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                                                        DEC 121986
DEC 121986
    Docket Nos. 50-245
Docket Nos. 50-245
                  50-336                                                                                     ,
50-336
                  50-213
,
    Northeast Nuclear Energy Company
50-213
    ATTN: Mr. J. F. Opeka
Northeast Nuclear Energy Company
            Senior Vice President - Nuclear                                                                   '
ATTN: Mr. J. F. Opeka
              Engineering and Operations Group
Senior Vice President - Nuclear
    P. O. Box 270
'
    Hartford, Connecticut 06141-0270
Engineering and Operations Group
    Gentlemen:
P. O. Box 270
    Subject: Combined Inspection Nos. 50-245/86-06, 50-336/86-06 and
Hartford, Connecticut 06141-0270
              50-213/86-04
Gentlemen:
    We have reviewed your letter dated November 19, 1986, in response to our re-
Subject: Combined Inspection Nos. 50-245/86-06, 50-336/86-06 and
    quest for updates on your program improvement plan in your radioactive waste
50-213/86-04
    preparation, packaging and shipping program. We have noted that actions on
We have reviewed your letter dated November 19, 1986, in response to our re-
    these procedures governing radioactive waste solidification are reported to be
quest for updates on your program improvement plan in your radioactive waste
    complete and progress has been made on the other improvement items.
preparation, packaging and shipping program. We have noted that actions on
    Thank you for informing us of the progress on these corrective and preventive
these procedures governing radioactive waste solidification are reported to be
    actions as documented in your letter. These actions will be examined during a
complete and progress has been made on the other improvement items.
    future inspection of your licensed program.
Thank you for informing us of the progress on these corrective and preventive
    Your cooperation with us is appreciated.
actions as documented in your letter. These actions will be examined during a
                                                                Sincerely,
future inspection of your licensed program.
                                                                OM r'v1 CI- d N8
Your cooperation with us is appreciated.
                                                                  y& k.                 OltJ
Sincerely,
                                                          MetJMomas T. Martin, Director
OM r'v1 CI- d N8
                                                          v     Division of Radiation Safety
y& k.
                                                                  and Safeguards
OltJ
    cc:
MetJMomas T. Martin, Director
    E. J. Mroczka, Vice President, Nuclear Operations
v
    W. D. Romberg, Station Superintendent
Division of Radiation Safety
    D. O. Nordquist, Manager of Quality Assurance
and Safeguards
    R. T. Laudenat, Manager, Generation Facilities Licensing
cc:
    R. Graves, Plant Superintendent
E. J. Mroczka, Vice President, Nuclear Operations
    Gerald Garfield, Esquire
W. D. Romberg, Station Superintendent
    Pubite Document Room (PDR)
D. O. Nordquist, Manager of Quality Assurance
    Local Public Document Room (LPDR)
R. T. Laudenat, Manager, Generation Facilities Licensing
    Nuclear Safety Information Center (NSIC)
R. Graves, Plant Superintendent
    NRC Resident Inspector
Gerald Garfield, Esquire
    State of Connecticut
Pubite Document Room (PDR)
                                                0FFICIAL RECORD COPY       RL MILLSTONE - 0001.0.0       /
Local Public Document Room (LPDR)
                                                                          12/08/86               fcC',7'
Nuclear Safety Information Center (NSIC)
                      8612190234 061212
NRC Resident Inspector
                      PDR                     ADOCK 05000213                                             \
State of Connecticut
                      O                                   PDR                                           g
0FFICIAL RECORD COPY
                          _ - _ _ _ _ _ _ _ .                                                             -
RL MILLSTONE - 0001.0.0
/
12/08/86
fcC',7'
8612190234 061212
PDR
ADOCK 05000213
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j   Northeast Nuclear Energy Company       2
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Northeast Nuclear Energy Company
2
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,
Region I Docket Room (with concurrences)
l
Management Assistant, DRMA (w/o enc 1)
i
DRP Section Chief
;
M. McBride, RI, Pilgrim
l
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P. Swetland, SRI, Haddam Neck
,   Region I Docket Room (with concurrences)
J. T. Shediosky, SRI, Millstone 1&2
l  Management Assistant, DRMA (w/o enc 1)
T. Rebelowski, SRI, Millstone 3
,
J. Akstulewica, LPM, NRR
!
J. Sh::a, LPM, NRR
i
i
    DRP Section Chief
D. Osborne, LPM, NRR
;  M. McBride, RI, Pilgrim
Robert J. Bores, DRSS
l  P. Swetland, SRI, Haddam Neck
    J. T. Shediosky, SRI, Millstone 1&2
    T. Rebelowski, SRI, Millstone 3
,  J. Akstulewica, LPM, NRR
!  J. Sh::a, LPM, NRR
D. Osborne, LPM, NRR
    Robert J. Bores, DRSS
I
I
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Line 92: Line 115:
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    Bicehouse/emw       Pasc ak               Bellamy
.SS
    12/4/86               12/ll/86             12/i v/86
RI:0RSS
                                0FFICIAL RECORD COPY     RL MILLSTONE - 0002.0.0
Bicehouse/emw
                                                          12/08/86
Pasc ak
Bellamy
12/4/86
12/ll/86
12/ v/86
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0FFICIAL RECORD COPY
RL MILLSTONE - 0002.0.0
12/08/86


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General Offices * Selden Street. Bertin, Connecticut
                                                              General Offices * Selden Street. Bertin, Connecticut
*
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                                                                          P.o. BOX 270
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                  **'"'**''*"*C****
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                                                                          HARTFORD, CONNECTICUT 06141-0270
P.o. BOX 270
        _
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HARTFORD, CONNECTICUT 06141-0270
                      ,
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                                                                          (203) 665-5000
J [*.Z[U,,7,"co,"
                                                      November 19, 1986
(203) 665-5000
                                                      Docket No. 50-245,
k
                                                                    50-336
'
                                                                    A05929
,
      Dr. Thomas E. Murley
November 19, 1986
      Regional Administrator
Docket No. 50-245,
      Region 1
50-336
      U.S. Nuclear Regulatory Commission
A05929
      631 Park Avenue
Dr. Thomas E. Murley
      King of Prussia, PA 19406
Regional Administrator
      References:         (1)       T. E. Murley Letter to J.   F. Opeka, dated
Region 1
                                      July 22, 1986, Inspection Report No.
U.S. Nuclear Regulatory Commission
                                      50-245/86-06, 50-336/86-06 and 50-213/86-04.
631 Park Avenue
                          (2)       J. F. Opeka Letter to T. E. Murley, dated
King of Prussia, PA
                                      August 21, 1986, Response to Inspection No.
19406
                                      50-245/86-06, 50-336/86-06 and 50-213/86-04.
References:
      Gentlemen
(1)
                        Millstone Nuclear Power Station, Units 1 and 2
T.
      Update to Response to I& E Inspection No. 50-245/86-06 and 50-336/86-04
E.
      Reference (1) informed Northeast Utilities of five Level IV
Murley Letter to J.
      violations, which were identified during inspections at the
F. Opeka, dated
      Millstone Nuclear Power Station (March 24-27, 1986). In addition
July 22, 1986, Inspection Report No.
      to responding to the inspection report, Reference (1) directed
50-245/86-06, 50-336/86-06 and 50-213/86-04.
      that an update be provided overy 90 days until all upgrades are
(2)
      completed.
J. F. Opeka Letter to T.
      Reference (2) responded to Reference (1).                 This report is the
E. Murley, dated
      first 90 day update.
August 21, 1986, Response to Inspection No.
50-245/86-06, 50-336/86-06 and 50-213/86-04.
Gentlemen
Millstone Nuclear Power Station, Units 1 and 2
Update to Response to I& E Inspection No. 50-245/86-06 and 50-336/86-04
Reference (1) informed Northeast Utilities of five Level IV
violations, which were identified during inspections at the
Millstone Nuclear Power Station (March 24-27, 1986).
In addition
to responding to the inspection report, Reference (1) directed
that an update be provided overy 90 days until all upgrades are
completed.
Reference (2) responded to Reference (1).
This report is the
first 90 day update.
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+   .
+
  ,
.
  .                                  -2-
,
      Alleged Violation:
-2-
      10 CFR 71.5 requires that each licensee who transports licensed
.
      material outside of the confines of its plant or other place of
Alleged Violation:
      use, or who delivoro licensed material to a carrier for tranc-
10 CFR 71.5 requires that each licensee who transports licensed
      port, shall comply with the applicable requirements of the
material outside of the confines of its plant or other place of
      regulations appropriate to the mode of transport of DOT in 49 CPR
use, or who delivoro licensed material to a carrier for tranc-
      Parts 170 through 189.
port, shall comply with the applicable requirements of the
      49 CFR 172.403(c) requires, in part, that a Radioactive
regulations appropriate to the mode of transport of DOT in 49 CPR
      Yellow-III label must be affixed to each package of radioactive
Parts 170 through 189.
      material which measures in excess of 1.0 millirem at one meter
49 CFR 172.403(c) requires, in part, that a Radioactive
      from each point on the external surface of the package.   In
Yellow-III label must be affixed to each package of radioactive
      addition, 49 CFR 172.504 requires that a vehicle transporting
material which measures in excess of 1.0 millirem at one meter
      packages of radioactive material must be placarded if the vehicle
from each point on the external surface of the package.
      contains packages of licensed material that are labeled
In
      Radioactive Yellow-III.
addition, 49 CFR 172.504 requires that a vehicle transporting
      Contrary to the above, on March 5, 1986, licensed material was
packages of radioactive material must be placarded if the vehicle
      delivered to a carrier for transport in a package which had a
contains packages of licensed material that are labeled
      radiation level of 3.0 millirem per hour at 1 meter from the
Radioactive Yellow-III.
      surface of the package, and the package was erroneously labeled
Contrary to the above, on March 5,
      Radioactive-Yellow II rather than Radioactive Yellow-III as
1986, licensed material was
      required. As a result, the vehicle containing the package was
delivered to a carrier for transport in a package which had a
      not placarded, as required by 49 CFR 172.504(a).
radiation level of 3.0 millirem per hour at 1 meter from the
      This is a Severity Level IV violation.   (Supplement V)
surface of the package, and the package was erroneously labeled
      Response
Radioactive-Yellow II rather than Radioactive Yellow-III as
      Root Cause: The individual (s) responsible for the preparation of
required.
      shipping papers and compliance with 49 CFR regulations were not
As a result, the vehicle containing the package was
      sufficiently trained in DOT regulations to properly label and
not placarded, as required by 49 CFR 172.504(a).
      placard this shipment.
This is a Severity Level IV violation.
      Corrective Steps Taken   Millstone Station has provided
(Supplement V)
      additional training to individuals involved in the transport of
Response
      radioactive material. Training sessions which were held are
Root Cause:
      listed on Attachment 1.
The individual (s) responsible for the preparation of
      Corrective Steps to Avoid Future Violations: Millstone Station
shipping papers and compliance with 49 CFR regulations were not
      will develop and implement a continuing training program for
sufficiently trained in DOT regulations to properly label and
      Radwaste personnel.
placard this shipment.
      The Health Physics section of the Technical Training Branch of
Corrective Steps Taken
      the Nuclear Training Department will complete a job analysis and
Millstone Station has provided
      procedure based task analysis in accordance with procedure
additional training to individuals involved in the transport of
      NTM-1.06, " Systematic Instructional Design" for the following
radioactive material.
      areas:   Radwaste Handlers, Radwaste Supervision and Station
Training sessions which were held are
      Technician (R/W), and Radwaste OA/OC by February 28, 1987.
listed on Attachment 1.
Corrective Steps to Avoid Future Violations:
Millstone Station
will develop and implement a continuing training program for
Radwaste personnel.
The Health Physics section of the Technical Training Branch of
the Nuclear Training Department will complete a job analysis and
procedure based task analysis in accordance with procedure
NTM-1.06, " Systematic Instructional Design" for the following
areas:
Radwaste Handlers, Radwaste Supervision and Station
Technician (R/W), and Radwaste OA/OC by February 28, 1987.


~                                                   .- _
~
                                                            .     .   .
.-
  .     .
_
    ..
.
                                                                                    :
.
      .                                  -3-                               ,
.
          A set of instructional objectives resulting from this analysis
.
          effort will be produced and approved by the Training Program
.
          Control Committee for Radwaste by March 30, 1987.
..
          A performance based continuing training program consisting.             _
:
          of classroom and on-the-job training will be developed by July
-3-
          30, 1987 and completely implemented prior to December 31, 1987.
.
          Date When Full Compliance Will Be Achieved: The continuing
,
          training program will be established and attended by all Radwaste
A set of instructional objectives resulting from this analysis
          personnel by December 31, 1987.                               <
effort will be produced and approved by the Training Program
          90 Day Status
Control Committee for Radwaste by March 30, 1987.
          Training program is being developed and will be implemented by
A performance based continuing training program consisting.
          December 31, 1987 as previously committed. The NUSCO Training
_
          Department will conduct a course on radioactive materials
of classroom and on-the-job training will be developed by July
          shipping for all new Radioactive Materials Department personnel
30, 1987 and completely implemented prior to December 31, 1987.
          as soon as practical following the hiring.
Date When Full Compliance Will Be Achieved:
          Alleged Violation:
The continuing
          10 CPR 50, Appendix B, Criterion II requires, in part, that the
training program will be established and attended by all Radwaste
          licensee shall provide for indoctrination and training of
personnel by December 31, 1987.
          personnel performing activities affecting quality as necessary to
<
                                                                          '
90 Day Status
          assure that suitable proficiency is achieved and maintained.
Training program is being developed and will be implemented by
          Contrary to the above, as of March 27, 1966, the Acting
December 31, 1987 as previously committed.
          Radioactive Materials Handling Supervisor and the principal
The NUSCO Training
          Radioactive Waste Materials Handler, who are involved in'an
Department will conduct a course on radioactive materials
          activity affecting quality in the handling of radioactive
shipping for all new Radioactive Materials Department personnel
                                                                                '
as soon as practical following the hiring.
          materials, were not adequately trained to assure that suitable
Alleged Violation:
          proficiency was achieved and maintained. Specifically, the
10 CPR 50, Appendix B,
          Acting Radioactive Materials Handling Supervisor had been in the
Criterion II requires, in part, that the
          position for about a year and had not received any training in
licensee shall provide for indoctrination and training of
          the transportation of radioactive material. The Radioactive
personnel performing activities affecting quality as necessary to
          Waste Material Handler, who has been in his position for about a
assure that suitable proficiency is achieved and maintained.
                                                                              *
'
          year, received only 2-3 days training about a year ago, which was
Contrary to the above, as of March 27, 1966, the Acting
          insufficient to assure that suitable proficiency was achieved and
Radioactive Materials Handling Supervisor and the principal
          maintained in the area of transportation of radioactive material
Radioactive Waste Materials Handler, who are involved in'an
          in light of the complexity of these regulations and of the
activity affecting quality in the handling of radioactive
          complexity of the transportation activities at Millstone Nuclear
'
          Power Station.
materials, were not adequately trained to assure that suitable
          This is a Severity Level IV violation.   (Supplement V)
proficiency was achieved and maintained.
Specifically, the
Acting Radioactive Materials Handling Supervisor had been in the
position for about a year and had not received any training in
the transportation of radioactive material.
The Radioactive
Waste Material Handler, who has been in his position for about a
year, received only 2-3 days training about a year ago, which was
*
insufficient to assure that suitable proficiency was achieved and
maintained in the area of transportation of radioactive material
in light of the complexity of these regulations and of the
complexity of the transportation activities at Millstone Nuclear
Power Station.
This is a Severity Level IV violation.
(Supplement V)


.   .
.
  ,
.
  .                                      -4-
,
      Response:
-4-
      Root Cause: Adequate training was not made available to
.
      individuals involved in the shipment of radioactive waste to
Response:
      assure suitable proficiency was achieved and maintained as per 10
Root Cause:
      CFR 50.                                               '
Adequate training was not made available to
      Corrective Steps Taken: Millstone Station has provided         ..
individuals involved in the shipment of radioactive waste to
      additional training to individuals involved in the shipment of'   .
assure suitable proficiency was achieved and maintained as per 10
      radioactive waste to assure suitable proficiency l'in the area of
CFR 50.
      transportation of radioactive material. See Attachment 1.
'
      Corrective Steps to Avoid Future Violations: Millstone Station
Corrective Steps Taken:
      will develop and implement a continuing training program in
Millstone Station has provided
      transportation of radioactive material to insure suitable
..
      proficiency is maintained.
additional training to individuals involved in the shipment of'
      Date When Full Compliance Will Be Achieved: The continuing
.
      training program will be established and attended by all Radwaste
radioactive waste to assure suitable proficiency l'in the area of
      personnel by December 31, 1987.
transportation of radioactive material.
      90 Day Status
See Attachment 1.
      Training program is being developed and will be implemented by
Corrective Steps to Avoid Future Violations:
      December 31, 1987. In the interim the Radiation Protection
Millstone Station
      Supervisor - Radioactive Materials has attended Chem' Nuclear's
will develop and implement a continuing training program in
      " Workshop on Radioactive Waste Packaging, Transportation and         -
transportation of radioactive material to insure suitable
      Disposal" at Charleston, S.C. This training was conducted on
proficiency is maintained.
      October 21 thru 23, 1986.
Date When Full Compliance Will Be Achieved:
      Alleged Violation:                           '
The continuing
      10 CFR 71.12(a) permits a general license i to be issued to any
training program will be established and attended by all Radwaste
      licensee of the Commission to transport, 'or to deliver to a
personnel by December 31, 1987.
      carrier for transport, licensed material in a package for which a   ,
90 Day Status
      licensee, certificate of compliance, or other approval has been
Training program is being developed and will be implemented by
      issued by the NRC.
December 31, 1987.
      10 CFR 71.12(c) states that this general license applies only to
In the interim the Radiation Protection
      a licensee who has a copy of the specific license, certificate of
Supervisor - Radioactive Materials has attended Chem' Nuclear's
      compliance, or other approval of the package, and has the
" Workshop on Radioactive Waste Packaging, Transportation and
      drawings and other documents referenced in the approval relating
-
      to the use and maintenance of the packaging and to the actions to
Disposal" at Charleston, S.C.
      be taken prior to shipment.
This training was conducted on
      Contrary to the above, on March 5, 1986 and March 14, 1986, the
October 21 thru 23, 1986.
      licensee delivered licensed material to a carrier for transport
Alleged Violation:
      to the Barnwell, S.C. burial Site in a package approved by the
'
      NRC, and the licensee did not have the drawings and other
i
      documents referenced in the approval relating to the use and
10 CFR 71.12(a) permits a general license to be issued to any
      maintenance of this type of package.
licensee of the Commission to transport, 'or to deliver to a
      This is a Severity Level IV violation.     (Supplement V)
carrier for transport, licensed material in a package for which a
                                                /
,
                                    - . ,   -       .   -   -
licensee, certificate of compliance, or other approval has been
issued by the NRC.
10 CFR 71.12(c) states that this general license applies only to
a licensee who has a copy of the specific license, certificate of
compliance, or other approval of the package, and has the
drawings and other documents referenced in the approval relating
to the use and maintenance of the packaging and to the actions to
be taken prior to shipment.
Contrary to the above, on March 5,
1986 and March 14, 1986, the
licensee delivered licensed material to a carrier for transport
to the Barnwell, S.C. burial Site in a package approved by the
NRC, and the licensee did not have the drawings and other
documents referenced in the approval relating to the use and
maintenance of this type of package.
This is a Severity Level IV violation.
(Supplement V)
/
- . ,
-
.
-
-


  .     .
.
      ,
.
      .                                                        -5-
,
          Responset
-5-
          Root Cause: At the time of the March 5, 1986 shipment, the
.
          referenced documents were reviewed and available at Millstone
Responset
          Station. After the shipment was made, Chem Nuclear Systems
Root Cause:
          changed the status of the cask and requested return of all
At the time of the March 5,
          company proprietary information including these documents.
1986 shipment, the
          Radwaste supervision was not aware of the 10 CFR 71.12 require-
referenced documents were reviewed and available at Millstone
    '
Station.
          ments for long term retention of documents referenced in the
After the shipment was made, Chem Nuclear Systems
          approval of the package. At the time of the March 14, 1986
changed the status of the cask and requested return of all
          shipment, Radwaste supervision had not retained the referenced
company proprietary information including these documents.
          drawings for this package.
Radwaste supervision was not aware of the 10 CFR 71.12 require-
          Corrective. Steps Taken: Radwaste supervision obtained copies of
'
          all documents and drawings utilized in the preparation of the
ments for long term retention of documents referenced in the
          radioactive shipments referenced above as required by 10 CFR
approval of the package.
          71.12.- : Shipment related documents and drawings required by 10
At the time of the March 14, 1986
          CFR 71.12 are currently being retained.
shipment, Radwaste supervision had not retained the referenced
          Corrective Steps To Avoid Future Violation: Radioactive shipping
drawings for this package.
          document and drawing retention as required by 10 CFR 71.12 will
Corrective. Steps Taken:
          be clarified in radwaste shipping procedures.
Radwaste supervision obtained copies of
          Date When Full Compliance Will Be " Achieved: Radwaste procedures
all documents and drawings utilized in the preparation of the
          will be revised to clarify document and drawing retention
radioactive shipments referenced above as required by 10 CFR
          requirements by December 31, 1986.
71.12.- : Shipment related documents and drawings required by 10
          90 Day Status:
CFR 71.12 are currently being retained.
          Procedures are being revised and will be approved by the Site
Corrective Steps To Avoid Future Violation:
          Operations Review Committee by December 31, 1986. Procedures
Radioactive shipping
          affected include RW 6003/26003/36003 and RW 6004/26004/36004.
document and drawing retention as required by 10 CFR 71.12 will
          Alleged Violation:
be clarified in radwaste shipping procedures.
          Technical Specification 6.14, requires that the Solid Radioactive
Date When Full Compliance Will Be " Achieved:
          Waste Treatment System used to process wet radioactive wastes
Radwaste procedures
          shall be operated in accordance with the Process Control Program
will be revised to clarify document and drawing retention
          to ensure the processed waste meets shipping and burial ground
requirements by December 31, 1986.
          requirements.     Item 4, " Commitments" of the Process Control
90 Day Status:
          Program for the Millstone Nuclear Power Station requires that
Procedures are being revised and will be approved by the Site
          approved station or vendor procedures will include the following
Operations Review Committee by December 31, 1986.
          detailed information:
Procedures
          a.   A general description of laboratory mixing of a sample of the
affected include RW 6003/26003/36003 and RW 6004/26004/36004.
                waste to arrive at process parameters prior to commencing the
Alleged Violation:
                solidification process.
Technical Specification 6.14, requires that the Solid Radioactive
          b.   A general description of the solidification process including
Waste Treatment System used to process wet radioactive wastes
                types of solidification agent, process control parameters,
shall be operated in accordance with the Process Control Program
                parameter boundary conditions, proper waste form properties,
to ensure the processed waste meets shipping and burial ground
                and assurance the solidification systems are operated within
requirements.
                established process parameters.
Item 4,
" Commitments" of the Process Control
Program for the Millstone Nuclear Power Station requires that
approved station or vendor procedures will include the following
detailed information:
a.
A general description of laboratory mixing of a sample of the
waste to arrive at process parameters prior to commencing the
solidification process.
b.
A general description of the solidification process including
types of solidification agent, process control parameters,
parameter boundary conditions, proper waste form properties,
and assurance the solidification systems are operated within
established process parameters.
t
t
                            -             - - _ . _ _ _ _ , . _
-
- - _ . _ _ _ _ , . _


.
.
  ,
.
    .
,
  .                                  -6-
-6-
      c. A general description of sampling of at least one
.
          representative sample from every tenth batch to ensure
c.
          solidification and action to be taken if the sample fails to
A general description of sampling of at least one
          verify solidification.
representative sample from every tenth batch to ensure
      d. Provisions to verify the absence of free liquid.
solidification and action to be taken if the sample fails to
      e. Provisions to process containers in which free liquids are
verify solidification.
          detected.
d.
      f. Specification of the process control parameters which must be
Provisions to verify the absence of free liquid.
          met prior to capping the container if the solidification is
e.
          exothermic.
Provisions to process containers in which free liquids are
      Contrary to the above, between March, 1985 and March, 1986, a
detected.
      contract vendor was used to solidify radioactive wastes *for
f.
      shipment to burial sites, and the vendor's procedures did not
Specification of the process control parameters which must be
      include all of the detailed information required by Item 4 of the
met prior to capping the container if the solidification is
      Process Control Program in that only Item d. above was included
exothermic.
      in the procedures.
Contrary to the above, between March, 1985 and March, 1986, a
      This is a Severity Level IV violation.   (Supplement V)
contract vendor was used to solidify radioactive wastes *for
      Response:
shipment to burial sites, and the vendor's procedures did not
      Root Cause: At the time of the solidification, no detailed
include all of the detailed information required by Item 4 of the
      procedures were in ef fect which specified the information which
Process Control Program in that only Item d. above was included
      needs to be included in Station and Vendor solidification
in the procedures.
      procedures.
This is a Severity Level IV violation.
      Corrective Steps: A corporate procedure, NEO 6.07, " Quality
(Supplement V)
      Assurance and Quality Control in Station Radioactive Material
Response:
      Processing, Classification, Packaging, and Transportation" has
Root Cause:
      been implemented which contains these process control program
At the time of the solidification, no detailed
      requirements. A new Station Administrative Control Procedure,
procedures were in ef fect which specified the information which
      "ACP-0A-2.01B, Quality Assurance and Quality Control in Station
needs to be included in Station and Vendor solidification
      Radioactive Material Processing Classification, Packaging and
procedures.
      Transportation", implements NEO 6.07 at Millstone Station.
Corrective Steps:
      Corrective Steps to Avoid Future Violations:   Existing Station
A corporate procedure, NEO 6.07, " Quality
      and Vendor procedures will be reviewed and upgraded as necessary
Assurance and Quality Control in Station Radioactive Material
      prior to use to ensure they comply with the process control
Processing, Classification, Packaging, and Transportation" has
      program requirements detailed in ACP-0A-2.01B, " Quality Assurance
been implemented which contains these process control program
      and Quality Control in Station Radioactive Material Processing
requirements.
      Classification, Packaging and Transportation".
A new Station Administrative Control Procedure,
      Date When Full Compliance Will Be Achieved: All radioactive
"ACP-0A-2.01B, Quality Assurance and Quality Control in Station
      waste solidification procedures will be reviewed and revised as
Radioactive Material Processing Classification, Packaging and
      necessary to comply with ACP-0A-2.01B by December 31, 1986.
Transportation", implements NEO 6.07 at Millstone Station.
Corrective Steps to Avoid Future Violations:
Existing Station
and Vendor procedures will be reviewed and upgraded as necessary
prior to use to ensure they comply with the process control
program requirements detailed in ACP-0A-2.01B, " Quality Assurance
and Quality Control in Station Radioactive Material Processing
Classification, Packaging and Transportation".
Date When Full Compliance Will Be Achieved:
All radioactive
waste solidification procedures will be reviewed and revised as
necessary to comply with ACP-0A-2.01B by December 31, 1986.


.   .
.
  ,
.
                                                                .
,
  .                                  -7-
.
      90 Day Status
-7-
      All Station and Vendor procedures being utilized at this time
.
      have been reviewed and revised as necessary to ensure compliance.
90 Day Status
      This action is complete.
All Station and Vendor procedures being utilized at this time
      Alleged Violation:
have been reviewed and revised as necessary to ensure compliance.
      10 CFR 20.311(d)(3) requires the conduct of a quality control
This action is complete.
      program to assure compliance with 10 CFR 61.56. 10 CFR 61.56
Alleged Violation:
      requires, in part, that waste must be structurally stable, i.e.,
10 CFR 20.311(d)(3) requires the conduct of a quality control
      the waste will generally maintain its physical dimensions and
program to assure compliance with 10 CFR 61.56.
      form under the expected disposal conditions. The licensee
10 CFR 61.56
      solidifies waste by means of its Process Control Program.
requires, in part, that waste must be structurally stable,
      Contrary to the above, on March 14, 1986, the licensee shipped
i.e.,
      4.1 curies of radioactive material solidified in cement and
the waste will generally maintain its physical dimensions and
      packaged by a vendor to the Barnwell, S.C. burial site (Shipment
form under the expected disposal conditions.
      No. 86-009-1), and a quality control program to assure compliance
The licensee
      with 10.CFR 61.56 was not implemented in that the licensee did
solidifies waste by means of its Process Control Program.
      not verify that the numerous requirements specified in the
Contrary to the above, on March 14, 1986, the licensee shipped
      Process Control Program had been satisfied to ensure that the
4.1 curies of radioactive material solidified in cement and
      waste was structurally stable.
packaged by a vendor to the Barnwell, S.C. burial site (Shipment
      This is a Severity Level IV violation.   (Supplement V)
No. 86-009-1), and a quality control program to assure compliance
      Response:
with 10.CFR 61.56 was not implemented in that the licensee did
      Root Cause : No Corporate or Station procedures were in effect at
not verify that the numerous requirements specified in the
      the time of solidification which addressed the process control
Process Control Program had been satisfied to ensure that the
      program required by 10 CPR 61.56.
waste was structurally stable.
      Corrective Steps Taken: A corporate policy has been implemented
This is a Severity Level IV violation.
      which details a quality control program to assure compliance with
(Supplement V)
      10 CFR 61.56.
Response:
      Corrective Steps Taken to Avoid Future Violations: Two
Root Cause :
      procedures are now in effect which detail process control program
No Corporate or Station procedures were in effect at
      requirements for compliance with 10 CFR 61.56:
the time of solidification which addressed the process control
            NEO 6.07, " Quality Assurance and Quality Control in Station
program required by 10 CPR 61.56.
            Radioactive Material Processing, Classification, Packaging
Corrective Steps Taken:
            and Transportation". Effective March 25, 1986.
A corporate policy has been implemented
            ACP-QA-2.01B, " Quality Assurance and Quality control in
which details a quality control program to assure compliance with
            Station Radioactive Material Processing, Classification,
10 CFR 61.56.
            Packaging and Transportation". Effective June 24, 1986.
Corrective Steps Taken to Avoid Future Violations:
      All Vendor and Station radioactive waste solidification
Two
      procedures will be reviewed and revised prior to use to ensure
procedures are now in effect which detail process control program
      compliance with NEO 6.07 and ACP-0A-2.01B.
requirements for compliance with 10 CFR 61.56:
NEO 6.07, " Quality Assurance and Quality Control in Station
Radioactive Material Processing, Classification, Packaging
and Transportation".
Effective March 25, 1986.
ACP-QA-2.01B, " Quality Assurance and Quality control in
Station Radioactive Material Processing, Classification,
Packaging and Transportation".
Effective June 24, 1986.
All Vendor and Station radioactive waste solidification
procedures will be reviewed and revised prior to use to ensure
compliance with NEO 6.07 and ACP-0A-2.01B.


  * .   .
* .
      ,
.
,
4
4
                                                                            l
-8-
      ,                                  -8-                               ,
,
          Date When Full Compliance Will Be Achieved: All Vendor and
,
          Station procedures involving solidification of radioactive waste
Date When Full Compliance Will Be Achieved:
          will be in compliance with ACP-0A-2.01B by December 31, 1986.
All Vendor and
          90 Day Status
Station procedures involving solidification of radioactive waste
          All Station and Vendor procedures being utilized at this time
will be in compliance with ACP-0A-2.01B by December 31, 1986.
          have been reviewed and revised as necessary to ensure compliance.
90 Day Status
          This action is complete.
All Station and Vendor procedures being utilized at this time
          Improvements to Radioactive Material Shipping Department
have been reviewed and revised as necessary to ensure compliance.
          In addition to the specific corrective actions taken, the
This action is complete.
          following improvements have been made to the radioactive
Improvements to Radioactive Material Shipping Department
          materials shipping program:
In addition to the specific corrective actions taken, the
          1. A re-organization of the radioactive waste group has been
following improvements have been made to the radioactive
              completed. The following new positions have been created to
materials shipping program:
              improve the management and preparation of radioactive
1.
              materials for shipment:
A re-organization of the radioactive waste group has been
              Radiation Protection Supervisor - Radioactive Materials
completed.
              Assistant Radiation Protection Supervisor - Radioactive
The following new positions have been created to
              Materials
improve the management and preparation of radioactive
              Station Technician A
materials for shipment:
              Radioactive Materials Handlers (7 positions)
Radiation Protection Supervisor - Radioactive Materials
              The Radiation Protection Supervisor and Assistant Radiation
Assistant Radiation Protection Supervisor - Radioactive
              Protection Supervisor positions have been filled.
Materials
              Job offers are being made to the seven personnel selected as
Station Technician A
              Radioactive Material Handlers.   Interviews are being
Radioactive Materials Handlers (7 positions)
              conducted for the Station Technician A position.
The Radiation Protection Supervisor and Assistant Radiation
              Staffing completion for the above positions is targeted for
Protection Supervisor positions have been filled.
              December 31, 1986.
Job offers are being made to the seven personnel selected as
              The Radiation Protection Supervisor - Radioactive Materials
Radioactive Material Handlers.
              will report to the Health Physics Supervisor.
Interviews are being
          2. Additional training has been provided for individuals
conducted for the Station Technician A position.
              involved in the shipment of radioactive materials.   (See
Staffing completion for the above positions is targeted for
              Attachment 1.) In addition, a continuing training program
December 31, 1986.
              will be established and implemented in 1987 for individuals
The Radiation Protection Supervisor - Radioactive Materials
              involved in the preparation and shipment of radioactive
will report to the Health Physics Supervisor.
              materials.
2.
          3. The site OA/0C Department, through the use of OA surveillance
Additional training has been provided for individuals
              (activity observation) and inspections will monitor the
involved in the shipment of radioactive materials.
              processing, packaging and shipping of radioactive waste.
(See
                                                      -.
Attachment 1.)
In addition, a continuing training program
will be established and implemented in 1987 for individuals
involved in the preparation and shipment of radioactive
materials.
3.
The site OA/0C Department, through the use of OA surveillance
(activity observation) and inspections will monitor the
processing, packaging and shipping of radioactive waste.
-.


..,   ,
..,
  .
,
    ,
.
                                            -9-
-9-
            At least once per month, periodic surveillance of the
,
            processing of radioactive waste including packaging and
At least once per month, periodic surveillance of the
            shipping will be performed. The packaging and shipping
processing of radioactive waste including packaging and
            aspects will also be covered via inspect!on and hold points
shipping will be performed.
            in the procedures and work orders. These programs are
The packaging and shipping
            established, working and are conducted under the joint
aspects will also be covered via inspect!on and hold points
            Corporate / Site audit program.     Audits done during this period
in the procedures and work orders.
            are listed below with area inspected:
These programs are
            NNECO OA Surveillance
established, working and are conducted under the joint
                073086 - Spent Resin Processing
Corporate / Site audit program.
                080786 - Safety Stand for LSA Box Inspection
Audits done during this period
                  100186 - Procedure Compliance
are listed below with area inspected:
            NUSCO OA Surveillance
NNECO OA Surveillance
                092286-101086 - Radioactive Material Shipping Compliance
073086 - Spent Resin Processing
            NUSCO Radiological Assessment Branch - Health Physics Audit
080786 - Safety Stand for LSA Box Inspection
                082086-082186 - Radioactive Processing, Waste Classifi-
100186 - Procedure Compliance
                                  cation, Area Posting, Radioactive
NUSCO OA Surveillance
                                  Material Control
092286-101086 - Radioactive Material Shipping Compliance
        4. Additional programs for reducing the volume of radioactive
NUSCO Radiological Assessment Branch - Health Physics Audit
            waste are being implemented. A project assignment for
082086-082186 - Radioactive Processing, Waste Classifi-
            improved compaction equipment has also been initiated.       Super
cation, Area Posting, Radioactive
            compaction equipment and/or services supplied by Scientific
Material Control
            Ecology Group, Inc., Westinghouse and General Electric are
4.
            under evaluation.
Additional programs for reducing the volume of radioactive
        A status report of upgrades and improvements in our program for
waste are being implemented.
        preparation, packaging and shipment of radioactive materials will
A project assignment for
        be furnished to you every 90 days until upgrades are completed.
improved compaction equipment has also been initiated.
                                  Very truly yours,
Super
                          NORTHEAST NUCLEAR ENERGY COMPANY
compaction equipment and/or services supplied by Scientific
                                          -          !~
Ecology Group, Inc., Westinghouse and General Electric are
                                    NFJ/ F. Opekd
under evaluation.
                                Senior Vice President
A status report of upgrades and improvements in our program for
preparation, packaging and shipment of radioactive materials will
be furnished to you every 90 days until upgrades are completed.
Very truly yours,
NORTHEAST NUCLEAR ENERGY COMPANY
!~
-
NFJ/ F.
Opekd
Senior Vice President
}}
}}

Latest revision as of 21:15, 5 December 2024

Ack Receipt of in Response to Requests for Updates on Program Improvement Plan for Radwaste Preparation,Packaging & Shipping,Re Combined Insp Repts 50-245/86-06,50-336/86-06 & 50-213/86-04
ML20211Q286
Person / Time
Site: Millstone, Haddam Neck, 05000000
Issue date: 12/12/1986
From: Martin T
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
To: Opeka J
NORTHEAST NUCLEAR ENERGY CO.
References
NUDOCS 8612190234
Download: ML20211Q286 (2)


See also: IR 05000213/1986004

Text

r

s

DEC 121986

Docket Nos. 50-245

50-336

,

50-213

Northeast Nuclear Energy Company

ATTN: Mr. J. F. Opeka

Senior Vice President - Nuclear

'

Engineering and Operations Group

P. O. Box 270

Hartford, Connecticut 06141-0270

Gentlemen:

Subject: Combined Inspection Nos. 50-245/86-06, 50-336/86-06 and

50-213/86-04

We have reviewed your letter dated November 19, 1986, in response to our re-

quest for updates on your program improvement plan in your radioactive waste

preparation, packaging and shipping program. We have noted that actions on

these procedures governing radioactive waste solidification are reported to be

complete and progress has been made on the other improvement items.

Thank you for informing us of the progress on these corrective and preventive

actions as documented in your letter. These actions will be examined during a

future inspection of your licensed program.

Your cooperation with us is appreciated.

Sincerely,

OM r'v1 CI- d N8

y& k.

OltJ

MetJMomas T. Martin, Director

v

Division of Radiation Safety

and Safeguards

cc:

E. J. Mroczka, Vice President, Nuclear Operations

W. D. Romberg, Station Superintendent

D. O. Nordquist, Manager of Quality Assurance

R. T. Laudenat, Manager, Generation Facilities Licensing

R. Graves, Plant Superintendent

Gerald Garfield, Esquire

Pubite Document Room (PDR)

Local Public Document Room (LPDR)

Nuclear Safety Information Center (NSIC)

NRC Resident Inspector

State of Connecticut

0FFICIAL RECORD COPY

RL MILLSTONE - 0001.0.0

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12/08/86

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8612190234 061212

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Northeast Nuclear Energy Company

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Region I Docket Room (with concurrences)

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Management Assistant, DRMA (w/o enc 1)

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DRP Section Chief

M. McBride, RI, Pilgrim

l

P. Swetland, SRI, Haddam Neck

J. T. Shediosky, SRI, Millstone 1&2

T. Rebelowski, SRI, Millstone 3

,

J. Akstulewica, LPM, NRR

!

J. Sh::a, LPM, NRR

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D. Osborne, LPM, NRR

Robert J. Bores, DRSS

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12/4/86

12/ll/86

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RL MILLSTONE - 0002.0.0

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General Offices * Selden Street. Bertin, Connecticut

e.e ca cecue to., no aa co.

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HARTFORD, CONNECTICUT 06141-0270

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(203) 665-5000

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November 19, 1986

Docket No. 50-245,

50-336

A05929

Dr. Thomas E. Murley

Regional Administrator

Region 1

U.S. Nuclear Regulatory Commission

631 Park Avenue

King of Prussia, PA

19406

References:

(1)

T.

E.

Murley Letter to J.

F. Opeka, dated

July 22, 1986, Inspection Report No.

50-245/86-06, 50-336/86-06 and 50-213/86-04.

(2)

J. F. Opeka Letter to T.

E. Murley, dated

August 21, 1986, Response to Inspection No.

50-245/86-06, 50-336/86-06 and 50-213/86-04.

Gentlemen

Millstone Nuclear Power Station, Units 1 and 2

Update to Response to I& E Inspection No. 50-245/86-06 and 50-336/86-04

Reference (1) informed Northeast Utilities of five Level IV

violations, which were identified during inspections at the

Millstone Nuclear Power Station (March 24-27, 1986).

In addition

to responding to the inspection report, Reference (1) directed

that an update be provided overy 90 days until all upgrades are

completed.

Reference (2) responded to Reference (1).

This report is the

first 90 day update.

l

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'6(oiQ % A9503~ 9(p.

+

.

,

-2-

.

Alleged Violation:

10 CFR 71.5 requires that each licensee who transports licensed

material outside of the confines of its plant or other place of

use, or who delivoro licensed material to a carrier for tranc-

port, shall comply with the applicable requirements of the

regulations appropriate to the mode of transport of DOT in 49 CPR

Parts 170 through 189.

49 CFR 172.403(c) requires, in part, that a Radioactive

Yellow-III label must be affixed to each package of radioactive

material which measures in excess of 1.0 millirem at one meter

from each point on the external surface of the package.

In

addition, 49 CFR 172.504 requires that a vehicle transporting

packages of radioactive material must be placarded if the vehicle

contains packages of licensed material that are labeled

Radioactive Yellow-III.

Contrary to the above, on March 5,

1986, licensed material was

delivered to a carrier for transport in a package which had a

radiation level of 3.0 millirem per hour at 1 meter from the

surface of the package, and the package was erroneously labeled

Radioactive-Yellow II rather than Radioactive Yellow-III as

required.

As a result, the vehicle containing the package was

not placarded, as required by 49 CFR 172.504(a).

This is a Severity Level IV violation.

(Supplement V)

Response

Root Cause:

The individual (s) responsible for the preparation of

shipping papers and compliance with 49 CFR regulations were not

sufficiently trained in DOT regulations to properly label and

placard this shipment.

Corrective Steps Taken

Millstone Station has provided

additional training to individuals involved in the transport of

radioactive material.

Training sessions which were held are

listed on Attachment 1.

Corrective Steps to Avoid Future Violations:

Millstone Station

will develop and implement a continuing training program for

Radwaste personnel.

The Health Physics section of the Technical Training Branch of

the Nuclear Training Department will complete a job analysis and

procedure based task analysis in accordance with procedure

NTM-1.06, " Systematic Instructional Design" for the following

areas:

Radwaste Handlers, Radwaste Supervision and Station

Technician (R/W), and Radwaste OA/OC by February 28, 1987.

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A set of instructional objectives resulting from this analysis

effort will be produced and approved by the Training Program

Control Committee for Radwaste by March 30, 1987.

A performance based continuing training program consisting.

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of classroom and on-the-job training will be developed by July

30, 1987 and completely implemented prior to December 31, 1987.

Date When Full Compliance Will Be Achieved:

The continuing

training program will be established and attended by all Radwaste

personnel by December 31, 1987.

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90 Day Status

Training program is being developed and will be implemented by

December 31, 1987 as previously committed.

The NUSCO Training

Department will conduct a course on radioactive materials

shipping for all new Radioactive Materials Department personnel

as soon as practical following the hiring.

Alleged Violation:

10 CPR 50, Appendix B,

Criterion II requires, in part, that the

licensee shall provide for indoctrination and training of

personnel performing activities affecting quality as necessary to

assure that suitable proficiency is achieved and maintained.

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Contrary to the above, as of March 27, 1966, the Acting

Radioactive Materials Handling Supervisor and the principal

Radioactive Waste Materials Handler, who are involved in'an

activity affecting quality in the handling of radioactive

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materials, were not adequately trained to assure that suitable

proficiency was achieved and maintained.

Specifically, the

Acting Radioactive Materials Handling Supervisor had been in the

position for about a year and had not received any training in

the transportation of radioactive material.

The Radioactive

Waste Material Handler, who has been in his position for about a

year, received only 2-3 days training about a year ago, which was

insufficient to assure that suitable proficiency was achieved and

maintained in the area of transportation of radioactive material

in light of the complexity of these regulations and of the

complexity of the transportation activities at Millstone Nuclear

Power Station.

This is a Severity Level IV violation.

(Supplement V)

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Response:

Root Cause:

Adequate training was not made available to

individuals involved in the shipment of radioactive waste to

assure suitable proficiency was achieved and maintained as per 10 CFR 50.

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Corrective Steps Taken:

Millstone Station has provided

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additional training to individuals involved in the shipment of'

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radioactive waste to assure suitable proficiency l'in the area of

transportation of radioactive material.

See Attachment 1.

Corrective Steps to Avoid Future Violations:

Millstone Station

will develop and implement a continuing training program in

transportation of radioactive material to insure suitable

proficiency is maintained.

Date When Full Compliance Will Be Achieved:

The continuing

training program will be established and attended by all Radwaste

personnel by December 31, 1987.

90 Day Status

Training program is being developed and will be implemented by

December 31, 1987.

In the interim the Radiation Protection

Supervisor - Radioactive Materials has attended Chem' Nuclear's

" Workshop on Radioactive Waste Packaging, Transportation and

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Disposal" at Charleston, S.C.

This training was conducted on

October 21 thru 23, 1986.

Alleged Violation:

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10 CFR 71.12(a) permits a general license to be issued to any

licensee of the Commission to transport, 'or to deliver to a

carrier for transport, licensed material in a package for which a

,

licensee, certificate of compliance, or other approval has been

issued by the NRC.

10 CFR 71.12(c) states that this general license applies only to

a licensee who has a copy of the specific license, certificate of

compliance, or other approval of the package, and has the

drawings and other documents referenced in the approval relating

to the use and maintenance of the packaging and to the actions to

be taken prior to shipment.

Contrary to the above, on March 5,

1986 and March 14, 1986, the

licensee delivered licensed material to a carrier for transport

to the Barnwell, S.C. burial Site in a package approved by the

NRC, and the licensee did not have the drawings and other

documents referenced in the approval relating to the use and

maintenance of this type of package.

This is a Severity Level IV violation.

(Supplement V)

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Responset

Root Cause:

At the time of the March 5,

1986 shipment, the

referenced documents were reviewed and available at Millstone

Station.

After the shipment was made, Chem Nuclear Systems

changed the status of the cask and requested return of all

company proprietary information including these documents.

Radwaste supervision was not aware of the 10 CFR 71.12 require-

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ments for long term retention of documents referenced in the

approval of the package.

At the time of the March 14, 1986

shipment, Radwaste supervision had not retained the referenced

drawings for this package.

Corrective. Steps Taken:

Radwaste supervision obtained copies of

all documents and drawings utilized in the preparation of the

radioactive shipments referenced above as required by 10 CFR 71.12.- : Shipment related documents and drawings required by 10 CFR 71.12 are currently being retained.

Corrective Steps To Avoid Future Violation:

Radioactive shipping

document and drawing retention as required by 10 CFR 71.12 will

be clarified in radwaste shipping procedures.

Date When Full Compliance Will Be " Achieved:

Radwaste procedures

will be revised to clarify document and drawing retention

requirements by December 31, 1986.

90 Day Status:

Procedures are being revised and will be approved by the Site

Operations Review Committee by December 31, 1986.

Procedures

affected include RW 6003/26003/36003 and RW 6004/26004/36004.

Alleged Violation:

Technical Specification 6.14, requires that the Solid Radioactive

Waste Treatment System used to process wet radioactive wastes

shall be operated in accordance with the Process Control Program

to ensure the processed waste meets shipping and burial ground

requirements.

Item 4,

" Commitments" of the Process Control

Program for the Millstone Nuclear Power Station requires that

approved station or vendor procedures will include the following

detailed information:

a.

A general description of laboratory mixing of a sample of the

waste to arrive at process parameters prior to commencing the

solidification process.

b.

A general description of the solidification process including

types of solidification agent, process control parameters,

parameter boundary conditions, proper waste form properties,

and assurance the solidification systems are operated within

established process parameters.

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c.

A general description of sampling of at least one

representative sample from every tenth batch to ensure

solidification and action to be taken if the sample fails to

verify solidification.

d.

Provisions to verify the absence of free liquid.

e.

Provisions to process containers in which free liquids are

detected.

f.

Specification of the process control parameters which must be

met prior to capping the container if the solidification is

exothermic.

Contrary to the above, between March, 1985 and March, 1986, a

contract vendor was used to solidify radioactive wastes *for

shipment to burial sites, and the vendor's procedures did not

include all of the detailed information required by Item 4 of the

Process Control Program in that only Item d. above was included

in the procedures.

This is a Severity Level IV violation.

(Supplement V)

Response:

Root Cause:

At the time of the solidification, no detailed

procedures were in ef fect which specified the information which

needs to be included in Station and Vendor solidification

procedures.

Corrective Steps:

A corporate procedure, NEO 6.07, " Quality

Assurance and Quality Control in Station Radioactive Material

Processing, Classification, Packaging, and Transportation" has

been implemented which contains these process control program

requirements.

A new Station Administrative Control Procedure,

"ACP-0A-2.01B, Quality Assurance and Quality Control in Station

Radioactive Material Processing Classification, Packaging and

Transportation", implements NEO 6.07 at Millstone Station.

Corrective Steps to Avoid Future Violations:

Existing Station

and Vendor procedures will be reviewed and upgraded as necessary

prior to use to ensure they comply with the process control

program requirements detailed in ACP-0A-2.01B, " Quality Assurance

and Quality Control in Station Radioactive Material Processing

Classification, Packaging and Transportation".

Date When Full Compliance Will Be Achieved:

All radioactive

waste solidification procedures will be reviewed and revised as

necessary to comply with ACP-0A-2.01B by December 31, 1986.

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90 Day Status

All Station and Vendor procedures being utilized at this time

have been reviewed and revised as necessary to ensure compliance.

This action is complete.

Alleged Violation:

10 CFR 20.311(d)(3) requires the conduct of a quality control

program to assure compliance with 10 CFR 61.56.

10 CFR 61.56

requires, in part, that waste must be structurally stable,

i.e.,

the waste will generally maintain its physical dimensions and

form under the expected disposal conditions.

The licensee

solidifies waste by means of its Process Control Program.

Contrary to the above, on March 14, 1986, the licensee shipped

4.1 curies of radioactive material solidified in cement and

packaged by a vendor to the Barnwell, S.C. burial site (Shipment

No. 86-009-1), and a quality control program to assure compliance

with 10.CFR 61.56 was not implemented in that the licensee did

not verify that the numerous requirements specified in the

Process Control Program had been satisfied to ensure that the

waste was structurally stable.

This is a Severity Level IV violation.

(Supplement V)

Response:

Root Cause :

No Corporate or Station procedures were in effect at

the time of solidification which addressed the process control

program required by 10 CPR 61.56.

Corrective Steps Taken:

A corporate policy has been implemented

which details a quality control program to assure compliance with

10 CFR 61.56.

Corrective Steps Taken to Avoid Future Violations:

Two

procedures are now in effect which detail process control program

requirements for compliance with 10 CFR 61.56:

NEO 6.07, " Quality Assurance and Quality Control in Station

Radioactive Material Processing, Classification, Packaging

and Transportation".

Effective March 25, 1986.

ACP-QA-2.01B, " Quality Assurance and Quality control in

Station Radioactive Material Processing, Classification,

Packaging and Transportation".

Effective June 24, 1986.

All Vendor and Station radioactive waste solidification

procedures will be reviewed and revised prior to use to ensure

compliance with NEO 6.07 and ACP-0A-2.01B.

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Date When Full Compliance Will Be Achieved:

All Vendor and

Station procedures involving solidification of radioactive waste

will be in compliance with ACP-0A-2.01B by December 31, 1986.

90 Day Status

All Station and Vendor procedures being utilized at this time

have been reviewed and revised as necessary to ensure compliance.

This action is complete.

Improvements to Radioactive Material Shipping Department

In addition to the specific corrective actions taken, the

following improvements have been made to the radioactive

materials shipping program:

1.

A re-organization of the radioactive waste group has been

completed.

The following new positions have been created to

improve the management and preparation of radioactive

materials for shipment:

Radiation Protection Supervisor - Radioactive Materials

Assistant Radiation Protection Supervisor - Radioactive

Materials

Station Technician A

Radioactive Materials Handlers (7 positions)

The Radiation Protection Supervisor and Assistant Radiation

Protection Supervisor positions have been filled.

Job offers are being made to the seven personnel selected as

Radioactive Material Handlers.

Interviews are being

conducted for the Station Technician A position.

Staffing completion for the above positions is targeted for

December 31, 1986.

The Radiation Protection Supervisor - Radioactive Materials

will report to the Health Physics Supervisor.

2.

Additional training has been provided for individuals

involved in the shipment of radioactive materials.

(See

Attachment 1.)

In addition, a continuing training program

will be established and implemented in 1987 for individuals

involved in the preparation and shipment of radioactive

materials.

3.

The site OA/0C Department, through the use of OA surveillance

(activity observation) and inspections will monitor the

processing, packaging and shipping of radioactive waste.

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At least once per month, periodic surveillance of the

processing of radioactive waste including packaging and

shipping will be performed.

The packaging and shipping

aspects will also be covered via inspect!on and hold points

in the procedures and work orders.

These programs are

established, working and are conducted under the joint

Corporate / Site audit program.

Audits done during this period

are listed below with area inspected:

NNECO OA Surveillance

073086 - Spent Resin Processing

080786 - Safety Stand for LSA Box Inspection

100186 - Procedure Compliance

NUSCO OA Surveillance

092286-101086 - Radioactive Material Shipping Compliance

NUSCO Radiological Assessment Branch - Health Physics Audit

082086-082186 - Radioactive Processing, Waste Classifi-

cation, Area Posting, Radioactive

Material Control

4.

Additional programs for reducing the volume of radioactive

waste are being implemented.

A project assignment for

improved compaction equipment has also been initiated.

Super

compaction equipment and/or services supplied by Scientific

Ecology Group, Inc., Westinghouse and General Electric are

under evaluation.

A status report of upgrades and improvements in our program for

preparation, packaging and shipment of radioactive materials will

be furnished to you every 90 days until upgrades are completed.

Very truly yours,

NORTHEAST NUCLEAR ENERGY COMPANY

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Opekd

Senior Vice President