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{{Adams | |||
| number = ML20127M007 | |||
| issue date = 05/30/1985 | |||
| title = Insp Repts 50-413/85-14 & 50-414/85-11 on 850326-0425. Violations Noted:Failure to Adequately Evaluate Results of Procedures & Failure to Meet Tech Spec Requirements for RHR Sys | |||
| author name = Dance H, Skinner P, Van Doorn P | |||
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II) | |||
| addressee name = | |||
| addressee affiliation = | |||
| docket = 05000413, 05000414 | |||
| license number = | |||
| contact person = | |||
| case reference number = TASK-2.K.3.10, TASK-TM | |||
| document report number = 50-413-85-14, 50-414-85-11, IEB-84-03, IEB-84-3, IEIN-85-21, NUDOCS 8507010041 | |||
| package number = ML20127L940 | |||
| document type = INSPECTION REPORT, NRC-GENERATED, INSPECTION REPORT, UTILITY, TEXT-INSPECTION & AUDIT & I&E CIRCULARS | |||
| page count = 10 | |||
}} | |||
See also: [[see also::IR 05000413/1985014]] | |||
=Text= | |||
{{#Wiki_filter:' | |||
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UNITED STATES | |||
/p KrigDo # | |||
NUCLEAR REGULATORY COMMISSION | |||
j' . - | |||
n REGION ll | |||
y' | |||
* | |||
j | |||
2 | |||
101 MARIETTA STREET, N.W. | |||
ATLANTA, GEORGI A 30323 | |||
\ ***** | |||
/ | |||
Report Nos.: 50-413/85-14 and 50-414/85-11 | |||
Licensee: ~ Duke Power Company | |||
422 South Church Street | |||
Charlotte, NC 28242 | |||
Docket Nos.: 50-413 and 50-414 License Nos.: NPF-35 and CPPR-117 | |||
i Facility Name: Catawba 1 and 2 | |||
Inspection Conducted: Ma h 26 - April 25, 1985 | |||
Inspectors: , , suo, M O ,:fo ~~ | |||
P. K. Vah Door //- - | |||
[ Dafte Siped | |||
. > 14A/D - w 3 A Ef | |||
P. 70. Skidner // ~ pt[te S#jned' | |||
Approved by: ( (L'* | |||
17. C. Dance,3 Section Chief | |||
Y Jo!P[ | |||
Date Signed | |||
Division of Reactor Projects | |||
SUMMARY | |||
Scope: This routine, unannounced inspection entailed 238 resident inspector- | |||
hours on site in the areas of site tours (Units 1 and 2); review of 10 CFR 21 | |||
implementation (Unit 1); maintenance observation (Unit 1); surveillance observa- | |||
tion (Unit 1); plant operations review (Unit 1); power ascension test witnessing | |||
(Unit 1); review of licensee conditions (Unit 1); Instrumentation - observation | |||
of work and work activities (Unit 2); preoperational test program (Unit 2); | |||
review of IE Notices (Unit 1 and 2); review of IE Bulletins (Unit 1); followup | |||
of licensee identified items (Unit 2); and followup of previously identified | |||
inspector findings (Unit 1 and 2). | |||
Results: Of the 13 areas inspected, no violations or deviations were identified | |||
in 10 areas; two apparent violations were found in two areas (Failure to adequately | |||
evaluate the results of procedures, paragraph 7; and Failure to meet Technical | |||
Specification (TS) 3.0.4 requirements for the residual heat removal (RHR) systems, | |||
paragraph 8). | |||
8507010041 850530 3 | |||
PDR ADOCK 0500 | |||
O | |||
i | |||
. . | |||
REPORT DETAILS | |||
1. Persons Contacted | |||
Licensee Employees | |||
J. W. Hampton, Station Manager | |||
E. M. Couch, Project Manager Construction | |||
T. B. Bright, Engineering Manager | |||
H. L. Atkins, QA Engineering Supervisor | |||
W. H. Bradley, QA Supervisor | |||
J. W. Cox, Superintendent, Techncial Services | |||
T. E. Crawford, Operations Engineer | |||
L. R. Davison, Project QA Manager | |||
M. K. Efird, Design Engineer, Electrical | |||
*W. G. Goodman, Projects QA | |||
*C. W. Graves, Jr., Superintendent, Operations | |||
R. C. Groves, Design Engineer Electrical | |||
*C L. Hartzell, Licensing and Projects Engineer | |||
C. L. Jensen, Unit. Schedule Engineer | |||
*T. E. Holland, Operating Engineer | |||
R. A. Jones, Test Engineer | |||
- J. A. Kamer, Test Coordinator | |||
*G. Keener, QA Surveillance | |||
*P. G. Leroy, Licensing Engineer | |||
*D. Llewellyn, Construction Field Engineer | |||
T. D. Mills, Construction Engineer, Construction | |||
*C. Muse, Operating Engineer | |||
D. M. Robinson, Reactor Engineer | |||
D. Rogers, IAE Engineer | |||
R. O. Sharp, Nuclear Engineer | |||
*J. Stackley, I&E Support Engineer | |||
G. T. Smith, Superintendent, Maintenance- | |||
' | |||
D. Tower, Operations Engineer | |||
Other licensee employees contacted included inspectors, construction crafts- | |||
men, technicians, operators, mechanics, security force members, and office | |||
personnel. | |||
* Attended exit interview | |||
2. Exit Interview | |||
The inspection scope and findings were sumarized on April 25,_1985, with | |||
those persons indicated in paragraph 1 above. The licensee acknowledged the | |||
inspection findings with no dissenting coments. The licensee did not | |||
identify as proprietary any of the materials provided to or reviewed by the | |||
inspectors during this inspection. | |||
, . | |||
2 | |||
3. Licensee Actio'n on Previous Enforcement Matters | |||
a. (Closed) Violation 413/84-91-03: Failure to Follow Procedures to | |||
Change Torque Switch Settings. The response for this item was | |||
submitted on December 14, 1984. The inspector reviewed and verified | |||
implementation of corrective actions described in the response and | |||
considers licensee actions to be acceptable. | |||
b. (Closed) Unresolved Item 413/84-95-03: Electrical Cables Not Properly | |||
Connected. The specific cables identified with this item have been | |||
repaired. The utility has conducted several surveys and have not | |||
identified additional areas and do not consider this to be a wide | |||
spread problem. The inspector reviewed this area again and found no | |||
additional examples of this problem, | |||
c. (Closed) Unresolved Item 414/84-35-01: Boric Acid Tank S/N RCN-244 | |||
Incomplete Field Fabrication Weld Records. The inspector determined | |||
that weld records were not required onsite. However, since the | |||
licensee was maintaining these records the inspector requested that | |||
appropriate corrected records be obtained. The inspector reviewed the | |||
records. Licensee actions are considered satisfactory. | |||
d. (0 pen) Violation 413/83-55-01; 414/83-41-01: Failure to Implement all | |||
Requirements of Regulatory Guide 1.58, Revision 1. The response for | |||
this item was submitted on March 22, 1984. The inspector reviewed and | |||
verified implementation of corrective actions described in this | |||
response. One area of this response has not been fully reviewed and | |||
discussions between the inspector and QA management are in progress to | |||
complete this item. This will be completed in a subsequent report. | |||
4. Unresolved Items | |||
An unresolved item is a matter about which more infomation is required to | |||
'detemine whether it is acceptable or may involve a violation or deviation. | |||
A new unresolved item is described in paragraph 5. | |||
5. Independent Inspection Effort (92706) (Units 1 and 2) | |||
The inspectors conducted tours of various plant areas. During these tours, | |||
various plant conditions and activities were observed to detemine that they | |||
were being performed in accordance with applicable requirements and proce- | |||
dures. No significant problems were identified during these tours and the | |||
various evolutions observed were being performed in accordance with applic- | |||
able procedures. | |||
The inspector reviewed the program for implementation of 10 CFR 21 require- | |||
ments in the Nuclear Production Department. Requirements are implemented by | |||
Station Directives 2.8.1, Reporting Requirements; 2.8.3,10 CFR 21 Report- | |||
ability Guidance, and 2.8.4, Incident and Station Report Format and Content. | |||
The inspector also verified that posting requirements of 10 CFR 21 were | |||
being met. During this review, the inspector noted that paragraph 5.3.2 of | |||
,_ | |||
. . | |||
3 | |||
Station Directive 2.8.1 does not appear to require identification of | |||
problems for 10 CFR 21 applicability as required by 10 CFR 21 and NUREG | |||
1022, Question No. 22 guidance. In addition, it does not appear that | |||
requirements of 10 CFR 21.3(d)(3), relative to consideration of offered | |||
equipment, are clearly implemented in Station Directive 2.8.3, Enclosure 2. | |||
The licensee was requested to respond to these questions. This is | |||
Unresolved Item 413/85-14-01: Adequacy of Part 21 Implementation. | |||
No violations or deviations were identified. | |||
6. Maintenance Observations (62703) (Unit 1) | |||
' | |||
Station maintenance activities of selected systems and components were | |||
observed / reviewed to ascertain that they were conducted in accordance with | |||
the requirements. The inspector verified licensee conformance to the | |||
requirements in the following areas of inspection: (1) activities were | |||
accomplished using approved procedures, and functional testing and/or | |||
calibrations were performed prior to returning components or systems to | |||
service; (2) quality control records were maintained; (3) activities were | |||
accomplished by qualified personnel; and (4) parts and materials used were | |||
properly certified. Work requests were reviewed to determine status of | |||
outstanding jobs and to assure that priority is assigned to safety-related | |||
equipment maintenance which may affect system performance. Examples of this | |||
observation was work performed to readjust flux penalty circuit, cleanup of | |||
the safety related batteries, and replacement of a cell in the security | |||
backup power supply system. | |||
No violations or deviations were identified. | |||
7. Surveillance Observations (61726) (Unit 1) | |||
During the inspection period, the inspector verified plant operations were | |||
in compliance with various Technical Specification (TS) requirements. | |||
Typical of these requirements were confirmation of compliance with the TS | |||
for reactor coolant chemistry, refueling water tank, residual heat removal, | |||
control room ventilation, and de electrical power sources. The inspector | |||
verified that surveillance testing was performed in accordance with approved | |||
written procedures, test instrumentation was calibrated, limiting conditions | |||
for operation were met, appropriate removal and restoration of the affected | |||
equipment was accomplished, test results met requirements and were | |||
reviewed by personnel other than the individual directing the test, and that | |||
any deficiencies identified during the testing were properly reviewed and | |||
resolved by appropriate management personnel. | |||
The plant safety-related batteries were reviewed to determine that battery | |||
records were reviewed to determine that the surveillances required by TS | |||
were being performed at the frequencies specified, that float voltages were | |||
correct, cells did not appear to be gassing excessively, that sediment was | |||
not building up at an excessive rate, and that when single cell chargers are | |||
used they are controlled by procedures and meet class 1E independent as | |||
specified in IEEE 384-1977. Other areas reviewed were spacing material used | |||
.- ,_ - .. _ | |||
--- | |||
- | |||
. | |||
4 | |||
between the cells of the battery and if the cells were installed in accord- | |||
ance with manufacturers requirements. In addition, maintenance and charging | |||
procedures were reviewed to assure that equalizer charges are performed as | |||
required, and that individual cell voltages (ICVs) and specific gravities | |||
are properly compensated for temperature and electrolyte level. | |||
During this period records of TS surveillance conducted on the batteries | |||
were reviewed to assure that the data obtained met TS and procedural | |||
requirements. As a result of this review the inspector identified that for | |||
battery EBB Instrument Procedure IP/0/A/3710/08, Vital Battery and Terminal | |||
Post Inspection, was performed in whole or in part on 5/9/84, 7/25/84 and | |||
7/30/84. In each of these procedures, data that did not meet the acceptance | |||
criteria of the procedure being accomplished was recorded. The review | |||
process failed to identify that the acceptance criteria for three specific | |||
connectors was not obtained. This review was conducted by both Instrument | |||
and Electrical supervision and Quality Control personnel. A discussion with | |||
engineering and Region II personnel concluded that these out of specifica- | |||
tion readings would not prevent the battery from performing its intended | |||
function. However, the inadequate review performed for these tests does | |||
constitute a violation for failure to adequately evaluate the results of | |||
procedures. This will be identified as a violation (413/85-14-02): Failure | |||
to Adequately Evaluate the Results of Procedures. | |||
In addition to the above, the inspector also witnessed the performance of | |||
the following surveillances in whole or in part: | |||
PT/1/A/4250/01A - MSIV Movement Test | |||
PT/1/A/4600/02A - | |||
Periodic Surveillance Items Data-Mode 1 | |||
PT/1/A/4250/02C - | |||
Turbine Control Valve Movement Test | |||
IP/1/A/3240/04C - Excore Nuclear Instrumentation System (ENB) Power | |||
Range Calibration | |||
No additional violations or deviations were identified. | |||
8. Plant Operations Review (71707 and 71710) (Unit 1) | |||
, | |||
The inspectors reviewed plant operations throughout the reporting period to | |||
' | |||
verify conformance with regulatory requirements, TSs, and administrative | |||
controls. Control room logs, Danger Tag Log, Technical Specification Action | |||
Item Log, and the Removal and Restoration Log were routinely reviewed. | |||
Shift turnovers were observed to verify that they were conducted in accord- | |||
ance with approved procedures. | |||
The inspectors also verified by observation and interviews, that measures | |||
taken to assure physical protection of the facility met current require- | |||
ments. Areas inspected included the security organization, the establish- | |||
ment and maintenance of gates, doors, and isolation zones in the proper | |||
condition, that access control and badging were proper, and procedures | |||
followed. | |||
- | |||
. | |||
5 | |||
In addition to the areas discussed above, the areas toured were observed for | |||
fire prevention and protection activities. These included such thingt as | |||
combustible material control, fire protection systems and materials, and | |||
fire protection associated with maintenance and construction activities. | |||
On April 22, during review of the Control Room Operator's Log, the inspector | |||
noted that the plant was in a status that was in violation of TS 3.4.1.4.2 | |||
which requires two residual heat removal loops be operable and at least one | |||
of the loops be in operation if the plant is in Mode 5 with reactor coolant | |||
loops not filled, in that loop 1A was inoperable due to maintenance being | |||
performed. Further investigation into this problem identified that loop 1A | |||
was placed in an inoperable status on 4/20/85 at about 4:00 p.m., and the | |||
reactor coolant loops were drained on 4/22/85 at about 7:00 p.m. This | |||
resulted in the plant being in violation of TS 3.0.4 which prohibits entry | |||
into an Operational Mode or other specified condition unless the conditions | |||
for the Limiting Condition for Operation are met without reliance on | |||
provisions contained in the Action requirements. When notified of this | |||
condition, the licensee took action to expedite work being performed on loop | |||
1A in order to meet TS requirements. This item is identified as a violation | |||
(413/85-14-03): Failure to meet TS 3.0.4 requirements for RHR system. | |||
No additional violations or deviations were identified. | |||
9. Power Ascension Test Witnessing (72528C) (Unit 1) | |||
The inspector witnessed on a sample basis some of the testing being | |||
performed during power ascension testing. The inspector reviewed these | |||
areas for understanding and communications between the operators and the | |||
reactor engineering group coordinating the test effort. A review of the | |||
procedure was performed to assure that the latest changes had been approved | |||
and incorporated into the controlling documents, that the procedure would | |||
not deviate from TS, and that applicable TS were followed where required. | |||
The following is a list of tests or portions of tests that were witnessed: | |||
TP/1/A/2650/05 - | |||
Unit Load Transient Test | |||
TP/1/A/2650/06 - | |||
Unit loss of Electrical Load | |||
TP/1/A/2650/07 - | |||
Turbine Trip | |||
TP/1/A/2650/10 - | |||
Large Load Reduction | |||
No violations or deviations were identified. | |||
10. Review of License Conditions (92706) (Unit 1) | |||
a. Operating Staff Experience (License NPF-35, Condition 10) (Unit 1) | |||
License Condition 10 of Facility Operating License NPF-35 requires that | |||
Duke Power Company (DPC) shall have a licensed senior operator on each | |||
shift who has had at least six months of hot operating experience on a | |||
similar type plant, including at least six weeks at power levels | |||
greater than 20% of full power, and who has had startup and shutdown | |||
experience. The licensee condition further requires that the NRC be | |||
- | |||
. . | |||
6 | |||
notified at least 30 days prior to the proposed release of the advisors | |||
from further service. | |||
DPC notified NRR in a letter dated March 1, 1985, that this requirement | |||
would be met for 3 of the 4 shifts on or before April 3, 1985 and on | |||
April 17 for the remaining shift. The inspector reviewed the records | |||
for experience, including startup and shutdown experience and | |||
identified that all senior operators on shift met this requirement | |||
prior to April 3, 1985. Based on this review, the inspector concludes | |||
that this condition has been satisfied. | |||
b. Safety Parameter Display System (License NPF-35, Condition 2.c(12)(b)) | |||
(Unit 1) | |||
License Condition 2.c(12)(b) required that the Safety Parameter Display | |||
System (SPDS) be made operational prior to April 1, 1985. The licensee | |||
stated in correspondence dated March 15, 1985, that the system had been | |||
declared operational. The inspector reviewed the operations of this | |||
system and all procedures associated with this system. In addition, | |||
the inspectors witnessed a demonstration of the system in operation. | |||
Based on this review, the inspector concludes that this condition is | |||
satisfied. | |||
c. Anticipatory Reactor Trip, II.K.3.10 (License NPF-35, Condition 2.c(13)) | |||
(Unit 1) | |||
License Condition 2.c(13), requires that prior to exceeding 70% power | |||
DPC shall complete the turbine trip test to verify that the PORV's | |||
(Power Operated Relief Valves) will not be challenged when the | |||
anticipatory trip bypass is in effect. This test is identified as | |||
TP/1/A/2650/07 - Turbine Trip. This test was witnessed by the resident | |||
inspectors and by a Region II inspector on March 27, 1985. The conduct | |||
of this test was successful. DPC correspondence dated March 28, 1985, | |||
reported this to NRR. Based on-the inspectors review and observations | |||
of this test, it is concluded that this license condition has been | |||
satisfied. | |||
11. Preoperational Test Program (70302, 70312, 71302) (Unit 2) | |||
The inspector conducted tours to verify that turned-over equipment was | |||
adequately protected and controlled. This review included observation of | |||
construction activities, observation for fire hazards and observation of | |||
' | |||
security boundaries. | |||
The inspector conducted further review of the system turnover process. This | |||
review included discussions with QA personnel, a preoperational test | |||
engineer, the schedule engineer and Unit 2 coordinator plus review of | |||
selected portions of turnover Nos. 2NCT-1, 2KCT-1 and 2KCT-2. This review | |||
was conducted to determine if turnovers were well coordinated and | |||
controlled, whether appropriate reviews and walk-down inspections were | |||
conducted by operations personnel, whether exceptions were being | |||
- | |||
. | |||
7 | |||
appropriately reviewed by test personnel, and whether appropriate tagging | |||
was being implemented. | |||
In addition, the inspector reviewed training records for four test personnel | |||
to determined if appropriate training had been conducted in the areas of | |||
administrative controls, QA indoctrination, and technical training. | |||
The inspector reviewed two incidents which occurred while preparing for the | |||
Reactor Coolant System hydrostatic (hydro) test. One incident on April 19, | |||
involved overpressurization of both Residual Heat Removal (RHR) Systems up | |||
to the pump discharge check valves to approximately 2,000 psig for approxi- | |||
mately 3 hours. It appears that inadequate operational control existed in | |||
that check valves were bypassed and motor operated valves were left open . | |||
allowing reactor coolant system pressure into the RHR system. In addition, | |||
the header into which the relief valve for this portion of the RHR system | |||
relieved was isolated, in effect, allowing no relief protection for the | |||
portion of the RHR system which was overpressurized. The licensee is | |||
evaluating this incident for reportability. | |||
The second incident on April 20, involved overpressurization of the Volume | |||
Control Tank (VCT) and associated piping resulting in destruction of the VCT | |||
, and other equipment in the VCT room. Lack of appropriate operational | |||
l control appears to be involved in this incident also. The VCT was | |||
apparently filled to a near solid condition allowing pressure to build up | |||
very rapidly until destruction occurred. As in the first incident, relief | |||
protection was not provided in that the relief valve path was isolated. | |||
, | |||
This incident was reported as a potential 50.55(e) on April 22, 1985. | |||
The inspectors discussed these incidents with the plant manager and | |||
expressed concerns that improved controls should be implemented in such | |||
areas as overall coordination of the hydro testing, procedural controls, | |||
training and provisions for relief protection prior to any further hydro | |||
testing. The Plant Manager assured the inspectors that improvements in | |||
these areas would be implemented. | |||
These incidents are being reviewed by NRC regional personnel and will be | |||
addressed further in NRC Report 414/85-12. | |||
12. Instrumentation (Com | |||
Activities (Unit 2) ponents and Systems) - Observation of Work and Work | |||
Requirements of installation of instrumentation are contained in various DPC | |||
specifications and site procedures. The inspector observed installed | |||
instrumentation for plant process control for conformance to requirements in | |||
the areas of location, conformance to installation procedure requirements, | |||
use of specified materials and components, routing of tubing, supports, | |||
inspection, separation, record keeping, and physical protection. Instru- | |||
ments observed were for Loop Nos. 2NV522, 2NV523, 2KC601, and 2KC602. | |||
No violations or deviations were identified. | |||
J | |||
- _ | |||
-- | |||
- | |||
, .- | |||
l 8 | |||
l | |||
13. Followup on IE Infonnation Notices (92717) (Units 1 and 2) | |||
. | |||
The inspector held discussions with licensee instrumentation and operations | |||
personnel to determine if Catawaba was affected by the problem identified in | |||
' | |||
l | |||
IE Information Notice No. 85-21: Main Steam Isolation Valve Closure Logic. ' | |||
This problem does not exist at Catawba. | |||
No violations or deviations were identified. | |||
l 14. IE Bulletins (92703) (Unit 1) | |||
l | |||
(Closed) IE Bulletin 84-03: Refueling Cavity Water Seal. The licensee's | |||
' | |||
response to this item is contained in correspondence dated November 21 and | |||
December 31, 1984, and January 18, January 29, February 18 and March 22, | |||
1985. The inspector reviewed this correspondence and discussed the | |||
responses with the Region II coordination for this bulletin. Based on the , | |||
discussions and reviews, the actions taken by Duke Power Company for the | |||
Catawba 1 unit is acceptable and this item is closed. | |||
No violations or deviations were identified. | |||
15. Licensee Identified Items 50.55(e) (99020) (Unit 2) - | |||
a. (0 pen) CDR 413, 414/84-01: Leaking Socket weld in RHR System. Since | |||
the licensee had recently identified additional cracking in the RHR | |||
. lines at their McGuire facility, the inspector requested the licensee | |||
to inform him of further actions intended at Catawba. The licensee | |||
provided a letter dated April 15, 1984, from Design Engineering Depart- | |||
ment T. F. Wyke to the Station Manager at Catawba. The inspector | |||
reviewed this letter and it appears that appropriate recommendations | |||
have been made. In addition the inspector verified that operations | |||
inspection of the affected area was being performed on each 12-hour | |||
shift. Further review of licensee actions will be conducted. | |||
b. (0 pen) CDR 414/85-02: Radiographic Indications in Safety Injection | |||
Cold Leg Accumulator Tank Welds. The inspector observed reexamination | |||
of Accumulator 2D. The licensee has determined that rejectable defects | |||
exist in the shell to upper-head weld of the 2D Accumulator. A further | |||
report is required to be submitted to the NRC. | |||
No violations or deviations were identified. | |||
16. Followup on Previously Identified Inspector Findings (92701) (Unit 1) | |||
(Closed) Inspector Followup Item (413/84-53-01): Procedure Team Findings. | |||
Documentation identifying the corrective actions taken in response to the | |||
major corrective actions identified in Enclosure 1 of Inspection Report No. | |||
50-413/84-53 was reviewed by the inspector. A sampling of procedures was | |||
. | |||
.. | |||
_ - _ _ _ _ _ - _ _ | |||
(, | |||
.. . . . | |||
9 | |||
performed in addition to the procedure reviews conducted on a periodic basis | |||
by the inspector. Based on this review the licensee has taken actions to | |||
- incorporate NRC team comments and suggestions into their procedure | |||
preparation and issue process. | |||
4 | |||
e | |||
4 | |||
+ | |||
trg '# - | |||
I- | |||
- | |||
4 | |||
' | |||
' ' ' ' | |||
- - - _ _ . . _ - _ _ - | |||
}} |
Revision as of 11:45, 8 September 2020
ML20127M007 | |
Person / Time | |
---|---|
Site: | Catawba, University of California - Irvine |
Issue date: | 05/30/1985 |
From: | Dance H, Skinner P, Van Doorn P NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II) |
To: | |
Shared Package | |
ML20127L940 | List: |
References | |
TASK-2.K.3.10, TASK-TM 50-413-85-14, 50-414-85-11, IEB-84-03, IEB-84-3, IEIN-85-21, NUDOCS 8507010041 | |
Download: ML20127M007 (10) | |
See also: IR 05000413/1985014
Text
'
.
i
UNITED STATES
/p KrigDo #
NUCLEAR REGULATORY COMMISSION
j' . -
n REGION ll
y'
j
2
101 MARIETTA STREET, N.W.
ATLANTA, GEORGI A 30323
\ *****
/
Report Nos.: 50-413/85-14 and 50-414/85-11
Licensee: ~ Duke Power Company
422 South Church Street
Charlotte, NC 28242
Docket Nos.: 50-413 and 50-414 License Nos.: NPF-35 and CPPR-117
i Facility Name: Catawba 1 and 2
Inspection Conducted: Ma h 26 - April 25, 1985
Inspectors: , , suo, M O ,:fo ~~
P. K. Vah Door //- -
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Approved by: ( (L'*
17. C. Dance,3 Section Chief
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Date Signed
Division of Reactor Projects
SUMMARY
Scope: This routine, unannounced inspection entailed 238 resident inspector-
hours on site in the areas of site tours (Units 1 and 2); review of 10 CFR 21
implementation (Unit 1); maintenance observation (Unit 1); surveillance observa-
tion (Unit 1); plant operations review (Unit 1); power ascension test witnessing
(Unit 1); review of licensee conditions (Unit 1); Instrumentation - observation
of work and work activities (Unit 2); preoperational test program (Unit 2);
review of IE Notices (Unit 1 and 2); review of IE Bulletins (Unit 1); followup
of licensee identified items (Unit 2); and followup of previously identified
inspector findings (Unit 1 and 2).
Results: Of the 13 areas inspected, no violations or deviations were identified
in 10 areas; two apparent violations were found in two areas (Failure to adequately
evaluate the results of procedures, paragraph 7; and Failure to meet Technical
Specification (TS) 3.0.4 requirements for the residual heat removal (RHR) systems,
paragraph 8).
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REPORT DETAILS
1. Persons Contacted
Licensee Employees
J. W. Hampton, Station Manager
E. M. Couch, Project Manager Construction
T. B. Bright, Engineering Manager
H. L. Atkins, QA Engineering Supervisor
W. H. Bradley, QA Supervisor
J. W. Cox, Superintendent, Techncial Services
T. E. Crawford, Operations Engineer
L. R. Davison, Project QA Manager
M. K. Efird, Design Engineer, Electrical
- W. G. Goodman, Projects QA
- C. W. Graves, Jr., Superintendent, Operations
R. C. Groves, Design Engineer Electrical
- C L. Hartzell, Licensing and Projects Engineer
C. L. Jensen, Unit. Schedule Engineer
- T. E. Holland, Operating Engineer
R. A. Jones, Test Engineer
- J. A. Kamer, Test Coordinator
- G. Keener, QA Surveillance
- P. G. Leroy, Licensing Engineer
- D. Llewellyn, Construction Field Engineer
T. D. Mills, Construction Engineer, Construction
- C. Muse, Operating Engineer
D. M. Robinson, Reactor Engineer
D. Rogers, IAE Engineer
R. O. Sharp, Nuclear Engineer
- J. Stackley, I&E Support Engineer
G. T. Smith, Superintendent, Maintenance-
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D. Tower, Operations Engineer
Other licensee employees contacted included inspectors, construction crafts-
men, technicians, operators, mechanics, security force members, and office
personnel.
- Attended exit interview
2. Exit Interview
The inspection scope and findings were sumarized on April 25,_1985, with
those persons indicated in paragraph 1 above. The licensee acknowledged the
inspection findings with no dissenting coments. The licensee did not
identify as proprietary any of the materials provided to or reviewed by the
inspectors during this inspection.
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3. Licensee Actio'n on Previous Enforcement Matters
a. (Closed) Violation 413/84-91-03: Failure to Follow Procedures to
Change Torque Switch Settings. The response for this item was
submitted on December 14, 1984. The inspector reviewed and verified
implementation of corrective actions described in the response and
considers licensee actions to be acceptable.
b. (Closed) Unresolved Item 413/84-95-03: Electrical Cables Not Properly
Connected. The specific cables identified with this item have been
repaired. The utility has conducted several surveys and have not
identified additional areas and do not consider this to be a wide
spread problem. The inspector reviewed this area again and found no
additional examples of this problem,
c. (Closed) Unresolved Item 414/84-35-01: Boric Acid Tank S/N RCN-244
Incomplete Field Fabrication Weld Records. The inspector determined
that weld records were not required onsite. However, since the
licensee was maintaining these records the inspector requested that
appropriate corrected records be obtained. The inspector reviewed the
records. Licensee actions are considered satisfactory.
d. (0 pen) Violation 413/83-55-01; 414/83-41-01: Failure to Implement all
Requirements of Regulatory Guide 1.58, Revision 1. The response for
this item was submitted on March 22, 1984. The inspector reviewed and
verified implementation of corrective actions described in this
response. One area of this response has not been fully reviewed and
discussions between the inspector and QA management are in progress to
complete this item. This will be completed in a subsequent report.
4. Unresolved Items
An unresolved item is a matter about which more infomation is required to
'detemine whether it is acceptable or may involve a violation or deviation.
A new unresolved item is described in paragraph 5.
5. Independent Inspection Effort (92706) (Units 1 and 2)
The inspectors conducted tours of various plant areas. During these tours,
various plant conditions and activities were observed to detemine that they
were being performed in accordance with applicable requirements and proce-
dures. No significant problems were identified during these tours and the
various evolutions observed were being performed in accordance with applic-
able procedures.
The inspector reviewed the program for implementation of 10 CFR 21 require-
ments in the Nuclear Production Department. Requirements are implemented by
Station Directives 2.8.1, Reporting Requirements; 2.8.3,10 CFR 21 Report-
ability Guidance, and 2.8.4, Incident and Station Report Format and Content.
The inspector also verified that posting requirements of 10 CFR 21 were
being met. During this review, the inspector noted that paragraph 5.3.2 of
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Station Directive 2.8.1 does not appear to require identification of
problems for 10 CFR 21 applicability as required by 10 CFR 21 and NUREG
1022, Question No. 22 guidance. In addition, it does not appear that
requirements of 10 CFR 21.3(d)(3), relative to consideration of offered
equipment, are clearly implemented in Station Directive 2.8.3, Enclosure 2.
The licensee was requested to respond to these questions. This is
Unresolved Item 413/85-14-01: Adequacy of Part 21 Implementation.
No violations or deviations were identified.
6. Maintenance Observations (62703) (Unit 1)
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Station maintenance activities of selected systems and components were
observed / reviewed to ascertain that they were conducted in accordance with
the requirements. The inspector verified licensee conformance to the
requirements in the following areas of inspection: (1) activities were
accomplished using approved procedures, and functional testing and/or
calibrations were performed prior to returning components or systems to
service; (2) quality control records were maintained; (3) activities were
accomplished by qualified personnel; and (4) parts and materials used were
properly certified. Work requests were reviewed to determine status of
outstanding jobs and to assure that priority is assigned to safety-related
equipment maintenance which may affect system performance. Examples of this
observation was work performed to readjust flux penalty circuit, cleanup of
the safety related batteries, and replacement of a cell in the security
backup power supply system.
No violations or deviations were identified.
7. Surveillance Observations (61726) (Unit 1)
During the inspection period, the inspector verified plant operations were
in compliance with various Technical Specification (TS) requirements.
Typical of these requirements were confirmation of compliance with the TS
for reactor coolant chemistry, refueling water tank, residual heat removal,
control room ventilation, and de electrical power sources. The inspector
verified that surveillance testing was performed in accordance with approved
written procedures, test instrumentation was calibrated, limiting conditions
for operation were met, appropriate removal and restoration of the affected
equipment was accomplished, test results met requirements and were
reviewed by personnel other than the individual directing the test, and that
any deficiencies identified during the testing were properly reviewed and
resolved by appropriate management personnel.
The plant safety-related batteries were reviewed to determine that battery
records were reviewed to determine that the surveillances required by TS
were being performed at the frequencies specified, that float voltages were
correct, cells did not appear to be gassing excessively, that sediment was
not building up at an excessive rate, and that when single cell chargers are
used they are controlled by procedures and meet class 1E independent as
specified in IEEE 384-1977. Other areas reviewed were spacing material used
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between the cells of the battery and if the cells were installed in accord-
ance with manufacturers requirements. In addition, maintenance and charging
procedures were reviewed to assure that equalizer charges are performed as
required, and that individual cell voltages (ICVs) and specific gravities
are properly compensated for temperature and electrolyte level.
During this period records of TS surveillance conducted on the batteries
were reviewed to assure that the data obtained met TS and procedural
requirements. As a result of this review the inspector identified that for
battery EBB Instrument Procedure IP/0/A/3710/08, Vital Battery and Terminal
Post Inspection, was performed in whole or in part on 5/9/84, 7/25/84 and
7/30/84. In each of these procedures, data that did not meet the acceptance
criteria of the procedure being accomplished was recorded. The review
process failed to identify that the acceptance criteria for three specific
connectors was not obtained. This review was conducted by both Instrument
and Electrical supervision and Quality Control personnel. A discussion with
engineering and Region II personnel concluded that these out of specifica-
tion readings would not prevent the battery from performing its intended
function. However, the inadequate review performed for these tests does
constitute a violation for failure to adequately evaluate the results of
procedures. This will be identified as a violation (413/85-14-02): Failure
to Adequately Evaluate the Results of Procedures.
In addition to the above, the inspector also witnessed the performance of
the following surveillances in whole or in part:
PT/1/A/4250/01A - MSIV Movement Test
PT/1/A/4600/02A -
Periodic Surveillance Items Data-Mode 1
PT/1/A/4250/02C -
Turbine Control Valve Movement Test
IP/1/A/3240/04C - Excore Nuclear Instrumentation System (ENB) Power
Range Calibration
No additional violations or deviations were identified.
8. Plant Operations Review (71707 and 71710) (Unit 1)
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The inspectors reviewed plant operations throughout the reporting period to
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verify conformance with regulatory requirements, TSs, and administrative
controls. Control room logs, Danger Tag Log, Technical Specification Action
Item Log, and the Removal and Restoration Log were routinely reviewed.
Shift turnovers were observed to verify that they were conducted in accord-
ance with approved procedures.
The inspectors also verified by observation and interviews, that measures
taken to assure physical protection of the facility met current require-
ments. Areas inspected included the security organization, the establish-
ment and maintenance of gates, doors, and isolation zones in the proper
condition, that access control and badging were proper, and procedures
followed.
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In addition to the areas discussed above, the areas toured were observed for
fire prevention and protection activities. These included such thingt as
combustible material control, fire protection systems and materials, and
fire protection associated with maintenance and construction activities.
On April 22, during review of the Control Room Operator's Log, the inspector
noted that the plant was in a status that was in violation of TS 3.4.1.4.2
which requires two residual heat removal loops be operable and at least one
of the loops be in operation if the plant is in Mode 5 with reactor coolant
loops not filled, in that loop 1A was inoperable due to maintenance being
performed. Further investigation into this problem identified that loop 1A
was placed in an inoperable status on 4/20/85 at about 4:00 p.m., and the
reactor coolant loops were drained on 4/22/85 at about 7:00 p.m. This
resulted in the plant being in violation of TS 3.0.4 which prohibits entry
into an Operational Mode or other specified condition unless the conditions
for the Limiting Condition for Operation are met without reliance on
provisions contained in the Action requirements. When notified of this
condition, the licensee took action to expedite work being performed on loop
1A in order to meet TS requirements. This item is identified as a violation
(413/85-14-03): Failure to meet TS 3.0.4 requirements for RHR system.
No additional violations or deviations were identified.
9. Power Ascension Test Witnessing (72528C) (Unit 1)
The inspector witnessed on a sample basis some of the testing being
performed during power ascension testing. The inspector reviewed these
areas for understanding and communications between the operators and the
reactor engineering group coordinating the test effort. A review of the
procedure was performed to assure that the latest changes had been approved
and incorporated into the controlling documents, that the procedure would
not deviate from TS, and that applicable TS were followed where required.
The following is a list of tests or portions of tests that were witnessed:
TP/1/A/2650/05 -
Unit Load Transient Test
TP/1/A/2650/06 -
Unit loss of Electrical Load
TP/1/A/2650/07 -
TP/1/A/2650/10 -
Large Load Reduction
No violations or deviations were identified.
10. Review of License Conditions (92706) (Unit 1)
a. Operating Staff Experience (License NPF-35, Condition 10) (Unit 1)
License Condition 10 of Facility Operating License NPF-35 requires that
Duke Power Company (DPC) shall have a licensed senior operator on each
shift who has had at least six months of hot operating experience on a
similar type plant, including at least six weeks at power levels
greater than 20% of full power, and who has had startup and shutdown
experience. The licensee condition further requires that the NRC be
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notified at least 30 days prior to the proposed release of the advisors
from further service.
DPC notified NRR in a letter dated March 1, 1985, that this requirement
would be met for 3 of the 4 shifts on or before April 3, 1985 and on
April 17 for the remaining shift. The inspector reviewed the records
for experience, including startup and shutdown experience and
identified that all senior operators on shift met this requirement
prior to April 3, 1985. Based on this review, the inspector concludes
that this condition has been satisfied.
b. Safety Parameter Display System (License NPF-35, Condition 2.c(12)(b))
(Unit 1)
License Condition 2.c(12)(b) required that the Safety Parameter Display
System (SPDS) be made operational prior to April 1, 1985. The licensee
stated in correspondence dated March 15, 1985, that the system had been
declared operational. The inspector reviewed the operations of this
system and all procedures associated with this system. In addition,
the inspectors witnessed a demonstration of the system in operation.
Based on this review, the inspector concludes that this condition is
satisfied.
c. Anticipatory Reactor Trip, II.K.3.10 (License NPF-35, Condition 2.c(13))
(Unit 1)
License Condition 2.c(13), requires that prior to exceeding 70% power
DPC shall complete the turbine trip test to verify that the PORV's
(Power Operated Relief Valves) will not be challenged when the
anticipatory trip bypass is in effect. This test is identified as
TP/1/A/2650/07 - Turbine Trip. This test was witnessed by the resident
inspectors and by a Region II inspector on March 27, 1985. The conduct
of this test was successful. DPC correspondence dated March 28, 1985,
reported this to NRR. Based on-the inspectors review and observations
of this test, it is concluded that this license condition has been
satisfied.
11. Preoperational Test Program (70302, 70312, 71302) (Unit 2)
The inspector conducted tours to verify that turned-over equipment was
adequately protected and controlled. This review included observation of
construction activities, observation for fire hazards and observation of
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security boundaries.
The inspector conducted further review of the system turnover process. This
review included discussions with QA personnel, a preoperational test
engineer, the schedule engineer and Unit 2 coordinator plus review of
selected portions of turnover Nos. 2NCT-1, 2KCT-1 and 2KCT-2. This review
was conducted to determine if turnovers were well coordinated and
controlled, whether appropriate reviews and walk-down inspections were
conducted by operations personnel, whether exceptions were being
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appropriately reviewed by test personnel, and whether appropriate tagging
was being implemented.
In addition, the inspector reviewed training records for four test personnel
to determined if appropriate training had been conducted in the areas of
administrative controls, QA indoctrination, and technical training.
The inspector reviewed two incidents which occurred while preparing for the
Reactor Coolant System hydrostatic (hydro) test. One incident on April 19,
involved overpressurization of both Residual Heat Removal (RHR) Systems up
to the pump discharge check valves to approximately 2,000 psig for approxi-
mately 3 hours3.472222e-5 days <br />8.333333e-4 hours <br />4.960317e-6 weeks <br />1.1415e-6 months <br />. It appears that inadequate operational control existed in
that check valves were bypassed and motor operated valves were left open .
allowing reactor coolant system pressure into the RHR system. In addition,
the header into which the relief valve for this portion of the RHR system
relieved was isolated, in effect, allowing no relief protection for the
portion of the RHR system which was overpressurized. The licensee is
evaluating this incident for reportability.
The second incident on April 20, involved overpressurization of the Volume
Control Tank (VCT) and associated piping resulting in destruction of the VCT
, and other equipment in the VCT room. Lack of appropriate operational
l control appears to be involved in this incident also. The VCT was
apparently filled to a near solid condition allowing pressure to build up
very rapidly until destruction occurred. As in the first incident, relief
protection was not provided in that the relief valve path was isolated.
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This incident was reported as a potential 50.55(e) on April 22, 1985.
The inspectors discussed these incidents with the plant manager and
expressed concerns that improved controls should be implemented in such
areas as overall coordination of the hydro testing, procedural controls,
training and provisions for relief protection prior to any further hydro
testing. The Plant Manager assured the inspectors that improvements in
these areas would be implemented.
These incidents are being reviewed by NRC regional personnel and will be
addressed further in NRC Report 414/85-12.
12. Instrumentation (Com
Activities (Unit 2) ponents and Systems) - Observation of Work and Work
Requirements of installation of instrumentation are contained in various DPC
specifications and site procedures. The inspector observed installed
instrumentation for plant process control for conformance to requirements in
the areas of location, conformance to installation procedure requirements,
use of specified materials and components, routing of tubing, supports,
inspection, separation, record keeping, and physical protection. Instru-
ments observed were for Loop Nos. 2NV522, 2NV523, 2KC601, and 2KC602.
No violations or deviations were identified.
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13. Followup on IE Infonnation Notices (92717) (Units 1 and 2)
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The inspector held discussions with licensee instrumentation and operations
personnel to determine if Catawaba was affected by the problem identified in
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IE Information Notice No. 85-21: Main Steam Isolation Valve Closure Logic. '
This problem does not exist at Catawba.
No violations or deviations were identified.
l 14. IE Bulletins (92703) (Unit 1)
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(Closed) IE Bulletin 84-03: Refueling Cavity Water Seal. The licensee's
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response to this item is contained in correspondence dated November 21 and
December 31, 1984, and January 18, January 29, February 18 and March 22,
1985. The inspector reviewed this correspondence and discussed the
responses with the Region II coordination for this bulletin. Based on the ,
discussions and reviews, the actions taken by Duke Power Company for the
Catawba 1 unit is acceptable and this item is closed.
No violations or deviations were identified.
15. Licensee Identified Items 50.55(e) (99020) (Unit 2) -
a. (0 pen) CDR 413, 414/84-01: Leaking Socket weld in RHR System. Since
the licensee had recently identified additional cracking in the RHR
. lines at their McGuire facility, the inspector requested the licensee
to inform him of further actions intended at Catawba. The licensee
provided a letter dated April 15, 1984, from Design Engineering Depart-
ment T. F. Wyke to the Station Manager at Catawba. The inspector
reviewed this letter and it appears that appropriate recommendations
have been made. In addition the inspector verified that operations
inspection of the affected area was being performed on each 12-hour
shift. Further review of licensee actions will be conducted.
b. (0 pen) CDR 414/85-02: Radiographic Indications in Safety Injection
Cold Leg Accumulator Tank Welds. The inspector observed reexamination
of Accumulator 2D. The licensee has determined that rejectable defects
exist in the shell to upper-head weld of the 2D Accumulator. A further
report is required to be submitted to the NRC.
No violations or deviations were identified.
16. Followup on Previously Identified Inspector Findings (92701) (Unit 1)
(Closed) Inspector Followup Item (413/84-53-01): Procedure Team Findings.
Documentation identifying the corrective actions taken in response to the
major corrective actions identified in Enclosure 1 of Inspection Report No.
50-413/84-53 was reviewed by the inspector. A sampling of procedures was
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performed in addition to the procedure reviews conducted on a periodic basis
by the inspector. Based on this review the licensee has taken actions to
- incorporate NRC team comments and suggestions into their procedure
preparation and issue process.
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