IR 05000219/1987099: Difference between revisions

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{{Adams
{{Adams
| number = ML20246G164
| number = ML20247H733
| issue date = 08/21/1989
| issue date = 09/08/1989
| title = Forwards SALP Final Rept 50-219/87-99 on Oct 1987 - Jan 1989
| title = Corrected SALP Rept 50-219/87-99 for Oct 1987 - Jan 1989
| author name = Russell W
| author name =  
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
| author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
| addressee name = Clark P
| addressee name =  
| addressee affiliation = GENERAL PUBLIC UTILITIES CORP.
| addressee affiliation =  
| docket = 05000219
| docket = 05000219
| license number =  
| license number =  
| contact person =  
| contact person =  
| document report number = NUDOCS 8908310237
| document report number = 50-219-87-99, NUDOCS 8909200083
| document type = CORRESPONDENCE-LETTERS, NRC TO UTILITY, OUTGOING CORRESPONDENCE
| package number = ML20247H724
| page count = 3
| document type = SYSTEMATIC ASSESSMENT OF LICENSEE PERFORMANCE, TEXT-INSPECTION & AUDIT & I&E CIRCULARS
| page count = 41
}}
}}


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MG 211989 Docket No. 50-219 GPU Nuclear Corporation    i ATTN: Mr. P. R. Clark    '
,g ENCLOSURE 1 U.S. NUCLEAR REGULATORY COMMISSION
President


1 Upper P,ond Road Parsippany, New Jersey 07054    {
==REGION I==
Centlemen:
l SYSTEMATIC ASSESSMENT OF LICENSEE PERFORMANCE FINAL REPORT 50-219/87-99 GENERAL PUBLIC UTILITIES NUCLEAR CORPORATION OYSTER CREEK NUCLEAR GENERATI0h' STATION ASSESSMENT PERIOD: OCTOBER 1, 1987 - JANUARY 31, 1989
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Subject: SYSTEMATIC ASSESSMENT OF LICENSEE PERFORMANCE (SALP) FINAL REPORT ,
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NO. 50-219/87-99     (
BOARD MEETING DATE: MARCH 14, 1989 i
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This letter transmits our final SALP Report for the Oyster Creek facility for the period October 1, 1987 through January 31, 1989. The final SALP Report (Enclosure 1), our earlier transmittal letter (Enclosure 2), SALP  {!
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meeting attendees (Enclosure 3), and your response to the SALP Report  ;
  (Enclosure 4) are enclosed and will be placed in the Public Document Room. j Thank you for your letter of June 15, 1989, wherein you presented, as a followup to our May 8, 1989 meeting, a detailed response to the SALP Report and a description of some of your actions subsequent to the end of the SALP period.


No changes ware made to the SALP Report after our review of your response.
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Overall, the facility has been operated in a safe manner. Your site and corporate management continues to display a strong commitment to nuclear safety. The performance at Oyster Creek, however, remains inconsistent in some areas. Although adequate, the level of performance in some areas, particularly in Radiological Controls, was less effective than in the previous SALP cycle. We acknowledge the initiatives and changes which you have made to improve the overall performance in the area of Radiological Controls. We will continue to monitor your progress in improving performance. Additionally, we look forward to meeting with you again in September to discuss the progress of the Radiological Controls programs which you have initiated and the conclusions you have drawn from the assessments of the INPO Evaluation team, the special INPO assistance team and GPU Nuclear's task force.
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TABLE'0F CONTENTS PAGE- I n t ro d u c t i n . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1 I.A Background...................................................... 2 I.B Licensee Activities............................................. 2 l  I.C Direct Inspection and Review Activities......................... 3 I S umma ry o f R e s u l t s . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . S I I . A O v e r a l l S umm a ry . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . S II .B Facility Performance Analysi s Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . 6 1:  II.C Unplanned Shutdowns, Plant Trips, and Forced Outages. . . . . . . . . . ... 7 I I I . C r i t e r i a . .. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8 I Performance Analysis................................................. 10 I Plant Operations. ......................................... 10 I Radiological Controls...................................... -14 IV.C- Maintenance / Surveillance................................... 18 I Emergency Preparedness..................................... 22
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Security................................................... 24 IV.F- Engineering / Technical Support.............................. 26
  'I Safety' Assessment / Quality Verification..................... 29 SUPPORTING DATA AND SUMMARIES Investigations anc Allegations  Review................................SD/S-1 Escalated Enforcement Actions........................................SD/S-1 Confirmatory Action  Letters..........................................SD/S-1 Li c e n see Ev e nt Repo rt s . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . SD/S-1 TABLES Table I - Enforcement Activity Table II - Listing of LERs by Functional Area i
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In summary, the report, our meeting, and your response letter resulted in a constructive assessment of the performance at Oyster Creek and provided a thorough understanding of the extensive corrective actions and improvements undertaken since January 15, 1989.
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Your cooperation is appreciated.
.. INTRODUCTION The Systematic Assessment of Licensee Performance (SALP) program is an integrated agency effort to collect and evaluate available agency insights, data, and other information on a plant / site basis in a structured manner in order to assess and better understand the reasons for a licensee's performance. Unacceptable perform-ance'is addressed through NRC's enforcement policy and the implementation of this policy should not be delayed to await the results of a SALP. Compliance with NRC rules and regulations satisfies the minimum requirements for continued operation of a facility; the degree to which a licensee exceeds regulatory requirements is a measure of the licensee's commitment to nuclear safety and plant reliabilit The SALP process is used by the NRC to synthesize its observations of.and insights into a licensee's performance and to identify common themes or symptoms. As such, the NRC needs to recognize and understand the reasons for a licensee's strengths as well as weaknesses. The SALP process is a means of expressing NRC senior man-agement's observations and judgements on licensee performance. It should not be l
limited to focusing on weaknesses, and it is not intended to identify proposed resolutions or solutions of problems. The licensee's management is responsible L for ensuring olant c,afety and establishing effective means to measure, monitor, I and evaluate the quality of all aspects of plant design, hardware, and operation, i The SALP process is intended to further NRC's understanding of (1) how the licen-see's management guides, directs, evaluates, and provides resources for safe plant operations, and (2) how these resources are applied and used. As a result, ein-phasis is placed on understanding the reasons for a licensee's performance in identified functional areas and on sharing this understanding with the licensee and the public. The SALP process is intended to be sufficiently diagnostic to provide a rational for allocating NRC resources and to provide meaningful feedback to the licensee's managemen An NRC SALP Board, composed of the staff members listed below, met on March 14, i 1989, to review the observations and data of performance, and to assess licensee l performance in accordance with Chapter NRC-0516, " Systematic Assessment of Licensee Performance." This guidance and evaluation criteria are summarized in Section III of this report. The Board's findings and recommendations were forwarded to the-NRC Regional Administrator for approval and issuanc This report is the NRC's assessment of the licensee's safety performance at Oyster Creek for the period October 1, 1987 to January 31, 198 The SALP Board for Dyster Creek was composed of:
SALP Board Board Chairman W. Kane, Director, Division of Reactor Projects (DRP)
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Sincerely, Original Signed By:
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Thomas T. MartiQ g William T. Russell Regional Administrator 0FFICIAL R- ORD
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COPY OY SALP 87-99 - 0001.0.0 890G330237 89082J    08/03/89
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  ' Members
  'S.' Collins, Deputy Director, DRP M. Knapp, Director, Division _of Radiation Safety and Safeguards (DRSS) (part time)
T. Martin, Director, Division of Reactor Safety (DRS)
  'L. Bettenhausen, Chief, Projects Branch _No. 1, DRP R. Gallo, Chief, Operations Brt,ch, DRS (part time)
  -C. Cowgill, Chief, Reactor Projects Section IA, DRP
  'J. Wechselberger, Senior Operations Engineer, NRR (voting for Senior Resident Inspector)
  /J. Stolz, Director, Project Directorate 1-4, NRR A. Dromerick, Project Manager, NRR W. Johnston, Deputy Director, DRSS (part time)
Other W. Baunack, Project Engineer, DRP D. Lev, Resident Inspector E. Collins, Senior Resident Inspector I.A Background Dyster Creek is a GE BWR/2 with a Mark I containmen The Construction Permit was issued in December 1964 and commercial operation commenced on December 23, 1969 at 1600 Megawatts therma This unit was delivered to Jersey Central Power and Light Company.fo operation as one of the first GE " turnkey" reactor plants. Later, the unit's licensed power was increased to 1930 Megawatts therma The nuclear steam supply system differs from later model BWRs in that it uses 5 reactor recirculation pumps and the reactor vessel has no internal jet pumps. The emergency core cooling systems consist of two low pressure core spray systems, 2 1 solation condensers for heat removal, and an automatic depressurization syste I.B Licensee Activities At the beginning of the assessment period, the plant was shut down in accordance with a confirmatory action letter. This letter was issued as a result of a safety limit violation which occurred on September 11, 1987. On November 6, 1987, a let-ter permitting restart was issued to the licensee. Dn November 20, 1987, the In-ternational Brotherhood of Electrical Workers initiated a strike against the util-ity. Management personnel assumed the duties of bargaining unit personnel and preparations for plant startup continue Reactor startup occurred on November 22, 1987 and the turbine was placed on line on November 24, 1987. The startup and subsequent plant operation were conducted by supervisory personne l


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===Enclosures:===
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13 Systematic Assessment of' Licensee Performance. (SALP) Final Report
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   .No;.350-219/87-99 .
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2. . NRC: Letter, W. T. Russell to E. E. Fitzpatrick dated April 17, 1988
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3.7 May'8, 1989 SALP Management Meeting Attendees.


4. GPU:-Letter from P..R. ClarkTdated June.15, 1989
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On December 11, 1987, the strike was settled. Returning workers were trained and reoriented before resuming normal duties. Plant operation continued at full power with only minor power reductions for surveillance or maintenance until July 9, 1988 when, following main steam isolation valve (MSIV) surveillance testing, no steam flow was indicated in the "A" steam line. A shutdown was initiated and the plant was placed in cold shutdown on July 10, 1988. This terminated a 229 day continuous ru Subsequent investigation of the cause of no steam flow in the "A" steam line re-vealed an MSIV stem failure. Following MSIV repairs a plant startup commenced on August 9, 1988, and the generator was placed on the line un August 1 On August 28, 1988, the "B" isolation condenser started " steaming" following a six day out of service period for maintenanc On September 2, 1988, a plant shutdown was initiated due to both isolation condensers being declared inoperable. One isolation condenser was inoperable due to maintenance; the other due to a manual i vent line valve being found in the closed position. The shutdown was terminated after the vent valve was opened and noncondensibles were calculated to have been purged on September 3, 198 On September 26, 1988, following a surveillance of the "A" isc.lation condenser it also began to " steam". On September 29, following an evaluation of isolation con-denser conditions, both condensers were declared inoperable, and a plant shutdown was initiated. Cold shutdown was achieved on September 30, 1988. Following the shutdown a decision was made to commence the Cycle 12 Refuelinq Outage which was originally scheduled to begin on October 15, 1988. The plant remained shut down for the remainder of the SALP perio On May 1, 1988, a new Vice President and Director of Oyster Creek was appointe The previous Director of Oyster Creek was appointed Vice President and Director of a new GPUN division encompassing corporate-wide training and education and quality assurance program I.C Direct Inspection and Review Activities Three NRC resident inspectors were assigned to the site. One new resident was assigned in January,1988; the third resident was assigned in July 1988. Addition-ally, two temporary resident inspectors were assigned for a period of six weeks each. The total inspection time for the assessment period was 8569 hours (resident, ,
region and headquarters based) with a distribution in the appraisal functional area l as shown with each functional area. This equates to 6427 hours on an annual basi Special inspections included the following:
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Special team inspection to assess the safety significance of freezing condi-tions identified in the reactor building on January 6,1988 (January 25-29, 1988).
 
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The annual emergency preparedness exercise was held on May 11-12, 198 l


REGION I
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475 ALLENDALE ROAD
. *****  BONG OF PRUSSLA. PENNSYLVANIA 16408
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Docket No. 50-219 MR 11 W GPU Nuclear Corporation ATTN: Mr. Eugene E. Fitzpatrick Vice President and Director Oyster Creek Nuclear Generating Station
'P. O. Box 388 Forked River, New Jersey 08731 Gentlemen:
Subject: Systematic Assessment of Licensee Performance (SALP) Report No.


.50-219/87-99 The NRC Region I SALP Board conducted a review on March 14, 1989, and evaluated the performance of activities associated with the Oyster Creek Nuclear Generating Station. The results of this assessment are documented in the enclosed SALP report, which covers the period October 1,1987 to January 31, 1989. We will contact you shortly to schedule a meeting to discuss the report.
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At the meeting, be prepared to discuss our assessment and any plans you have to
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  , improve performance. 'In particular, be prepared to discuss your plans yith respect to programs to identify and correct deficiencies in the areas of Radiological Controls, Security,-and Plant Operations in light of the problems
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  'identi fi ed. Continued inconsistent performance at the plant is a concern to us.
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Following our meeting and receipt of your response, the enclosed report, your response, and summary of our findings and planned actions will be placed in the NRC Public Document Room.
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Special team inspection to review the circumstances and events leading up to a subsystem of the' containment' spray / emergency service water being returned to service exceeding operability acceptance criterion (July 11-15,1988).


Your cooperation is appreciated.
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Regulatory l Effectiveness Review conducted July 18-22, 198 '  Specit.l. team inspection to review licensee's evaluation and response to a main steam isolation valve broken stem (July 18-22,1988).


Sincerely,
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Emergency Operating Procedure inspection conducted September 6-15, 198 ' Augmented. Inspection Team inspection to review the circumstances,~ events and licensee response.to a situation where both emergency condensers were inoper-able (October 5-13,1988).
liiam T. Russell Regional Administrator Eq:losure: NRC Region I SALP Report No. 87-99
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Safety System Outage Modification-Inspection conducted October 17 through November 4, 1988 and November 28 through December 16, 1988.
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GPU Nuclear Corporation  2


l APR 171989  1
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1  M. Laggart, BWR Licensing Manaaer Public Document Room (PDR)
Chairman Zech Commissioner Roberts Commissioner Carr    l


i  Commissioner Rogers l
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l  Commissioner Curtiss    5 L  K. Abraham, PAO, RI (27 copies)
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local Public Document Room (LPDR)
Nuclear Safety Information Center (NSIC)
NRC Resident Inspector State of New Jersey bcc w/ encl:
Region I Docket Room (with concurrences)
Management Assistant, DRMA (w/o encl)
J. Taylor, DERO l  W. Russell, RI M. Knapp, RI T. Martin, RI SALP Board Attendees R. Brady, RI J. Lieberman, OE W. 011veria, DRS
} D. Holody, ES  '
G. Kelly, DRP E. Conner, DRP Section Chief, DRP.


C. Stahle, PM, NRR
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;  Robert J. Bores, DF:SS l
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II. SUMMARY OF RESULTS II. A Overall Summary i
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Overall, inconsistent performance was again noted at the facility. Improvements '
ENCLOSURE 3 1          ,
were made in the plant material condition, the number of forced outages were significantly reduced and there were no plant trips. In addition, the number i of operator errors was reduced. In contrast, however, performance in the areas of Security and Radiological Controls degraded during the perio The site and corporate management have undertaken many new initiatives to improve the performance of the facility both in the area of safety and plant performanc GPUN maintains a policy for its employees which stresses a high standard of integrity and procedure adherence and a concept of safety before schedule. This policy is well understood but inconsistently applied at the lower levels of the organizatio Licensee programs to surface and correct deficiencies are in place but, are not fully effective. A preliminary safety concern program has evidenced problems in bringing issues to closure and providing feedback to individuals. Interfaces between operators and their management have not worked well ?o resolve identified deficiencies. Communications problems between the operations c'epartment and support organizations have also been note In the Radiological Controls area, weaknesses were identified that contributed to a decline in the program's effectiveness. Those weaknesses include ineffective root cause analysis, incomplete control and planning of radiological operations, incomplete corrective actions on identified problems, and tax worker attitude The licensee has made significant progress in reducing the maintenance backlog at the facility and instituted changes to further enhance maintenance effectivenes A new training program for maintenance technicians and a shift to a computerized maintenance control system have been implemented. Rework remains a problem at the facility and problems were identified associated with implementing the maintenance control progra In the area of Technical Support, the licensee has actively responded to previous SALP concerns. These efforts have resulted in an enhanced root cause analysis of engineering support and a reduction in the engineering work backlo Some examples of insensitivity to emerging and long standing technical problems still exist. Communications between site and corporate engineering were weak at times and as a result the licensee's engineering resources were sometimes not effectively used. The difficulties encountered in correcting some of the long standing problems are due in part to issues resulting from the age of the plant, the volume of issues to be resolved, and an ill-defined plant design basi Development of a sound design basis for the plant is an essential element central to attaining substantial overall improvement in facility performance.
SALP MANAGEMENT MEETING OYSTER CREEK.


MAY 8, 1989 L
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l GPUN ATTENDEES G. Busch, Oyster Creek Licensing Manager, GPUN P. Clark, President,.GPUN l C. Clawson, Director, Communications, GPUN l R. Coe, Training and Education Director., GPUN C. Comerford, Administrative Support Manager, GPUN
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D. Croneberger, Director-Engineering Projtets, GPUN B. DeMerchant, BWR Licensing Engineer, GPUN L C. DePinto, Rate Analyst, GPUSC l D. Distel, PWR Licensing Engineer, GPUN '
P. Fiedler, Director, Quality and Training, GPUN I, Finfrock, Jr., Chairman, GORB, GPUN E.' Fitzpatrick, Director, Oyster Creek, GPUN R. Heward, Jr., Director, Maintenance, Construction and Facilities, GPUN J. Hildebrand, Director, Radiological & Environmental Controls, GPUN R. Keaten, Director, Quality Assurance, GPUN
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E. Kintner, Executive Vice-President, GPUN J. Knubel, Nuclear Security Director, GPUN K. Kutch, Senior Staff Analyst, GPUN V. Laggart, Manager,' BWR Licensing, GPUN R. Long, Director, Planning and Nuclear Safety, GPUN R. McGoey, Manager, PWR Licensing, GPUN
:K. Neddenien, Senior Media Representative, GPUN E. O'Donnell, Director, Corporate Planning, GPUN W. Runtie, Manager, Rate Affairs, GPUN M. Slobodien, Radiological Controls Director, Oyster Creek, GPUN L. Sullivan, Jr., Licensing and Regulatory Affairs Director, GPUN P. Wells, Safety Review Engineer, GPUN R. Wilson, Director, Technical Functions, GPUN NRC ATTENDEES R. Bellamy, NRC Region I, Chief, Facilities Radiological Safety & Safeguards E. Collins, Senior Resident Inspector, NRC C. Cowgill, NRC Region I, Chief, Reactor Projects Section 4B J. Durr, Chief (Acting) Projects Branch I, NRC A. Dromerick, NRR, Division of Projects 1/II, Project Manager W. Kane, NRC Region I, Director, Division of Reactor Projects D. Lew, Resident Inspector, NRC J. Stolz, NRR, Division of Reactor Projects I/II, Projects Cirector PUBLIC ATTENDEES R. Ebright, NJ-D.E.P. - Bureau of Nuclear Engineering M. Jacobs, NJ-D.E.P. - Bureau of Nuclear Engineering M. Van Ess, Neclear Engineer, N.J. Board of Public Utilities
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In summary, the licensee remains committed to establishing and implementing programs to sapport safe, efficient operation of the facilit Full application a'id integration of these initiatives is hindered by the age and design of the facilit These equipment and material issues continue to challenge pcrsonnel performance and stress the licensee's organizatio II.B Facility Performance Analysis Summary This SALP report incorporates the recent NRC redefinition of the assessment func-  !
tional areas. Changes include combining the previously separate Maintenance and Surveillance areas and addition of the Safety Assessment / Quality Verification are The Safety Assessment / Quality Verification section is largely a synopsis of obser-vations in other functional areas. Additionally, the Fire Protection, Licensing, Refueling / Outage, Training, and Assurance of Quality areas have been incorporated into the remaining functional areas as appropriat Rating Rating Last This Functional Area    Deriod* Period ** Trend Plant Operations  3 3 Improving Radiological Controls  2 3 -- Maintenance / Surveillance ***  2/2 2 --
      ~ Emergency Preparedness  2 2 -- Security    1 2 -- Engineering / Technical Support  3 2 -- Safety Assessment / Quality Verification  # 2 -- Licensing Activities  2 # -- Training & Qualification Effectiveness  2 # -- Assurance of Quality  2 # --
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October 16, 1986 to September 30, 1987
  [    ENCLOSURE _4 GPU Nuclear Corporation
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October 1,1987 to January 31, 1989
arsip any, New Je sey 07054 201-316-7000 TELEX 136-482 Writer's Direct Dial Number:
*** Previously addressed as separate areas of Maintenance and Surveillanc # Not addressed as a separate are NOTE: It is important to note that a major revision of the SALP Manual Chapter has been made which combined some areas and made changes to the attri-butes in the functional areas. Therefore, a direct comparison of the functional area grades cannot be made between the previous SALP and the current on I
June 15, 1989 U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555


==Dear Sir:==
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Subject: Oyster Creek Nuclear Generating Station Docket No. 50-219 Systematic Assessment of Licensee Performance (SALP) Respcnse Ref'erence: Letter dated January 25, 1989, P. R. Clark to USNRC As discussed with you at our meeting held in Parsippany on May 8, 1989, this letter' and its attachment provides our response to the Systematic Assessment of Licensee Performance (SALP) report.-
! As stated during our meeting of May 8, 1989, we believe the value of the SALP prccess lies in the dialogue it promotes and the identification cf areas where improvements can be made. Attachment I provides our. response by functional area and summarizes key elements of our efforts for further improvement.


GPU Nuclear believes substantial . improvements have been made particularly in the latter part of the previous SALP period, and welcomes a mid-period review during the current period.
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Very truly yours,
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W P. R. Clark President GPUN PRC:BDe:dmd Attachment 0773A        l
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GPU Nuclear Corporation is a subsidiary of General Public Utihties Corporation
 
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  -cc: Mr. William T.: Russell, Administrator Region l''-
U.S. Nuclear Regulatory Commission 1475 Allendale Road.
 
.. King of Prussia,:PA '19406 f
  .Mr. Alexander W. Dromerick, Project Manager U.S.' Nuclear Regulatory Commission Division of Reactor Projects 1/11
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  .Washington,.DC L20555
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.c.,  II.C Unplanned-Shutdowns, Plant Trips, and-Forced Outages
NRC Rbsident Inspector .. .
    ' POWER   ROOT FUNCTIONAL-
Dyster Creek Nuclear Generating Station
    '0 ATE . LEVEL' DESCRIPTION  CAUSE  AREA'
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7/9/88 40%  During testing one MSIV Main' Steam N/A  2 failed to close. The series isolation  1 MSIV was closed and disabled . valve (MSIV)
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until the operability of stem had sepa-   1 the affected valve could be~ rated from the'
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established. After several pilot poppe attempts, the MSIV appeared Root cause for to close and open within the the shear fail-normally expected stroke ure of the MSIV-times. After attempting to stem has not open both MSIV's, no steam been determine flow was. indicated in the "A" steam line. A shutdown of
      .the reactor.was initiated to determine the cause of n steam flow in the "A" ste.4m line header and make appro-priate repairs 9/29/88' 99%  An evaluation.of thermal During main- N/A profiles of the isolation tenance of'
condenser piping concluded Isolation Con-that water was present in denser valve the steam piping. Due to steam lines the potential for severe . filled with water hammer upon system wate initiation, both isolation condensers were isolated and declared inoperable and the reactor was shut down.


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OC SALP-MAY 15, 1989l ATTACHMENT I Functional Area: Plant Operations GPU Nuclear believes we have made. substantial improvements particularly since the end of the SALP period. The SALP cited in'a positive sense on-shift decision making, improved materiel . condition, no plant trips, fewer operator et rors, control room professionalism, operator action to control transients, our emphasis on cooperation and teamwork, and others. In our view, the SALP commented favorably on two key items - the emphasis placed en safety befero schedule and our error-free plan approach. These are two concepts _that we are continuing to stress as fundamental philosophies. All of the items the SALP noted as positive will continue to be built upon and strengthened during the current,SALP period.
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With regard to secondary equipment problems, actions have been taken to address this concern. Plant Materiel conducted a survey of various plant personnel' to understand what plant equipment problems were thought to be significant. The equipment problems and concerns from that servey along with the Materiel Condition Report (Phase II) conducted during this SALP period, were consolidated into a Materiel Condition Issue (MCI) List. The MCIs were distributed to senior management for review and comment and then finalized.
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The list has been divided into segments to be worked on based on availability of the equipment. Development of action guidelines and assignment of actions to address the issues is underway as part of the Plan for Excellence discussed during the SALP meeting on May 8, 1989.
III. CRITERIA
,  Licensee performance is assessed in selected functional areas, depending upon L
whether the facility is in a construction, preoperational, or operational phas Functional areas normally represent areas significant to nuclear safety and.the envi ronment.- Some functional areas may not be assessed because of little or no licensee activities or lack of meaningful observations. Special areas may be added to highlight significant observation {
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The following evaluation criteria were used,- as applicable, to assess each func-tional are . Assurance of quality, including management involvement and control; Approach'to the identification and resolution of technical issues from a safety standpoint; Responsiveness to NRC initiatives; Enforcement history; Operational and construction events (including response to, analyses ~of, reporting of, and corrective actions for); Staffing (including management); and Effectiveness of training and qual'fication progra However, the NRC is not limited to these criteria and others may have been used where appropriat On the basis of the NRC assessment, each functional area evaluated is rated into to three performance categories. The performance categories used when rating lic-ensee performance are defined as follows:
Category Licensee management attention and involvement are readily evident and place emphasis on superior performance of nuclear safety or safeguards activities, with the resulting performance substantially exceeding regulatory requirement Licensee resources are ample and effectively used so that a high level of plant and personnel performance is being achieve Reduced NRC attention may be appro-priat )
l Category Licensee management attention to and involvement in the performance j of nuclear safety or safeguards activities are good. The licensee has attained a' level of performance above that needed to meet regulatory requirements. Licensee resources are adequate and reasonably allocated so that good plant and personnel performance is being achieved. NRC attention may be maintained at normal level __n  _ _ _ _ _ _ _ _ _ _
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The SALP also noted a five-shift rotation. During the summer of 1988 GPU Nuclear institut -l a " pipeline" in which a continuous supply of control room operators are in training. It is anticipated that a six-shift rotation will be established in early 1990.
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The concern regarding procedural weaknesses is being addressed. Action was initiated immediately following the isolation condenser vent valving error to correct the method of determining that valves had been returned to their proper position following testing. In addition, GPUN has formed a Procedure Compliance Task Force to work on a wide ranger of procedural problem areas.
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l The Oyster Creek site has also independently looked at specific Oyster Creek procedural problem areas. As an initial step, standard guidance is being developed in the form of Writer's Guides to ensure consistency and good human factors practices. Additionally, actions have been or are being initiated to L  address procedural problems. For example, Plant Operations now has
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responsibility for plant procedures which affect Operations. Licensed personnel are responsible for performing biennial review of these procedures, l
Category Licensee management attention to and involvement in the performance of nuclear safety or safeguards activities are not sufficient. The licensee's performance does not significantly exceed that needed to meet minimal regulatory requirements. Licensee resources appear to be strained or not effectively use NRC attention should be increased above normal level <
i The SALP Board may assess a functional area to compare the licensee's performance l  during the last quarter of the assessment period to that during the entire period in order to determine the recent trend. The SALP trend categories are as follows:
Improving: Licensee performance was determined to be improving near the close of the assessment perio Declining: Licensee performance was determined to be declining near the close of the assessment period and the licensee had not taken meaningful steps to address this patter A trend is assigned only when, in the opinion of the SALP Board, the trend is sig-nificant enough to be considered indicative of a likely change in the performanc9 category in the near futur For example, a classification of " Category 2, Im-proving" indicates the clear potential for " Category 1" performance in the next SALP perio It should be noted that Category 3 performance, the lowest category, represents acceptable, although minimally adequate, safety performance. If at any time the NRC concluded that a licensee was not achieving an adequate level of safety per-forma nce, it would then be incumbent upon NRC to take prompt appropriate action in the interest of public health and safet Such matters would be dealt with independently from, and on a more urgent schedule than, the SALP proces It should also be noted that the industry continues to be subject to rising per-formance expectation NRC expects licensees to use industry-wide and plant-speci-fic operating experience actively in order to effect performance improvement. Thus, a licensee's safety performance would be expected to show improvement over the years in order to maintain consistent SALP rating _ _ _ _ - _ _ - _ - - . _


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MAYL15, 1989
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Alliconcerns related' to Plant Operations identified in the SALP will be reviewed as part of the ongoing Operations Self-Assessment. GPU Nuclear intends to complete 'this assessment including any needed' revisions to the Plan for Excellence action plans by October 1,1989. The results of this  .
assessment will be available for NRC review.


L i  In conclusion, NRC's recognition of our improving trend in operations is :!
I PERFORMANCE ANALYSIS IV.A Plant Operations (2840 Hrs., 33%)
appreciated. GPU . Nuclear is especially committed to improving performance in
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  .this area. GPU Nuclear personnel are anxious to demonstrate that performance similar to the record setting 229 day run during the last cycle can be repeated. It is our intention to operate the plant safely, in accordance with
IV. Analysis The previous SALP rating in- this area was Category 3. Improvements were.noted in onshift decisionmaking, emphasis on shift teamwork, control room professional en-vironment and operator action to control water level transient Special NRC in-spection findings were. generally positive; concluding that a competent organization with strong management and effective programs were in place. However, the special inspections also observed a lack of promulgation of management goals to lower level personnel to ensure understanding of risk importance and a more inquisitive ap-proach to non-routine plant conditions. Positive observations were contrasted wit safety significant events indicating inconsistencies in program application and personnel performance. Additional assessment concluded that equipment challenges added to a decrease in the operators performance. Procedural conflicts fostering a graded approach to compliance, schedule pressure and housekeeping problems, all contributed to a conclusion of overall inconsistent operational performanc During t'eh current SALP cycle, senior operations management was. changed and the new managers encouraged an increased emphasis in identifying. problems for resolu-tio Improved periodic meetings were held with shift management to develop a bet-ter understanding of problems and.to unify operations management. Senior site management has continued to emphasize cooperation and teamwork through periodic meetings of all key site management personnel to resolve' problems and increase communication among divisional representatives at the facility. Other positive attributes include major evolutions by operational plans specifying organizational-responsibility, restart certifications, senior corporate management: review of re-start readiness, and implementation of the INPO sponsored HPES process. Senior site management took a major step in reenforcing the concept of safety before schedule, when, with the direct' involvement of the site director, refueling errors were dramatically decreased. Refueling activities were delayed to facilitate ex-tensive training sessions for operators, core engineers, and operations management to discuss the " error-free" refueling plan, refueling operations and the concept of safety before schedule. The reactor refueli'gn was subsequently conducted with-out erro The plant continuously operated for 229 days. This was due in part from increased attention to piant equipment problems. This is in direct contrast to the past when numerous reactor scrams and unplanned shutdowns have impacted plant performanc Recently the plant implemented a modification to help control reactor water level following post plant trips; this been an identified problem in previous SALP re-ports. Other positive indicators of current plant performance are the reduction in temporary procedure changes exceeding the 14 day technical specification appro-val limit, incree. sed personnel in operator training programs and periodic meet-ings between the site director and the QA organization to effect resolution of
, the regulations, in accordance with sound judgement and good practices, and in accordance with our procedures.
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i quality issues. In addition, the licensee has established an Operations Coordina-tions office to alleviate some of the administrative burden from the shift super-visor during outages. This is perceived as positive; however, early in the outage, shift supervisors were at times concerned about effective communication regarding outage activitie . Operators have shown improvement by a professional attitude toward their duties and proper control room decorum; however, some distractions are still note One particular bright spot has been the determination of a few operators to identify and report potential significant equipment and system problems and to correct long standing facility problems. Operators and operations personnel in general are responsive to inspector concerns and are open in their communication Conditions are not conducive to promoting cooperation and teamwork between operators and operations middle management. Likewise, lack of support to the operators by operations middle management was noted. This was evidenced by certain equipment being allowed to remain out of service for long periods, as in the case of the reactor building heating and ventilation problems that lead  ;
to freezing in the reactor building despite operator complaints, and isolation condenser steam line temperature anomalies not being addressed. Operations management did not adequately respond to QA findings associated with the contain-ment spray / emergency service water system, and this eventually led to a plant problem. Also, the acceptance by operations management of modified systems for operation without a formal turnover of the completed modification has resulted in system operation without complete documentatio A strike occurred immediately before returning the plant to power operation in the fall of 1987. The NRC determined that the licensee's strike plans were comprehen-o sive and appropriate to address the situation. Management personnel assigned to perform operator duties during this time were thorough and knowledgeable in plant operation and startup activities. Management plans to transfer operation of the plant to union personnel after the strike were also considered highly effectiv The licensee has initiated a number of programs to improve worker attitudes and  ,
increase productivity since the conclusion of the strik l During this-SAlp period, operator license examinations were successfully admini-stered to five SRO and 3 R0 candidates. It was noted that control room staffing consisted of only a five shift rotatio Operations have improved in specific areas, which may be attributed to self initi-ated actions as well as significant input from internal license and regulatory organizations. Although the plant operated continuously for 229 days, power re-ductions were required to repair plant equipment problems. Some long standing  j equipment problems still persist. These include intermediate range monitors,  i control rod drive hydraulic control units, safety relief valve acoustic monitors and thermocouple and various secondary equipment problem NRC observations indicate that, although daily planning meetings effectively com-municate plant and maintenance status, there are interface problems at the working level between the Operations Department and support organizations. Examples of conditions that resulted from this are: worker contamination from poorly planned post maintenance testing of the offgas system, the loss of secondary containment during isolation condenser maintenance, overlapping stack gas monitor tagouts which


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  -OC SALP MAY 15E1989 ,
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Functional-Area: Radiological Controls 1 The four: areas of- concern addressed'in the Radiological _ Controls portion of the SALP are.(1) control and planning of radiological operations, (2)
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incomplete corrective. action on identified problems, (3)- continued examples of l ineffective root.cause analysis, and.(4) lack of. aggressive action to reduce collective worker exposure. Items 2 and 3 appear to be essentially the same
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from the details of the report'and our response is divided into-sections corresponding to items 1, 2 and 3, and 4.


While we acknowledge the deficiencies and areas needing improvement, and have undertaken actions to respond, we believe performance did not degrade as stated in the SALP Overall Summary, but in. fact improved.
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resulted in making the monitor inoperable and the removing of a station battery and the opposite train diesel from service simultaneously,- thus, making both diesels unable to respond in the event of a loss of offsite powe Operations understanding of the technical specifications and the design basis and evaluating plant conditions against these requirements is a weakness. Examples include operations attempt to startup the plant in an action statement with an inoperable offgas sample pump and three control rods made inoperable due to in-adequste operator response to low gas pressure alarm . Station procedures are genera.lly good, but have been key contributors to two major events during this SALP period. Placing the isolation condensers in a questionable condition and potentially exceeding a limiting condition for operation with the containment spray / emergency service water system were direct results of poor pro-l- cedures.. In the first case, a long standing procedure deficiency became evident j and in the second, a poor modification process resulted in the procedure problems.


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l Also, during.the freezing reactor building temperature inspection, inadequate pro-l cedure reviews were discovered. In this case, the system procedure had been re-1- vised 13 times over a 20 year period without detecting that the control room reac-l tor building temperature gaugt referred to in the procedure was never installed.
  ; CONTROL AND PLANNING 0F RADIOLOGICAL OPERATIONS GPU Nuclear recognizes.that there were instances in which planning and control of radiological work was less than desired. The items cited in the-SALP report were largely self identified through the various internal controls processes within the Radiological Controls program at Oyster Creek.


Each of these occurrences was the sublact of an internal Radiological Investigative Report or a Rad 4.ological Awareness Report and critigt.e to identify and correct root causes. The events did occur however and are examples of _less than adequate planning and control.  -
l Other examples include operator confusion from the conflicting instructions for equalizing pressure across the MSIVs and minimum battery room air temperature pro-vided by different procedures, and an unspecified action in response to a refueling cavity seal leak alarm.
GPU Nuclear has five specific actions underway to improve the planning and execution of radiological work. They are as follows:
o A task force appointed by the Office of the President of GPU Nuclear will perform an assessment of and make recommendations to improve the execution
  .of work with regard to radiological control practices of the workforce. We know that the actual conduct of work in radiologically controlled areas is most oft 3n the cause of the types of problems noted in the SALP report.


The-task force charter specifically charges it to specify actions to be taken in the field at the work site, in the planning, supervision, and management of work so as to optimiza adherence to the work practices set forth in the GPU Nuclear Radiation Protection Plan.
! Operator errors have decreased since the last SALP, and, overall, improvement in l this area has been seen. However, there were some errors during the. plant opera-l tio During reactor defueling numerous operational errors occurred that resulted
, in the direct involvement of the Site Director to bring about a positive change.


-o A continuation of our approach to incorporate radiological and safety reviews in the Long Range Planning process, including:
l There was one instance of a lack of command and control during the MSIV stem fail-
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; ure in which a half trip was not inserted promptly. Also, logging of some events l- was not timely such as the isolation condenser initiation which was not logged or reported until some time after' it occurre During this SALP period, a special inspection was performed of the Emergency ;
Oversight by Techn'. cal Functions Radiological Engineer of modifications and upgrades as they are developed by the engineering staff.
Operating Procedures (EOPs). This inspection concluded that the E0Ps were tech- l nically sound, that the operators understood their fundamental technical principles, and that the operators were able to execute the E0Ps. The overall quality of the emergency operating procedures is considered to be a strength. The team did ob-serve an unfamiliarity with the " hands-on" use of the procedures and flow chart This unfamiliarity is considered a training deficienc Operator attitude was a concern identified during the E0P inspection as well as during defueling. The E0P inspection identified an attitude of overconfidence as well as a tendency to minimize the significance of the E0Ps. Likewise, in response to the number of errors which occurred during the defueling, operators displayed an attitude that this performance was no different than that of the previous year Management did take corrective action to improve refueling performanc I j


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1 In conclusion, operations has shown improvement, including a reduction in operator errors. Senior site management'has'made. efforts to build cooperation and teamwor I Operations middle management has not aggressively: supported operators by correcting identified QA concerns, addressing operator questions and concerns ~, and improving middle management and operator cooperation and teamwork. Plant material condition continues.to improve as evidenced by a long operational period. The initiative shown~ by several operators to correct long standing facility' problems is encourag-ing. Procedure' weaknesses still exist and contributed to plant event IV. Conclusion Category 3, Improvin IV. Recommendation Non i i
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  -Corporate Radiological Engineering participation in the Long Range-Planning process to insure that due. consideration is given to the radiation protection aspects of the work and budgeting process.     >
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Senior Management review'of exposure control activities through a Corporate Dose Oversight Group.


o' The Radiological Controls ~ Department has conducted a management self assessment to-identify areas and specific tasks for improving the conduct of work in radiologically controlled areas. The report of this group is now under evaluation. Major areas addressed in the.self assessment include deployment of radiological controls staff during outages, proper
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methods for the conduct of critiques to gain maximum information and benef;L, techniques to improve supervision within GPU system personnel and contractors.
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  :IV.B Radiological Controls (560 Hrs. , 6.5%)
IV. Analysis Previous SALP
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The last SALP rated this area.as Category Weaknesses noted included: incomplete pre-job briefing of workers; ineffective root cause. analyses following radiological incidents; lack of emphasis and followup of quality control functions performed by Radiological Engineering; and poor ALARA effort and ineffective goal setting and goal tracking. Strengths . included an adequate staff with good qualifications, good facilities and equipment, training, posting, and access contro Current SALP Four special inspections were conducted.in this area during the current SALP period, in addition to the routine reviews by the resident inspector ~
Overall, the licensee's radiological control program remains adequate. However, continuing weaknesses were identified that contributed to a noticeable degradation in program effectiveness. These weaknesses include (1) deterioration of control and planning of radiological operations, (2) incomplete corrective action on iden-tified problems, (3) continued examples of ineffective root cause analysis, and (4) a lack of aggressive action to reduce ~ collective worker exposur Control and planning of radiological work is generally adequate, but instances of poor performance were noted. Appropriate actions to address deteriorating radio-logical conditions were not taken in some cases. As an example, a control rod manipulator was'used to facilitate the removal of control rod drives from the reactor. This'resulted in an increase in'the rate at which the drives were removed and sent to the drive maintenance and rebuild area. 'However, the effects of this
  ' increased rate on radiological conditions in that area were not adequately consi- l dered. As the backlog of control rod drives in the rebuild area became excessive, the area became highly contaminated. The contamination subsequently spread outside the rebuild area to other areas of the reactor building. The problem was compounded j by the lack of experience and incomplete training of the workers in the rebuild I area. Although the workers had been put through mockup training, the pace of he training was rapid, and many were not trained on the actual work performed 1 the .
rebuild are Although the licensee continues to demonstrate an ability to identify problems, '
the corrective action program was at times ineffective in achieving desired im-provements and preventing recurrence. The following are examples of this proble i
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Improper priority assignments to radiological control problems were observe For example, high radiation area doors which were required to be locked were found unlocked due to their poor mechanical condition. Although corrective action was proposed, it was not completed because of the low assigned job priority and subsequent cancellation of the work orders. This resulted in continued instances where high radiation area access control was compromise _ _ _ _ _ _ _ _ _ _ _ _ _  __ _ _ _ _ _ _ _ . - - - _  .i


o A Fjeld Radiological Engineer is assigned to enajor work contractors to support outage job planning and execution.
o Depicyment of GPU Nuclear Radiological Controls Technicians has been adjusted to provide more intense oversight on major tasks. This is designed to improve job knowledge, assure consistent approach to control measures, and improve accountability.
INCOMPLETE CORRECTIVE ACTION ON IDENTIFIED PROBLEMS AND INCOMPLETE ROOT CAUSE ANALYSIS.
GPU Nuclear concurs with the SALP assessment that our investigations, critiques, and analyses did not always identify and correct root causes.
Actions were taken in the last quarter of 1988 to use staff members trained in a variety of recognized investigative techniques to conduct and analyze critiques of problem activities so as to identify root causes. Some of'the
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techniques utilized include Kepner Tregoe, MORT, and INP0'c Human Performance Evaluation System (HPES). GPU Nuclear has issued a new procedure for conducting critiques and investigations that formalizes these techniques.
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Although efforts in this area require more emphasis, considerable progress has been made in root cause analysis that will be apparent during the next evaluation period.
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Investigation following the occurrence of radiological incidents is prompt, but the depth of review conducted is frequently limited in scope and effec-tiveness.1As an example, disturbances in the ventilation flow pathways in
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the Augmented Offgas system building produced airborne contamination in the building. Following a number of personnel contaminations, the licensee com-mitted to sampling the air for radioactive gas in case of such incident However, the sampling is still not being done in a systematic and controlled manner. The. lack of timely performance of air samples was identified during the previous SALP period. In the past this weakness could have led to situ-ations where the licensee was not able to adequately assess the exposure that workers were receiving from airborne contamination. The-licensee was not responsive and did not acknowledge the concern, and this weakness still re-mains. Another identified weakness has been the failure to perform appro-priate surveys in areas with non-uniform radiation fields. This program weakness recurs despite licensee's corrective actions implemented to dat One of the principal reasons for the failure of corrective actions is that investigations conducted by the licensee following an incident do not identify root causes but instead concentrate on immediate and sometimes superficial factors. The critiquec rarely address problems that result from poor super-visory practices or poor planning, and tend to concentrate on errors committed by the wor _ker and by first line supervisors. In the control rod rebuild room incident mentioned above, important and key contributing factors were not considered in the critique, including failure to anticipate a potential over-load of the work area, a lack of clear and adequate procedures to control the work, and poorly trained technicians with little or no experience in coverino this type.of wor In another incident, a technician and his supervisor removed some temporary shielding in accordance with instructions from radio-logical engineering causing an increase in the dose rate in the area and un- [
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knowingly created conditions that classified the area as a locked high radi-ation area. The critique of the incident failed to point out that, among the '
root causes of the incident were improper surveys in a non-uniform radiation field, incomplete supervisory shift briefings, and problems with the tagging and tracking system for temporary shieldin Engineering evaluation in response to NRC concerns has generally been thorough i and professional when the problem in question was internal to the Radiological '
Controls organization on site. This is contrasted by situations in which the evaluations had to be performed by some departments other than Radiological Controls which were poor in quality, excessively brief and unsubstantiated, and reluctantly given. One example was in connection with the licensee's request to permit occupancy of the upper levels of the drywell during fuel movements. In response to an NRC concern regarding radiological safety in J the upper elevations in case of a fuel drop accident, the licensee proposed j a fence, but did not supply adequate supporting calculations on fence strengt Subsequent calculations were brief, with no stated assumptions. Also, as part of this evaluation, the licensee proposed mechanical stops to limit the range i of horizontal movement of the refueling bridge. However, the stops were not I installed because of an oversight, and defueling proceeded without these stops until detected by licensed operators while testing the fuel handling bridg I


Two specific actions are underway to improve the root cause analysis and corrective act*ons. They are as follows:
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I o Continuation of application of the GPU Nuclear corporate procedure for investigations and critiques.


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Lack of' aggressive action to reduce collective worker exposure can be found in examples of a lax attitude towards adherence to radiological controls procedure For example, personnel, including maintenance and quality assurance, have been  l observed on several occasions entering posted contamination areas and ignoring entry requirements, such as the use of proper protective clothing. One individual repeated this infringement of the rules immediately after his attention was drawn to that fac !
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l Performance in the area of ALARA remained consistent with that observed during  I the previous assessment period. The cumulative exposure for the current outage  l to date is over 1500 man-rem despite an outage goal of 900 man-rem. This goal is still high in comparison to the national average due to a high in plant source term, plant design and the scope of work in the outage. Compared with previous outages, more efforts to reduce exposure were taken during this outage, however, a lack of progress in long range source term reduction was evident. Source term reduction initiatives included decontamination of many areas of the p %nt and several highly contaminated systems and the use of shielding-in the drywell. Job planning, how-ever, still needs improvement. An exposure reduction plan has recently been de-veloped by the licensee in an effort to identify the areas in which exposure re-duction methods can be effectively used. According to this plan, implementation of the recommended measures should produce a realistic two year rolling average during 1990-1992 of 470 man-rem. Some items recommended in the plan were imple-mented during the current-outage, but to date, no specific timetable was published to implement the major recommendations in the plan to achieve the desired collet-tive dose reduction and to achieve parity with the rest of the industr Radiological Effluent Monitoring and Control One inspection of the licensee's radioactive effluent control program was conducted near the end of the assessment period. The licensee has in place an effective pro-gram for controlling radioactive effluent releases from the site. The licensee is meeting Technical Specification requirements with respect to radioactive ef-fluent sampling, analysis, surveillance, and reporting requirements. The required reports are complete and thorough. A noted strength of the licensee's radioactive effluent control program is the attempt to minimize the release of liquid radio-active effluents from the site. During the third quarter of 1987 and for the period January 1, 1988 - May 31, 1988 no liquid effluent releases were made from the sit Quality assurance audits of the gaseous and liquid radioactive effluent areas were thorough and of sufficient technical depth to adequately assess program capabili-ties and performance. In addition, Operational QA surveillance activities were of excellent technical depth and were conducted by an individual with appropriate technical expertis Chemistry Control The area of chemical measurement has improved during this assessment perio In-itially several analytical results (chloride, sulfate, silica, iron, and boron)
OC SALP MAY 15, 1989      I o Events related to radiological protection issues will have critiques performed by an independent assessor. j l
were in disagreement with the criteria used for comparison. These results were j
LACK OF AGGRESSIVE ACTION TO REDUCE COLLECTIVE WORKER EXPOSURE Collective dose at Oyster Creek is well above the average for United States Boiling Water Reactors. GPU Nuclear recognizes this and continues to   !
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take action to reduce collective dose. We will continue to pursue long term  l dose reduction promulgated in the Oyster Creek Dose Reduction Plan. A schedule of activities, including specific milestone dater., is being developed for each operating cycle in conjunction with the long range planning and GPU System budgeting efforts. The fact that collective dose in 1988 exceeded the goal is not due to a lack of action to control and minimize dose but rather to the greatly expanded scope of the 12R outage. Within the original and expanded scope of the activities in the SALP period, many dose reduction actions were taken.
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The issue of recirculation loop decontamination as a primary means for dose reduction at Oyster Creek is well understood by GPU Nuclear, GPU Nuclear remains committed to performing system decontamination for dose reduction purposes based on factors such as anticipated savings of dose, cost, impact on materials, and life of plant systems. A chemical decontamination of part or most of the clean up system and reactor recirculation loops will be performed prior to or during the 14R outage and may be performed as early as the 13R outare.
 
It is recognized that the collective dose at Oyster Creek continues to be a sigr.ificant challenge. Realistic expectations are that we will continue to invest more effert in plant maintenance and modification to maintain industry standards than with more recently completed plants. Thus, even with aggressive efforts at dose reduction, it is expected that collective dose at Oyster Creek will probably continue to exceed the industry average but can be significantly reduced from past experience.
 
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ACTION ON NRC SALP RECOMMENDATION The SALP recommendation in the Radiation Protection section was that GPU Nuclear perform a self-assessment of a third party review of the Radiation Protection Program to assure that problems are fully identified and corrective action plan is developed. Oyster Creek will receive a regular INPO Evaluation from June 5-16, 1989. Furthermore, we expect INPO to provide us with special assistance in improving our radiological protection program in the third quarter of 1989. We plan to assess the results of the INPO Evaluation and Assistance team, the special INPO assistance team, and GPU Nuclear's task force discussed earlier. It is our intention to have the Task Force report reviewed by an outside independent third party to ensure that findings and corrective actions are adequately addressed. This action h e verted to occur before the end of the third quarter of 1989. GPU Nuclear will keep the NRC apprised of the results of the assessments so that progress can be tracked in our program for improving radiation protection at Oyster Creek.
 
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  'OCLSALP MAY:15,.1989
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]  Functional Area: Maintenance / Surveillance U
LThe two' areas we would like to . address'in the Maintenance portion. of. this
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functional. area are: 1) rework / recurring maintenance and 2) GMS2:
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Implementation. . In. addition, general comments regarding our maintenance program are: also provided.


REWORK / RECURRING MAINTENANCE T  The Oyster Creek' Work. Management System guideline A000-WMS-7100.01,
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  " Control of Rework and Recurring Maintenance" is the programmatic document used for the. identification, root _cause analysis, implementation of corrective actions,.and reporting of' rework items. Rework is defined as reperformance of work'to correct previously assigned work scope which was incorrectly or inadequately performed;by MCF craft personnel. Recurring Maintenance is the-result of circumstances other than inadequately. performed repair or installation and is usually the result of inadequate design, aged equipment, wrong; application, improper operations, etc. The primary objective of the program-is :to. minimize the occurrence of rework and recurring maintenance by identification and analysis of cause and specifying corrective action.


. MCF has been using the 7100.01 guideline as well' as direct and indirect methods to identify and address these concerns. Craft and supervisory personnel who identify' rework account for direct identification of rework. In addition, indirect monitoring methods are used by analyzing MNCRs, COTS (Corrected-On-The-Spot), critiques, QDRs, and new job order inventory to
possibly due to high laboratory room temperature, high reagent water temperature, and an inadequate pipet calibration technique. With special attention to control of these problems, all analyzed results were in agreement with the standard {
  ,dentify where rework may have occurred. To capture the rework items, MCF now (since May 1, 1989) has designated rework' coordinators in the construction and maintenance areas. This is a collateral responsibility. Coordinators review each identified rework item with the appropriate MCF Construction and Maintenance personnel to determine whether rework actually occurred and how many manhours were involved. This information will be consolidated monthly and used to produce graphs showing the number of monthly events as well as monthly and year-to-date percentage of rework based on craft manhours worked. These Rework Reports will be sent to Plans and Programs for ir.clusion in the monthly Plant Performance Monitoring Report.
Currently,:the licensee is upgrading the room temperature control system which is indication of the management attention to the chemical measurement program.-
Training was of high quality as reflected by the technical depth and also for ap-placability in the chemistry laboratory. Quality assurance audits of the chemistry      1 program were thorough and of sufficient technical depth to adequately assess pro-gram performanc In summary, the licensee's effluent controls program remains effective and labora-I ftory chemistry control improved. Nonetheless, a number of problems persisted during this period which reflect a decrease in the Radiological Controls program ~ effec-tiveness. Job planning and control were weak in some areas; incident evaluation and corrective action were incomplete and did not always identify the root cause of a problem. ALARA planning suffered from the lack of aggressive source term      j reduction and resulted in elevated collective exposur t IV. Conclusion Category IV. Recommendation Licensee: Perform prompt self-assessment of third party review to assure problems are fully identified and corrective action plan develope NRC: Follow up self-assessment with review and appraisal.


This process is expected to improve as the database becomes more reliable and personnel are trained to identify and report rework items. To enhance collection of data, rework and recurring maintenance job orders are now identified in specific data fields of the Work Management System. Upper management will monitor and assess this data to determine if corrective action is needed in areas such as training, increased supervision, etc.
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IV.C Maintenance / Surveillance (2653 Hrs., 31%)
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IV. Analysis The previous SALP rated both areas of maintenance and surveillance as Category In the area of Surveillance / Inservice Testing, strong administrative control and strong procedures were noted. Concerns were expressed regarding a lack of aggres-        !
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siveness in root cause analysis of some surveillance identified problems, and that communications between plant departments required improvemen In Maintenance, plant impacting reliability and maintenance associated equipment problems indicated a need for improvement in the overall quality of work performed, and a need for improvement in communications between groups. Also noted were significant steps taken by the licensee to improve overall performance including: personnel changes, a critical self-assessment, establishment of committees to review problems, im-provements in post-maintenance testing, and efforts to reduce work backlo During this SALP period, the licensee has demonstrated responsiveness to NRC con-cerns and resolve to improve the performance of plant maintenance. The maintenance program at Oyster Creek remains generally effective and the licensee has imple-mented severcl major initiatives to build a more effective maintenance progra The Oyster Creek surveillance program continues to be effective, characterized by strong administrative control Two areas that remain weak are maintenance rework and surveillance which fre-quently fai Examples of reg ek have occurred, including valve leaks at control rod arive hydraulic control units, main steam isolation valve (MSIV) work, inter-mediate range neutron monitors, and recirculation pump speed control. In each case, corrective maintenance was performed, which failed to correct the deficiency. In addition, surveillance test repeat failures have been main steam isolation valve slow closure test stroke times too long, snubbar and hanger deficiencies, and reactor pressure switches out of tolerance. In some cases, equipment age is a factor in these recurring deficiencies and the licensee has implemented major        j modifications to improve or upgrade equipment. In other cases, however, rework items are a result of ineffective root cause determination and rework identifica-        l tion and correction progra During an unplanned outage, July 1988, the licensee repaired a temperature problem on a reactor feed pump, speed control on the recirculation pump, safety relief valve thermocouple, intermediate range neutron monitors, and a hydraulic control uni In each case the problem reoccurred during the subsequent startup. The licensee has programmatic controls in place to address rework, but these have not been used. The licensee has taken several additional steps to address this are l This includes a Human Performance Evaluation Program to aid in root cause identi-        I fication, the establishment of a goal of no restart errors as a result of 12R work and a formalized administrative control procedure for post maintenance testin The effectiveness of these measures to address rework concerns has not been as-sesse l I
e OC SALP MAY 15, 1989 Determination of excessive recurring maintenance is normally based on review of maintenance history for specific equipment or systems and placed on the Plant Materiel Condition Issue (MCI) list for evaluation and establishment of action items. Plant Engineering will address recurring maintenance items via Plant Engineering Work Requests (PEWRs) issued from MCF. Plant Materiel will address recurring maintenance items via implementation of procedure 118.1. These recurring maintenance items will be tracked by Plant Materiel and reviewed by all divisions on the Quarterly Failure Tending Report.


GMS2 IMPLEMENTATION The work control system has undergenc many changes to meet our business needs. Many t,f these enhancements are listed in Reference 1.
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In general, these enhancements have made Work Management Procedures reflect the us,e of our automated Work Control System (GMS2). GMS2 users have been trainsd by individual and group sessions conducted by the GMS2 Coordinator.
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Work Management Procedures now reflect the system capabilities and skills of our personnel. User support has also been enhanced by the recent issuance of a GMS2 Users Manual. (Specifically, WMS procedures A000-ADM-1220.08, "MCF Job Order" and A000-ADM-1220.01, " Work Request" have been revised to reflect the use of the electronic work request and to identify additional GMS2 requirements and user interfaces.) Procedure A000-ADM-1220.08 will be further revised to incorporate the requirements of Procedure A000-ADM-1220.13, "Short Form" when it is deleted. The resulting WMS will then use the Work Request to initiate work and the Job Order as the work controlling document for MCF work. This  l situation was self-identified by GPU Nuclear (QDR 88-039 was written to address i this concern, and MCF has completed the QDR requirements as of May 19, 1989).
The licensee has significantly reduced its maintenance backlog and committed to achieving 100% equipment operability. As a result of this effort, the licensee l
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1s performing a greater quantity and more complex work during plant operatio The licensee made errors in coordinating some activities which resulted in equip-ment inoperability. Examples of this problem are a major bus outage and overlap-
,  ping maintenance resulting in loss of stack gas sample flow. In these cases, there was a lack of understanding of the effect of the maintenance activity on plant
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equipment. This resulted, in part, from a lack of communication between work force and plant operations. The licensee has recognized the need for better communica-tion between departments and strengthened the Plan of the Day status meeting and has added other daily planning meetings. Generally, these meetings are effective at surfacing plant problems and identifying who is responsible for corrective actio In addition to the coordination of major maintenance efforts, work control has shown some weaknesses. Examples include: snubber repair in progress and the snub-bers not being declared inoperable, inadvertently boring into the drywell shell, secondary containment boundary work degrading containment integrity, and diesel generator overhaul and testing. These examples demonstrate the need to continue to reinforce that work activities must be planned, approved and effectively con-trolled by the written work document The licensee has undertaken several major initiatives to improve maintenance. The first was a reorganization of the maintenance division. This fundamentally changed the functional structure from one of " area" supervisors to one of " work discipline" supervisors. In addition, the licensee has implemented changes to the work man-agement system to computerize and simplify the job order generation process. The effectiveness of this change has not been assessed, however, during implementation of the new computerized system, some inadequate work control occurred. Also, a Short Form Job Order was revised to change the scope to implement a modification to a plant cooling water system, and it was not treated as a modificatio Another licensee initiative is increased training for workers and development of a craft training facility. The licensee has also effectively used mockups for major maintenance tasks such as the feedwater line freeze seal and torus to drywell vacuum breaker repair The licensee preventive maintenance program remains generally effective. It is a specific area of focus of licensee attention to implement measures to better identify specific preventive maintenance needs and more effectively track and pre-dict equipment failures. These licensee initiative are aimed at addressing long term equipment performance and includes the Life of System Maintenance Program (reliability centered maintenance). This has been implemented in a limited manner on the service and instrument air syste The licensee continues to implement a strong surveillance test program. Some areas that require more attention are valve control during surveillance testing, accept-ance of out of specification results, and that the test program include appropriate
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GENERAL COMMENTS To properly assess the results GPU nuclear has achieved in the area of maintenance, a more encompassing time frame than the SALP period addresses must be considered. GPU Nuclear's letter to Mr. Lando W. Zech, Jr., Chairman of the Nuclear Regulatory Commission, provided information on the maintenance program improvements undertaken and planned at Oyster Creek. The detailed information '
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contained in that letter and recent performance indicators show continuing improvements are being made in the following areas:
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o Organization Changes in organization have emphasized capability and accountability.
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l o Staffing Experience, training and qualifications have been upgraded for craft personnel. Technical capability has been strengthened through the addition of multi-disciplinary personnel.
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plant' equipment (e.g., air accumulators and underground electrical cables). -Sur-veillance test valve control'is also assessed in the Operations area. In addition, NRC inspection noted a minor weakness in Measuring and Test Equipment (M&TE) con-tro In general, the quality and accuracy of the maintenance and surveillance procedures are good. The licensee is active in identifying and correcting weaknesses as they arise. One specific area of observed weakness in surveillance testing is valve position contro Situations have occurred where the same individual performed l     the line up and the verification, procedural direction as to "as-left" positions were not clear, and procedural direction for valve positions was in error. Two of these situations resulted in equipment being misaligned and led to erroneous surveillance test data on the containment spray heat exchangers and inability to vent the isolation condensers. These valve dispositions have occurred, in part, due to the incompleteness of incorporating plant modifications into surveillance test procedures; and in part due to a lack of specific direction for valve position The licensee is generally effective at identifying and addressing test discrepancies and establishing acceptance criteria, however, several examples of inadequate acceptance of test results have been seen. Out of specification results have been accepted without explanation (MSIV closure), acceptance criteria have been changed without a safety review (containment spray heat exchangers AP), IST out of specification problems without appropriate action l    (liquid poison), and questionable baseline data methodology (emergency service water). While generally effective, licensee performance shows the need for increased attention in the area of establishing acceptance criteria, and effectively evaluating test result The licensee has recognized the need for improvement in jumper control and also the need to evaluate and improve the testability of systems. On a system by system basis, the licensee is evaluating permanent design changes to improve testability. This outage, a modification was implemented on the core spray system to eliminate the need to lift leads and use jumpers. The licensee initiative to improve the testability of systems demonstrates their commitment to improve long term surveillance performanc In conclusion, the licensee has in place generally effective maintenance and surveillance test programs. Significant progress has been made in reducing maintenance backlogs and a strong surveillance test program is being maintained. While some areas of weaknesses have been seen in both areas, the licensee is responsive to NRC concerns. Improvements have been seen in the areas of interdepartmental communications and the plant material conditio Some areas where weaknesses have been identified are: the identification and evaluation of maintenance rework items and surveillance repeat failures and the administrative control of the work management system. Overall performance in the areas of maintenance and surveillance has improve IV. Conclusion Category . _ _ _ _ - _ _ _ _ - _ - _ _ _ - _ _ _ _ -__- _ _-_-  __ - ____ _ __ _ - -___ _ ___ ______ _ ___ _ _ _ _ _ _ _-___ _ _ _ _  a


o Accuracy of Technical Information A concentrated effort to upgrade drawings and procedures has taken l place.
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IV. Recommendation Licensee: Provide NRC with schedule for implementation of reliability centered maintenance contro NRC: None.
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L  OC SALP      i l  MAY 15, 1989:
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o Work Control Communications, responsiveness, efficiency and quality have improved.
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o -Materiel Condition The work backlog reductions coupled with increased effort on preventative maintenance have improved the overall plant materiel
IV.D Emergency Preparedness (249 Hrs., 3%)
,  condition of Oyster Creek.
IV. Analysis During the previous assessment period, licensee performance in this area was rated Category 2. This rating was principally based upon observations of performance during the full participation exercise. Although overall performance was satis-factory, several recurrent weaknesses were identifie In addition, concerns were identified relative to slow staff response to an actual pager call-out from an Unusual Even During the current assessment period, a full participation exercise was observed and three routine safety inspections were conducted. The licensee issued a new Corporate Emergency Plan for both GPU Nuclear sites. Because of the significance of the changes, the Plan was submitted for NRC review prior to implementatio During the review it was identified that the Plan did not reflect the guidance of NRC Information Notice 83-28 concerning protective actions for a General Emergenc Acceptable changes were made to the Plan and it was subsequently implemented and distribute A fuil participation exercist was conducted on May 11, 1988. The exercise stenario was written to involve a security threat. The licensee's overall response was satisfactory, and, in some areas, performance was excellent. These areas included control of a hazardous material spill, communication with the bomb disposal team, and relocation of command and control from the Emergency Command Center to the Technical Support Center. Several weaknesses were identified. The principal con-cerns were in the areas of contamination control, adequacy of support to the Emer-gency Support Director by the Technical Support Coordinator, and a question cf authority for the Operations Support Center. The number of weaknesses identified is consistent with previous exercises. Overall exercise performance has been adequate with approxin.ately the same number of weaknesses identified from exercise to exercise. This trend is apparently due to a lack of effectiveness of EP train-in During the first routine safety inspection, concerns were identified in two area The first involved training: lists of staff participating in drills and exercises were not maintained; and the Training Department's computerized database for tracking EP training was not up to date. The second was in the area of dose as-sessment and monitoring: the dose calculation model includes an excessively large default iodine component which could result in overly conservative protective action recommendations; and the volume of air samples collected by field teams is so large that the collection filter may saturate making the results unreliabl During the second routine safety inspection, the inspectors determined that the licensee was responsive to many NRC concerns. The Emergency Dose Calculational Manual has been revised and many but not all calculational conservatism have been removed. However, the concern regarding the default iodine component in the dose model and the suitability of field sampling equipment and methodology to collect iodine still had not been adequately addressed. This raises a concern regarding
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Maintenance programs have and will continue to be developed with full consideration of safe, reliable _ operation. Our progress and future plans reflect GPU Nuclear's commitment to effective maintenance.
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ACTION ON NRC SALP RECOMMENDATION The SALP recommendation in the MCFfSurveillance section was to provide the-NRC wiJh a schedule for implementation of re'.! ability centered maintenance control.
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Application of the Reliability Centered Maintenance (RCM) methodology to the development of Life of System Maintenance Plans (LOSMP) for plant systems-and components.is in the initial stages. Based on system functions and determination of potential failure mechanisms which impact those functions, RCM produces a list of actions to assure system reliability. These actions will be formalized into the Life of System Mahtenance Plan (LOSMP) for the system.
 
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  ' LOSMP will assure that proper implementing documents are in place to execute-the actions prescribed by RCM. Completion of at least one system RCM and hnplementation of its LOSMP is intended for 1989. Future work in this area and level of effort for future years will be formulated after evaluation of the 1989 efforts however, we currently anticipate that 4 systems per year will be compieted.-
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the' licensee's approach to resolution of technical issues. The l w nsee demon-strated satisfactory response and personnel call-out to an actual Unusual Event during the. inspection. Several improvements have been made to emergency response fa<:ilities and equipment. The licensee has renovated the Emergency Operations Facility, installed a remote; siren verification system, replaced the auto-dialer call-in system by a computer based system, established a back-up Operational. Sup-port Center and is completing installation of a second siren activation ~ syste Staffing is adequate both for emergency preparedness maintenance and in numbers of trained emergency response personne Efforts to improve the emergency preparedness program are evidenced.by the. fact that Emergency Preparedness staff routinely handles 43 ongoing activities and at the time of the inspection was involved in 12 special projects. Some of these activities include 26 improvement actions in areas that have been completed or were in progress at the time of the inspectio Oyster Creek Directors have become involved regularly in emergency preparedness training with the result that the need to reschedule training has almost vanishe The Training Department has also introduced several innontive approaches and a computerized data base is in place which tracks emergency preparedness trainin The site and field team air samplers are being replaced by a sptem which will col-lect a sample without risk of saturatio Stack and turbine offgss monitoring systems are being upgraded, and an Evacuation Time Estimate update study is being undertaken. One issue which still requires licenree action is the traicing of Technical Support Center engineers in accident analysis other than Core Damage Assessmen In summary, the licensu has committed adequate resources to emergency preparedness and has demonstrated acequate response to GPU and NRC identified concerns. The Director for the Environmental and Radiological Controls Division expends.about twenty percent of his time on EP issues. Technical issues have been and are being resolved. Site management has become routinely involved in emergency preparedness activities and training has also responded to needs for improvement. There are no offsite problems. The persistent number of exercise weaknesses identified re-sains a concern. Finally, the licensee has not yet resolved NRC concerns regarding en overly conservative dose assessment model or the lack of training of TSC engi-neers in severe accident analysi IV. Conclusion l  Category IV. Recommendation Non _ _ _ - _ _ _ - _ - _ _ _  . _ _ . - - . __  - _ . . - - -_ _ _ _ _ _
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Fynctional Area: Emergency Preparedness
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  . The.three areas to.be addressed in the Emergency Preparedness portion of this response are: 1) Consistent number of. weaknesses are apparent 1y'due to a Llack of effectiveness of Emergency Preparedness training;-2). Concern regarding the default iodine component has not been adequately addressed; and 3) Training-of TSC engineers in accident analysis other than core damage assessment should-
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be addressed.-
EXERCISE WEAKNESSES-The report notes that the 1988 exercise performance.was adequate with approximately the same number of weaknesses. identified from exercise to exerci'se.. While'GPU Nuclear acknowledges the weaknesses,:it is our conclusion
_ that the' 1988 Annual Exercise represented a significant improvement over the 1987 exercise, and considered the NRC identified weaknesses in 1988 to be of generally lesser cor' . ce than in 1987. Action was taken to address the weaknesses and, we L M eva, the 1989 Exercise which identified no weaknesses shows they were effective.


DOSE ASSESSMENT Since the SALP, refinements have been made to the dose assessment process including revisions to the default iodine component. It is our understanding from NRC Inspection Report 88-30 that this item has been adequately resolved and closed out.
IV..E Security (134 Hrs. ,1.5%)
IV. Analysis Two special and one routine physical security inspection were conducted by region-based physical security inspectors. Routine inspections by resident inspectors were conducted throughout the assessment period. An NRC Regulatory Effectiveness Review was conducted in July 198 During the previous assessment period, the licensee's performance in this area was, Category 1. This rating was based upon continueo implementation of the liccasee's self-assessment program, its enforcement history, a strong training and qualifica-tion program and the implementation of security equipment upgrade During this assessment period, the licensee's security systems were reviewed during a Regulatory Effectiveness Review (RER), and program implementation was evaluated during a routine and two special region-based physical security inspections. Con- t tinuing inspections by the NRC resident inspectors were conducted during the perio In the.two previous. SALP reports, two longstanding regulatory issues were identi-fied as being addressed by the licensee. Both o/ these issues were resolved during this period; however, resolution of one enhancement of the perimeter intrusion
  ' detection system required several schedule extensions, and the other, a control room issue, was initially found to be unacceptable by the NRC and another proposal !
was submitted, which was found to be acceptable. Considering the nature and com-plexity of the issues, the licensee demonstrated an adequate response to the NRC's concern, albeit, timeliness could have teen bette Corporate security management continued to be actively involved in all site secur-ity program matters. This involvement included visits to the site by the corporate staff to provide assistance, program appraisals and direct support in the budgeting and planning processes affecting program modifications and upgrades. Security personnel are also actively involved in the Region I Nuclear Security Association and other industry groups engaged in nuclear plant security matters. This demon-strates program support from upper level managemen The licensee continued the use of self-inspection techniques to provide oversight J
of security program implementation and measurement of personnel performance. A well developed training and qualification program and on-the-job performance
  ~ evaluations contributed to minimize personnel errors by members of the security  I organization during routine operations. However, during outages, maintenance pro-
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jects resulted in the degradation of vital barriers, without prior notification of the security department, on several occasions. Additionally, on one occasion, operations personnel did not notify security personnel that a protected area bar-rier had been degraded. Because security was not notified of these degraded bar-riers, compensatory measures were not implemented for extended periods. Also, during the current out y e, members of the security force had to work a significant l  amount of overtime to support the outage work. This may have contributed to a i


TRAINING OF TSC ENGINEERS
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  .The Emergency Preparedness portion of the SALP report states that training of TSC engineers does not include severe accident analysis. TSC management
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  'i ncludes one or more licensed operators who perform the role of accident analysis.. Inspection findings'do.not cite a lack of accident analysis capability. NRC Inspection Report 89-03 conducted from January 17-20, 1989,
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determined EP training, including training for TSC engineers, to be I
acceptable. The inspection report further credits GPU Nuclear for providing j training to TSC engineers in the areas of core darrage assessment and core damage mitt f@lon. GPU Nuclear believes this level of training in addition to other EP tM ining and periodic participation in drills is sufficient.


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reduction in the alertness of security force members since on two separate.occa--
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sions security force members who were controlling access to vital areas allowed individuals whose access authorizations had expired to enter the vital area These cases did not result in major degradation in securiti, but they did have the potential to do s Management had planned to augment the security force with fifteen temporary contr&ct watchmen to support the outage work, however, only five were able to successfully pass licensee screening and training requirement The licensee submitted two security event reports in accordance with 10 CFR 73.71 during this assessment period. In addition, on two occasions, the NRC identified events that should have been reported but were not. A contributing factor in the failure to make the required reports was a misinterpretation of 10 CFR 73, Appendix    !
            ' The RER, which was conducted in July 1988, reviewed the licensee's ability to meet the general performance requirements of 10 CFR Part 73. The RER report identified strengths in some areas and contained recommendations for upgrades in other area The licensee is reviewing the report and has not yet responde During this- assessment period the licensee submitteJ four revisions to the Security Plans in accordance with provisions of 10 CFR 50.54(p). Two of the revisions were reviewed and found to be acceptable and two revisions are currently under revie by the NRC. The licensee also submitted revisions to the Security Plan in response to the 10 CFR 73.55 Miscellaneous Amendments and Search Requirements. The revisions contained commitments which meet the objectives of the rule change and were found to be acceptable. The licensee responses to requests were not timely but were, in general, technically soun In summary, the licensee continues to maintain an effective, performance-oriented security program. Management attention to and support of the program are evident in most aspects of the program implementation. However, weaknesses were observed in the management efforts expended to maintain security awareness among other site personnel to maintain adequate security staffing during extended outages, and to understand NRC's reporting requirements for security eve-ts led to an overall decline in performance during the perio IV. Conclusion        i Category IV. Recommendation Non i J
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e        1 OC SALP MAY 15, 1989 i
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Functional Area: Security As noted at the SALP meeting on May 8, 1989, responses were made to the i Oyster Creek RER Report in October 1988 and February 1989 and we had requested reconsideration of two security violations reported in Inspection Report No.
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50-219/B8-33. We are in receipt of your letter dated May 15, 1989, and note that the violation concerning failure to properly report a security event has been rescinded.
IV.F Engineering / Technical Support (1716 Hrs., 20%)
IV. Analysis During the previous assessment period, licensee performance in this area was rated Category This rating was principally based on multiple examples of inadequate root.cause analysis, ineffective problem solution once the root cause was identi-fied, poor technical reviews, long outstanding unresolved problems, delays in im--
plementation of NRC requirements, failure to meet commitments, communication prob-lems, weakness in vendor control, and the fact that little change has been noted over the period of time covered by the past three SALPs. The previous SALP board also noted continued inconsistent performance during the assessment period. The licensee was encouraged to expedite completion of the technical support self as-sessment (TSSA) (which was started by the licensee in response to a recommendation by the SALP Board in 1986) and initiation of an associated corrective action pla During this SALP period, the quality of engineering support activities continued to be inconsistent. Early in the SALP period, the licensee was actively engaged in addressing the weakneeses and concerns identified in previous SALP Report These initiatives slowed down significantly during the assessment period due to events that required the liceneee's immediate attention and resources. Thus, the licensee failed to complete the TSSA and initiate corrective action as recommended by the previous SALP Boar The licensee has taken several positive steps to enhance the effectiveness of the Corporate Technical Function Division. Programs were developed and established to incorporate. safety perspective in engineering work prioritization, to trend and analyze technical information, to enhance the quality of root cause analyses, to improve' engineering configuration management, design basis documents and as-built drawings, to conduct Safety System Functional Inspections and to provide formalized training to improve the quality and timeliness of safety reviews and plant modifi-cations. Architect Engineers (AE) were placed on retainer and effectively used to supplement the licensee's staff, providing the licensee with a wide spectrum of engineering resources at short notic As a result of the above efforts, the following improvements were noted in the support provided by the corporate Technical Function Division staf Unlike pre-vious outages, the corporate staff was able to complete practically all engineering work prior to the commencement of the recently completed 12 R outage. The engi-neering work back log was substantially reduced during this assessment perio Prompt, conservative and comprehensive corrective actions for ISI and Appendix R issues were developed and provided to the site. The engineering support provided to resolve the isolation condenser steaming issue and the associated AIT concerns-was thorough, well coordinated, of good quality and was provided in a timely manne The licensee's efforts to address NRC Bulletins 79-02 and 79-14 were also extensive and of good quality. However, it must be noted that it took the licensee almost ten years to complete this task.


In response to weaknesses noted in the Dyster Creek Security Program, the following actions have been or will be taken, in addition to any specific corrective actions noted in any previously submitted reports:
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o, The number of tours by the shift commanders was doubled from one to two per shift. The shift commanders were instructed to be particularly alert for unusual situations relating to outage work.


They were also instructed to interact with the Security patrols and fixed posts to assure alertness and attentiveness.
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o Security coverage in critical areas was increased.
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In spite of the above improvements in capability and performance, several instances of inadequate engineering and technical support were noted. Examples of these problems are discussed later in this sectio Since similar problems were not observed when site and corporate resources were both focused on the same technical issues, it appears that the licensee still does not have an effective mechanism to determine when site and corporate coordination is necessary or to always engage and employ appropriate combinations of licensee resources to resolve site engi-neering problem Efforts are being made to improve communication between engineering and operations organizations. Corporate policy is being revised to encourage rotational assign-ments for engineers between corporate and sites. However, instances of inadequate communications between site and corporate personnel continue. For example, the engineering personnel did not adequately inform the operations personnel about a potential diesel generator bus over loading condition. Specific operator actions are required to avoid over loading of this bus. The necessary operator training or direction was not established as operations personnel were not aware of the required operator action Instances in which plant changes were implemented without involving the established modification process, site engineers or corporate engineers include: the replacement of a reactor coolant system sampling valve witt another valve that was three times heavier, the removal of a resin column under a work request and not under the configuration control requirements, and the change out of an IRM range switch without the system engineer involvement. As stated previously, when corporate and site technical personnel worked together, good de-signs and engineering resolution were normally produce Instances of lack of inquisitiveness to understand technical issues and to identify root causes of problems continue. For example, upon identification by the NRC of the anomalous steam line temperature during the first isolation condenser steaming event, the licensee performed a literature search for explanation. This literature search yielded no explanation and no further evaluation was conducted by the lic-ensee until the second isolation condenser developed a similar condition. Simi-larly, the licensee identified several significant weaknesses in the activities related to NRC Bulletin 79-02 and 79-14 during last SALP period; however, the lic-ensee decided to take no actions until concerns were raised by the NRC inspector As discus. sed further in the safety assessment / quality verification section, the licensee's initial resolution of the Preliminary Safety Concern (PSC) involving the inoperability of the automatic depressurization system was another clear ex-ample of shallow analysis of a newly identified proble Concerns for the adequacy of engineering resource commite.=nts to the resolution of long standing problems remains. Examples of these problems include: the erratic operation and failure of the intermediate range monitors; degradation of the emer-
Special Intake Dilution Patrol was added.
,  gency service water system discharge butterfly valve due to throttling; inadequate emergency service water pump performance; and erratic performance of acoustic moni-
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Two to four Security officers were added to Drywell manning levels, depending on Drywell work activity.
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A closed-circuit television camera was used on the refueling floor to monitor the reactor cavity area. This helped assure no unauthorized drywell access from the Refueling floor, while minimizing radiation exposure.
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As stated in the Safety Assessment / Quality Verification section of'this report,
The Security Manager met with the Operations Department to reiterate the importance of the Operations / Security interface.
  .the safety review process was generally good and the quality of the reviews improved. However, the licensee does not always appropriately document the basis for conclusions. For example, when the licensee's re-analysis of the e  torus-attached piping indicated that the calculated stresses might be above allowables, the licensee determined the matter was not reportable to the NR When questioned by the NRC, the licensee maintained that there was no safety  1 significance to this issue as the analysis was overly conservative, but had no documented analysis to back up that position. Subsequently, the licensee completed a state-of-the-art- analysis and was able to demonstrate that the stresses in question were within allowable The accuracy, quality and availability of plant engineering drawings remain a problem. Although the.SSOMI found drawings representing recent modifications to be good and to generally reflect as-built conditions, routine NRC inspections and discussion with operators determined that older drawings are frequently inaccurate, unreadable or not easily locatable. Problems precipitated by these deficiencies are il_lustrated in the following examples: (1) inadequate as-built drawings con-tributed to the stack gas monitor being made inoperable during the performance of maintenance; (2) r9nding of a loose wire in the control room resulted in a plant r+sponse different =.om that expected, based on a review of plant drawing, and (3) an operator was unable to identify the source of power to the reactor building to torus vacuum relief valve since the appropriate drawings were not readily availabl In summary,. the licensee responded positively to the concerns identified in
  . previous SALP reports. They initiated measures to enhance the effectiveness of the corporate engineering division, improved the quality of root cause analysis and engineering support, and reduced engineering work back 1.o However, examples of inadequate engineering solutions, insensitivity to technical problems, failure to meet commitments, lack of reliable design basis documents and failure to resolve long standing technical deficiencies continue to exis The licensee's engineering resources are not as effectively used at this site
,
as at TMI, although both are supported by the same corporate staff. The difficulty in correcting the recurring and long standing problems at this site I
i  may be explained by the volume of the issues; the latter, in large part, is precipitated by the vintage and age of the plan It may also be explained by the lingering coordination problems and communication gap between this site and the corporate engineering office. However, the licensee has made significant progress in resolving issues and the performance for the assessment period has
.
shown improvement, particularly with regard to corporate activitie IV. Conclusion    i
          '
Category !
IV. Recommendations Licensee: Non NRC: Perform a SSFI during the fourth Quarter of FY 8 .. __
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This information was conveyed to all Operations shift personnel.
IV.G Safety Assessment / Quality Verification (417 Hrs., 5%)
 
IV. Analysis In previous SALP reports, Assurance of Quality and Licensing Activities were evalu-ated in separate sections of the report. This new section (Safety Assessment /
-
Quality . Verification) has been created not only to consolidate those two sections but also to encompass activities such as safety reviews, responses to NRC generated initiatives such as Generic Letters and bulletins and to provide a broad assessment of the licensee's ability to identify and correct problems related to nuclear safet In the previous SALP, Assurance of Quality and Licensing Activities both~ received Category 2 ratings. At that time, it was noted that the trend indicated that the licensee had improved in the licensing area. The SALP report identified as strengths management's commitment to safety and quality training programs for management, craft personnel, and corporate level personnel, and other changes made to improve overall management effectiveness and good communications between I
Security has taken the initiative to be in regular attendance at the " Plan of the Day" meetings.
licensee management and NRC staff. Weaknesses included procedure compliance, unplanned' outages from equipment malfunction, engineering support, and operation Licensee performance regarding timely suomittals of LERs was also identified as an area requiring improvemen During the current SALP period 78 licensing actions were under review. Action has been completed on 39 of these actions. Many of the significant actions com-pleted involved complex issues and were generally well planned, technically sound, showed thorough licensee analysis and in most cases were timely. Examples include upper drywell shell corrosion problems, compliance with ATWS Rule (10 CFR 50.62),
 
I  and new curves for operation beyond 10 effective full power years. However,
-
'
Based on the shortage of available cont,*act guards to support the added outage workload, the plans for the next outage call for using temporary GPU Nuclear personnel, rather than contractor l
there were some issues where extensive staff interaction was required to resolve issues and some miscellaneous amendments and SEP items were slow being submitte The licensee's safety review process is good and in general the quality of reviews has improved. Also, the licensee is participating through industry groups to im-prove overall guidance in this area. NRC review of the 50.59 review program at
personnel. In this way, more control can be exercised in
Oyster Creek identified that in most cases reviews were of high quality. However,
obtaining quality personnei to supplement the Security force.
 
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in one case the licensee's justification was not clearly discussed and resulted l  in accepting a situation not specifically authorized by regulatio The staff has also audited the overall erosion / corrosion monitoring program in-volving the pipe wall thinning of high energy carbon steel piping systems. As a      ,
result of the audit, the staff concluded that in general the licensee's program is above industry standards. The plant has appropriate controls in place and man-agement has made a commitment to continue to implement an erosion / corrosion control program at Oyster Cree ,
i I
              )
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MAY 15. 1989
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Work. Request Forms require notification of. Security when work is .
    : being performed which could create Security-related problems.


The guidance associated with this form'has been made'more
The licensee's QA program remains generally effective. Staffing is adequate and training is appropriate. QA monitorings were detailed, comprehensive, and con-ducted by knowledgeable personnel. The licensee has a comprehensive system of audits to verify conformance with all aspects of the QA program. Audits were thorough and comprehensive. The licensee has also substantially revised their QA plan to enhance oversight and refocus QA responsibilit Followup to QA findings in most instances was found to be appropriate. However, in several instances, such as the inadequate safety review program for maintenance short forms, the QA findings had to be escalated due to insufficient corrective action and slow response from management. Also, the finding that certain plant modifications were being used by the plant before completing the formal modifica-tion turnover process was not addressed. QA reviewed storage of spare parts in shop spaces and took some corrective action, but did not document those finding This is one instance in which both improper activities were being conducted and QA was ineffective in correcting the conditio I In the area of procurement and spare parts control, NRC reviews have identified deficiencies which reflect weaknesses. These included procedural problems and the absence of controls for spare parts housed outside the warehouse. The latter -
     ; explicit to help avoid future problems.
problem had been identified by the licensee's QA organization, but effective cor-rective action had not been implemented. Improper control of shop spare parts permitted defective components to be installed in source range monitors prior to refuelin Satisfactory performance of the licensee's offsite review committee (GDRB - General Office Review Board) was noted. The issues reviewed and the board's presentation of findings to management is satisfactory. Improvement in the onsite review group (PRG - Plant Review Group) was also noted particularly in the areas of review of events and the more prompt issuance of procedure change During this SALP period, NRC inspectors and the licensee were made aware of com-plaints oealing with management relations which fostered poor worker attitudes,
     ~
low morale, high turnover rates, and low productivity. A completed licensee in-vestigation was thorough and made certain recommendations aimed at improving wor-ker/ management relation The licensee continues to maintain an adequate training facility and staf One deficiency noted was the submittal of out-of-date and incomplete training material for NRC exam preparation. Also, committed training of fire watches was not conducted. A significant improvement has been made in the training of maintenance mechanics. Maintenance management provided a new mechanical main-tenance laboratory for improved on-the-job training. Plant engineering also maintains their own training program for the purpose of providing in-depth understanding of plant systems. It was noted little interaction between operators and the newly created system engineers was taking place. The inservice inspection staff demonstrated a good understanding of ASME Code and regulatory requirements indicating effective training in this are The licensee is continuing to apply the concept of teamwork and leadership to programs in the organization.


The following activities,= while not done directly in response to the issues '
_ - _ _ - - _ _ _ _ _ _ _ _ _
noted above, have been taken to improve the overall. effectiveness of the Security program.


o Extra initiatives.were taken in the Fitness for Duty area:
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All new outage contractors were drug screened prior to obtaining unescorted access.
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Problems were identified with operator training on E0Ps. As a result, contracted time has been increased on a generic simulator. A plant specific simulator will not be available until October 199 GPUN maintains a policy for its employees which stresses a high standard of integrity and procedure adherence. This is frequently reinforced through training and memoranda from management. In order to improve performance at Oyster Creek, an employee attitude survey was conducted and efforts were made to resolve concerns expressed. Surveys were conducted to essess personnel attributes in order to balance shift crews to maximize shift performanc Also, the licensee has within the Onsite Safety Review Group initiated a Human Performance Evaluation System to further aid in providing recommendations to improve operations. The group's efforts were hampered due to the inability to provide a full staf In general, the licensee is taking many initiatives to improve performanc During the defueling recently conducted, numerous errors occurred. Each of these individual errors were appropriately critiqued and corrective action take In an effort to impruve defueling activities, direct involvement of the Vic > Prcsident and Director, Oyster Creek, occurred. The direct involvement of a high level of management becoming heavily involved in operations when other measures appear to -
  . An extra outside patrol-- was added to'look for contraband material. or'-
have failed is considered to be a positive mov Quality Assurance audits of radiological controls effluent and surveillance acti-vities was gor 1. However, due to the overall poor performance of the onsite radi-ation protect ' program, it was conc'luded that the quality assuring activities such as audits, assessments, and critiques were not effective in assuring qualit The licensee has in place a procedure by which employees may bring safety concerns to the attention of management. These issues are processed as Preliminary Safety Concerns (PSC). Although a good initiative, several problems have been identified, including timeliness of resolution, quality of reviews performed and a perception on the part of some licensee employees that the system will not effectively resolve issues. In two cases, superficial reviews were performed and the items close Subsequent review identified that corrective action was necessar In these in-stances, the PSC process failed to correct the valid safety concern NRC assess-ment overall is that the PSC program is not performing as the licensee intende The quality of the licensee's LERs continues to be good. The late reporting of LERs was a problem in the past. This deficiency has been corrected. Supporting data and summaries provide additional information related to LER Significant findings associated with LERs include one instance where control room procedures were not updated to reflect conditions described in a report, an instance where information was not reported clearly, and one instance which described a condition in which an improvement in control room command responsibilities may have pre-vented a violatio In another instance, an incorrect fuel zone level instru-ment evaluation was performe This was not recognized by the licensee and the item was closed. One noteworthy finding was that LERs reported conditions that had been previously identified in Preliminary Safety Concerns. Overall, LERs
consumption of. alcoholic beverages in the parking areas.
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A'11. security personnel were alerted to be observant for persons entering the Protected Area'. unfit for. duty.
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reported 17-events related to Technical Specification requirements, 6 related to  {
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design criteria, 4 to Appendix R, and one to Appendix J. In general, no single '
  .The last annual Site Emergency Drill utilized a. Security Event as the drill scenario. This not only. tested normal emergency response capabilities, but also challenged the Security force response and the Operations / Security interfaces.
cause could be attributed as responsible for any significant number of event In summary, management attention and involvement were responsive to licensing issues, and licensing problems have generally been dealt with effectively and in a timely manner. QA monitoring and audits were generally good; however, correcting of some QA findings was not timely. Offsite committee performance
 
    'is good and improvement in onsite committee performance has been noted. The licensee has in place policies which stress high standards of integrity. A strong emphasis on training is being maintained. Deficiencies needing attention were noted in the areas of installation and storage of shop spare parts. A more significant concern which requires prompt and thorough resolution is the effectiveness of the Preliminary Safety Concern process to identify and correct deficiencie IV. Conclusion Category IV. Recommendation Licensee: Review current and previously closed Preliminary' Safety Concerns to verify that no outstanding safety issues remain unresolve NRC:  Non i
.o GPU Nuclear, at its own' initiative,' implemented the NUMARC Access Authorization program for personnel screening prior to granting unescorted access. A new person seeking unescorted access must:
_ _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - -
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have a successful psychological test
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have a successful 5-year comprehensive background check
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be fingerprinted
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be covered.by a behavioral observation program Prior to this change to the program, only a letter stating three years of good work bistory was required for contractor personnel.
 
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GPO Nuclear, through its efforts, identified an industry-wide problem with the administration of INPI Examinations. GPU Nuclear took prompt corrective actions and notified the NRC and others in the ruclear industry, o
A significant new effort was undertaken to do joint tactical training on a continuing basis with the Ocean County Sheriff's Tactical Armed Response (STAR) team.
 
While we acknowledge the deficiencies and areas needing improvement, and have undertaken actions to respond, we believe performance did not deptade as stated in the SALP Overal? Summary, but in fact improved.


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l-  SUPPORTING DATA AND SUMMARIES
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l Investigations and Allegations Review A.1 Investigations
        ,
The NRC Office of Investigations completed two investigations during the SALP period. One involved a self-initiated investigation to determine whether or not licensee statements made to NRC inspectors constituted a willful material false statement. The other involved investigation into the reported destruction of a portion of an alarm tape by a licensed control room operator following the viola-tion of a Technical Specification Safety Limit, i
A.2 Allegations During this assessment period, seven allegations were received and acted upo One remains open and five were closed. One was closed with the subject incorpor-ated into a future inspection plan. Only one allegation was substantiated. The one open allegation was turned over to the licensee for evcluatio Escalated Enforcement Actions B.1 Civil penalties One civil penalty involving a Technical Specification Safety Limit Violation that occurred during the previous SALP period, was issued during the current evaluation perio B.2 Orders Non Confirmatory Action Letters Non Licensee Event Reports During the last assessment period 45 LERs were generated and during this period 46 reports were generated with four of these identified as voluntary report Reports for the last period were generated at the rate of 3.9/ month and for this period at the rate of 2.8/ mont The greatest single cause for the events reported is personnel error. Eleven of the 46 LERs reported (24%) were attributed to personnel error. The next largest cause was attributed to equipment failure which was 8 (17%). The number of LERs attributed to personnel error is decreasing. During the last period 64% of the reports were attributed to personnel error. Analysis of the cause of personnel errors did not indicate a general training proble SD/S-1
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Four events resulted from reactor scrams when shutdown, generally due to neutron system noise' spikes. Three were due to standby gas treatment system initiations resulting from water accumulation in the offgas line. Action has been taken to correct this conditio To the extent possible during the NRC review of the LERs, where applicable, a con-tributing cause was assigned. The most frequently noted contributing cause was judged to be lack of management attention / poor supervision. Eleven of the 46 LERs (24%) had this attributed as a contributing caus The most frequent methods of identification of the LERs were control room indica-
  - tion 15, surveillance testing. (6) and design reviews (5) . Types of equipment in-
  -volved were mechanical 18, instrumentation (12) and electrical (6). No specific conclusions were drawn from these statistic The most frequently identified licensee corrective actions specified in the-reports were procedure changes (16), failed equipment repaired (10), increased training (8), and making the report recuired reading (10). The effectiveness of the cor-rective actions are difficult to assess, particularly the required reading of the LER Overall, LERs reported Technical Specification. violations (17), violations of de-sign criteria (6), of Appendix R (4), and one of Appendix J. In general, no single cause could be attributed as responsible for any significant number of event Not identified as an LER at Oyster Creek but reported by another facility was the design service water temperature being exceeded. The licensee has determined the 85 degree design service water temperature was exceeded. However, to date no de--
termination of deportability has been made nor has the licensee's evaluation of the effect of a higher than design service water temperature been complete SD/S-2
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OC SALP-u MAY 15, 1989 E >
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Functional Area: Engineering / Technical Support The action plan as a follow on to the Technical Support Self-Assessment -
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  '(TSSA) commenced in 1988 with several of the items completed prior to the end-f-
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of the SALP period. The activities completed, underway, or i.' the developmental stage'should constructively contribute to enhancement of engineering' support.
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The.four areas'we would like to address in the Engineering /Techcical Support portion of the SALP are: 1) development of the Design Basis Documents;'
2) conduct of Safety System Functional Inspection (SSFIs);_3) further upgrade the drawings frequently.used; and 4) development of an improved working interface between site and~ corporate personnel.
 
-
DESIGN BASES DOCUMENTS-The initial pilot program to develop'two design basis documents (DBD) for Oyster Creek is underway. The products of the first two systems are expected in the third quarter of 1989. The success of this effort will mold the future plans which-presently envision four additional system DBDs per year for several years. This effort is being lead by the systems engineer responsible for each chosen system. Working with counterparts at the site and other members of the staff, improved documentation and understanding of the system will result, as well as an improved working relationship between the assigned corporate and site-based systems engineers.
 
SAFETY SYSTEM FUNCTIONAL INSPECTION A program to conduct two SSFIs is underway with the results expected in the third and fourth quarters. One of these SSFIs will be on the same system as a DBD which should assist us in evaluating that product. Current plans are to conduct four additional SSFIs in the next two years.
 
DRAWING UPGRADES The_ Oyster Creek Drawing Consolidation Project is converting approximately 750 drawings into computer-aided design products. This will have the dual benefit of significantly improving the legibility of the drawings and the usability of the drawings. The drawings selected include all of the plant P& ids, electrical one-lines, and a very large number of the most frequently used electrical elementary drawings. This project was awarded in April 1989 and is scheduled for completion by the end of 1990. A second project to improve the legibility of approximately 800 additional drawings by conventional ;
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s TABLE'I ENFORCEMENT ACTIVITY'
OC SALP        (
  ' Enforcement Activity NUMBER OF' VIOLATIONS:BY' SEVERITY LEVEL Functional Area- V: IV III' II I- -DEV- TOTAL-Plant Operations  1 3 1 5-e Radiological Controls  9   9 Maintenance / Surveillance  1    1
j, fMAY 15, 1989        l L
   ' Emergency Preparedness
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means is also underway. This program .is scheduled for completion by the end-of 1989. These two projects are the latest phases of a program which began'in 1981.to walk down systems and assemble, update, upgrade and control-drawings at   l
Securit *
   ' Oyster Creek. Since its inception,.approximately ten thousand. revisions to-drawings have been issued under this program.
Engineering / Technical Support 2 8  10 Safety Assessment / Quality Verification 1 __ __ __ _ __


WORKING INTERFACE-       d There have been a number of management and staff initiatives to improve the-interface'between site and corporate personnel. Engineering interface' meetings are being held approximately twice each month to review and improve the   .I coordination of ongoing ~ engineering, activities. Additionally, on each new significant modification project,. kickoff meetings'are now being held to assure that the_ appropriate' interaction.and awareness exists between site and corporate personnel responsible for the modification. Finally, senior management interface meetings.have been initiated'to review longer-term profects of importance to the engineering support staffs. TheLinitial meeting was held in July 1988, with the next meeting deferred until after the 12R outage. The next meeting will be conducted by September, 1989 and thereafter held on a semi-annual basis. We believe these diverse efforts will play a significant role in improving the interface between site and corporate personnel.
TOTAL- 6 23  1 30*
   '*0ne additionalfsecurity vio1+ tion is pending final enforcement action determina-tion.


.
, ' Violation Summary REPORT  SEVERITY FUNCTIONAL NUMBER REQUIREMENT LEVEL AREA- DESCRIPTION 87-28- 10 CFR 50 App. V Maintenance / Identified maintenance Criterion XII  Surveillance and test equipment
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discrepancies not evaluated as require Physical Security IV Security Vital area barrier Plan    found to have been'
_ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _
degrade L T.S. 6.13, High IV Radiological Worker entered high
  . Radiation Area  Controls radiation area without dose rate instrumen T-I-1 '
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REPORT  SEVERITY FUNCTIONAL NUMBE REQUIREMENT LEVEL AREA DESCRIPTIO '87-39 T.S. 6.13 High IV Radiological Control of high radi-Radiation Area  Controls ation area acces T.S. 6.11, Radiation IV Radiological Failure to adhere to Protection Process  Controls the requirement-of a radiation work permi ~
87-41 T.S. 6.8.1, Station IV Operations Failure to follow pro-
      .
Procedures  cedures. relating to-positioning of valve CFR.50.59 IV Engineering / Failure to perform Tech Support safety evaluation for for reactor building heating system being out of service for ap-proximately two year T.S.'6.8.1, Station IV Engineering / Inadequate procedure Procedures  Tech Support review ;T.S. 6.8.1, Station IV Engineering / Controls to effect Procedures  Tech Support procedure revision ]
l 88-04 T.S. 6.8.1, Station IV Engineering / Failure to adhere to Procedures  Tech Support procedures relating ;
to snubber operabilit CFR 50, App. 3 IV Engineering / Failure to take prompt Tech Support corrective action'to a nonconforming condi-tion identified during snubber surveillanc CFR 10.101 (b) IV Radiological Failure to conduct Controls adequate survey T.S. 6.11, Procedure IV Radiological Failure to adhere to for Personnel  Controls radiation work permit Radiation Protection  requirement T.S. 3.12. A.1, Fi re V Oper ations Fire detection instru-Detection Instrumen-  mentation pressure tation  switch valved ou T-I-2 i
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E LOC SALP-MAY 15, 1989      j Functional Area: Safety Assessment /Ouality Verification l
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The two major areas we would like to address.in the Quality. Verification portion'of this functional area are effectiveness of the Quality Assurance (QA)
        ,
; Program and corrective action follow-up.
;
A REPORT  SEVERITY FUNCTIONAL NUMBER REQUIREMENT-  LEVEL- AREA DESCRIPTION
  '88-14 Fire Protection-  DEV ' Operations Inadequate training Program    program for ignition
,
source fire watche CFR 50.59 .IV Engineering /. Performance of an Tech Support improper safety evaluatio T.S. 3.4.C, .
IV Operations Operation with one Containment Spray  - containment spray loop'
L and-Emergency    out of service for a Service Water    period greater than System Operability  allowe .T.S. 6.8.1, Station IV Operations System placed into Procedures    service without current valve checkof i 88-21 T.S.L6.8.1, Station IV Engineering / Modification placed Procedures  Tech Support into service without=
control room drawing being update .CFR 50, App J  IV Engineering / Containment airlock Tech Support not tested as require CFR 50, App. R  V Engineering /. A failure to meet Ap-Tech Support pendix R requirements was promptly corrected and no written viola-tion was issue '88-31' 10 CFR 20.201,  IV Radiological- ' Failure to conduct a Surveys  Controls surve T.S. 6.11, Radiation I Radiological Worker failed to comply Protection Program  Controls with the requirements of a radiation work-permi CFR 50.54 (p),  V Security Change to physical Physical Security  security plan without System    Commission approva T-I-3
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These issues are closely related and both generally point out weaknesses in identifying the extent of. the problem sufficiently and implementing ef fective corrective actions.
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REPORT .
SEVERITY FUNCTIONAL  q
  ' NUMBE REQUIREMEN LEVE AREA DESCRIPTION  -
88-33 10 CFR-50, App. B IV Safety Assess- Failure to control ment / Quality storage.of items out-Verification side warehous Physical Security IV Securi ty.: Degraded vital area Pla barrier.


As a result of the SALP comments and GPU Nuclear identified needs, the following actions are being planned:
,
  ). GPU Nuclear will identify and implement "QA Verification Technique" training for appropriate personnel by December 31, 1989.
88-33 10 CFR Part 73.71, .IV security Failure to report de-App. G, Sect. I.(c)  graded vital area bar-g      rie F.:
88-35 , T.S. 6.8;1, Station V ' Engineering /. Several procedures, Procedures-  Tech Suppor issued without approval signature .CFR 20.201 (b) IV ' Radiological- Failure to evaluate Controls radiation hazard created by control rod drives awaiting pro-cessin T.S. 6.8.1,. Station IV~ Radiological Inadequate procedure Procedures  Controls for the control of rod drive wor T-I-4
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2. The corrective action program for handling QA identified deficiencies will be evaluated and any appropriate changes will be completed by -
_ _ _ _ _ -
September 1, 1989.
,-,. .
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In addition, GPU Nuclear had previously identified that responsiveness to QA deficiencies was a problem. Accordingly, the Oyster Creek Plan for Excellence contains action plans to improve responsiveness. These plans contain, as a central theme, greater use of the Director's weekly 0A meeting as-a vehicle to identify responsiveness problems and achieve resolution. For example, deficiencies open longer than 60 days are now being. reviewed monthly at the meeting. In addition, quality deficiencies are tracked in the Station 3 Action Item Tracking System to improve management visibility of overdue items.
TABLE II LISTING OF LERS BY FUNCTIONAL AREA AREA    A B C D E X TOTALS Operation  5 4 2 1 1 13 Radiological Controls  2 1  3 Maintenance / Surveillance  2 4 6 2 14 Emergency Preparedness Security Engineering / Technical Support  6 7 2 1 16 Safety Assessment / Quality Verification __ __ __ __ __ __
TOTALS 15 16 10 4 1 46 Cause Codes *:
A - Personnel Error 8 - Design, iianufacturing, Construction or Installation Error C - External Cause D - Defective Procedure E - Component Failure X - Other
  *Cause Codes in this table are based on inspector evaluation and may differ from those specified in the LER.


ACTION ON NRC SALP REC 0tHENDATION The SALP recommendation in the Safety Assessment, Quality Verification section.was to review the current and previously closed Preliminary Safety i Concerns to verify that no outstanding safety issues remain unresolved.
l T-II-1 I


This review was completed and the results documented to the NRC by letter dated March 21, 1989. In addition the Potential Safety Concern procedure has recently been significantly revised. Major enhancements include:
s
  -
Provides definitive criteria for what constitutes a safety concern.
 
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Emphasizes the resolution of a safety concern rather than just the deportability aspect.
 
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  - -
  ; Assigns, responsibility for disposition of a safety concern to the cognizant technical department.
 
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Establishes reouired time frames for the determination'of deportability 3nd or the existance of.a' safety. concern.
 
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  .T.equires that upper management ' approve- the' final' determinations.
 
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Latest revision as of 23:07, 30 January 2022

Corrected SALP Rept 50-219/87-99 for Oct 1987 - Jan 1989
ML20247H733
Person / Time
Site: Oyster Creek
Issue date: 09/08/1989
From:
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
To:
Shared Package
ML20247H724 List:
References
50-219-87-99, NUDOCS 8909200083
Download: ML20247H733 (41)


Text

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,g ENCLOSURE 1 U.S. NUCLEAR REGULATORY COMMISSION

REGION I

l SYSTEMATIC ASSESSMENT OF LICENSEE PERFORMANCE FINAL REPORT 50-219/87-99 GENERAL PUBLIC UTILITIES NUCLEAR CORPORATION OYSTER CREEK NUCLEAR GENERATI0h' STATION ASSESSMENT PERIOD: OCTOBER 1, 1987 - JANUARY 31, 1989

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BOARD MEETING DATE: MARCH 14, 1989 i

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TABLE'0F CONTENTS PAGE- I n t ro d u c t i n . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1 I.A Background...................................................... 2 I.B Licensee Activities............................................. 2 l I.C Direct Inspection and Review Activities......................... 3 I S umma ry o f R e s u l t s . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . S I I . A O v e r a l l S umm a ry . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . S II .B Facility Performance Analysi s Summary. . . . . . . . . . . . . . . . . . . . . . . . . . . 6 1: II.C Unplanned Shutdowns, Plant Trips, and Forced Outages. . . . . . . . . . ... 7 I I I . C r i t e r i a . .. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8 I Performance Analysis................................................. 10 I Plant Operations. ......................................... 10 I Radiological Controls...................................... -14 IV.C- Maintenance / Surveillance................................... 18 I Emergency Preparedness..................................... 22

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Security................................................... 24 IV.F- Engineering / Technical Support.............................. 26

'I Safety' Assessment / Quality Verification..................... 29 SUPPORTING DATA AND SUMMARIES Investigations anc Allegations Review................................SD/S-1 Escalated Enforcement Actions........................................SD/S-1 Confirmatory Action Letters..........................................SD/S-1 Li c e n see Ev e nt Repo rt s . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . SD/S-1 TABLES Table I - Enforcement Activity Table II - Listing of LERs by Functional Area i

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.. INTRODUCTION The Systematic Assessment of Licensee Performance (SALP) program is an integrated agency effort to collect and evaluate available agency insights, data, and other information on a plant / site basis in a structured manner in order to assess and better understand the reasons for a licensee's performance. Unacceptable perform-ance'is addressed through NRC's enforcement policy and the implementation of this policy should not be delayed to await the results of a SALP. Compliance with NRC rules and regulations satisfies the minimum requirements for continued operation of a facility; the degree to which a licensee exceeds regulatory requirements is a measure of the licensee's commitment to nuclear safety and plant reliabilit The SALP process is used by the NRC to synthesize its observations of.and insights into a licensee's performance and to identify common themes or symptoms. As such, the NRC needs to recognize and understand the reasons for a licensee's strengths as well as weaknesses. The SALP process is a means of expressing NRC senior man-agement's observations and judgements on licensee performance. It should not be l

limited to focusing on weaknesses, and it is not intended to identify proposed resolutions or solutions of problems. The licensee's management is responsible L for ensuring olant c,afety and establishing effective means to measure, monitor, I and evaluate the quality of all aspects of plant design, hardware, and operation, i The SALP process is intended to further NRC's understanding of (1) how the licen-see's management guides, directs, evaluates, and provides resources for safe plant operations, and (2) how these resources are applied and used. As a result, ein-phasis is placed on understanding the reasons for a licensee's performance in identified functional areas and on sharing this understanding with the licensee and the public. The SALP process is intended to be sufficiently diagnostic to provide a rational for allocating NRC resources and to provide meaningful feedback to the licensee's managemen An NRC SALP Board, composed of the staff members listed below, met on March 14, i 1989, to review the observations and data of performance, and to assess licensee l performance in accordance with Chapter NRC-0516, " Systematic Assessment of Licensee Performance." This guidance and evaluation criteria are summarized in Section III of this report. The Board's findings and recommendations were forwarded to the-NRC Regional Administrator for approval and issuanc This report is the NRC's assessment of the licensee's safety performance at Oyster Creek for the period October 1, 1987 to January 31, 198 The SALP Board for Dyster Creek was composed of:

SALP Board Board Chairman W. Kane, Director, Division of Reactor Projects (DRP)

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'S.' Collins, Deputy Director, DRP M. Knapp, Director, Division _of Radiation Safety and Safeguards (DRSS) (part time)

T. Martin, Director, Division of Reactor Safety (DRS)

'L. Bettenhausen, Chief, Projects Branch _No. 1, DRP R. Gallo, Chief, Operations Brt,ch, DRS (part time)

-C. Cowgill, Chief, Reactor Projects Section IA, DRP

'J. Wechselberger, Senior Operations Engineer, NRR (voting for Senior Resident Inspector)

/J. Stolz, Director, Project Directorate 1-4, NRR A. Dromerick, Project Manager, NRR W. Johnston, Deputy Director, DRSS (part time)

Other W. Baunack, Project Engineer, DRP D. Lev, Resident Inspector E. Collins, Senior Resident Inspector I.A Background Dyster Creek is a GE BWR/2 with a Mark I containmen The Construction Permit was issued in December 1964 and commercial operation commenced on December 23, 1969 at 1600 Megawatts therma This unit was delivered to Jersey Central Power and Light Company.fo operation as one of the first GE " turnkey" reactor plants. Later, the unit's licensed power was increased to 1930 Megawatts therma The nuclear steam supply system differs from later model BWRs in that it uses 5 reactor recirculation pumps and the reactor vessel has no internal jet pumps. The emergency core cooling systems consist of two low pressure core spray systems, 2 1 solation condensers for heat removal, and an automatic depressurization syste I.B Licensee Activities At the beginning of the assessment period, the plant was shut down in accordance with a confirmatory action letter. This letter was issued as a result of a safety limit violation which occurred on September 11, 1987. On November 6, 1987, a let-ter permitting restart was issued to the licensee. Dn November 20, 1987, the In-ternational Brotherhood of Electrical Workers initiated a strike against the util-ity. Management personnel assumed the duties of bargaining unit personnel and preparations for plant startup continue Reactor startup occurred on November 22, 1987 and the turbine was placed on line on November 24, 1987. The startup and subsequent plant operation were conducted by supervisory personne l

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On December 11, 1987, the strike was settled. Returning workers were trained and reoriented before resuming normal duties. Plant operation continued at full power with only minor power reductions for surveillance or maintenance until July 9, 1988 when, following main steam isolation valve (MSIV) surveillance testing, no steam flow was indicated in the "A" steam line. A shutdown was initiated and the plant was placed in cold shutdown on July 10, 1988. This terminated a 229 day continuous ru Subsequent investigation of the cause of no steam flow in the "A" steam line re-vealed an MSIV stem failure. Following MSIV repairs a plant startup commenced on August 9, 1988, and the generator was placed on the line un August 1 On August 28, 1988, the "B" isolation condenser started " steaming" following a six day out of service period for maintenanc On September 2, 1988, a plant shutdown was initiated due to both isolation condensers being declared inoperable. One isolation condenser was inoperable due to maintenance; the other due to a manual i vent line valve being found in the closed position. The shutdown was terminated after the vent valve was opened and noncondensibles were calculated to have been purged on September 3, 198 On September 26, 1988, following a surveillance of the "A" isc.lation condenser it also began to " steam". On September 29, following an evaluation of isolation con-denser conditions, both condensers were declared inoperable, and a plant shutdown was initiated. Cold shutdown was achieved on September 30, 1988. Following the shutdown a decision was made to commence the Cycle 12 Refuelinq Outage which was originally scheduled to begin on October 15, 1988. The plant remained shut down for the remainder of the SALP perio On May 1, 1988, a new Vice President and Director of Oyster Creek was appointe The previous Director of Oyster Creek was appointed Vice President and Director of a new GPUN division encompassing corporate-wide training and education and quality assurance program I.C Direct Inspection and Review Activities Three NRC resident inspectors were assigned to the site. One new resident was assigned in January,1988; the third resident was assigned in July 1988. Addition-ally, two temporary resident inspectors were assigned for a period of six weeks each. The total inspection time for the assessment period was 8569 hours0.0992 days <br />2.38 hours <br />0.0142 weeks <br />0.00326 months <br /> (resident, ,

region and headquarters based) with a distribution in the appraisal functional area l as shown with each functional area. This equates to 6427 hours0.0744 days <br />1.785 hours <br />0.0106 weeks <br />0.00245 months <br /> on an annual basi Special inspections included the following:

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Special team inspection to assess the safety significance of freezing condi-tions identified in the reactor building on January 6,1988 (January 25-29, 1988).

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The annual emergency preparedness exercise was held on May 11-12, 198 l

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Special team inspection to review the circumstances and events leading up to a subsystem of the' containment' spray / emergency service water being returned to service exceeding operability acceptance criterion (July 11-15,1988).

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Regulatory l Effectiveness Review conducted July 18-22, 198 ' Specit.l. team inspection to review licensee's evaluation and response to a main steam isolation valve broken stem (July 18-22,1988).

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Emergency Operating Procedure inspection conducted September 6-15, 198 ' Augmented. Inspection Team inspection to review the circumstances,~ events and licensee response.to a situation where both emergency condensers were inoper-able (October 5-13,1988).

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Safety System Outage Modification-Inspection conducted October 17 through November 4, 1988 and November 28 through December 16, 1988.

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II. SUMMARY OF RESULTS II. A Overall Summary i

Overall, inconsistent performance was again noted at the facility. Improvements '

were made in the plant material condition, the number of forced outages were significantly reduced and there were no plant trips. In addition, the number i of operator errors was reduced. In contrast, however, performance in the areas of Security and Radiological Controls degraded during the perio The site and corporate management have undertaken many new initiatives to improve the performance of the facility both in the area of safety and plant performanc GPUN maintains a policy for its employees which stresses a high standard of integrity and procedure adherence and a concept of safety before schedule. This policy is well understood but inconsistently applied at the lower levels of the organizatio Licensee programs to surface and correct deficiencies are in place but, are not fully effective. A preliminary safety concern program has evidenced problems in bringing issues to closure and providing feedback to individuals. Interfaces between operators and their management have not worked well ?o resolve identified deficiencies. Communications problems between the operations c'epartment and support organizations have also been note In the Radiological Controls area, weaknesses were identified that contributed to a decline in the program's effectiveness. Those weaknesses include ineffective root cause analysis, incomplete control and planning of radiological operations, incomplete corrective actions on identified problems, and tax worker attitude The licensee has made significant progress in reducing the maintenance backlog at the facility and instituted changes to further enhance maintenance effectivenes A new training program for maintenance technicians and a shift to a computerized maintenance control system have been implemented. Rework remains a problem at the facility and problems were identified associated with implementing the maintenance control progra In the area of Technical Support, the licensee has actively responded to previous SALP concerns. These efforts have resulted in an enhanced root cause analysis of engineering support and a reduction in the engineering work backlo Some examples of insensitivity to emerging and long standing technical problems still exist. Communications between site and corporate engineering were weak at times and as a result the licensee's engineering resources were sometimes not effectively used. The difficulties encountered in correcting some of the long standing problems are due in part to issues resulting from the age of the plant, the volume of issues to be resolved, and an ill-defined plant design basi Development of a sound design basis for the plant is an essential element central to attaining substantial overall improvement in facility performance.

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In summary, the licensee remains committed to establishing and implementing programs to sapport safe, efficient operation of the facilit Full application a'id integration of these initiatives is hindered by the age and design of the facilit These equipment and material issues continue to challenge pcrsonnel performance and stress the licensee's organizatio II.B Facility Performance Analysis Summary This SALP report incorporates the recent NRC redefinition of the assessment func-  !

tional areas. Changes include combining the previously separate Maintenance and Surveillance areas and addition of the Safety Assessment / Quality Verification are The Safety Assessment / Quality Verification section is largely a synopsis of obser-vations in other functional areas. Additionally, the Fire Protection, Licensing, Refueling / Outage, Training, and Assurance of Quality areas have been incorporated into the remaining functional areas as appropriat Rating Rating Last This Functional Area Deriod* Period ** Trend Plant Operations 3 3 Improving Radiological Controls 2 3 -- Maintenance / Surveillance *** 2/2 2 --

~ Emergency Preparedness 2 2 -- Security 1 2 -- Engineering / Technical Support 3 2 -- Safety Assessment / Quality Verification # 2 -- Licensing Activities 2 # -- Training & Qualification Effectiveness 2 # -- Assurance of Quality 2 # --

October 16, 1986 to September 30, 1987

October 1,1987 to January 31, 1989

      • Previously addressed as separate areas of Maintenance and Surveillanc # Not addressed as a separate are NOTE: It is important to note that a major revision of the SALP Manual Chapter has been made which combined some areas and made changes to the attri-butes in the functional areas. Therefore, a direct comparison of the functional area grades cannot be made between the previous SALP and the current on I

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.c., II.C Unplanned-Shutdowns, Plant Trips, and-Forced Outages

' POWER ROOT FUNCTIONAL-

'0 ATE . LEVEL' DESCRIPTION CAUSE AREA'

7/9/88 40% During testing one MSIV Main' Steam N/A 2 failed to close. The series isolation 1 MSIV was closed and disabled . valve (MSIV)

until the operability of stem had sepa- 1 the affected valve could be~ rated from the'

established. After several pilot poppe attempts, the MSIV appeared Root cause for to close and open within the the shear fail-normally expected stroke ure of the MSIV-times. After attempting to stem has not open both MSIV's, no steam been determine flow was. indicated in the "A" steam line. A shutdown of

.the reactor.was initiated to determine the cause of n steam flow in the "A" ste.4m line header and make appro-priate repairs 9/29/88' 99% An evaluation.of thermal During main- N/A profiles of the isolation tenance of'

condenser piping concluded Isolation Con-that water was present in denser valve the steam piping. Due to steam lines the potential for severe . filled with water hammer upon system wate initiation, both isolation condensers were isolated and declared inoperable and the reactor was shut down.

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III. CRITERIA

, Licensee performance is assessed in selected functional areas, depending upon L

whether the facility is in a construction, preoperational, or operational phas Functional areas normally represent areas significant to nuclear safety and.the envi ronment.- Some functional areas may not be assessed because of little or no licensee activities or lack of meaningful observations. Special areas may be added to highlight significant observation {

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The following evaluation criteria were used,- as applicable, to assess each func-tional are . Assurance of quality, including management involvement and control; Approach'to the identification and resolution of technical issues from a safety standpoint; Responsiveness to NRC initiatives; Enforcement history; Operational and construction events (including response to, analyses ~of, reporting of, and corrective actions for); Staffing (including management); and Effectiveness of training and qual'fication progra However, the NRC is not limited to these criteria and others may have been used where appropriat On the basis of the NRC assessment, each functional area evaluated is rated into to three performance categories. The performance categories used when rating lic-ensee performance are defined as follows:

Category Licensee management attention and involvement are readily evident and place emphasis on superior performance of nuclear safety or safeguards activities, with the resulting performance substantially exceeding regulatory requirement Licensee resources are ample and effectively used so that a high level of plant and personnel performance is being achieve Reduced NRC attention may be appro-priat )

l Category Licensee management attention to and involvement in the performance j of nuclear safety or safeguards activities are good. The licensee has attained a' level of performance above that needed to meet regulatory requirements. Licensee resources are adequate and reasonably allocated so that good plant and personnel performance is being achieved. NRC attention may be maintained at normal level __n _ _ _ _ _ _ _ _ _ _

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Category Licensee management attention to and involvement in the performance of nuclear safety or safeguards activities are not sufficient. The licensee's performance does not significantly exceed that needed to meet minimal regulatory requirements. Licensee resources appear to be strained or not effectively use NRC attention should be increased above normal level <

i The SALP Board may assess a functional area to compare the licensee's performance l during the last quarter of the assessment period to that during the entire period in order to determine the recent trend. The SALP trend categories are as follows:

Improving: Licensee performance was determined to be improving near the close of the assessment perio Declining: Licensee performance was determined to be declining near the close of the assessment period and the licensee had not taken meaningful steps to address this patter A trend is assigned only when, in the opinion of the SALP Board, the trend is sig-nificant enough to be considered indicative of a likely change in the performanc9 category in the near futur For example, a classification of " Category 2, Im-proving" indicates the clear potential for " Category 1" performance in the next SALP perio It should be noted that Category 3 performance, the lowest category, represents acceptable, although minimally adequate, safety performance. If at any time the NRC concluded that a licensee was not achieving an adequate level of safety per-forma nce, it would then be incumbent upon NRC to take prompt appropriate action in the interest of public health and safet Such matters would be dealt with independently from, and on a more urgent schedule than, the SALP proces It should also be noted that the industry continues to be subject to rising per-formance expectation NRC expects licensees to use industry-wide and plant-speci-fic operating experience actively in order to effect performance improvement. Thus, a licensee's safety performance would be expected to show improvement over the years in order to maintain consistent SALP rating _ _ _ _ - _ _ - _ - - . _

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I PERFORMANCE ANALYSIS IV.A Plant Operations (2840 Hrs., 33%)

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IV. Analysis The previous SALP rating in- this area was Category 3. Improvements were.noted in onshift decisionmaking, emphasis on shift teamwork, control room professional en-vironment and operator action to control water level transient Special NRC in-spection findings were. generally positive; concluding that a competent organization with strong management and effective programs were in place. However, the special inspections also observed a lack of promulgation of management goals to lower level personnel to ensure understanding of risk importance and a more inquisitive ap-proach to non-routine plant conditions. Positive observations were contrasted wit safety significant events indicating inconsistencies in program application and personnel performance. Additional assessment concluded that equipment challenges added to a decrease in the operators performance. Procedural conflicts fostering a graded approach to compliance, schedule pressure and housekeeping problems, all contributed to a conclusion of overall inconsistent operational performanc During t'eh current SALP cycle, senior operations management was. changed and the new managers encouraged an increased emphasis in identifying. problems for resolu-tio Improved periodic meetings were held with shift management to develop a bet-ter understanding of problems and.to unify operations management. Senior site management has continued to emphasize cooperation and teamwork through periodic meetings of all key site management personnel to resolve' problems and increase communication among divisional representatives at the facility. Other positive attributes include major evolutions by operational plans specifying organizational-responsibility, restart certifications, senior corporate management: review of re-start readiness, and implementation of the INPO sponsored HPES process. Senior site management took a major step in reenforcing the concept of safety before schedule, when, with the direct' involvement of the site director, refueling errors were dramatically decreased. Refueling activities were delayed to facilitate ex-tensive training sessions for operators, core engineers, and operations management to discuss the " error-free" refueling plan, refueling operations and the concept of safety before schedule. The reactor refueli'gn was subsequently conducted with-out erro The plant continuously operated for 229 days. This was due in part from increased attention to piant equipment problems. This is in direct contrast to the past when numerous reactor scrams and unplanned shutdowns have impacted plant performanc Recently the plant implemented a modification to help control reactor water level following post plant trips; this been an identified problem in previous SALP re-ports. Other positive indicators of current plant performance are the reduction in temporary procedure changes exceeding the 14 day technical specification appro-val limit, incree. sed personnel in operator training programs and periodic meet-ings between the site director and the QA organization to effect resolution of

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i quality issues. In addition, the licensee has established an Operations Coordina-tions office to alleviate some of the administrative burden from the shift super-visor during outages. This is perceived as positive; however, early in the outage, shift supervisors were at times concerned about effective communication regarding outage activitie . Operators have shown improvement by a professional attitude toward their duties and proper control room decorum; however, some distractions are still note One particular bright spot has been the determination of a few operators to identify and report potential significant equipment and system problems and to correct long standing facility problems. Operators and operations personnel in general are responsive to inspector concerns and are open in their communication Conditions are not conducive to promoting cooperation and teamwork between operators and operations middle management. Likewise, lack of support to the operators by operations middle management was noted. This was evidenced by certain equipment being allowed to remain out of service for long periods, as in the case of the reactor building heating and ventilation problems that lead  ;

to freezing in the reactor building despite operator complaints, and isolation condenser steam line temperature anomalies not being addressed. Operations management did not adequately respond to QA findings associated with the contain-ment spray / emergency service water system, and this eventually led to a plant problem. Also, the acceptance by operations management of modified systems for operation without a formal turnover of the completed modification has resulted in system operation without complete documentatio A strike occurred immediately before returning the plant to power operation in the fall of 1987. The NRC determined that the licensee's strike plans were comprehen-o sive and appropriate to address the situation. Management personnel assigned to perform operator duties during this time were thorough and knowledgeable in plant operation and startup activities. Management plans to transfer operation of the plant to union personnel after the strike were also considered highly effectiv The licensee has initiated a number of programs to improve worker attitudes and ,

increase productivity since the conclusion of the strik l During this-SAlp period, operator license examinations were successfully admini-stered to five SRO and 3 R0 candidates. It was noted that control room staffing consisted of only a five shift rotatio Operations have improved in specific areas, which may be attributed to self initi-ated actions as well as significant input from internal license and regulatory organizations. Although the plant operated continuously for 229 days, power re-ductions were required to repair plant equipment problems. Some long standing j equipment problems still persist. These include intermediate range monitors, i control rod drive hydraulic control units, safety relief valve acoustic monitors and thermocouple and various secondary equipment problem NRC observations indicate that, although daily planning meetings effectively com-municate plant and maintenance status, there are interface problems at the working level between the Operations Department and support organizations. Examples of conditions that resulted from this are: worker contamination from poorly planned post maintenance testing of the offgas system, the loss of secondary containment during isolation condenser maintenance, overlapping stack gas monitor tagouts which

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resulted in making the monitor inoperable and the removing of a station battery and the opposite train diesel from service simultaneously,- thus, making both diesels unable to respond in the event of a loss of offsite powe Operations understanding of the technical specifications and the design basis and evaluating plant conditions against these requirements is a weakness. Examples include operations attempt to startup the plant in an action statement with an inoperable offgas sample pump and three control rods made inoperable due to in-adequste operator response to low gas pressure alarm . Station procedures are genera.lly good, but have been key contributors to two major events during this SALP period. Placing the isolation condensers in a questionable condition and potentially exceeding a limiting condition for operation with the containment spray / emergency service water system were direct results of poor pro-l- cedures.. In the first case, a long standing procedure deficiency became evident j and in the second, a poor modification process resulted in the procedure problems.

l Also, during.the freezing reactor building temperature inspection, inadequate pro-l cedure reviews were discovered. In this case, the system procedure had been re-1- vised 13 times over a 20 year period without detecting that the control room reac-l tor building temperature gaugt referred to in the procedure was never installed.

l Other examples include operator confusion from the conflicting instructions for equalizing pressure across the MSIVs and minimum battery room air temperature pro-vided by different procedures, and an unspecified action in response to a refueling cavity seal leak alarm.

! Operator errors have decreased since the last SALP, and, overall, improvement in l this area has been seen. However, there were some errors during the. plant opera-l tio During reactor defueling numerous operational errors occurred that resulted

, in the direct involvement of the Site Director to bring about a positive change.

l There was one instance of a lack of command and control during the MSIV stem fail-

ure in which a half trip was not inserted promptly. Also, logging of some events l- was not timely such as the isolation condenser initiation which was not logged or reported until some time after' it occurre During this SALP period, a special inspection was performed of the Emergency ;

Operating Procedures (EOPs). This inspection concluded that the E0Ps were tech- l nically sound, that the operators understood their fundamental technical principles, and that the operators were able to execute the E0Ps. The overall quality of the emergency operating procedures is considered to be a strength. The team did ob-serve an unfamiliarity with the " hands-on" use of the procedures and flow chart This unfamiliarity is considered a training deficienc Operator attitude was a concern identified during the E0P inspection as well as during defueling. The E0P inspection identified an attitude of overconfidence as well as a tendency to minimize the significance of the E0Ps. Likewise, in response to the number of errors which occurred during the defueling, operators displayed an attitude that this performance was no different than that of the previous year Management did take corrective action to improve refueling performanc I j

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1 In conclusion, operations has shown improvement, including a reduction in operator errors. Senior site management'has'made. efforts to build cooperation and teamwor I Operations middle management has not aggressively: supported operators by correcting identified QA concerns, addressing operator questions and concerns ~, and improving middle management and operator cooperation and teamwork. Plant material condition continues.to improve as evidenced by a long operational period. The initiative shown~ by several operators to correct long standing facility' problems is encourag-ing. Procedure' weaknesses still exist and contributed to plant event IV. Conclusion Category 3, Improvin IV. Recommendation Non i i

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IV.B Radiological Controls (560 Hrs. , 6.5%)

IV. Analysis Previous SALP

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The last SALP rated this area.as Category Weaknesses noted included: incomplete pre-job briefing of workers; ineffective root cause. analyses following radiological incidents; lack of emphasis and followup of quality control functions performed by Radiological Engineering; and poor ALARA effort and ineffective goal setting and goal tracking. Strengths . included an adequate staff with good qualifications, good facilities and equipment, training, posting, and access contro Current SALP Four special inspections were conducted.in this area during the current SALP period, in addition to the routine reviews by the resident inspector ~

Overall, the licensee's radiological control program remains adequate. However, continuing weaknesses were identified that contributed to a noticeable degradation in program effectiveness. These weaknesses include (1) deterioration of control and planning of radiological operations, (2) incomplete corrective action on iden-tified problems, (3) continued examples of ineffective root cause analysis, and (4) a lack of aggressive action to reduce ~ collective worker exposur Control and planning of radiological work is generally adequate, but instances of poor performance were noted. Appropriate actions to address deteriorating radio-logical conditions were not taken in some cases. As an example, a control rod manipulator was'used to facilitate the removal of control rod drives from the reactor. This'resulted in an increase in'the rate at which the drives were removed and sent to the drive maintenance and rebuild area. 'However, the effects of this

' increased rate on radiological conditions in that area were not adequately consi- l dered. As the backlog of control rod drives in the rebuild area became excessive, the area became highly contaminated. The contamination subsequently spread outside the rebuild area to other areas of the reactor building. The problem was compounded j by the lack of experience and incomplete training of the workers in the rebuild I area. Although the workers had been put through mockup training, the pace of he training was rapid, and many were not trained on the actual work performed 1 the .

rebuild are Although the licensee continues to demonstrate an ability to identify problems, '

the corrective action program was at times ineffective in achieving desired im-provements and preventing recurrence. The following are examples of this proble i

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Improper priority assignments to radiological control problems were observe For example, high radiation area doors which were required to be locked were found unlocked due to their poor mechanical condition. Although corrective action was proposed, it was not completed because of the low assigned job priority and subsequent cancellation of the work orders. This resulted in continued instances where high radiation area access control was compromise _ _ _ _ _ _ _ _ _ _ _ _ _ __ _ _ _ _ _ _ _ . - - - _ .i

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Investigation following the occurrence of radiological incidents is prompt, but the depth of review conducted is frequently limited in scope and effec-tiveness.1As an example, disturbances in the ventilation flow pathways in

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the Augmented Offgas system building produced airborne contamination in the building. Following a number of personnel contaminations, the licensee com-mitted to sampling the air for radioactive gas in case of such incident However, the sampling is still not being done in a systematic and controlled manner. The. lack of timely performance of air samples was identified during the previous SALP period. In the past this weakness could have led to situ-ations where the licensee was not able to adequately assess the exposure that workers were receiving from airborne contamination. The-licensee was not responsive and did not acknowledge the concern, and this weakness still re-mains. Another identified weakness has been the failure to perform appro-priate surveys in areas with non-uniform radiation fields. This program weakness recurs despite licensee's corrective actions implemented to dat One of the principal reasons for the failure of corrective actions is that investigations conducted by the licensee following an incident do not identify root causes but instead concentrate on immediate and sometimes superficial factors. The critiquec rarely address problems that result from poor super-visory practices or poor planning, and tend to concentrate on errors committed by the wor _ker and by first line supervisors. In the control rod rebuild room incident mentioned above, important and key contributing factors were not considered in the critique, including failure to anticipate a potential over-load of the work area, a lack of clear and adequate procedures to control the work, and poorly trained technicians with little or no experience in coverino this type.of wor In another incident, a technician and his supervisor removed some temporary shielding in accordance with instructions from radio-logical engineering causing an increase in the dose rate in the area and un- [

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knowingly created conditions that classified the area as a locked high radi-ation area. The critique of the incident failed to point out that, among the '

root causes of the incident were improper surveys in a non-uniform radiation field, incomplete supervisory shift briefings, and problems with the tagging and tracking system for temporary shieldin Engineering evaluation in response to NRC concerns has generally been thorough i and professional when the problem in question was internal to the Radiological '

Controls organization on site. This is contrasted by situations in which the evaluations had to be performed by some departments other than Radiological Controls which were poor in quality, excessively brief and unsubstantiated, and reluctantly given. One example was in connection with the licensee's request to permit occupancy of the upper levels of the drywell during fuel movements. In response to an NRC concern regarding radiological safety in J the upper elevations in case of a fuel drop accident, the licensee proposed j a fence, but did not supply adequate supporting calculations on fence strengt Subsequent calculations were brief, with no stated assumptions. Also, as part of this evaluation, the licensee proposed mechanical stops to limit the range i of horizontal movement of the refueling bridge. However, the stops were not I installed because of an oversight, and defueling proceeded without these stops until detected by licensed operators while testing the fuel handling bridg I

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Lack of' aggressive action to reduce collective worker exposure can be found in examples of a lax attitude towards adherence to radiological controls procedure For example, personnel, including maintenance and quality assurance, have been l observed on several occasions entering posted contamination areas and ignoring entry requirements, such as the use of proper protective clothing. One individual repeated this infringement of the rules immediately after his attention was drawn to that fac !

l Performance in the area of ALARA remained consistent with that observed during I the previous assessment period. The cumulative exposure for the current outage l to date is over 1500 man-rem despite an outage goal of 900 man-rem. This goal is still high in comparison to the national average due to a high in plant source term, plant design and the scope of work in the outage. Compared with previous outages, more efforts to reduce exposure were taken during this outage, however, a lack of progress in long range source term reduction was evident. Source term reduction initiatives included decontamination of many areas of the p %nt and several highly contaminated systems and the use of shielding-in the drywell. Job planning, how-ever, still needs improvement. An exposure reduction plan has recently been de-veloped by the licensee in an effort to identify the areas in which exposure re-duction methods can be effectively used. According to this plan, implementation of the recommended measures should produce a realistic two year rolling average during 1990-1992 of 470 man-rem. Some items recommended in the plan were imple-mented during the current-outage, but to date, no specific timetable was published to implement the major recommendations in the plan to achieve the desired collet-tive dose reduction and to achieve parity with the rest of the industr Radiological Effluent Monitoring and Control One inspection of the licensee's radioactive effluent control program was conducted near the end of the assessment period. The licensee has in place an effective pro-gram for controlling radioactive effluent releases from the site. The licensee is meeting Technical Specification requirements with respect to radioactive ef-fluent sampling, analysis, surveillance, and reporting requirements. The required reports are complete and thorough. A noted strength of the licensee's radioactive effluent control program is the attempt to minimize the release of liquid radio-active effluents from the site. During the third quarter of 1987 and for the period January 1, 1988 - May 31, 1988 no liquid effluent releases were made from the sit Quality assurance audits of the gaseous and liquid radioactive effluent areas were thorough and of sufficient technical depth to adequately assess program capabili-ties and performance. In addition, Operational QA surveillance activities were of excellent technical depth and were conducted by an individual with appropriate technical expertis Chemistry Control The area of chemical measurement has improved during this assessment perio In-itially several analytical results (chloride, sulfate, silica, iron, and boron)

were in disagreement with the criteria used for comparison. These results were j

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possibly due to high laboratory room temperature, high reagent water temperature, and an inadequate pipet calibration technique. With special attention to control of these problems, all analyzed results were in agreement with the standard {

Currently,:the licensee is upgrading the room temperature control system which is indication of the management attention to the chemical measurement program.-

Training was of high quality as reflected by the technical depth and also for ap-placability in the chemistry laboratory. Quality assurance audits of the chemistry 1 program were thorough and of sufficient technical depth to adequately assess pro-gram performanc In summary, the licensee's effluent controls program remains effective and labora-I ftory chemistry control improved. Nonetheless, a number of problems persisted during this period which reflect a decrease in the Radiological Controls program ~ effec-tiveness. Job planning and control were weak in some areas; incident evaluation and corrective action were incomplete and did not always identify the root cause of a problem. ALARA planning suffered from the lack of aggressive source term j reduction and resulted in elevated collective exposur t IV. Conclusion Category IV. Recommendation Licensee: Perform prompt self-assessment of third party review to assure problems are fully identified and corrective action plan develope NRC: Follow up self-assessment with review and appraisal.

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IV.C Maintenance / Surveillance (2653 Hrs., 31%)

IV. Analysis The previous SALP rated both areas of maintenance and surveillance as Category In the area of Surveillance / Inservice Testing, strong administrative control and strong procedures were noted. Concerns were expressed regarding a lack of aggres-  !

siveness in root cause analysis of some surveillance identified problems, and that communications between plant departments required improvemen In Maintenance, plant impacting reliability and maintenance associated equipment problems indicated a need for improvement in the overall quality of work performed, and a need for improvement in communications between groups. Also noted were significant steps taken by the licensee to improve overall performance including: personnel changes, a critical self-assessment, establishment of committees to review problems, im-provements in post-maintenance testing, and efforts to reduce work backlo During this SALP period, the licensee has demonstrated responsiveness to NRC con-cerns and resolve to improve the performance of plant maintenance. The maintenance program at Oyster Creek remains generally effective and the licensee has imple-mented severcl major initiatives to build a more effective maintenance progra The Oyster Creek surveillance program continues to be effective, characterized by strong administrative control Two areas that remain weak are maintenance rework and surveillance which fre-quently fai Examples of reg ek have occurred, including valve leaks at control rod arive hydraulic control units, main steam isolation valve (MSIV) work, inter-mediate range neutron monitors, and recirculation pump speed control. In each case, corrective maintenance was performed, which failed to correct the deficiency. In addition, surveillance test repeat failures have been main steam isolation valve slow closure test stroke times too long, snubbar and hanger deficiencies, and reactor pressure switches out of tolerance. In some cases, equipment age is a factor in these recurring deficiencies and the licensee has implemented major j modifications to improve or upgrade equipment. In other cases, however, rework items are a result of ineffective root cause determination and rework identifica- l tion and correction progra During an unplanned outage, July 1988, the licensee repaired a temperature problem on a reactor feed pump, speed control on the recirculation pump, safety relief valve thermocouple, intermediate range neutron monitors, and a hydraulic control uni In each case the problem reoccurred during the subsequent startup. The licensee has programmatic controls in place to address rework, but these have not been used. The licensee has taken several additional steps to address this are l This includes a Human Performance Evaluation Program to aid in root cause identi- I fication, the establishment of a goal of no restart errors as a result of 12R work and a formalized administrative control procedure for post maintenance testin The effectiveness of these measures to address rework concerns has not been as-sesse l I

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The licensee has significantly reduced its maintenance backlog and committed to achieving 100% equipment operability. As a result of this effort, the licensee l

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1s performing a greater quantity and more complex work during plant operatio The licensee made errors in coordinating some activities which resulted in equip-ment inoperability. Examples of this problem are a major bus outage and overlap-

, ping maintenance resulting in loss of stack gas sample flow. In these cases, there was a lack of understanding of the effect of the maintenance activity on plant

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equipment. This resulted, in part, from a lack of communication between work force and plant operations. The licensee has recognized the need for better communica-tion between departments and strengthened the Plan of the Day status meeting and has added other daily planning meetings. Generally, these meetings are effective at surfacing plant problems and identifying who is responsible for corrective actio In addition to the coordination of major maintenance efforts, work control has shown some weaknesses. Examples include: snubber repair in progress and the snub-bers not being declared inoperable, inadvertently boring into the drywell shell, secondary containment boundary work degrading containment integrity, and diesel generator overhaul and testing. These examples demonstrate the need to continue to reinforce that work activities must be planned, approved and effectively con-trolled by the written work document The licensee has undertaken several major initiatives to improve maintenance. The first was a reorganization of the maintenance division. This fundamentally changed the functional structure from one of " area" supervisors to one of " work discipline" supervisors. In addition, the licensee has implemented changes to the work man-agement system to computerize and simplify the job order generation process. The effectiveness of this change has not been assessed, however, during implementation of the new computerized system, some inadequate work control occurred. Also, a Short Form Job Order was revised to change the scope to implement a modification to a plant cooling water system, and it was not treated as a modificatio Another licensee initiative is increased training for workers and development of a craft training facility. The licensee has also effectively used mockups for major maintenance tasks such as the feedwater line freeze seal and torus to drywell vacuum breaker repair The licensee preventive maintenance program remains generally effective. It is a specific area of focus of licensee attention to implement measures to better identify specific preventive maintenance needs and more effectively track and pre-dict equipment failures. These licensee initiative are aimed at addressing long term equipment performance and includes the Life of System Maintenance Program (reliability centered maintenance). This has been implemented in a limited manner on the service and instrument air syste The licensee continues to implement a strong surveillance test program. Some areas that require more attention are valve control during surveillance testing, accept-ance of out of specification results, and that the test program include appropriate

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plant' equipment (e.g., air accumulators and underground electrical cables). -Sur-veillance test valve control'is also assessed in the Operations area. In addition, NRC inspection noted a minor weakness in Measuring and Test Equipment (M&TE) con-tro In general, the quality and accuracy of the maintenance and surveillance procedures are good. The licensee is active in identifying and correcting weaknesses as they arise. One specific area of observed weakness in surveillance testing is valve position contro Situations have occurred where the same individual performed l the line up and the verification, procedural direction as to "as-left" positions were not clear, and procedural direction for valve positions was in error. Two of these situations resulted in equipment being misaligned and led to erroneous surveillance test data on the containment spray heat exchangers and inability to vent the isolation condensers. These valve dispositions have occurred, in part, due to the incompleteness of incorporating plant modifications into surveillance test procedures; and in part due to a lack of specific direction for valve position The licensee is generally effective at identifying and addressing test discrepancies and establishing acceptance criteria, however, several examples of inadequate acceptance of test results have been seen. Out of specification results have been accepted without explanation (MSIV closure), acceptance criteria have been changed without a safety review (containment spray heat exchangers AP), IST out of specification problems without appropriate action l (liquid poison), and questionable baseline data methodology (emergency service water). While generally effective, licensee performance shows the need for increased attention in the area of establishing acceptance criteria, and effectively evaluating test result The licensee has recognized the need for improvement in jumper control and also the need to evaluate and improve the testability of systems. On a system by system basis, the licensee is evaluating permanent design changes to improve testability. This outage, a modification was implemented on the core spray system to eliminate the need to lift leads and use jumpers. The licensee initiative to improve the testability of systems demonstrates their commitment to improve long term surveillance performanc In conclusion, the licensee has in place generally effective maintenance and surveillance test programs. Significant progress has been made in reducing maintenance backlogs and a strong surveillance test program is being maintained. While some areas of weaknesses have been seen in both areas, the licensee is responsive to NRC concerns. Improvements have been seen in the areas of interdepartmental communications and the plant material conditio Some areas where weaknesses have been identified are: the identification and evaluation of maintenance rework items and surveillance repeat failures and the administrative control of the work management system. Overall performance in the areas of maintenance and surveillance has improve IV. Conclusion Category . _ _ _ _ - _ _ _ _ - _ - _ _ _ - _ _ _ _ -__- _ _-_- __ - ____ _ __ _ - -___ _ ___ ______ _ ___ _ _ _ _ _ _ _-___ _ _ _ _ a

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IV. Recommendation Licensee: Provide NRC with schedule for implementation of reliability centered maintenance contro NRC: None.

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IV.D Emergency Preparedness (249 Hrs., 3%)

IV. Analysis During the previous assessment period, licensee performance in this area was rated Category 2. This rating was principally based upon observations of performance during the full participation exercise. Although overall performance was satis-factory, several recurrent weaknesses were identifie In addition, concerns were identified relative to slow staff response to an actual pager call-out from an Unusual Even During the current assessment period, a full participation exercise was observed and three routine safety inspections were conducted. The licensee issued a new Corporate Emergency Plan for both GPU Nuclear sites. Because of the significance of the changes, the Plan was submitted for NRC review prior to implementatio During the review it was identified that the Plan did not reflect the guidance of NRC Information Notice 83-28 concerning protective actions for a General Emergenc Acceptable changes were made to the Plan and it was subsequently implemented and distribute A fuil participation exercist was conducted on May 11, 1988. The exercise stenario was written to involve a security threat. The licensee's overall response was satisfactory, and, in some areas, performance was excellent. These areas included control of a hazardous material spill, communication with the bomb disposal team, and relocation of command and control from the Emergency Command Center to the Technical Support Center. Several weaknesses were identified. The principal con-cerns were in the areas of contamination control, adequacy of support to the Emer-gency Support Director by the Technical Support Coordinator, and a question cf authority for the Operations Support Center. The number of weaknesses identified is consistent with previous exercises. Overall exercise performance has been adequate with approxin.ately the same number of weaknesses identified from exercise to exercise. This trend is apparently due to a lack of effectiveness of EP train-in During the first routine safety inspection, concerns were identified in two area The first involved training: lists of staff participating in drills and exercises were not maintained; and the Training Department's computerized database for tracking EP training was not up to date. The second was in the area of dose as-sessment and monitoring: the dose calculation model includes an excessively large default iodine component which could result in overly conservative protective action recommendations; and the volume of air samples collected by field teams is so large that the collection filter may saturate making the results unreliabl During the second routine safety inspection, the inspectors determined that the licensee was responsive to many NRC concerns. The Emergency Dose Calculational Manual has been revised and many but not all calculational conservatism have been removed. However, the concern regarding the default iodine component in the dose model and the suitability of field sampling equipment and methodology to collect iodine still had not been adequately addressed. This raises a concern regarding

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the' licensee's approach to resolution of technical issues. The l w nsee demon-strated satisfactory response and personnel call-out to an actual Unusual Event during the. inspection. Several improvements have been made to emergency response fa<:ilities and equipment. The licensee has renovated the Emergency Operations Facility, installed a remote; siren verification system, replaced the auto-dialer call-in system by a computer based system, established a back-up Operational. Sup-port Center and is completing installation of a second siren activation ~ syste Staffing is adequate both for emergency preparedness maintenance and in numbers of trained emergency response personne Efforts to improve the emergency preparedness program are evidenced.by the. fact that Emergency Preparedness staff routinely handles 43 ongoing activities and at the time of the inspection was involved in 12 special projects. Some of these activities include 26 improvement actions in areas that have been completed or were in progress at the time of the inspectio Oyster Creek Directors have become involved regularly in emergency preparedness training with the result that the need to reschedule training has almost vanishe The Training Department has also introduced several innontive approaches and a computerized data base is in place which tracks emergency preparedness trainin The site and field team air samplers are being replaced by a sptem which will col-lect a sample without risk of saturatio Stack and turbine offgss monitoring systems are being upgraded, and an Evacuation Time Estimate update study is being undertaken. One issue which still requires licenree action is the traicing of Technical Support Center engineers in accident analysis other than Core Damage Assessmen In summary, the licensu has committed adequate resources to emergency preparedness and has demonstrated acequate response to GPU and NRC identified concerns. The Director for the Environmental and Radiological Controls Division expends.about twenty percent of his time on EP issues. Technical issues have been and are being resolved. Site management has become routinely involved in emergency preparedness activities and training has also responded to needs for improvement. There are no offsite problems. The persistent number of exercise weaknesses identified re-sains a concern. Finally, the licensee has not yet resolved NRC concerns regarding en overly conservative dose assessment model or the lack of training of TSC engi-neers in severe accident analysi IV. Conclusion l Category IV. Recommendation Non _ _ _ - _ _ _ - _ - _ _ _ . _ _ . - - . __ - _ . . - - -_ _ _ _ _ _

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IV..E Security (134 Hrs. ,1.5%)

IV. Analysis Two special and one routine physical security inspection were conducted by region-based physical security inspectors. Routine inspections by resident inspectors were conducted throughout the assessment period. An NRC Regulatory Effectiveness Review was conducted in July 198 During the previous assessment period, the licensee's performance in this area was, Category 1. This rating was based upon continueo implementation of the liccasee's self-assessment program, its enforcement history, a strong training and qualifica-tion program and the implementation of security equipment upgrade During this assessment period, the licensee's security systems were reviewed during a Regulatory Effectiveness Review (RER), and program implementation was evaluated during a routine and two special region-based physical security inspections. Con- t tinuing inspections by the NRC resident inspectors were conducted during the perio In the.two previous. SALP reports, two longstanding regulatory issues were identi-fied as being addressed by the licensee. Both o/ these issues were resolved during this period; however, resolution of one enhancement of the perimeter intrusion

' detection system required several schedule extensions, and the other, a control room issue, was initially found to be unacceptable by the NRC and another proposal !

was submitted, which was found to be acceptable. Considering the nature and com-plexity of the issues, the licensee demonstrated an adequate response to the NRC's concern, albeit, timeliness could have teen bette Corporate security management continued to be actively involved in all site secur-ity program matters. This involvement included visits to the site by the corporate staff to provide assistance, program appraisals and direct support in the budgeting and planning processes affecting program modifications and upgrades. Security personnel are also actively involved in the Region I Nuclear Security Association and other industry groups engaged in nuclear plant security matters. This demon-strates program support from upper level managemen The licensee continued the use of self-inspection techniques to provide oversight J

of security program implementation and measurement of personnel performance. A well developed training and qualification program and on-the-job performance

~ evaluations contributed to minimize personnel errors by members of the security I organization during routine operations. However, during outages, maintenance pro-

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jects resulted in the degradation of vital barriers, without prior notification of the security department, on several occasions. Additionally, on one occasion, operations personnel did not notify security personnel that a protected area bar-rier had been degraded. Because security was not notified of these degraded bar-riers, compensatory measures were not implemented for extended periods. Also, during the current out y e, members of the security force had to work a significant l amount of overtime to support the outage work. This may have contributed to a i

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reduction in the alertness of security force members since on two separate.occa--

sions security force members who were controlling access to vital areas allowed individuals whose access authorizations had expired to enter the vital area These cases did not result in major degradation in securiti, but they did have the potential to do s Management had planned to augment the security force with fifteen temporary contr&ct watchmen to support the outage work, however, only five were able to successfully pass licensee screening and training requirement The licensee submitted two security event reports in accordance with 10 CFR 73.71 during this assessment period. In addition, on two occasions, the NRC identified events that should have been reported but were not. A contributing factor in the failure to make the required reports was a misinterpretation of 10 CFR 73, Appendix  !

' The RER, which was conducted in July 1988, reviewed the licensee's ability to meet the general performance requirements of 10 CFR Part 73. The RER report identified strengths in some areas and contained recommendations for upgrades in other area The licensee is reviewing the report and has not yet responde During this- assessment period the licensee submitteJ four revisions to the Security Plans in accordance with provisions of 10 CFR 50.54(p). Two of the revisions were reviewed and found to be acceptable and two revisions are currently under revie by the NRC. The licensee also submitted revisions to the Security Plan in response to the 10 CFR 73.55 Miscellaneous Amendments and Search Requirements. The revisions contained commitments which meet the objectives of the rule change and were found to be acceptable. The licensee responses to requests were not timely but were, in general, technically soun In summary, the licensee continues to maintain an effective, performance-oriented security program. Management attention to and support of the program are evident in most aspects of the program implementation. However, weaknesses were observed in the management efforts expended to maintain security awareness among other site personnel to maintain adequate security staffing during extended outages, and to understand NRC's reporting requirements for security eve-ts led to an overall decline in performance during the perio IV. Conclusion i Category IV. Recommendation Non i J

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IV.F Engineering / Technical Support (1716 Hrs., 20%)

IV. Analysis During the previous assessment period, licensee performance in this area was rated Category This rating was principally based on multiple examples of inadequate root.cause analysis, ineffective problem solution once the root cause was identi-fied, poor technical reviews, long outstanding unresolved problems, delays in im--

plementation of NRC requirements, failure to meet commitments, communication prob-lems, weakness in vendor control, and the fact that little change has been noted over the period of time covered by the past three SALPs. The previous SALP board also noted continued inconsistent performance during the assessment period. The licensee was encouraged to expedite completion of the technical support self as-sessment (TSSA) (which was started by the licensee in response to a recommendation by the SALP Board in 1986) and initiation of an associated corrective action pla During this SALP period, the quality of engineering support activities continued to be inconsistent. Early in the SALP period, the licensee was actively engaged in addressing the weakneeses and concerns identified in previous SALP Report These initiatives slowed down significantly during the assessment period due to events that required the liceneee's immediate attention and resources. Thus, the licensee failed to complete the TSSA and initiate corrective action as recommended by the previous SALP Boar The licensee has taken several positive steps to enhance the effectiveness of the Corporate Technical Function Division. Programs were developed and established to incorporate. safety perspective in engineering work prioritization, to trend and analyze technical information, to enhance the quality of root cause analyses, to improve' engineering configuration management, design basis documents and as-built drawings, to conduct Safety System Functional Inspections and to provide formalized training to improve the quality and timeliness of safety reviews and plant modifi-cations. Architect Engineers (AE) were placed on retainer and effectively used to supplement the licensee's staff, providing the licensee with a wide spectrum of engineering resources at short notic As a result of the above efforts, the following improvements were noted in the support provided by the corporate Technical Function Division staf Unlike pre-vious outages, the corporate staff was able to complete practically all engineering work prior to the commencement of the recently completed 12 R outage. The engi-neering work back log was substantially reduced during this assessment perio Prompt, conservative and comprehensive corrective actions for ISI and Appendix R issues were developed and provided to the site. The engineering support provided to resolve the isolation condenser steaming issue and the associated AIT concerns-was thorough, well coordinated, of good quality and was provided in a timely manne The licensee's efforts to address NRC Bulletins 79-02 and 79-14 were also extensive and of good quality. However, it must be noted that it took the licensee almost ten years to complete this task.

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In spite of the above improvements in capability and performance, several instances of inadequate engineering and technical support were noted. Examples of these problems are discussed later in this sectio Since similar problems were not observed when site and corporate resources were both focused on the same technical issues, it appears that the licensee still does not have an effective mechanism to determine when site and corporate coordination is necessary or to always engage and employ appropriate combinations of licensee resources to resolve site engi-neering problem Efforts are being made to improve communication between engineering and operations organizations. Corporate policy is being revised to encourage rotational assign-ments for engineers between corporate and sites. However, instances of inadequate communications between site and corporate personnel continue. For example, the engineering personnel did not adequately inform the operations personnel about a potential diesel generator bus over loading condition. Specific operator actions are required to avoid over loading of this bus. The necessary operator training or direction was not established as operations personnel were not aware of the required operator action Instances in which plant changes were implemented without involving the established modification process, site engineers or corporate engineers include: the replacement of a reactor coolant system sampling valve witt another valve that was three times heavier, the removal of a resin column under a work request and not under the configuration control requirements, and the change out of an IRM range switch without the system engineer involvement. As stated previously, when corporate and site technical personnel worked together, good de-signs and engineering resolution were normally produce Instances of lack of inquisitiveness to understand technical issues and to identify root causes of problems continue. For example, upon identification by the NRC of the anomalous steam line temperature during the first isolation condenser steaming event, the licensee performed a literature search for explanation. This literature search yielded no explanation and no further evaluation was conducted by the lic-ensee until the second isolation condenser developed a similar condition. Simi-larly, the licensee identified several significant weaknesses in the activities related to NRC Bulletin 79-02 and 79-14 during last SALP period; however, the lic-ensee decided to take no actions until concerns were raised by the NRC inspector As discus. sed further in the safety assessment / quality verification section, the licensee's initial resolution of the Preliminary Safety Concern (PSC) involving the inoperability of the automatic depressurization system was another clear ex-ample of shallow analysis of a newly identified proble Concerns for the adequacy of engineering resource commite.=nts to the resolution of long standing problems remains. Examples of these problems include: the erratic operation and failure of the intermediate range monitors; degradation of the emer-

, gency service water system discharge butterfly valve due to throttling; inadequate emergency service water pump performance; and erratic performance of acoustic moni-

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As stated in the Safety Assessment / Quality Verification section of'this report,

.the safety review process was generally good and the quality of the reviews improved. However, the licensee does not always appropriately document the basis for conclusions. For example, when the licensee's re-analysis of the e torus-attached piping indicated that the calculated stresses might be above allowables, the licensee determined the matter was not reportable to the NR When questioned by the NRC, the licensee maintained that there was no safety 1 significance to this issue as the analysis was overly conservative, but had no documented analysis to back up that position. Subsequently, the licensee completed a state-of-the-art- analysis and was able to demonstrate that the stresses in question were within allowable The accuracy, quality and availability of plant engineering drawings remain a problem. Although the.SSOMI found drawings representing recent modifications to be good and to generally reflect as-built conditions, routine NRC inspections and discussion with operators determined that older drawings are frequently inaccurate, unreadable or not easily locatable. Problems precipitated by these deficiencies are il_lustrated in the following examples: (1) inadequate as-built drawings con-tributed to the stack gas monitor being made inoperable during the performance of maintenance; (2) r9nding of a loose wire in the control room resulted in a plant r+sponse different =.om that expected, based on a review of plant drawing, and (3) an operator was unable to identify the source of power to the reactor building to torus vacuum relief valve since the appropriate drawings were not readily availabl In summary,. the licensee responded positively to the concerns identified in

. previous SALP reports. They initiated measures to enhance the effectiveness of the corporate engineering division, improved the quality of root cause analysis and engineering support, and reduced engineering work back 1.o However, examples of inadequate engineering solutions, insensitivity to technical problems, failure to meet commitments, lack of reliable design basis documents and failure to resolve long standing technical deficiencies continue to exis The licensee's engineering resources are not as effectively used at this site

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as at TMI, although both are supported by the same corporate staff. The difficulty in correcting the recurring and long standing problems at this site I

i may be explained by the volume of the issues; the latter, in large part, is precipitated by the vintage and age of the plan It may also be explained by the lingering coordination problems and communication gap between this site and the corporate engineering office. However, the licensee has made significant progress in resolving issues and the performance for the assessment period has

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shown improvement, particularly with regard to corporate activitie IV. Conclusion i

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IV. Recommendations Licensee: Non NRC: Perform a SSFI during the fourth Quarter of FY 8 .. __

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IV.G Safety Assessment / Quality Verification (417 Hrs., 5%)

IV. Analysis In previous SALP reports, Assurance of Quality and Licensing Activities were evalu-ated in separate sections of the report. This new section (Safety Assessment /

Quality . Verification) has been created not only to consolidate those two sections but also to encompass activities such as safety reviews, responses to NRC generated initiatives such as Generic Letters and bulletins and to provide a broad assessment of the licensee's ability to identify and correct problems related to nuclear safet In the previous SALP, Assurance of Quality and Licensing Activities both~ received Category 2 ratings. At that time, it was noted that the trend indicated that the licensee had improved in the licensing area. The SALP report identified as strengths management's commitment to safety and quality training programs for management, craft personnel, and corporate level personnel, and other changes made to improve overall management effectiveness and good communications between I

licensee management and NRC staff. Weaknesses included procedure compliance, unplanned' outages from equipment malfunction, engineering support, and operation Licensee performance regarding timely suomittals of LERs was also identified as an area requiring improvemen During the current SALP period 78 licensing actions were under review. Action has been completed on 39 of these actions. Many of the significant actions com-pleted involved complex issues and were generally well planned, technically sound, showed thorough licensee analysis and in most cases were timely. Examples include upper drywell shell corrosion problems, compliance with ATWS Rule (10 CFR 50.62),

I and new curves for operation beyond 10 effective full power years. However,

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there were some issues where extensive staff interaction was required to resolve issues and some miscellaneous amendments and SEP items were slow being submitte The licensee's safety review process is good and in general the quality of reviews has improved. Also, the licensee is participating through industry groups to im-prove overall guidance in this area. NRC review of the 50.59 review program at

! Oyster Creek identified that in most cases reviews were of high quality. However,

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in one case the licensee's justification was not clearly discussed and resulted l in accepting a situation not specifically authorized by regulatio The staff has also audited the overall erosion / corrosion monitoring program in-volving the pipe wall thinning of high energy carbon steel piping systems. As a ,

result of the audit, the staff concluded that in general the licensee's program is above industry standards. The plant has appropriate controls in place and man-agement has made a commitment to continue to implement an erosion / corrosion control program at Oyster Cree ,

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The licensee's QA program remains generally effective. Staffing is adequate and training is appropriate. QA monitorings were detailed, comprehensive, and con-ducted by knowledgeable personnel. The licensee has a comprehensive system of audits to verify conformance with all aspects of the QA program. Audits were thorough and comprehensive. The licensee has also substantially revised their QA plan to enhance oversight and refocus QA responsibilit Followup to QA findings in most instances was found to be appropriate. However, in several instances, such as the inadequate safety review program for maintenance short forms, the QA findings had to be escalated due to insufficient corrective action and slow response from management. Also, the finding that certain plant modifications were being used by the plant before completing the formal modifica-tion turnover process was not addressed. QA reviewed storage of spare parts in shop spaces and took some corrective action, but did not document those finding This is one instance in which both improper activities were being conducted and QA was ineffective in correcting the conditio I In the area of procurement and spare parts control, NRC reviews have identified deficiencies which reflect weaknesses. These included procedural problems and the absence of controls for spare parts housed outside the warehouse. The latter -

problem had been identified by the licensee's QA organization, but effective cor-rective action had not been implemented. Improper control of shop spare parts permitted defective components to be installed in source range monitors prior to refuelin Satisfactory performance of the licensee's offsite review committee (GDRB - General Office Review Board) was noted. The issues reviewed and the board's presentation of findings to management is satisfactory. Improvement in the onsite review group (PRG - Plant Review Group) was also noted particularly in the areas of review of events and the more prompt issuance of procedure change During this SALP period, NRC inspectors and the licensee were made aware of com-plaints oealing with management relations which fostered poor worker attitudes,

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low morale, high turnover rates, and low productivity. A completed licensee in-vestigation was thorough and made certain recommendations aimed at improving wor-ker/ management relation The licensee continues to maintain an adequate training facility and staf One deficiency noted was the submittal of out-of-date and incomplete training material for NRC exam preparation. Also, committed training of fire watches was not conducted. A significant improvement has been made in the training of maintenance mechanics. Maintenance management provided a new mechanical main-tenance laboratory for improved on-the-job training. Plant engineering also maintains their own training program for the purpose of providing in-depth understanding of plant systems. It was noted little interaction between operators and the newly created system engineers was taking place. The inservice inspection staff demonstrated a good understanding of ASME Code and regulatory requirements indicating effective training in this are The licensee is continuing to apply the concept of teamwork and leadership to programs in the organization.

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Problems were identified with operator training on E0Ps. As a result, contracted time has been increased on a generic simulator. A plant specific simulator will not be available until October 199 GPUN maintains a policy for its employees which stresses a high standard of integrity and procedure adherence. This is frequently reinforced through training and memoranda from management. In order to improve performance at Oyster Creek, an employee attitude survey was conducted and efforts were made to resolve concerns expressed. Surveys were conducted to essess personnel attributes in order to balance shift crews to maximize shift performanc Also, the licensee has within the Onsite Safety Review Group initiated a Human Performance Evaluation System to further aid in providing recommendations to improve operations. The group's efforts were hampered due to the inability to provide a full staf In general, the licensee is taking many initiatives to improve performanc During the defueling recently conducted, numerous errors occurred. Each of these individual errors were appropriately critiqued and corrective action take In an effort to impruve defueling activities, direct involvement of the Vic > Prcsident and Director, Oyster Creek, occurred. The direct involvement of a high level of management becoming heavily involved in operations when other measures appear to -

have failed is considered to be a positive mov Quality Assurance audits of radiological controls effluent and surveillance acti-vities was gor 1. However, due to the overall poor performance of the onsite radi-ation protect ' program, it was conc'luded that the quality assuring activities such as audits, assessments, and critiques were not effective in assuring qualit The licensee has in place a procedure by which employees may bring safety concerns to the attention of management. These issues are processed as Preliminary Safety Concerns (PSC). Although a good initiative, several problems have been identified, including timeliness of resolution, quality of reviews performed and a perception on the part of some licensee employees that the system will not effectively resolve issues. In two cases, superficial reviews were performed and the items close Subsequent review identified that corrective action was necessar In these in-stances, the PSC process failed to correct the valid safety concern NRC assess-ment overall is that the PSC program is not performing as the licensee intende The quality of the licensee's LERs continues to be good. The late reporting of LERs was a problem in the past. This deficiency has been corrected. Supporting data and summaries provide additional information related to LER Significant findings associated with LERs include one instance where control room procedures were not updated to reflect conditions described in a report, an instance where information was not reported clearly, and one instance which described a condition in which an improvement in control room command responsibilities may have pre-vented a violatio In another instance, an incorrect fuel zone level instru-ment evaluation was performe This was not recognized by the licensee and the item was closed. One noteworthy finding was that LERs reported conditions that had been previously identified in Preliminary Safety Concerns. Overall, LERs

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reported 17-events related to Technical Specification requirements, 6 related to {

design criteria, 4 to Appendix R, and one to Appendix J. In general, no single '

cause could be attributed as responsible for any significant number of event In summary, management attention and involvement were responsive to licensing issues, and licensing problems have generally been dealt with effectively and in a timely manner. QA monitoring and audits were generally good; however, correcting of some QA findings was not timely. Offsite committee performance

'is good and improvement in onsite committee performance has been noted. The licensee has in place policies which stress high standards of integrity. A strong emphasis on training is being maintained. Deficiencies needing attention were noted in the areas of installation and storage of shop spare parts. A more significant concern which requires prompt and thorough resolution is the effectiveness of the Preliminary Safety Concern process to identify and correct deficiencie IV. Conclusion Category IV. Recommendation Licensee: Review current and previously closed Preliminary' Safety Concerns to verify that no outstanding safety issues remain unresolve NRC: Non i

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l- SUPPORTING DATA AND SUMMARIES

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l Investigations and Allegations Review A.1 Investigations

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The NRC Office of Investigations completed two investigations during the SALP period. One involved a self-initiated investigation to determine whether or not licensee statements made to NRC inspectors constituted a willful material false statement. The other involved investigation into the reported destruction of a portion of an alarm tape by a licensed control room operator following the viola-tion of a Technical Specification Safety Limit, i

A.2 Allegations During this assessment period, seven allegations were received and acted upo One remains open and five were closed. One was closed with the subject incorpor-ated into a future inspection plan. Only one allegation was substantiated. The one open allegation was turned over to the licensee for evcluatio Escalated Enforcement Actions B.1 Civil penalties One civil penalty involving a Technical Specification Safety Limit Violation that occurred during the previous SALP period, was issued during the current evaluation perio B.2 Orders Non Confirmatory Action Letters Non Licensee Event Reports During the last assessment period 45 LERs were generated and during this period 46 reports were generated with four of these identified as voluntary report Reports for the last period were generated at the rate of 3.9/ month and for this period at the rate of 2.8/ mont The greatest single cause for the events reported is personnel error. Eleven of the 46 LERs reported (24%) were attributed to personnel error. The next largest cause was attributed to equipment failure which was 8 (17%). The number of LERs attributed to personnel error is decreasing. During the last period 64% of the reports were attributed to personnel error. Analysis of the cause of personnel errors did not indicate a general training proble SD/S-1

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Four events resulted from reactor scrams when shutdown, generally due to neutron system noise' spikes. Three were due to standby gas treatment system initiations resulting from water accumulation in the offgas line. Action has been taken to correct this conditio To the extent possible during the NRC review of the LERs, where applicable, a con-tributing cause was assigned. The most frequently noted contributing cause was judged to be lack of management attention / poor supervision. Eleven of the 46 LERs (24%) had this attributed as a contributing caus The most frequent methods of identification of the LERs were control room indica-

- tion 15, surveillance testing. (6) and design reviews (5) . Types of equipment in-

-volved were mechanical 18, instrumentation (12) and electrical (6). No specific conclusions were drawn from these statistic The most frequently identified licensee corrective actions specified in the-reports were procedure changes (16), failed equipment repaired (10), increased training (8), and making the report recuired reading (10). The effectiveness of the cor-rective actions are difficult to assess, particularly the required reading of the LER Overall, LERs reported Technical Specification. violations (17), violations of de-sign criteria (6), of Appendix R (4), and one of Appendix J. In general, no single cause could be attributed as responsible for any significant number of event Not identified as an LER at Oyster Creek but reported by another facility was the design service water temperature being exceeded. The licensee has determined the 85 degree design service water temperature was exceeded. However, to date no de--

termination of deportability has been made nor has the licensee's evaluation of the effect of a higher than design service water temperature been complete SD/S-2

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s TABLE'I ENFORCEMENT ACTIVITY'

' Enforcement Activity NUMBER OF' VIOLATIONS:BY' SEVERITY LEVEL Functional Area- V: IV III' II I- -DEV- TOTAL-Plant Operations 1 3 1 5-e Radiological Controls 9 9 Maintenance / Surveillance 1 1

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Engineering / Technical Support 2 8 10 Safety Assessment / Quality Verification 1 __ __ __ _ __

TOTAL- 6 23 1 30*

'*0ne additionalfsecurity vio1+ tion is pending final enforcement action determina-tion.

, ' Violation Summary REPORT SEVERITY FUNCTIONAL NUMBER REQUIREMENT LEVEL AREA- DESCRIPTION 87-28- 10 CFR 50 App. V Maintenance / Identified maintenance Criterion XII Surveillance and test equipment

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discrepancies not evaluated as require Physical Security IV Security Vital area barrier Plan found to have been'

degrade L T.S. 6.13, High IV Radiological Worker entered high

. Radiation Area Controls radiation area without dose rate instrumen T-I-1 '

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REPORT SEVERITY FUNCTIONAL NUMBE REQUIREMENT LEVEL AREA DESCRIPTIO '87-39 T.S. 6.13 High IV Radiological Control of high radi-Radiation Area Controls ation area acces T.S. 6.11, Radiation IV Radiological Failure to adhere to Protection Process Controls the requirement-of a radiation work permi ~

87-41 T.S. 6.8.1, Station IV Operations Failure to follow pro-

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Procedures cedures. relating to-positioning of valve CFR.50.59 IV Engineering / Failure to perform Tech Support safety evaluation for for reactor building heating system being out of service for ap-proximately two year T.S.'6.8.1, Station IV Engineering / Inadequate procedure Procedures Tech Support review ;T.S. 6.8.1, Station IV Engineering / Controls to effect Procedures Tech Support procedure revision ]

l 88-04 T.S. 6.8.1, Station IV Engineering / Failure to adhere to Procedures Tech Support procedures relating ;

to snubber operabilit CFR 50, App. 3 IV Engineering / Failure to take prompt Tech Support corrective action'to a nonconforming condi-tion identified during snubber surveillanc CFR 10.101 (b) IV Radiological Failure to conduct Controls adequate survey T.S. 6.11, Procedure IV Radiological Failure to adhere to for Personnel Controls radiation work permit Radiation Protection requirement T.S. 3.12. A.1, Fi re V Oper ations Fire detection instru-Detection Instrumen- mentation pressure tation switch valved ou T-I-2 i

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A REPORT SEVERITY FUNCTIONAL NUMBER REQUIREMENT- LEVEL- AREA DESCRIPTION

'88-14 Fire Protection- DEV ' Operations Inadequate training Program program for ignition

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source fire watche CFR 50.59 .IV Engineering /. Performance of an Tech Support improper safety evaluatio T.S. 3.4.C, .

IV Operations Operation with one Containment Spray - containment spray loop'

L and-Emergency out of service for a Service Water period greater than System Operability allowe .T.S. 6.8.1, Station IV Operations System placed into Procedures service without current valve checkof i 88-21 T.S.L6.8.1, Station IV Engineering / Modification placed Procedures Tech Support into service without=

control room drawing being update .CFR 50, App J IV Engineering / Containment airlock Tech Support not tested as require CFR 50, App. R V Engineering /. A failure to meet Ap-Tech Support pendix R requirements was promptly corrected and no written viola-tion was issue '88-31' 10 CFR 20.201, IV Radiological- ' Failure to conduct a Surveys Controls surve T.S. 6.11, Radiation I Radiological Worker failed to comply Protection Program Controls with the requirements of a radiation work-permi CFR 50.54 (p), V Security Change to physical Physical Security security plan without System Commission approva T-I-3

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88-33 10 CFR-50, App. B IV Safety Assess- Failure to control ment / Quality storage.of items out-Verification side warehous Physical Security IV Securi ty.: Degraded vital area Pla barrier.

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88-33 10 CFR Part 73.71, .IV security Failure to report de-App. G, Sect. I.(c) graded vital area bar-g rie F.:

88-35 , T.S. 6.8;1, Station V ' Engineering /. Several procedures, Procedures- Tech Suppor issued without approval signature .CFR 20.201 (b) IV ' Radiological- Failure to evaluate Controls radiation hazard created by control rod drives awaiting pro-cessin T.S. 6.8.1,. Station IV~ Radiological Inadequate procedure Procedures Controls for the control of rod drive wor T-I-4

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TABLE II LISTING OF LERS BY FUNCTIONAL AREA AREA A B C D E X TOTALS Operation 5 4 2 1 1 13 Radiological Controls 2 1 3 Maintenance / Surveillance 2 4 6 2 14 Emergency Preparedness Security Engineering / Technical Support 6 7 2 1 16 Safety Assessment / Quality Verification __ __ __ __ __ __

TOTALS 15 16 10 4 1 46 Cause Codes *:

A - Personnel Error 8 - Design, iianufacturing, Construction or Installation Error C - External Cause D - Defective Procedure E - Component Failure X - Other

  • Cause Codes in this table are based on inspector evaluation and may differ from those specified in the LER.

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