iii) 73.71 -20.2203(a)(2)(ii) 20.2203(a)(4)
Waste Gas Decay Tank Oxygen Concentration Exceeded Technical Specifications Limit EVENT DATE (5)                 LER NUMBER (6)                 REPORT DATE (7)                                                 OTHER FACILITIES INVOLVED (8)
: 50. 73(a)(2)(iv)
MONTH       DAY     YEAR    YEAR SEQUENTIAL NUMBER
OTHER 20.2203(a)(2)(iii) 50.36(c)(1)
                                                          'REVISION NUMBER MONTH         DAY                   YEAR FACILITY NAME Salem Unit 1 DOCKET NUMBER 05000272 07         01       96     96   -   002       -     01      09            11                    96 FACILITY NAME                                  DOCKET NUMBER 05000 OPERATING           N     THIS REPORT IS SUBMITTED PURSUANT TO THE REQUIREMENTS OF 10 CFR §: (Check orie or more) (11)
: 50. 73(a)(2)(v)
MODE (9)                     20.2201(b)                     20.2203(a)(2)(v)                                     x 50. 73(a)(2)(i)                           50. 73(a)(2)(viii)
Abstract below or in C Form 366A 20.2203(a)(2)(iv) 50.36(c)(2)
POWER           000       20.2203(a)(1)                   20.2203(a)(3)(i)                                           50.73(a)(2)(ii)                       50. 73(a)(2)(x)
: 50. 73(a)(2)(vii)
LEVEL (10)                   20.2203(a)(2)(i)               20.2203(a)(3)(ii)                                         50. 73(a)(2)(iii)                     73.71
LICENSEE CONTACT FOR THIS LER (12) NAME TELEPHONE NUMBER (Include Area Code) Dennis v. Hassler, LER Coordinator 609-339-1989 COMPLETE ONE LINE FOR EACH COMPONENT FAILURE DESCRIBED IN THIS REPORT (13) CAUSE SYSTEM COMPONENT MANUFACTURER REPORTABLE I CAUSE SYSTEM COMPONENT MANUFACTURER REPORTABLE TONPRDS TONPRDS :;:::::;:;:::::::::::::::::::
    -
111111111111111111111111111 SUPPLEMENTAL REPORT EXPECTED (14) EXPECTED MONTH DAY YEAR 'YES XINO SUBMISSION (If yes, complete EXPECTED SUBMISSION DATE). DATE (15) ABSTRACT (Limit to 1400 spaces, i.e., approximately 15 single-spaced typewritten lines) (16) On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere.
20.2203(a)(2)(ii)               20.2203(a)(4)                                             50. 73(a)(2)(iv)                     OTHER 20.2203(a)(2)(iii)             50.36(c)(1)                                               50. 73(a)(2)(v)                   S~c~in    Abstract below or in   C Form 366A 20.2203(a)(2)(iv)               50.36(c)(2)                                               50. 73(a)(2)(vii)
Technical Specification 3.11.2.5 requires the oxygen concentration to be less than 2% at all times. This Technical Specification was not considered applicable at the time because the system was not being used for waste gas storage. However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct. Contrary to the Technical Specification, the concentration of oxygen was greater than 2% for greater than 48 hours. In addition, the concentration of oxygen was greater than 4% and was not reduced imnediately.
LICENSEE CONTACT FOR THIS LER (12)
The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications.
NAME                                                                                                                 TELEPHONE NUMBER (Include Area Code)
Corrective actions include restoring the Oxygen concentration levels to Technical Specifications limit at Salem Unit 2. Oxygen concentration levels were restored at Unit 1 on August 1, 1996. The need to comply with the intent exact wording of the Technical Specifications has been communicated to the operating crews. A request to resolve Technical wording problems was submitted to reportable in accordance with 10 plant's Technical Specifications.  
Dennis         v. Hassler, LER Coordinator                                                                                                   609-339-1989 COMPLETE ONE LINE FOR EACH COMPONENT FAILURE DESCRIBED IN THIS REPORT (13)
---9609180094 960911 PDR ADOCK 05000311 S PDR CFR the 73(a) Specification 3.11.2.5 administrative NRC August 15, 1996. This event is (2) (i) (B)' any condition prohibited by the and NRC FORM U.S. NUCLEAR REGULATORY COMMISSION (4-95) LICENSEE EVENT REPORT (LER) TEXT CONTINUATION FACILITY NAME (1) DOCKET NUMBER (2) LER NUMBER (6) PAGE (3) 05000311 YEAR I SEQUENTIAL I REVISION NUMBER NUMBER 2 SALEM GENERATING STATION UNIT 2 96 -002 -01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17) PLANT AND SYSTEM IDENTIFICATION Westinghouse  
I CAUSE         SYSTEM     COMPONENT   MANUFACTURER       REPORTABLE                                 CAUSE           SYSTEM             COMPONENT MANUFACTURER     REPORTABLE TONPRDS                                                                                                     TONPRDS
-Pressurized Water Reactor Waste Gas Disposal {WE/-}*
:;:::::;:;:::::::::::::::::::
* Energy Industry Identification System (EIIS) codes and component function identifier codes appear as (SS/CCC) CONDITIONS PRIOR TO OCCURRENCE OF 4 At the time of identification, Salem Units 1 and 2 were shutdown and defueled.
111111111111111111111111111 SUPPLEMENTAL REPORT EXPECTED (14)                                                                       EXPECTED             MONTH       DAY         YEAR XINO                                                SUBMISSION
DESCRIPTION OF OCCURRENCE On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere.
        'YES (If yes, complete EXPECTED SUBMISSION DATE).                                                                                 DATE (15)
Technical Specification 3.11.2.5 was not considered applicable at the time because the system was not being used for waste gas storage. However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct. The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) states "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume." If this condition is not met, the actions required are to: (1) With the concentration of oxygen in the waste gas holdup system greater than 2% by volume but less than or equal to 4% by volume, reduce the oxygen concentration to within limits within 48 hours; or (2) With the concentration of oxygen in the waste gas holdup system greater than 4% by volume immediately suspend all additions of waste gasses to the system and reduce the concentration of oxygen to less than or equal to 2% by volume without delay. The Technical Specifications state that these actions are applicable "at all times." As such, the following non-compliance issues existed from April 24 to July 10, 1996, at Unit 2: (1) The concentration of oxygen was greater than 2% for greater than 48 hours. In addition the concentration of oxygen was greater than 4% and was not reduced without delay. (2) All waste gas additions to the system were not secured when oxygen concentrations exceeded 4%. It was also noted, however, that isolation of waste gas additions from all of the decay tanks once the system is in operation may not be practical.
ABSTRACT (Limit to 1400 spaces, i.e., approximately 15 single-spaced typewritten lines) (16)
This could result in uncontrolled waste gas release into the auxiliary building.
On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere. Technical Specification 3.11.2.5 requires the oxygen concentration to be less than 2% at all times. This Technical Specification was not considered applicable at the time because the system was not being used for waste gas storage. However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct. Contrary to the Technical Specification, the concentration of oxygen was greater than 2% for greater than 48 hours.
This Technical Specification compliance problem is also applicable to Unit 1. The Unit 1 Waste Gas System was taken out of service on August 26, 1995, and the gas decay tanks were vented to atmosphere.
In addition, the concentration of oxygen was greater than 4% and was not reduced imnediately.
The oxygen concentration levels in the Unit 1 tanks were restored to Technical Specification limits as of August 1, 1996. NRC FORM 366A (4-95)
The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications. Corrective actions include restoring the Oxygen concentration levels to Technical Specifications limit at Salem Unit 2. Oxygen concentration levels were restored at Unit 1 on August 1, 1996. The need to comply with the intent and exact wording of the Technical Specifications has been communicated to the operating crews. A request to resolve Technical Specification 3.11.2.5 administrative wording problems was submitted to the NRC August 15, 1996. This event is reportable in accordance with 10 CFR 73(a) (2) (i) (B)' any condition prohibited by the plant's Technical Specifications.
NRC FORM 3*6A U.S. NUCLEAR REGULATORY COMMISSION  
    ---
'.;f (4-95) FACILITY NAME (1) LICENSEE EVENT REPORT (LER) TEXT CONTINUATION DOCKET NUMBER (2) LER NUMBER (6) 05000311 YEAR I SEQUENTIAL I REVISION NUMBER NUMBER SALEM GENERATING STATION UNIT 2 96 -002 01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17) DESCRIPTION OF OCCURRENCE PAGE (3) 3 OF 4 The issues identified above were discovered during the period from July 1 to July 24, 1996. The issue identified on July 1 was that oxygen levels had exceeded 2% for greater than forty eight hours. On July 24, during investigation of the original issue, it was determined that the Technical Specification should apply even when the system is not being used for waste gas storage. Although not validated, similar occurrences may have occurred in. the past. CAUSE OF OCCURRENCE The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications.
9609180094 960911 PDR ADOCK 05000311 S                           PDR
Specific issues were: (1) An administrative error was created when corrections to Technical Specification 3.11.2.5 Amendments 64 and 36 inadvertently removed hydrogen applicability wording in the LCO. On December 5, 1984, the Salem Units 1 and 2 Technical Specifications were amended (Amendments 59 and 28, respectively) to add Section 11 "Radioactive Effluents Explosive Gas Mixture." The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) stated that "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume whenever the hydrogen concentration exceeds 4% by volume." On May 30, 1985, Technical Specification 3.11.2.5 Amendments 64 and 36 were issued to correct typographical errors, but did not change the LCO wording " ..... whenever the hydrogen concentration exceeds 4% by volume." Less than a month later (June 21, 1985), the NRC issued a correction to Amendments 64 and 36 which inadvertently removed the LCO hydrogen applicability wording. The amendments' Safety Evaluation did not address the reason for the hydrogen applicability wording change. PSE&G did not identify the discrepancy.
 
Since the systems were vented to atmosphere and hydrogen was not being used in the plant, use of the hydrogen exclusion would have negated the need to enter the action statements of Technical Specification 3.11.2.5.
NRC FORM    3~6A                                                                        U.S. NUCLEAR REGULATORY COMMISSION
(2) Technical Specification 3.11.2.5 was poorly interpreted to apply at all times when the system was being used for waste gas storage, rather than at all times. This is also a wording problem because the specification should specify at all times when the system was being used for waste gas storage, to allow for maintenance activities.
'~ (4-95)
(3) Technical Specification 3.11.2.5 was poorly interpreted to apply to individual decay tanks vice all of the tanks at the same time. This is also a wording problem because the waste gas holdup tanks should be treated as individual units, as described in the Salem UFSAR. Otherwise, uncontrolled waste gas release into the auxiliary building could result. NRC FORM 366A (4-95)
LICENSEE EVENT REPORT (LER)
NRC FORM 3f36A (4-96) U.S. NUCLEAR REGULATORY COMMISSION FACILITY NAME (1) LICENSEE EVENT REPORT (LER) TEXT CONTINUATION DOCKET NUMBER (2) LER NUMBER (6) 05000311 YEAR I SEQUENTIAL I REVISION . NUMBER NUMBER SALEM GENERATING STATION UNIT 2 96 -002 -01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17) PRIOR SIMILAR OCCURRENCES PAGE (3) 4 OF 4 In the past two years there has been one similar LER. LER 311/96-003-00 identified an occurrence where an erroneous determination was made regarding Technical Specification applicability.
TEXT CONTINUATION FACILITY NAME (1)                           DOCKET NUMBER (2)     LER NUMBER (6)             PAGE (3) 05000311     YEAR I SEQUENTIAL NUMBER IREVISION NUMBER 2   OF    4 SALEM GENERATING STATION UNIT 2                                                       96 -     002   -     01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)
The Technical Specifications contained a surveillance for an auto-start feature in the FHB Ventilation System that was not installed.
PLANT AND SYSTEM IDENTIFICATION Westinghouse - Pressurized Water Reactor Waste Gas Disposal               {WE/-}*
Corrective actions were to install the auto-start feature and the continuation of the Technical Specification Improvement Project. SAFETY CONSEQUENCES AND IMPLICATIONS During the period when the oxygen concentration in the Waste Gas System exceeded the Technical Specifications Limiting Condition for Operation, the system was vented to atmosphere, or was being returned to service following an extended system outage. Consequently, there was no concentration of hydrogen which would create the potential for an explosive gas mixture with oxygen. The build up of hydrogen under the current condition is not credible.
* Energy Industry Identification System (EIIS) codes and component function identifier codes appear as (SS/CCC)
Therefore, there was no actual safety significance with this occurrence.
CONDITIONS PRIOR TO OCCURRENCE At the time of identification, Salem Units 1 and 2 were shutdown and defueled.
The health and safety of the public was not affected.
DESCRIPTION OF OCCURRENCE On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere. Technical Specification 3.11.2.5 was not considered applicable at the time because the system was not being used for waste gas storage.               However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct.                                             The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) states "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume." If this condition is not met, the actions required are to: (1) With the concentration of oxygen in the waste gas holdup system greater than 2% by volume but less than or equal to 4% by volume, reduce the oxygen concentration to within limits within 48 hours; or (2) With the concentration of oxygen in the waste gas holdup system greater than 4% by volume immediately suspend all additions of waste gasses to the system and reduce the concentration of oxygen to less than or equal to 2% by volume without delay.
CORRECTIVE ACTION 1. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 2. 2. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 1 as of August 1, 1996. 3. The problems with this Technical Specification have been communicated to the operating crews. Isolation of waste gas from all holdup tanks, if oxygen levels exceed 4 percent, will be carefully evaluated since such action may cause uncontrolled release of waste gas into the Auxiliary Building.
The Technical Specifications state that these actions are applicable "at all times." As such, the following non-compliance issues existed from April 24 to July 10, 1996, at Unit 2:
If isolation of all waste gas is not practical, the tank with the high oxygen levels will be isolated and purged, and another tank will be placed in service, as described in the UFSAR. If this occurs prior to a change to the Technical Specifications, a supplement to this LER will be submitted.
(1)   The concentration of oxygen was greater than 2% for greater than 48 hours.
In addition the concentration of oxygen was greater than 4% and was not reduced without delay.
(2)   All waste gas additions to the system were not secured when oxygen concentrations exceeded 4%.                       It was also noted, however, that isolation of waste gas additions from all of the decay tanks once the system is in operation may not be practical. This could result in uncontrolled waste gas release into the auxiliary building.
This Technical Specification compliance problem is also applicable to Unit 1.
The Unit 1 Waste Gas System was taken out of service on August 26, 1995, and the gas decay tanks were vented to atmosphere. The oxygen concentration levels in the Unit 1 tanks were restored to Technical Specification limits as of August 1, 1996.
NRC FORM 366A (4-95)
 
NRC FORM 36A                                                                          U.S. NUCLEAR REGULATORY COMMISSION
'.;f (4-95)
LICENSEE EVENT REPORT (LER)
TEXT CONTINUATION FACILITY NAME (1)                            DOCKET NUMBER (2)     LER NUMBER (6)            PAGE (3) 05000311     YEAR I SEQUENTIAL NUMBER IREVISION NUMBER 3  OF    4 SALEM GENERATING STATION UNIT 2                                                       96 -     002       01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)
DESCRIPTION OF OCCURRENCE The issues identified above were discovered during the period from July 1 to July 24, 1996. The issue identified on July 1 was that oxygen levels had exceeded 2% for greater than forty eight hours. On July 24, during investigation of the original issue, it was determined that the Technical Specification should apply even when the system is not being used for waste gas storage. Although not validated, similar occurrences may have occurred in. the past.
CAUSE OF OCCURRENCE The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications. Specific issues were:
(1) An administrative error was created when corrections to Technical Specification 3.11.2.5 Amendments 64 and 36 inadvertently removed hydrogen applicability wording in the LCO. On December 5, 1984, the Salem Units 1 and 2 Technical Specifications were amended (Amendments 59 and 28, respectively) to add Section 11 "Radioactive Effluents Explosive Gas Mixture." The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) stated that "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume whenever the hydrogen concentration exceeds 4% by volume." On May 30, 1985, Technical Specification 3.11.2.5 Amendments 64 and 36 were issued to correct typographical errors, but did not change the LCO wording
      " ..... whenever the hydrogen concentration exceeds 4% by volume." Less than a month later (June 21, 1985), the NRC issued a correction to Amendments 64 and 36 which inadvertently removed the LCO hydrogen applicability wording. The amendments' Safety Evaluation did not address the reason for the hydrogen applicability wording change.                       PSE&G did not identify the discrepancy. Since the systems were vented to atmosphere and hydrogen was not being used in the plant, use of the hydrogen exclusion would have negated the need to enter the action statements of Technical Specification 3.11.2.5.
(2) Technical Specification 3.11.2.5 was poorly interpreted to apply at all times when the system was being used for waste gas storage, rather than at all times.       This is also a wording problem because the specification should specify at all times when the system was being used for waste gas storage, to allow for maintenance activities.
(3) Technical Specification 3.11.2.5 was poorly interpreted to apply to individual decay tanks vice all of the tanks at the same time.                                       This is also a wording problem because the waste gas holdup tanks should be treated as individual units, as described in the Salem UFSAR. Otherwise, uncontrolled waste gas release into the auxiliary building could result.
NRC FORM 366A (4-95)
 
NRC FORM 3f36A                                                                         U.S. NUCLEAR REGULATORY COMMISSION (4-96)
LICENSEE EVENT REPORT (LER)
TEXT CONTINUATION FACILITY NAME (1)                            DOCKET NUMBER (2)     LER NUMBER (6)              PAGE (3) 05000311     YEAR
                                                                                        .
I SEQUENTIAL NUMBER IREVISION NUMBER 4  OF    4 SALEM GENERATING STATION UNIT 2 96 -     002     -     01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)
PRIOR SIMILAR OCCURRENCES In the past two years there has been one similar LER. LER 311/96-003-00 identified an occurrence where an erroneous determination was made regarding Technical Specification applicability. The Technical Specifications contained a surveillance for an auto-start feature in the FHB Ventilation System that was not installed. Corrective actions were to install the auto-start feature and the continuation of the Technical Specification Improvement Project.
SAFETY CONSEQUENCES AND IMPLICATIONS During the period when the oxygen concentration in the Waste Gas System exceeded the Technical Specifications Limiting Condition for Operation, the system was vented to atmosphere, or was being returned to service following an extended system outage. Consequently, there was no concentration of hydrogen which would create the potential for an explosive gas mixture with oxygen.                                         The build up of hydrogen under the current condition is not credible. Therefore, there was no actual safety significance with this occurrence. The health and safety of the public was not affected.
CORRECTIVE ACTION
: 1. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 2.
: 2. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 1 as of August 1, 1996.
: 3. The problems with this Technical Specification have been communicated to the operating crews.             Isolation of waste gas from all holdup tanks, if oxygen levels exceed 4 percent, will be carefully evaluated since such action may cause uncontrolled release of waste gas into the Auxiliary Building. If isolation of all waste gas is not practical, the tank with the high oxygen levels will be isolated and purged, and another tank will be placed in service, as described in the UFSAR.                           If this occurs prior to a change to the Technical Specifications, a supplement to this LER will be submitted.
: 4. Operations Management has emphasized the need to comply with the intent and the exact wording of the Technical Specifications, and to immediately address any issues where the intent and the wording are in conflict.
: 4. Operations Management has emphasized the need to comply with the intent and the exact wording of the Technical Specifications, and to immediately address any issues where the intent and the wording are in conflict.
: 5. A request to resolve Technical Specification 3.11.2.5 administrative/wording problems was submitted to the NRC on August 15, 1996. NRC FORM 366A (4-95)}}
: 5. A request to resolve Technical Specification 3.11.2.5 administrative/wording problems was submitted to the NRC on August 15, 1996.
NRC FORM 366A (4-95)}}

Revision as of 09:36, 21 October 2019

LER 96-002-01:on 960701,waste Gas Decay Tank Oxygen Concentration Exceeded TSs Limit.Caused by Poor Wording & Interpretation of Tss.Oxygen Concentration Levels Restored. Request to Resolve TS 3.11.2.5 Submitted to NRC on 960815
ML18102A374
Person / Time
Site: Salem PSEG icon.png
Issue date: 09/11/1996
From: Hassler D
Public Service Enterprise Group
To:
Shared Package
ML18102A373 List:
References
LER-96-002-02, LER-96-2-2, NUDOCS 9609180094
Download: ML18102A374 (4)


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NRCFORM366 U.S. NUCLEAR REGULATORY COMMISSION APPROVED BYOMB NO. 3150-0104

) (4-96) EXPIRES 04/30198 ESTIMATED BURDEN PER RESPONSE TO COMPLY WITH THIS

'-" MANDATORY INFORMATION COUECTION REQUEST: 50.0 HRS.

REPORTED LESSONS LEARNED ARE INCORPORATED INTO THE LICENSEE EVENT REPORT (LER) LICENSING PROCESS AND FED BACK TO INDUSTRY. FORWARD COMMENTS REGARDING BURDEN ESTIMATE TO THE INFORMATION AND RECORDS MANAGEMENT BRANCH (T~ F33~ NUCLEAR (See reverse for required number of REGULATORY COMMISSION, WASHINGTON, DC 20 , AND TO THE PAPERWORK REDUCTION PROJECT (3150-0104), OFFICE OF digits/characters for each block) MANAGEMENT AND BUDGET, WASHINGTON, DC 20503.

FACILITY NAllE (1) I uu .. ,.c I * * - - - -

  • l"'I PAGE (3)

SALEM GENERATING STATION, UNIT 2 05000311 1 OF4 TITLE (4)

Waste Gas Decay Tank Oxygen Concentration Exceeded Technical Specifications Limit EVENT DATE (5) LER NUMBER (6) REPORT DATE (7) OTHER FACILITIES INVOLVED (8)

MONTH DAY YEAR YEAR I SEQUENTIAL NUMBER

'REVISION NUMBER MONTH DAY YEAR FACILITY NAME Salem Unit 1 DOCKET NUMBER 05000272 07 01 96 96 - 002 - 01 09 11 96 FACILITY NAME DOCKET NUMBER 05000 OPERATING N THIS REPORT IS SUBMITTED PURSUANT TO THE REQUIREMENTS OF 10 CFR §: (Check orie or more) (11)

MODE (9) 20.2201(b) 20.2203(a)(2)(v) x 50. 73(a)(2)(i) 50. 73(a)(2)(viii)

POWER 000 20.2203(a)(1) 20.2203(a)(3)(i) 50.73(a)(2)(ii) 50. 73(a)(2)(x)

LEVEL (10) 20.2203(a)(2)(i) 20.2203(a)(3)(ii) 50. 73(a)(2)(iii) 73.71

-

20.2203(a)(2)(ii) 20.2203(a)(4) 50. 73(a)(2)(iv) OTHER 20.2203(a)(2)(iii) 50.36(c)(1) 50. 73(a)(2)(v) S~c~in Abstract below or in C Form 366A 20.2203(a)(2)(iv) 50.36(c)(2) 50. 73(a)(2)(vii)

LICENSEE CONTACT FOR THIS LER (12)

NAME TELEPHONE NUMBER (Include Area Code)

Dennis v. Hassler, LER Coordinator 609-339-1989 COMPLETE ONE LINE FOR EACH COMPONENT FAILURE DESCRIBED IN THIS REPORT (13)

I CAUSE SYSTEM COMPONENT MANUFACTURER REPORTABLE CAUSE SYSTEM COMPONENT MANUFACTURER REPORTABLE TONPRDS TONPRDS

111111111111111111111111111 SUPPLEMENTAL REPORT EXPECTED (14) EXPECTED MONTH DAY YEAR XINO SUBMISSION

'YES (If yes, complete EXPECTED SUBMISSION DATE). DATE (15)

ABSTRACT (Limit to 1400 spaces, i.e., approximately 15 single-spaced typewritten lines) (16)

On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere. Technical Specification 3.11.2.5 requires the oxygen concentration to be less than 2% at all times. This Technical Specification was not considered applicable at the time because the system was not being used for waste gas storage. However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct. Contrary to the Technical Specification, the concentration of oxygen was greater than 2% for greater than 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />.

In addition, the concentration of oxygen was greater than 4% and was not reduced imnediately.

The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications. Corrective actions include restoring the Oxygen concentration levels to Technical Specifications limit at Salem Unit 2. Oxygen concentration levels were restored at Unit 1 on August 1, 1996. The need to comply with the intent and exact wording of the Technical Specifications has been communicated to the operating crews. A request to resolve Technical Specification 3.11.2.5 administrative wording problems was submitted to the NRC August 15, 1996. This event is reportable in accordance with 10 CFR 73(a) (2) (i) (B)' any condition prohibited by the plant's Technical Specifications.

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9609180094 960911 PDR ADOCK 05000311 S PDR

NRC FORM 3~6A U.S. NUCLEAR REGULATORY COMMISSION

'~ (4-95)

LICENSEE EVENT REPORT (LER)

TEXT CONTINUATION FACILITY NAME (1) DOCKET NUMBER (2) LER NUMBER (6) PAGE (3) 05000311 YEAR I SEQUENTIAL NUMBER IREVISION NUMBER 2 OF 4 SALEM GENERATING STATION UNIT 2 96 - 002 - 01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)

PLANT AND SYSTEM IDENTIFICATION Westinghouse - Pressurized Water Reactor Waste Gas Disposal {WE/-}*

  • Energy Industry Identification System (EIIS) codes and component function identifier codes appear as (SS/CCC)

CONDITIONS PRIOR TO OCCURRENCE At the time of identification, Salem Units 1 and 2 were shutdown and defueled.

DESCRIPTION OF OCCURRENCE On April 24, 1996, the Unit 2 Waste Gas System was taken out of service for maintenance and was vented to atmosphere. Technical Specification 3.11.2.5 was not considered applicable at the time because the system was not being used for waste gas storage. However, further evaluation by Plant Management and Licensing personnel determined that this interpretation was not correct. The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) states "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume." If this condition is not met, the actions required are to: (1) With the concentration of oxygen in the waste gas holdup system greater than 2% by volume but less than or equal to 4% by volume, reduce the oxygen concentration to within limits within 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />; or (2) With the concentration of oxygen in the waste gas holdup system greater than 4% by volume immediately suspend all additions of waste gasses to the system and reduce the concentration of oxygen to less than or equal to 2% by volume without delay.

The Technical Specifications state that these actions are applicable "at all times." As such, the following non-compliance issues existed from April 24 to July 10, 1996, at Unit 2:

(1) The concentration of oxygen was greater than 2% for greater than 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />.

In addition the concentration of oxygen was greater than 4% and was not reduced without delay.

(2) All waste gas additions to the system were not secured when oxygen concentrations exceeded 4%. It was also noted, however, that isolation of waste gas additions from all of the decay tanks once the system is in operation may not be practical. This could result in uncontrolled waste gas release into the auxiliary building.

This Technical Specification compliance problem is also applicable to Unit 1.

The Unit 1 Waste Gas System was taken out of service on August 26, 1995, and the gas decay tanks were vented to atmosphere. The oxygen concentration levels in the Unit 1 tanks were restored to Technical Specification limits as of August 1, 1996.

NRC FORM 366A (4-95)

NRC FORM 36A U.S. NUCLEAR REGULATORY COMMISSION

'.;f (4-95)

LICENSEE EVENT REPORT (LER)

TEXT CONTINUATION FACILITY NAME (1) DOCKET NUMBER (2) LER NUMBER (6) PAGE (3) 05000311 YEAR I SEQUENTIAL NUMBER IREVISION NUMBER 3 OF 4 SALEM GENERATING STATION UNIT 2 96 - 002 01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)

DESCRIPTION OF OCCURRENCE The issues identified above were discovered during the period from July 1 to July 24, 1996. The issue identified on July 1 was that oxygen levels had exceeded 2% for greater than forty eight hours. On July 24, during investigation of the original issue, it was determined that the Technical Specification should apply even when the system is not being used for waste gas storage. Although not validated, similar occurrences may have occurred in. the past.

CAUSE OF OCCURRENCE The cause of the occurrence was determined to be poor wording and interpretation of the Technical Specifications. Specific issues were:

(1) An administrative error was created when corrections to Technical Specification 3.11.2.5 Amendments 64 and 36 inadvertently removed hydrogen applicability wording in the LCO. On December 5, 1984, the Salem Units 1 and 2 Technical Specifications were amended (Amendments 59 and 28, respectively) to add Section 11 "Radioactive Effluents Explosive Gas Mixture." The Technical Specification 3.11.2.5 Limiting Condition for Operation (LCO) stated that "the concentration of oxygen in the waste gas holdup system shall be limited to less than or equal to 2% by volume whenever the hydrogen concentration exceeds 4% by volume." On May 30, 1985, Technical Specification 3.11.2.5 Amendments 64 and 36 were issued to correct typographical errors, but did not change the LCO wording

" ..... whenever the hydrogen concentration exceeds 4% by volume." Less than a month later (June 21, 1985), the NRC issued a correction to Amendments 64 and 36 which inadvertently removed the LCO hydrogen applicability wording. The amendments' Safety Evaluation did not address the reason for the hydrogen applicability wording change. PSE&G did not identify the discrepancy. Since the systems were vented to atmosphere and hydrogen was not being used in the plant, use of the hydrogen exclusion would have negated the need to enter the action statements of Technical Specification 3.11.2.5.

(2) Technical Specification 3.11.2.5 was poorly interpreted to apply at all times when the system was being used for waste gas storage, rather than at all times. This is also a wording problem because the specification should specify at all times when the system was being used for waste gas storage, to allow for maintenance activities.

(3) Technical Specification 3.11.2.5 was poorly interpreted to apply to individual decay tanks vice all of the tanks at the same time. This is also a wording problem because the waste gas holdup tanks should be treated as individual units, as described in the Salem UFSAR. Otherwise, uncontrolled waste gas release into the auxiliary building could result.

NRC FORM 366A (4-95)

NRC FORM 3f36A U.S. NUCLEAR REGULATORY COMMISSION (4-96)

LICENSEE EVENT REPORT (LER)

TEXT CONTINUATION FACILITY NAME (1) DOCKET NUMBER (2) LER NUMBER (6) PAGE (3) 05000311 YEAR

.

I SEQUENTIAL NUMBER IREVISION NUMBER 4 OF 4 SALEM GENERATING STATION UNIT 2 96 - 002 - 01 TEXT (If more space is required, use additional copies of NRC Form 366A) (17)

PRIOR SIMILAR OCCURRENCES In the past two years there has been one similar LER. LER 311/96-003-00 identified an occurrence where an erroneous determination was made regarding Technical Specification applicability. The Technical Specifications contained a surveillance for an auto-start feature in the FHB Ventilation System that was not installed. Corrective actions were to install the auto-start feature and the continuation of the Technical Specification Improvement Project.

SAFETY CONSEQUENCES AND IMPLICATIONS During the period when the oxygen concentration in the Waste Gas System exceeded the Technical Specifications Limiting Condition for Operation, the system was vented to atmosphere, or was being returned to service following an extended system outage. Consequently, there was no concentration of hydrogen which would create the potential for an explosive gas mixture with oxygen. The build up of hydrogen under the current condition is not credible. Therefore, there was no actual safety significance with this occurrence. The health and safety of the public was not affected.

CORRECTIVE ACTION

1. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 2.
2. Oxygen concentration levels were restored to Technical Specifications requirements at Unit 1 as of August 1, 1996.
3. The problems with this Technical Specification have been communicated to the operating crews. Isolation of waste gas from all holdup tanks, if oxygen levels exceed 4 percent, will be carefully evaluated since such action may cause uncontrolled release of waste gas into the Auxiliary Building. If isolation of all waste gas is not practical, the tank with the high oxygen levels will be isolated and purged, and another tank will be placed in service, as described in the UFSAR. If this occurs prior to a change to the Technical Specifications, a supplement to this LER will be submitted.
4. Operations Management has emphasized the need to comply with the intent and the exact wording of the Technical Specifications, and to immediately address any issues where the intent and the wording are in conflict.
5. A request to resolve Technical Specification 3.11.2.5 administrative/wording problems was submitted to the NRC on August 15, 1996.

NRC FORM 366A (4-95)