ML17221A561: Difference between revisions

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{{#Wiki_filter:REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)Cq ACCESSION NBR: 8712280308 DOC.DATE: 87/12/23 NOTARIZED:
{{#Wiki_filter:REGULATORY INFORMATION DISTRIBUTION SYSTEM       (RIDS)
NO DOCKET FACIL: 50-335 St.Lucie Planti Unit ii Florida Power 8c'Light Co.05000335 50-38'P St.Lucie Planti Unit 2i Florida Poeer 5 Light Co.05000389 AUTH.NAME AUTHOR AFFILIATION WOODY'.O.Florida Poeer 5 Light Co.RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)
Cq ACCESSION NBR: 8712280308       DOC. DATE: 87/12/23     NOTARIZED: NO         DOCKET FACIL: 50-335 St. Lucie Planti Unit ii Florida Power 8c 'Light Co.         05000335 50-38'P St. Lucie Planti Unit 2i Florida Poeer 5 Light Co.           05000389 AUTH. NAME         AUTHOR AFFILIATION WOODY'. O.         Florida Poeer   5 Light Co.
RECIP. NAME         RECIPIENT AFFILIATION Document Control Branch   (Document   Control Desk)


==SUBJECT:==
==SUBJECT:==
Forwards response to Insp Repts 50-335/87-27 8c 50-389/87-2hi 50-389/87-26.
Forwards response to Insp Repts 50-335/87-27 8c 50-389/87-2hi 50-389/87-26. Util concurres to violation Sc reason for inadequate frisk due to personnel inattentive in frisking.
Util concurres to violation Sc reason for inadequate frisk due to personnel inattentive in frisking.DISTRIBUTION CODE: IE06D COPIES RECEIVED: LTR ENCL SIZE: TITLE: Environ 0 Radiological (50 DKT)-Insp Rept/Notice of Violation'Respons NOTES: RECIPIENT ID CODE/NAME PD2-2 L*TOURIGNYe E COPIES LTTR ENCL 1 0 1 REC IP I ENT ID CODE/NAME PD2-2 PD COPIES LTTR ENCL 1 1 INTERNAL: AEOD/DOA NMSS/LLOB NRR/DLPG/PEB NRR/DREP/EPB NRR/AS/ILRB IL 02 RES DE GI RGN2/DRSS/EPRPB ERNAL: LPDR NSIC 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 AEOD/DSP NMSS/SGOB NRR/DOEA/EAB NRR/DREP/RPB OGC/HDS2 RES RGN2 FILE 01 RGN4 MURRAY'NRC PDR 1 1 1 1 1 1 2 2 1 1 1 1 1 1 TOTAL NUMBER OF COPIES REQUIRED: LTTR 23 ENCL 22  
DISTRIBUTION CODE:     IE06D COPIES RECEIVED: LTR       ENCL     SIZE:
TITLE: Environ 0 Radiological (50 DKT)-Insp Rept/Notice of         Violation 'Respons NOTES:
RECIPIENT         COPIES          REC IP I ENT        COPIES ID CODE/NAME       LTTR ENCL      ID CODE/NAME        LTTR ENCL PD2-2 L*               1     0     PD2-2 PD               1    1 TOURIGNYe E                  1 INTERNAL: AEOD/DOA               1    1    AEOD/DSP                1    1 NMSS/LLOB                   1    NMSS/SGOB              1    1 NRR/DLPG/PEB           1    1    NRR/DOEA/EAB            1    1 NRR/DREP/EPB           1    1    NRR/DREP/RPB            2    2 NRR/ AS/ILRB           1     1     OGC/HDS2                1     1 IL      02    1     1     RES                    1     1 RES DE    GI          1     1     RGN2     FILE 01 RGN2/DRSS/EPRPB        1    1    RGN4 MURRAY'           1     1 ERNAL: LPDR                    1     1     NRC PDR NSIC                        1 TOTAL NUMBER OF COPIES REQUIRED: LTTR       23   ENCL     22


P.O.BOX 14000, JUNO BEACH, F L 33408 0420 DECEMBER 2~$987 L-87-526 10 CFR 2.201 U.S.Nuclear Regulatory Commission Attn: Document Control Desk Washington, D.'C.20555 Gentlemen:
P. O. BOX 14000, JUNO BEACH, F L 33408 0420 DECEMBER   2 ~ $ 987 L-87-526 10 CFR 2.201 U. S. Nuclear Regulatory Commission Attn:   Document Control Desk Washington, D. 'C. 20555 Gentlemen:
Re: St.Lucie Units 1 and 2 Docket Nos.50-335 and 50-389 Ins ection Re ort 335 87-27 and 389 87-26 Florida Power&Light Company has reviewed the subject inspection report, and pursuant to the provision of 10 CFR 2.201, the response'is attached.There is no proprietary information in this report.Very truly yours, C.O.W~eSy Executive Vice President COW/EJW/gp Attachment cc: Dr.J.Nelson Grace, Regional Administrator, Region II, USNRC Senior Resident Inspector, USNRC, St.Lucie Plant EJW/005.IR 8712280308 871223 PDR ADOCK 05000335 8 PDR an FPL Group company ATTACEBfENT VIOLATION Technical personnel with the approved, involving Specification 6.11 requires that procedures for radiation protection shall be prepared consistent requirements of 10 CFR Part 20 and'hall be maintained and adhered to for all operations personnel radiation exposure.Health Physics Procedure, HP-70, Revision 6, Personnel Contamination Monitoring and Decontamination, dated September 25, 1987, requires in Section 8.1.3, that personnel exiting the radiation control area (RCA)who have been in a contaminated area perform a whole body frisk.Health Physics Procedure, HP-50, Revision 7, Protective Clothing Requirements, dated June 18, 1987, requires in Section 4.2 that protective clothing is to be worn in such a way as to cover the maximum part of the body for which it was designed.Contrary to the above, the licensee failed to adhere to radiation control procedures in that: On October 28, 1987, five out of sixteen individuals observed exiting the Unit 2 Reactor Containment Building (RCB)contaminated area at the craft RCB access point located near the equipment hatch did not perform a complete whole body frisk, and 2.On October 28, 1987 numerous people working inside the contaminated area in Unit 2 RCB were noted wearing their protective clothing hoods or caps with the flaps fastened behind their heads.
Re:   St. Lucie Units 1 and 2 Docket Nos. 50-335 and 50-389 Ins ection Re ort 335 87-27 and 389 87-26 Florida Power & Light Company has reviewed the subject inspection report, and pursuant to the provision of 10 CFR 2.201, the response 'is attached.
RESPONSE Florida Power&Light Company concurs with the violation.
There is no proprietary information in this report.
2.a~In the instance in which the inspector identified personnel exiting the Reactor Containment Building (RCB)without performing the required whole body frisk, the'eason for the inadequate frisk was due, to personnel being inattentive in their frisking.b.In the instance of personnel improperly wearing their hoods while in the RCB, the principal reason that workers wore the hood flaps fastened behind their heads was to obtain relief from the RCB temperature.
Very truly yours, C. O. W~eSy Executive Vice President COW/EJW/gp Attachment cc:   Dr. J. Nelson Grace, Regional Administrator, Region II, USNRC Senior Resident Inspector, USNRC, St. Lucie Plant EJW/005.IR 8712280308 871223 05000335 PDR   ADOCK     PDR 8
3.a.Personnel were stationed to observe personnel frisking and ensure that personnel leaving the RCB performed a whole body frisk.b.Supervisors were notified to instruct personnel to correctly wear protective clothing and the consequences that could result from incorrectly wearing protective clothing.This was addressed by Outage Management in meetings attended by supervisory personnel.
an FPL Group company
4~All personnel have been instructed in the strict adherence to radiation protection procedures.
 
In addition, signs are being placed where appropriate, clearly stating plant policy regarding the consequences of not following the applicable radiation procedure for that area.Example: Frisking Station"Failure to Frisk Adequately Will Result in Disciplinary Action.Plant Manager" A letter regarding this poli:cy will be issued by the Plant Manager.5.Compliance with the identified areas has been achieved.Full compliance will be achieved by January 15, 1988.EJW/005.IR}}
ATTACEBfENT VIOLATION Technical Specification 6.11 requires that procedures for personnel radiation protection shall be prepared consistent with the requirements of 10 CFR Part 20 and 'hall be approved, maintained and adhered to for all operations involving personnel radiation exposure.
Health Physics Procedure,     HP-70, Revision 6, Personnel Contamination Monitoring and Decontamination, dated September 25, 1987, requires in Section 8.1.3, that personnel exiting the radiation control area (RCA) who have been in a contaminated area perform a whole body frisk.
Health Physics Procedure, HP-50, Revision 7, Protective Clothing Requirements, dated June 18, 1987, requires in Section 4.2 that protective clothing is to be worn in such a way as to cover the maximum part of the body for which designed.
it was Contrary to the above, the licensee failed to adhere to radiation control procedures in that:
On   October 28, 1987, five out of sixteen individuals observed exiting the Unit 2 Reactor Containment Building (RCB) contaminated area at the craft RCB access point located near the equipment hatch did not perform a complete   whole body frisk, and
: 2. On October 28, 1987 numerous people working inside the contaminated area in Unit 2 RCB were noted wearing their protective clothing hoods or caps with the flaps fastened behind their heads.
 
===RESPONSE===
Florida   Power   & Light Company   concurs with the violation.
2.a ~ In the instance in which the inspector identified personnel exiting the Reactor Containment Building (RCB) without performing the required whole body frisk, the'eason for the inadequate frisk was due, to personnel being inattentive in their frisking.
: b. In the instance of personnel improperly wearing their hoods while in the RCB, the principal reason that workers wore the hood flaps fastened behind their heads was to obtain relief from the RCB temperature.
3.a. Personnel       were stationed   to observe personnel frisking and ensure that personnel leaving the RCB performed a whole body frisk.
: b. Supervisors were     notified to instruct personnel to correctly wear       protective clothing and the consequences     that could result from incorrectly wearing protective clothing. This was addressed by Outage Management         in meetings attended by supervisory personnel.
4 ~   All   personnel   have been instructed in the strict adherence   to radiation protection procedures.     In addition, signs are being placed where appropriate, clearly stating plant policy regarding the consequences       of not following the applicable radiation procedure for that area.
Example: Frisking Station "Failure to Frisk Adequately Will Result in Disciplinary Action.
Plant Manager" A   letter regarding this poli:cy will be issued by the Plant Manager.
: 5. Compliance with the identified areas has been achieved.
Full compliance will be achieved by January     15, 1988.
EJW/005.IR}}

Latest revision as of 23:16, 29 October 2019

Responds to Violations Noted in Insp Repts 50-335/87-27 & 50-389/87-26.Corrective Actions:All Personnel Instructed in Strict Adherence to Radiation Protection Procedures & Signs Posted Re Consequences of Not Following Procedures
ML17221A561
Person / Time
Site: Saint Lucie  NextEra Energy icon.png
Issue date: 12/23/1987
From: Woody C
FLORIDA POWER & LIGHT CO.
To:
NRC OFFICE OF ADMINISTRATION & RESOURCES MANAGEMENT (ARM)
References
L-87-526, NUDOCS 8712280308
Download: ML17221A561 (5)


Text

REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)

Cq ACCESSION NBR: 8712280308 DOC. DATE: 87/12/23 NOTARIZED: NO DOCKET FACIL: 50-335 St. Lucie Planti Unit ii Florida Power 8c 'Light Co. 05000335 50-38'P St. Lucie Planti Unit 2i Florida Poeer 5 Light Co. 05000389 AUTH. NAME AUTHOR AFFILIATION WOODY'. O. Florida Poeer 5 Light Co.

RECIP. NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)

SUBJECT:

Forwards response to Insp Repts 50-335/87-27 8c 50-389/87-2hi 50-389/87-26. Util concurres to violation Sc reason for inadequate frisk due to personnel inattentive in frisking.

DISTRIBUTION CODE: IE06D COPIES RECEIVED: LTR ENCL SIZE:

TITLE: Environ 0 Radiological (50 DKT)-Insp Rept/Notice of Violation 'Respons NOTES:

RECIPIENT COPIES REC IP I ENT COPIES ID CODE/NAME LTTR ENCL ID CODE/NAME LTTR ENCL PD2-2 L* 1 0 PD2-2 PD 1 1 TOURIGNYe E 1 INTERNAL: AEOD/DOA 1 1 AEOD/DSP 1 1 NMSS/LLOB 1 NMSS/SGOB 1 1 NRR/DLPG/PEB 1 1 NRR/DOEA/EAB 1 1 NRR/DREP/EPB 1 1 NRR/DREP/RPB 2 2 NRR/ AS/ILRB 1 1 OGC/HDS2 1 1 IL 02 1 1 RES 1 1 RES DE GI 1 1 RGN2 FILE 01 RGN2/DRSS/EPRPB 1 1 RGN4 MURRAY' 1 1 ERNAL: LPDR 1 1 NRC PDR NSIC 1 TOTAL NUMBER OF COPIES REQUIRED: LTTR 23 ENCL 22

P. O. BOX 14000, JUNO BEACH, F L 33408 0420 DECEMBER 2 ~ $ 987 L-87-526 10 CFR 2.201 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, D. 'C. 20555 Gentlemen:

Re: St. Lucie Units 1 and 2 Docket Nos. 50-335 and 50-389 Ins ection Re ort 335 87-27 and 389 87-26 Florida Power & Light Company has reviewed the subject inspection report, and pursuant to the provision of 10 CFR 2.201, the response 'is attached.

There is no proprietary information in this report.

Very truly yours, C. O. W~eSy Executive Vice President COW/EJW/gp Attachment cc: Dr. J. Nelson Grace, Regional Administrator, Region II, USNRC Senior Resident Inspector, USNRC, St. Lucie Plant EJW/005.IR 8712280308 871223 05000335 PDR ADOCK PDR 8

an FPL Group company

ATTACEBfENT VIOLATION Technical Specification 6.11 requires that procedures for personnel radiation protection shall be prepared consistent with the requirements of 10 CFR Part 20 and 'hall be approved, maintained and adhered to for all operations involving personnel radiation exposure.

Health Physics Procedure, HP-70, Revision 6, Personnel Contamination Monitoring and Decontamination, dated September 25, 1987, requires in Section 8.1.3, that personnel exiting the radiation control area (RCA) who have been in a contaminated area perform a whole body frisk.

Health Physics Procedure, HP-50, Revision 7, Protective Clothing Requirements, dated June 18, 1987, requires in Section 4.2 that protective clothing is to be worn in such a way as to cover the maximum part of the body for which designed.

it was Contrary to the above, the licensee failed to adhere to radiation control procedures in that:

On October 28, 1987, five out of sixteen individuals observed exiting the Unit 2 Reactor Containment Building (RCB) contaminated area at the craft RCB access point located near the equipment hatch did not perform a complete whole body frisk, and

2. On October 28, 1987 numerous people working inside the contaminated area in Unit 2 RCB were noted wearing their protective clothing hoods or caps with the flaps fastened behind their heads.

RESPONSE

Florida Power & Light Company concurs with the violation.

2.a ~ In the instance in which the inspector identified personnel exiting the Reactor Containment Building (RCB) without performing the required whole body frisk, the'eason for the inadequate frisk was due, to personnel being inattentive in their frisking.

b. In the instance of personnel improperly wearing their hoods while in the RCB, the principal reason that workers wore the hood flaps fastened behind their heads was to obtain relief from the RCB temperature.

3.a. Personnel were stationed to observe personnel frisking and ensure that personnel leaving the RCB performed a whole body frisk.

b. Supervisors were notified to instruct personnel to correctly wear protective clothing and the consequences that could result from incorrectly wearing protective clothing. This was addressed by Outage Management in meetings attended by supervisory personnel.

4 ~ All personnel have been instructed in the strict adherence to radiation protection procedures. In addition, signs are being placed where appropriate, clearly stating plant policy regarding the consequences of not following the applicable radiation procedure for that area.

Example: Frisking Station "Failure to Frisk Adequately Will Result in Disciplinary Action.

Plant Manager" A letter regarding this poli:cy will be issued by the Plant Manager.

5. Compliance with the identified areas has been achieved.

Full compliance will be achieved by January 15, 1988.

EJW/005.IR