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Category:Letter
MONTHYEARML24240A1692024-09-18018 September 2024 Cy 2023 Summary of Decommissioning Trust Fund Status IR 05000003/20240022024-08-0606 August 2024 NRC Inspection Report 05000003/2024002, 05000247/2024002, 05000286/2024002 PNP 2024-030, Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 02024-08-0202 August 2024 Update Report for Holtec Decommissioning International Fleet Decommissioning Quality Assurance Program Rev. 3 and Palisades Transitioning Quality Assurance Plan, Rev 0 ML24171A0122024-06-18018 June 2024 Reply to a Notice of Violation EA-24-037 ML24156A1162024-06-0404 June 2024 Correction - Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations ML24151A6482024-06-0303 June 2024 Changes in Reactor Decommissioning Branch Project Management Assignments for Some Decommissioning Facilities IR 05000003/20240052024-05-21021 May 2024 and 3 - NRC Inspection Report Nos. 05000003/2024005, 05000247/2024005, 05000286/2024005, 07200051/2024001, and Notice of Violation ML24128A0632024-05-0707 May 2024 Submittal of 2023 Annual Radiological Environmental Operating Report L-24-009, HDI Annual Occupational Radiation Exposure Data Reports - 20232024-04-29029 April 2024 HDI Annual Occupational Radiation Exposure Data Reports - 2023 ML24116A2412024-04-25025 April 2024 Annual Environmental Protection Plan Report ML24114A2282024-04-23023 April 2024 Annual Radioactive Effluent Release Report L-24-007, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI)2024-03-29029 March 2024 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations – Holtec Decommissioning International, LLC (HDI) ML24080A1722024-03-20020 March 2024 Reply to a Notice of Violation EA-2024-010 IR 05000003/20240012024-03-20020 March 2024 NRC Inspection Report Nos. 05000003/2024001, 05000247/2024001, and 05000286/2024001 (Cover Letter Only) ML24045A0882024-02-22022 February 2024 Correction to the Technical Specifications to Reflect Appropriate Pages Removed and Retained by Previous License Amendments ML24053A0642024-02-22022 February 2024 2023 Annual Fitness for Duty Program Performance Data Report and Fatigue Management Program Data Report IR 05000003/20230042024-02-22022 February 2024 NRC Inspection Report Nos. 05000003/2023004, 05000247/2023004, 05000286/2023004, and 07200051/2023004 and Notice of Violation ML24011A1982024-01-12012 January 2024 ISFSI, Notice of Organization Change for Site Vice President ML23342A1082024-01-0909 January 2024 – Independent Spent Fuel Storage Installation Security Inspection Plan ML23353A1742023-12-19019 December 2023 ISFSI, Emergency Plan, Revision 23-04 L-23-019, Proof of Financial Protection 10 CFR 140.152023-12-18018 December 2023 Proof of Financial Protection 10 CFR 140.15 ML23326A1322023-12-0505 December 2023 Issuance of Amendment No. 67, 300 & 276 to Implement the Independent Spent Fuel Storage Installation Only Emergency Plan ML23339A0442023-12-0505 December 2023 Issuance of Amendment No. 68, 301 and 277 Regarding Changes to Implement the Independent Spent Fuel Storage Installation Physical Security Plan ML23338A2262023-12-0404 December 2023 Signed Amendment No. 27 to Indemnity Agreement No. B-19 ML23356A0212023-12-0101 December 2023 American Nuclear Insurers, Secondary Financial Protection (SFP) Program ML23242A2772023-11-30030 November 2023 NRC Letter Issuance - IP LAR for Units 2 and 3 Renewed Facility Licenses and PDTS to Reflect Permanent Removal of Spent Fuel from SFPs ML23338A0482023-11-30030 November 2023 ISFSI, Report of Changes to Physical Security, Training and Qualification, Safeguards Contingency Plan, and ISFSI Security Program, Revision 28 ML22339A1572023-11-27027 November 2023 Letter - Indian Point - Ea/Fonsi Request for Exemptions from Certain Emergency Planning Requirements for 10 CFR 50.47 and 10 CFR Part 50, Appendix E IR 05000003/20230032023-11-21021 November 2023 NRC Inspection Report Nos. 05000003/2023003, 05000247/2023003, 05000286/2023003, and 07200051/2023003 ML23100A1252023-11-17017 November 2023 Letter and Enclosure 1 - Issuance Indian Point Energy Center Units 1, 2, and 3 Exemption for Offsite Primary and Secondary Liability Insurance Indemnity Agreement ML23100A1172023-11-17017 November 2023 NRC Response - Indian Point Energy Center Generating Units 1, 2, and 3 Letter with Enclosures Regarding Changes to Remove the Cyber Security Plan License Condition ML23050A0032023-11-17017 November 2023 Letter - Issuance Indian Point Unit 2 License Amendment Request to Modify Tech Specs for Staffing Requirements Following Spent Fuel Transfer to Dry Storage ML23100A1432023-11-16016 November 2023 Letter - Issuance Indian Point Energy Center Generating Units 1, 2, and 3 Exemption Concerning Onsite Property Damage Insurance (Docket Nos. 50-003, 50-247, 50-286) L-23-012, Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point2023-11-13013 November 2023 Master Decommissioning Trust Agreement Changes for Indian Point Nuclear Generating Units 1, 2 and 3, Pilgrim Nuclear Power Station, Palisades Nuclear Plant and the Non-Qualified Trust for Big Rock Point ML23064A0002023-11-13013 November 2023 NRC Issuance for Approval-Indian Point EC Units 1, 2 and 3 Emergency Plan and Emergency Action Level Scheme Amendments ML23306A0992023-11-0202 November 2023 and Indian Point Energy Center, Notification of Changes in Schedule in Accordance with 10 CFR 50.82(a)(7) ML23063A1432023-11-0101 November 2023 Letter - Issuance Holtec Request for Indian Point Energy Center Generating Units 1, 2, and 3 Exemptions from Certain Emergency Planning Requirements of 10 CFR 50.47 and Part 50 ML23292A0262023-10-19019 October 2023 LTR-23-0211-RI Thomas Congdon, Executive Deputy, Department of Public Service, Chair, Indian Point Decommissioning Oversight Board, Letter Independent Spent Fuel Storage Installation Inspection and Office of the Inspector General Report-RI ML23289A1582023-10-16016 October 2023 Decommissioning International - Registration of Spent Fuel Casks and Notification of Permanent Removal of All Indian Point Unit 3 Spent Fuel Assemblies from the Spent Fuel Pit ML23270A0082023-09-27027 September 2023 Registration of Spent Fuel Casks ML23237A5712023-09-22022 September 2023 09-22-2023 Letter to Dwaine Perry, Chief, Ramapo Munsee Nation, from Chair Hanson, Responds to Letter Regarding Opposition of the Release and Dumping of Radioactive Waste from Indian Point Nuclear Power Plant Into the Hudson River ML23242A2182023-09-12012 September 2023 IPEC NRC Response to the Town of New Windsor, Ny Board Certified Motion Letter Regarding Treated Water Release from IP Site (Dockets 50-003, 50-247, 50-286) ML23250A0812023-09-0707 September 2023 Registration of Spent Fuel Casks ML23255A0142023-08-31031 August 2023 LTR-23-0211 Thomas Congdon, Executive Deputy, Department of Public Service, Chair, Indian Point Decommissioning Oversight Board, Letter Independent Spent Fuel Storage Installation Inspection and Office of the Inspector General Report IR 05000003/20230022023-08-22022 August 2023 NRC Inspection Report 05000003/2023002, 05000247/2023002, 05000286/2023002, and 07200051/2023002 ML23227A1852023-08-15015 August 2023 Request for a Revised Approval Date Regarding the Indian Point Energy Center Permanently Defueled Emergency Plan and Emergency Action Level Scheme ML23222A1442023-08-10010 August 2023 Registration of Spent Fuel Casks ML23208A1642023-07-26026 July 2023 Village of Croton-on-Hudson New York Letter Dated 7-26-23 Re Holtec Wastewater ML23200A0422023-07-19019 July 2023 Registration of Spent Fuel Casks ML23235A0602023-07-17017 July 2023 LTR-23-0194 Dwaine Perry, Chief, Ramapo Munsee Nation, Ltr Opposition of the Release and Dumping of Radioactive Waste from Indian Point Nuclear Power Plant Into the Hudson River 2024-09-18
[Table view] Category:Notice of Violation
MONTHYEARIR 05000003/20240052024-05-21021 May 2024 and 3 - NRC Inspection Report Nos. 05000003/2024005, 05000247/2024005, 05000286/2024005, 07200051/2024001, and Notice of Violation IR 05000003/20230042024-02-22022 February 2024 NRC Inspection Report Nos. 05000003/2023004, 05000247/2023004, 05000286/2023004, and 07200051/2023004 and Notice of Violation ML17013A2332017-01-17017 January 2017 Integrated Inspection Report 05000247/2016003 and 05000286/2016003 and Notice of Violation (EA-16-193) IR 05000286/20150082015-03-16016 March 2015 NRC Inspection Report 05000286/2015008; and Notice of Violation IR 05000247/20150082015-03-16016 March 2015 Indian Point Energy Center Unit 3 - NRC Inspection Report 05000286/2015008; And Notice Of Violation IR 05000247/20130112014-04-29029 April 2014 IR 05000247-13-011 & 05000286-13-011, and Notice of Violation, Indian Point Energy Center Units 2 & 3, and Office of Investigations Report No. 1-2012-036 ML14118A2212014-04-29029 April 2014 Individual Notice of Violation IR 05000247/20120092012-08-16016 August 2012 IR 05000247-12-009, 05000286-12-008; 4/23/2012 - 4/26/2012; Indian Point Nuclear Generating Units 2 and 3; Annual Follow-up of Selected Issues Inspection ML12229A1282012-08-16016 August 2012 IR 05000247-12-009, 05000286-12-008; 4/23/2012 - 4/26/2012; Indian Point Nuclear Generating Units 2 and 3; Annual Follow-up of Selected Issues Inspection IR 05000333/20110092012-01-26026 January 2012 EA-10-090, EA10-248, EA-11-106 Fitzpatrick/Entergy - Confirmatory Order (Effective Immediately) and Notice of Violation, Investigation Report Nos. 1-2009-041, 1-2010-019 and 1-2010-031, Inspection Repot No. 05000333-11-009 IR 05000286/20090052010-02-0909 February 2010 IR 05000286-09-005; 10/01/2009 - 12/31/2009; Indian Point Nuclear Generating (Indian Point) Unit 3; Integrated Inspection Report and Notice of Violation IR 05000247/20090052010-02-0909 February 2010 IR 05000247-09-005, on 10/01/2009 - 12/31/2009, Indian Point Nuclear Generating (Indian Point) Unit 2; Integrated Inspection Report and Notice of Violation ML0724105422007-08-30030 August 2007 Entergy Nuclear Operations, Inc. Submittal of Notice of Violation ML0521305182005-08-0101 August 2005 EA-05-102, Indian Point Nuclear Generating Station Unit 2, Notice of Violation ML0231604992002-11-0808 November 2002 EA-02-162, Indian Point 2, NOV & White Finding 2024-05-21
[Table view] |
Text
J. Dent, Jr. March 16, 2015 EA-14-180 Mr. Lawrence Coyle Vice President, Operations Entergy Nuclear Operations, Inc.
Indian Point Energy Center 450 Broadway, GSB P.O. Box 429 Buchanan, NY 10511-0249
SUBJECT: INDIAN POINT ENERGY CENTER UNIT 3 - NRC INSPECTION REPORT 05000286/2015008; AND NOTICE OF VIOLATION
Dear Mr. Coyle:
This letter provides you the NRC enforcement decision for the apparent violations documented in Inspection Report 05000247/2014005 and 05000286/2014005, issued to Entergy Nuclear Operations' (Entergy's) Indian Point Energy Center (IP) on February 5, 2015 (ML15037A011)1. The apparent violations, associated with licensed reactor operator medical examinations and related NRC reporting requirements, were discussed with Entergy representatives at an inspection exit meeting on December 17, 2014, and documented in the subject inspection report. The February 5, 2015, NRC letter transmitting the inspection report notified you that the apparent violations were being considered for escalated enforcement action in accordance with the NRC Enforcement Policy. In the letter, we provided you the opportunity to address the apparent violations by attending a pre-decisional enforcement conference (PEC) or by providing a written response before we made our final enforcement decision. In the letter we also informed you that we had sufficient information regarding the apparent violations and Entergy's corrective actions to make an enforcement decision without the need for a PEC or a written response. On February 13, 2015, Mr. Robert Walpole of your organization informed Mr. Arthur Burritt, Chief, Branch 2, Division of Reactor Projects that Entergy did not require a PEC and did not intend to send a written response. Therefore, based on the information developed during the inspection, the NRC has determined that violations of NRC requirements occurred. These violations are cited in the enclosed Notice of Violation (Notice) and the circumstances surrounding them are described in detail in the subject inspection report and in the NRC's February 5, 2015, letter. 1 Designation in parentheses refers to an Agency-wide Documents Access and Management System (ADAMS) accession number. Documents referenced in this letter are publicly-available using the accession number in ADAMS. The first violation involved Entergy's failure to notify the NRC within 30 days after learning, on October 25, 2012, of a change in a Unit 3 reactor operator's (RO's) medical condition that involved a permanent disability/illness (sleep apnea). Entergy also did not request an amended license with a condition to account for the medical issue, resulting in the RO performing licensed operator duties without a properly restricted license. The second violation involved Entergy's submittal of information to the NRC in a December 3, 2012, application for renewal of the RO's license that was not complete and accurate in all material respects. Specifically, the application did not specify that the RO had a medical condition that required a restriction (for use of a Continuous Positive Airway Pressure (CPAP) machine). Based, in part, on this inaccurate information, the NRC issued a license renewal that did not contain the necessary restriction. The NRC has concluded that both violations occurred as a result of insufficient understanding of the process and requirements for notification and a lack of formality in the process for reporting changes in medical status. Accordingly, these violations have been categorized collectively as a SL III problem to emphasize the importance of providing suitable training, oversight, and focus on licensed operator medical requirements. In accordance with the NRC Enforcement Policy, a base civil penalty in the amount of $70,000 is considered for a Severity Level III problem involving a power reactor licensee. Because Entergy's IP facility has been the subject of escalated traditional enforcement action within the last two years2, the NRC considered whether credit was warranted for Identification and Corrective Action in accordance with the civil penalty assessment process in Section 2.3.4 of the Enforcement Policy. The NRC has concluded that credit is warranted for identification because Entergy identified the issue through an internal audit that was part of a fleet-wide effort to review licensed operator medical records for reportable conditions. Additionally, the NRC has concluded that credit is warranted for Entergy's corrective actions. Specifically, Entergy has:
(1) requested the NRC amend the operator's license to include a restriction for the use of a CPAP (on August 14, 2014, the NRC issued the amended license with the new restriction); (2) initiated an Apparent Cause Evaluation that included an extent of condition review of all operators to determine if there are any further unknown medical conditions; (3) trained all licensed operators on the process and requirements for reporting changes in medical conditions; and, (4) trained licensee contract physicians on NRC medical restriction requirements. Therefore, to encourage prompt identification and comprehensive correction of violations, I have been authorized, after consultation with the Director, Office of Enforcement, not to propose a civil penalty in this case. However, significant violations in the future could result in a civil penalty. The NRC has concluded that information regarding: (1) the reasons for the violations; (2) the actions planned or already taken to correct the violations and prevent recurrence; and (3) the date when full compliance was achieved, is already adequately addressed on the docket in Inspection Report 05000247/2014005 and 05000286/2014005 and in this letter. Therefore, you are not required to respond to this letter unless the description therein does not accurately reflect your corrective actions or your position. In that case, or if you choose to provide additional information, you should follow the instructions specified in the enclosed Notice.
2 A Severity Level III Notice of Violation was issued on April 29, 2014 (EA-13-076; ML14118A124) In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room and in the NRC's Agencywide Documents Access and Management System (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html. To the extent possible, your response should not include any personal privacy, proprietary, or safeguards information so that it can be made available to the Public without redaction. If personal privacy or proprietary information is necessary to provide an acceptable response, please provide a bracketed copy of your response that identifies the information that should be protected and a redacted copy of your response that deletes such information. If you request withholding of such information, you must specifically identify the portions of your response that you seek to have withheld and provide in detail the bases for your claim of withholding (e.g., explain why the disclosure of information will create an unwarranted invasion of personal privacy or provide the information required by 10 CFR 2.390(b) to support a request for withholding confidential commercial or financial information).
The NRC also includes significant enforcement actions on its Web site at (http://www.nrc.gov/reading-rm/doc-collections/enforcement/actions/).
Sincerely,/RA David C. Lew for:/ Daniel H. Dorman Regional Administrator Docket Nos. 50-247; 50-286 License Nos. DPR-26; DPR-64
Enclosure:
Notice of Violation cc w/enclosure: Distribution via ListServ