ML12033A229

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IR 05000293-11-005, on 10/01/2011 - 12/31/2011, Pilgrim Nuclear Power Station, Licensed Operator Requalification Program
ML12033A229
Person / Time
Site: Pilgrim
Issue date: 02/02/2012
From: Bellamy R
NRC/RGN-I/DRP/PB5
To: Rich Smith
Entergy Nuclear Operations
Bellamy R
References
EA-11-260 IR-11-005
Download: ML12033A229 (53)


See also: IR 05000293/2011005

Text

UNITED STATES

N UCLEAR REGU LATORY COMMISSION

REGION I

475 ALLENDALE ROAD

KING OF PRUSSIA, PENNSYLVANIA 19406-1415

February 2,2012

EA-11-260

Mr. Robert Smith

Site Vice President

Entergy Nuclear Operations, Inc.

Pilgrim Nuclear Power Station

600 Rocky Hill Road

Plymouth, MA 02360-5508

SUBJECT: PILGRIM NUCLEAR POWER STATION - NRC INTEGRATED INSPECTION

REPORT 05000293/201 005 1

Dear Mr. Smith:

On December 31 ,2011, the U.S. Nuclear Regulatory Commission (NRC) completed an

inspection at your Pilgrim Nuclear Power Station (PNPS). The enclosed inspection report

documents tn-e inspection results, which were discussed on January 10,2012, with you and

other members of your staff.

The inspection examined activities conducted under your license as they relate to safety and

compliance with the Commission's rules and regulations and with the conditions of your license.

The inspectors reviewed selected procedures and records, observed activities, and interviewed

personnel.

Based on the results of this inspection, three apparent violations of NRC requirements were

identified. The significance of these apparent violations has been designated as To Be

Determined (TBD) untilthe final significance characterization has been completed. The

apparent violations are associated with the medical examination and license conditions of

licensed operators. The plant has taken appropriate immediate corrective actions such that the

apparent violations do not represent an immediate safety concern. The final significance of

ttidse apparent violations willbe communicated to you in separate, future correspondence.

One NRC identified finding of very low safety significance (Green) was identified during this

inspection. This finding did not involve a violation of NRC requirements. Additionally, the NRC

has determined that a Severity Level lV violation occurred. Further, a licensee-identified

violation, which was determined to be of very low safety significance, is listed in this report.

However, because of the very low safety significance, and because they have been entered into

your corrective action program, the NRC is treating these violations as non-cited violations

(NCVs), consistent with the NRC's Enforcement Policy.

R. Smith

lf you contest any NCV in this report, you should provide a written response within 30 days of

the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory

Commission, ATTN: Document Control Desk, Washington DC 20555-0001; with copies to the

RegionalAdministrator, Region l; the Director, Office of Enforcement, United States Nuclear

Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector

at PNPS.

In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its

enclosure, and your response (if any) will be available electronically for public inspection in the

NRC Public Document Room or from the Publicly Available Records (PARS) component of

NRC's Agencywide Document Access and Management System (ADAMS). ADAMS is

accessible from the NRC Web site at http://r,r.rww.nrc.gov/readino-rm/adams.html (the Public

Electronic Reading Room).

Sincerely,

Tt*s&Q.,

Ronald R. Bellamy, Chief

Reactor Projects Branch 5

Division of Reactor Projects

Docket Nos.: 50-293

License Nos.: DPR.35

Enclosure: Inspection Report 05000293/201 1 005

w/Attachment: Supplemental I nformation

cc Mencl: Distribution via ListServ

R. Smith

lf you contest any NCV in this report, you should provide a written response within 30 days of

the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory

Commission, ATTN: Document Control Desk, Washington DC 20555-0001; with copies to the

RegionalAdministrator, Region l; the Director, Office of Enforcement, United States Nuclear

Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector

at PNPS.

In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its

enclosure, and your response (if any) wilt be available electronically for public inspection in the

NRC Public Document Room or from the Publicly Available Records (PARS) component of

NRC's Agencywide Document Access and Management System (ADAMS). ADAMS is

accessibie from the NRC Web site at http:/iwww.nrc.gov/reading-rmiadams.html (the Public

Electronic Reading Room).

Sincerely,

/RA/

Ronald R. Bellamy, Chief

Reactor Projects Branch 5

Division of Reactor Projects

Docket Nos.: 50-293

License Nos.' DPR'35

Enclosure: Inspection Report05000293/2011005

w/Attachment: Supplemental Information

cc dencl: Distribution via ListServ

Distribution dencl:

W. Dean, RA B. Smith, Rl J. Teator, Ol

D. Lew, DRA S. Campbell, OA L. Chang,OEDO

J. Tappert, DRP T. SeEer, DRP R. Eul, HQ OE

J. Clifford. DRP J. DeBoer, DRP A. DeFrancisco, ORA

C. Miller, DRS D. Jackson, DRS RidsNrrPMPilgrim Resource

P. Wilson, DRP J. Caruso, DRS RidsNrrDorlLPLl -1 Resource

R. Bellamy, DRP D. Holody, ORA ROP reports. Resou rce@n rc. gov

M. Schneider, SRI K. Farrar. ORA

SUNSlReviewGomplete:-TGs-(Reviewer'slnitials) ML12033A229

DOCUM ENT NAM E: G:\DRP\B RANCH5\REPORTS\PI LG 201 1005 REV 1 . DOCX

After declaring this document "An Official Agency Record" it will be-1

released to the Public.

To receive aLopy of this document, indicate in the box: "C" = CoPY without attachmenVenclosure

with attach menVenclosure "N" = No

f,FFICE RI/DRP RI/DRP RI/DRS

NAME MSchneider/TCS for TSetzer/TS DJackson/DJ

DATE 01t31t12 01t03t12 01t31t't2

CFFICE Rl/ORA/ADeF RI/ORA/KF Rt/ot/JT

NAME ADeFrancisco KFarrar JTeator

DATE 01t31t12 01t31t12 02t01t12

OFFICE RI/DRP

NAME RBellamv

)ATE 02to1t12

OFFIC IAL COPY

1

U.S. NUCLEAR REGULATORY COMMISSION

REGION I

Docket Nos.: 50-293

License Nos.: DPR-35

Report No.: 05000293/201 1005

Licensee: Entergy Nuclear Operations, Inc.

Facility: Pilgrim Nuclear Power Station (PNPS)

Location: 600 Rocky Hill Road

Plymouth, MA 02360

Dates: October 1, 2011 through December 31 , 2011

lnspectors: M. Schneider, Senior Resident Inspector, Division of Reactor Projects

(DRP)

B. Smith, Resident Inspector, DRP

M. Catts, Senior Resident Inspector, Indian Point Energy Center, Unit 2,

(DRP)

K. Mangan, Senior Reactor Inspector, Division of Reactor Safety (DRS)

R. Rolph, Health Physicist, DRS

J. Caruso, Senior Operations Engineer, DRS

T. Fish, Senior Operations Engineer, DRS

J. Tomlinson, Operations Engineer, DRS

C. Newport, Operations Engineer, DRS

Approved By: Ronald R. Bellamy, Chief

Reactor Projects Branch 5

Division of Reactor Projects

Enclosure

2

TABLE OF CONTENTS

SUMMARY OF FlNDlNGS..........., .........3

1. REACTOR SAFETY .......................7

1R01 Adverse Weather Protection. .................7

1R04 Equipment Alignment ...........8

1R05 Fire Protection............ ..........8

1R11 Licensed Operator Requalification Program .............. ........,.....9

1R12 Maintenance Effectiveness.......... ........21

1R13 Maintenance Risk Assessments and Emergent Work Control............. ....................21

1 R15 Operability Determinations and Functionality Assessments.......... .,........22

1R19 Post-Maintenance Testing..... ..............23

1R20 Refueling and Other Outage Activities... ...............23

1R22 Surveillance Testing ...........24

2. RADTATTON SAFETY (RS)......... .......,...........25

2RS01 Radioactive Hazard Assessment and Exposure Controls....,....... ...........25

2RS02 Occupational As Low As ls Reasonably Achievable Planning and Controls ............27

2RS03 In-Plant Airborne Radioactivity Control and Mitigation,,.......... ..........,.....28

2RS04 Occupational Dose Assessment...,.,.......... ...........29

2RS05 Radiation Monitoring Instrumentation......... ..........31

4. OTHER ACT1VlTlES............... ......31

4OA1 Performance lndicator Verification .....,,31

4OA2 Problem ldentification and Resolution ..................32

4OA3 Follow-Up of Events and Notices of Enforcement Discretion ..................35

40A6 Meetings, Including Exit .......... ............35

4OA7 Licensee-ldentified Violations.. ....,.......36

ATTACHMENT: SUPPLEMENTARY INFORMATION ...........36

SUPPLEMENTARY INFORMATION.......... ........A-1

KEY POINTS OF CONTACT ............. A-1

LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED .........,......... A-1

LIST OF DOCUMENTS REVIEWED ........... ....... A-3

LtsT oF ACRONYMS............... ....... A-14

Enclosure

3

SUMMARY OF FINDINGS

lR 0500029312011005; 1010112011-121311201 1; Pilgrim Nuclear Power Station; Licensed

Operator Requalification Program.

This report covered a three-month period of inspection by resident inspectors and announced

inspections performed by regional inspectors. The inspectors identified three apparent

violations (AVs), one Severity Level lV NCV, and one finding of very low safety significance

(Green). The significance of most findings is indicated by their color (Green, White, Yellow,

Red) using Inspection Manual Chapter (lMC) 0609, "Significance Determination Process"

(SDP). Findings for which the SDP does not apply may be Green, or be assigned a severity

level after NRC management review. The NRC's program for overseeing the safe operation of

commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process,"

Revision 4, dated December 2006.

Cornerstone: Mitigating Systems

. TBD. The inspectors identified an apparent violation (AV) of Title 10 of the Code of

Federal Regulations (10 CFR) 55.53 and 10 CFR 55.21 related to Entergy's medical

examinations of licensed operators. Specifically, at various times over a period of

almost four years, ten operators did not meet certain medical requirements (for stamina

and/or blood pressure) for performing NRC-licensed operator activities, and the

operators continued to perform NRC-licensed activities. Additionally, Entergy did not

perform complete medical testing of its licensed operators, in that five of those licensed

operators had not been administered stamina tests for more than two years and

therefore did not complete their NRC-required biennial medical exam. lmmediately after

the NRC identified the issue, Entergy restricted operators from watch until they could

pass the requirements of their medical testing. Entergy entered this issue into their

corrective action program (CR-PNP-201 1 -04554).

The inspectors determined that Entergy's failure to ensure that licensed operators met

the license conditions associated with medical testing prior to performing license

activities was a performance deficiency that was within Entergy's ability to foresee and

correct and should have been prevented. The inspectors determined that Traditional

Enforcement applies, as the issue had the potential to impact the NRC's ability to

perform its regulatory function because the NRC relies upon the accurate certification by

the licensee's medical examiner to ensure all licensed operators meet the medical

conditions of their license. Specifically, ten operators had not taken the stamina test

during their annual physical, but were certified by the medical examiner and licensee as

being fit to safely perform their watch-standing duties. Additionally, five of those

operators had not taken the stamina test during their biennial physical, but were certified

by the medical examiner and licensee as being fit to safely perform their watch-standing

duties. Lastly, an individual who had not passed their blood pressure examination, and

required a license condition to take medication, was placed back on watch-standing duty

without such a license condition. The performance deficiency was screened against the

Reactor Oversight Process (ROP) per the guidance of lnspection Manual Chapter (lMC)

0612, Appendix B, "lssue Screening." No associated ROP finding was identified and no

cross-cutting aspect was assigned. These issues are being characterized as an

apparent violation in accordance with the NRC's Enforcement Policy, and its final

significance will be dispositioned in separate future correspondence. (Section 1R1 1)

Enclosure

4

TBD. The inspectors identified an AV of 10 CFR 50.9, "Completeness and Accuracy of

Information," related to Entergy's medical examinations of licensed operators.

Specifically, Entergy did not provide information to the NRC that was complete and

accurate in all material respects, in that Entergy submitted two NRC licensed operator

renewal applications which certified that the applicants met the medical requirements for

license renewal when in fact they did not complete the required stamina tests. Entergy

entered this issue into their corrective action program (CR-PNP-2011-04554).

The inspectors determined that Entergy's failure to provide complete and accurate

information to the NRC was a performance deficiency that was within Entergy's ability to

foresee and correct and should have been prevented. The inspectors determined that

Traditional Enforcement applies, as the issue had the potential to impact the NRC's

ability to perform its regulatory function. Specifically, Entergy did not provide information

to the NRC that was complete and accurate in all material respects, in that although

Entergy had not administered complete medical examinations of licensed operators in

accordance with American National Standards Institute/American Nuclear Society

(ANSI/ANS)3.4-1983 (because it had not conducted stamina testing), it submitted two

NRC Form-396s for renewal of operator licenses which certified that the applicants met

the medical requirements of ANSI/ANS 3.4-1983, Subsequently, the NRC made a

licensing decision based on this information that was not complete and accurate in all

material respects. The performance deficiency was screened against the ROP per the

guidance of IMC 0612, Appendix B, "lssue Screening." No associated ROP finding was

identified and no cross-cutting aspect was assigned. This issue constitutes an apparent

violation in accordance with the NRC's Enforcement Policy, and its final significance will

be dispositioned in separate future correspondence. (Section 1R1 1)

TBD. The inspectors identified an AV of 10 CFR 50.74, "Notification of Change in

Operator or Senior Operator Status." Specifically, Entergy did not notify the NRC within

30 days of discovering a change in medical condition for two licensed operators.

Subsequently, Entergy submitted notifications for both operators on November 10, 2Q11 ,

and entered the issue into their corrective action program (CR-PNP-2011-04554).

The inspectors determined that Entergy's failure to notify the NRC within 30 days of

discovering the change in medical condition for two licensed operators was a

performance deficiency that was within Entergy's ability to foresee and correct and

should have been prevented. The inspectors determined that Traditional Enforcement

applies, as the issue had the potential to impact the NRC's ability to perform its

regulatory function because if a licensed operator has a change in medical condition, the

NRC may need to perform a review for consideration of a licensing action. Specifically,

Entergy had not notified the NRC within 30 days of learning of a change in medical

condition for two licensed operators for which a license condition was required. The

performance deficiency was screened against the ROP per the guidance of IMC 0612,

Appendix B, "lssue Screening." No associated ROP finding was identified and no cross-

cutting aspect was assigned, This issue constitutes an apparent violation in accordance

with the NRC's Enforcement Policy, and its final significance will be dispositioned in

separate future correspondence. (Section 1 R1 1 )

SL-IV. The inspectors identified a Severity Level lV NCV of 10 CFR 55.53 (e) and (f),

"Conditions of Licenses," because Entergy incorrectly credited two individuals for

proficiency watch-standing experience and then these operators subsequently stood

watch without meeting the minimum proficiency requirements necessary to maintain an

Enclosure

5

active license. Entergy implemented immediate corrective action that included

discontinuing the practice of crediting the emergency core cooling system (ECCS) and

Extra Balance of Plant (BOP) positions for proficiency. Entergy entered this issue into

their corrective action program (CR-PNP-201 1-04649).

The inspectors determined that Entergy incorrectly credited two individuals for

proficiency watch-standing experience and then these operators subsequently stood

watch in the control room. This error constitutes a performance deficiency that was

within Entergy's ability to foresee and correct and should have been prevented. The

inspectors determined that Traditional Enforcement applies, as the issue had the

potential to impact the NRC's ability to perform its regulatory function because if a

licensed operator fails to meet the conditions of their license, the NRC may need to

perform a review for consideration of a licensing action, and if the information regarding

an individual's qualifications is not accurately presented, the NRC could potentially make

an incorrect licensing decision based on the inaccurate information. Specifically,

Entergy did not ensure that two reactor operator (RO) licensed individuals maintained

their RO licenses in an active status in the 2nd quarter 2011, prior to standing RO

watches in the 3rd quarter 201 1 which violated a license condition as specified in 10

CFR 55.53 (e) and (f). The performance deficiency was screened against the ROP per

the guidance of IMC 0612, Appendix B, "lssue Screening." No associated ROP finding

was identified and no cross-cutting aspect was assigned. This issue is similar to

violation example 6.4.c.1(c) in the NRC Enforcement Policy for a Severity Level lll

violation because it involves noncompliance with a condition stated on an individual's

license. However, since there were no adverse impacts to nuclear safety, the NRC has

determined that this issue constitutes a Severity Level lV NCV in accordance with the

NRC's Enforcement Policy. (Section 1R1 1)

. Green. The inspectors identified a Green finding of 10 CFR 55.59, "Requalification,"

based on a determination that greater than 20 percent of the biennial requalification

written exam questions administered to licensed operators during weeks three and four

of the 2010 examination cycle were unacceptable. Entergy entered this issue into the

corrective action program (CR-PNP-201 1 -04561 ).

The inspectors determined that the finding was more than minor because it was

associated with the Human Performance attribute of the Mitigation Systems cornerstone

and affected the cornerstone objective of ensuring the availability, reliability, and

capability of systems that respond to initiating events to prevent undesirable

consequences (i.e., core damage). Specifically, the finding affected the quality and level

of difficulty of biennial written exams which potentially impacted Entergy's ability to

appropriately evaluate licensed operators. The risk importance of this issue was

evaluated using IMC 0609, Appendix l, "Licensed Operator Requalification Significance

Determination Process (SDP)." Appendix I was entered using the number of written

exam questions that did not meet the qualitative standard for the written exam questions.

The qualitative standard used by the inspectors is defined in NUREG-1021 , Rev. 9, ES-

602, Attachment 1, "Guidelines for Developing Open-Reference Examinations," and

Appendix B, "Written Examination Guidelines." Since 28.6 percent of the questions

reviewed did not meet the guidance, Block 16 of Appendix I applied, specifically, "Were

more than 20 percent of the written questions sampled by the inspectors unacceptable?"

Enclosure

6

Based on this screening criteria, the finding was characterized by the SDP as having

very low safety significance (greater than 20 percent unacceptable), or Green. A review

of the cross-cutting aspects was performed and no cross-cutting aspect was identified

that would be considered a contributor to the cause of the finding. (Section 1R1 1)

Other Findings

A violation of very low safety significance, which was identified by Entergy, has been reviewed

by the inspectors. Corrective actions taken or planned by Entergy have been entered into their

corrective action program. The violation and corrective actions are listed in Section 4OA7 of

this report.

Enclosure

7

REPORT DETAILS

Summarv of Plant Status

Pilgrim Nuclear Power Station began the inspection period operating at 100 percent reactor

power. On October 14,2Q11, operators reduced reactor power to 71 percent to perform scram

time testing on Control Rod 14-43. Pilgrim returned to 100 percent reactor power later that

same day. On November 17, operators reduced reactor power to 50 percent to perform a

thermal backwash on the main condenser. During the thermal backwash, a leak on the 'B'

feedwater discharge check valve was identified. Operators shut down the plant to conduct a

forced outage to repair this containment isolation valve. On November 26, operators returned to

100 percent reactor power. On November 27 , operators reduced reactor power to 65 percent

power to perform a control rod pattern adjustment and returned to 100 percent reactor power

later that same day. On December 26, operators shut down the plant to conduct a forced

outage and repair a leaking Safety Relief Valve. On December 31, reactor power returned to

100 percent, then was reduced to 65 percent to perform a control rod pattern adjustment, and

then returned to 100 percent reactor power on January 1,2012.

1. REACTORSAFETY

Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity

1R01 Adverse Weather Protection (71111.01 - 1 sample)

Readiness for Seasonal Extreme Weather Conditions

a. Inspection Scope

The inspectors performed a review of Pilgrim's readiness for the onset of seasonal cold

weather and temperatures during the week of October 31,2011. The review focused on

the station Blackout Diesel Generator, condensate storage tank, and Technical Support

Center Emergency Diesel Generator. The inspectors reviewed station procedures,

including Pilgrim's seasonalweather preparation procedure and applicable operating

procedures to verify that selected steps had been completed. The inspectors performed

walkdowns of the selected systems to ensure station personnel identified issues that

could challenge the operability of the systems during cold weather conditions.

Documents reviewed for each section of this inspection report are listed in the

Attachment.

b. Findinqs

No findings were identified.

Enclosure

1R04 EquipmentAliqnment

Partial Svstem Walkdowns (71111.04Q - 3 samples)

a. Inspection Scope

The inspectors performed partial walkdowns of the following systems:

. 'B' Emergency Diesel Generator (EDG) following 2,4, and 8 year preventative

maintenance

. High Pressure Coolant Injection System during 'B' EDG Outage

. Salt Service Water System during Intake Canal Dredging

The inspectors selected these systems based on their risk-significance relative to the

reactor safety cornerstones at the time they were inspected. The inspectors reviewed

applicable operating procedures, system diagrams, the Updated Final Safety Analysis

Report (UFSAR), technical specifications, work orders, condition reports, and the impact

of ongoing work activities on redundant trains of equipment in order to identify conditions

that could have impacted system performance or their intended safety functions. The

inspectors also performed field walkdowns of accessible portions of the systems to verify

that system components and support equipment were aligned correctly and were

operable. The inspectors examined the material condition of the components and

observed operating parameters of equipment to verify that there were no deficiencies.

The inspectors also reviewed whether Entergy had properly identified equipment issues

and entered them into the corrective action program for resolution with the appropriate

sig n ificance characterization.

b. Findinqs

No findings were identified.

1R05 Fire Protection

Resident Inspector Quarterlv Walkdowns (71111.05Q - 5 samples)

a. Inspection Scope

The inspectors conducted tours of the areas listed below to assess the material

condition and operational status of fire protection features. The inspectors verified that

Entergy controlled combustible materials and ignition sources in accordance with

administrative procedures. The inspectors verified that fire protection identification and

suppression equipment was available for use as specified in the area pre-fire plan, and

that passive fire barriers were maintained in good material condition. The inspectors

also verified that station personnel implemented compensatory measures for out of

service, degraded, or inoperable fire protection equipment, as applicable, in accordance

with procedures.

r Fire Area 1 .21, Fire Zone 1.21,'A' Reactor Building Closed Cooling Water (RBCCW)

Pumps/Heat Exchanger Room

o Fire Area 1.10, Fire Zone 1.22,'B' RBCCW Pumps/Heat Exchanger Room

Enclosure

I

. Fire Area 1.10, Fire Zone 1.3, High Pressure Coolant Injection Pump/Turbine Room

. Fire Area 1.10, Fire Zone 1.7, Reactor Core lsolation Cooling Quadrant Mezzanine

. Fire Area 1.10, Fire Zone 1.304, Torus Compartment

b. Findinqs

No findings were identified.

1R1 1 Licensed Operator Requalification Prooram (71111.11)

.1 Requalification Review bv Resident Inspectors (71111.1 1Q - 1 sample)

a. lnspection Scope

The inspectors observed licensed operator simulator training on November 16, 2011 ,

which included a Recirculation Loop Seal Failure, Anticipated Transient Without Scram

combined with a Loss of Offsite Power scenario. The inspectors evaluated operator

performance during the simulated event and verified completion of risk significant

operator actions, including the use of abnormal and emergency operating procedures.

The inspectors assessed the clarity and effectiveness of communications,

implementation of actions in response to alarms and degrading plant conditions, and the

oversight and direction provided by the Control Room Supervisor. The inspectors

verified the accuracy and timeliness of the emergency classification made by the Shift

Manager and the technical specification action statements identified by the Shift Control

Room Engineer. Additionally, the inspectors assessed the ability of the crew and

training staff to identify and document crew performance problems. Finally, the

inspectors performed a simulator fidelity review to determine if the arrangement of the

simulator instrumentation, controls, and tagging closely paralleled that of the control

room.

b. Findinqs

No findings were identified.

.2 Biennial Review bv Reqignal Specialists (71111.1 1B - 1 sample)

a. Inspection Scope

The following inspection activities were performed using NUREG-1021, "Operator

Licensing Examination Standards for Power Reactors," Revision 9, Supplement 1, NRC

inspection procedure Attachment71111.1 1, "Licensed Operator Requalification

Program," Appendix A, "Checklist for Evaluating Facility Testing Material," and

Appendix B, "Suggested Interview Topics."

A review was conducted of recent operating history documentation found in inspection

reports, licensee event reports, the licensee's corrective action program, and the most

recent NRC plant issues matrix (PlM), The inspectors also reviewed specific events

from the licensee's corrective action program which indicated possible training

deficiencies, to verify that they had been appropriately addressed. The senior resident

inspector was also consulted for insights regarding licensed operators' performance.

Enclosure

10

The inspectors reviewed two comprehensive written exams administered during weeks

three and four of the 2010 exam cycle, six simulator scenarios, and ten job performance

measures, which comprised the test items administered or planned for administration the

weeks of September 26,2011, and October 3, 2011, to ensure the quality of these

exams met or exceeded the criteria established in the Examination Standards and

10 CFR 55.59. The inspectors observed the administration of the operating exams to

one crew during the onsite inspection week, which began October 4,2011.

On November 9, 2011, the results of the annual operating tests for year 2011 were

reviewed to determine if pass/fail rates were consistent with the guidance of

NUREG-1021, "Operator Licensing Examination Standards for Power Reactors,"

Revision 9, Supplement 1, and NRC IMC 0609, Appendix l, "Operator Requalification

Human Performance Significance Determination Process (SDP)." The review verified

the following:

o Crew pass rates were greater than 80 percent. (Pass rate was 100 percent)

r Individual pass rates on the dynamic simulator test were greater than 80 percent.

(Pass rate was 96.5 percent)

r lndividual pass rates on the job performance measures of the operating exam were

greater than 80 percent. (Pass rate was 100 percent)

o lndividual pass rates on the written exam were greater than 80 percent. (N/A for this

year)

. More than 75 percent of the individuals passed all portions of the exam.

(96.5 percent of the individuals passed all portions of the examination)

Observations were made of the dynamic simulator exams and job performance

measures (JPM) administered during the week of October 3,2011. These observations

included facility evaluations of crew and individual performance during the dynamic

simulator exams and individual performance of five JPMs.

The remediation plans for two individual simulator failures and two JPM exams that

needed improvement were reviewed to assess the effectiveness of the remedial training.

Operators, instructors and training/operation's management were interviewed for

feedback on their training program and the quality of training received. Simulator

performance and fidelity were reviewed for conformance to the reference plant control

room.

A sample of records for requalification training attendance, program feedback, reporting,

license reactivation, proficiency watch-standing experience, and medical examinations

were reviewed for compliance with license conditions, including NRC regulations. The

documents reviewed are listed in the Attachment.

Enclosure

11

b. Findinqs

.1 lntroduction: The inspectors identified an apparent violation (AV) of Title 10 of the Code

of Federal Regulations (10 CFR) 55.53 and 10 CFR 55.21 related to Entergy's medical

examinations of licensed operators. Specifically, at various times over a period of

almost four years, ten operators did not meet certain medical requirements (for stamina

and/or blood pressure) for performing NRC-licensed operator activities, and the

operators continued to perform NRC-licensed activities. Additionally, Entergy did not

perform complete medical testing of its licensed operators, in that five of those licensed

operators had not been administered stamina tests for more than two years and

therefore did not complete their NRC-required biennial medical exam. lmmediately after

the NRC identified the issue, Entergy restricted operators from watch until they could

pass the requirements of their medical testing.

Description: As part of the biennial Licensed Operator Requalification Training (LORT)

program inspection, the inspectors reviewed a sample of Pilgrim's licensed operator

medical records. The NRC's requirements related to the conduct and documentation of

medical examinations for operators are contained in Subpart C, Medical Requirements,

of 10 CFR Part 55, "Operators' Licenses." Specifically, 10 CFR 55.21 , "Medical

Examination," requires every operator be examined by a physician when he or she first

applies for a license and every two years, thereafter, once the license is received. The

physician is to verify that the operator's medical condition and general health will not

adversely affect the performance of assigned operator duties or cause operational errors

that endanger public health and safety, as stated in 10 CFR 55.33(a)(1). Additionally, 10

CFR 55.53, "Conditions of Licenses," states that each license contains and is subject to

certain conditions whether stated in the license or not, One of these conditions, 10 CFR

55.53 (i), requires the licensee to have a biennial medical examination.

The licensee must also certify which industry standard (i.e,, the 1983 or 1996 version of

ANSI/ANS 3.4, "Medical Certification and Monitoring of Personnel Requiring Operator

Licenses for Nuclear Power Plants," or other NRC-approved method) was used in

making the fitness determination. The inspectors determined that Entergy had stated on

NRC Form 396 that the 1983 industry standard was used for the completion of the

medical examination. The inspectors noted that the following ANSI/ANS sections apply:

Section 5.1, states in part, "...Consequently, any physical condition...that restricts

mobility of the individual or precludes wearing of protective clothing and equipment is

a liability to safe operation. . .;"

Section 5.2.1, "Capacity," states in part, "The examinee shall demonstrate stability

and capacityforall of thefollowing: (3)...,stamina, ...range of motion...;"

Section 5.3, "Disqualifying Conditions," states in part, "A history or other indication of

any disqualifying condition shall be considered disqualifying unless adequate

supplementalfindings demonstrate that no disqualifying condition exists...;"

Section 5.4.6, "Respiratory," states in part, "Capacity and reserve to perform

strenuous physical exertion in emergencies...;"

Section 5.4.7, "Cardiovascular," states in part, "... tolerance to postural changes and

capacity for exertion during emergencies...;"

Enclosure

12

Section 5.4.7 also establishes 160/100 mm Hg as the upper limit for blood pressure;

and Section 6, "Waiver or Specifically Limited Approval," states in part, "...the

designated medical examiner may recommend waiver of that portion of the

Standard. lt is the examinee's responsibility to supply additional information

necessary for consideration of the granting of such a waiver. Documentation

supporting the waiver shall include: (1) Medical history and results of physical exam

and other pertinent medical findings; (2) Specific statements by the medical

examiner as to the individual's capacity and the potential effects of any medical

impairment on the individual's ability to perform nuclear reactor operator duties; (3)

Description by the facility operator of specific practical tests and demonstrations of

ability to perform these duties..; (4) Certification from the designated medical

examiner and facility operator indicating that the individual can safely perform his

assigned duties,"

In addition, the inspectors noted that the following sections of Entergy procedure

EN-NS-1 12, "Medical Program," apply:

Section 4.5, "The Medical Examiner or designee is responsible for," states in part,

'...[4] Ensuring the appropriate personnel are notified if a worker fails to meet the

requirements of the medical examination;..."

Section 4.7, "Supervisors of Licensed Nuclear Operators or designee is responsible

for," states in part, "...[3] Notifying medicalservices personnelof any physicalor

mental condition that may limit the performance of Licensed Nuclear Operators;"

Section 5.6[5], 'NRC Licensed Nuclear Operator Physical," states in part, "

examination shall consist of: ...Stamina assessment:"

Section 5.6[5] "Minimum Qualifying Criteria," states in part, "...The examining

physician shall report...untreated hypertension (over 160/100 mm Hg)...;"

Section 5.6[5], "Disqualifying Conditions," states in part, "...Temporary disabilities

incurred during the term of an Operator's License do not require NRC notification as

long as the operator is not assigned licensed operator duties during the period of

disability;" and

Section 5.6151(k) states, "lndividuals qualified for licensed operator duties must notify

the plant Medical Examiner or nurse of any change in their physical or mental

condition. The Medical Examiner will evaluate the individual's condition to determine

if it adversely affects his/her ability to perform licensed duties. lf the individual fails

the plant nurse shall make verbal notification with written follow-up to the individual;"

The inspectors identified that at various times from March 2008 through October 1 1,

2011, ten operators did not complete a stamina assessment as part of their medical

exams. Both ANSI/ANS 3.4-1983 and Entergy procedure EN-NS-112 require a stamina

assessment be completed as part of the licensed operator medical examination which is

a condition of the license for performing NRC-licensed operator activities. The

inspectors reviewed the operators' medical Synopsis, and noted the facility medical

officer had decided not to administer and deferred the stamina test for varying reasons,

For example, ten operators had not taken the test due to pain associated with hip

replacement; pain associated with spinalfusion; pain associated with knee replacement;

Enclosure

13

knee pain; a torn meniscus; and high blood pressure. The stamina tests were deferred,

in some cases for multiple years, due to the various disabilities reported at the time of

their medical exams. Also, in December 2010, medical exam results for one of these ten

operators indicated blood pressure results which exceeded the limit established in

ANSl/ANS 3.4-1983.

The inspectors noted from a review of the medical records that apparently these ten

operators were not reporting their disabilities at the time of injury or incapacitation as

required, but instead waited to disclose their conditions until the administration of their

medical exams. These disabilities restricted their mobility and/or stability to carry out

operator responsibilities in an emergency situation such as safe shutdown outside the

control room. ANSI/ANS 3.4-1983 states that any physical condition that restricts

mobility of the individual is a liability to safe operation. These operators should have

been restricted from license duty and in the case of a more permanent disability their

licenses should have included a permanent restriction such as a license condition which

would have prevented them from standing watch by themselves ("no-solo" condition).

The Pilgrim Medical Examiner did not document any basis for deferment of the required

stamina testing at the time of the medical examination as required by ANSI/ANS 3.4-

1 983.

The inspectors noted that following the NRC inspection, the Medical Examiner added a

"Memo to File" to each of the affected individual's medical records which documented

the bases for medically clearing these individuals which in some cases had been

deferred multiple times over a period of almost four years. The NRC's medical doctor

independently reviewed a sample of six of the ten medical records and the associated

memos to file and concluded that this approach with respect to stamina testing did not

satisfy the ANSI/ANS standard. Although some of these individuals may have

possessed aerobic stamina, it appears that the reported temporary disabilities and

associated pain (i.e., that precluded them from passing a stamina test at the time) would

have severely impaired their mobility, range of motion, and/or physical stability to carry

out operator responsibilities in an emergency situation such as safe shutdown outside

the control room as required by the ANSI/ANS standard. In all instances, these ten

operators continued to perform NRC-licensed activities even though they had not met

the minimum requirements for completing licensed operator medical examination which

was a condition of their license.

Additionally, the inspectors identified that Entergy did not perform complete biennial

medical testing of its licensed operators; in that, between March 2008 and October 2Q11,

five of those licensed operators had not been administered stamina tests for more than

two years and therefore did not complete their NRC-required biennial medical exam.

ANSI/ANS 3.4-1983, section 5.2.1 and Entergy procedure EN-NS-1 12, section 5.6t51

require the stamina test to be completed as part of satisfactorily completing the biennial

medical exam. The medical reasons given for not administering the test included pain

due to hip replacement; pain associated with spinal fusion; knee pain; and high blood

pressure.

Analvsis: The inspectors determined that Entergy's failure to ensure that licensed

operators met the license conditions associated with medical testing prior to performing

license activities was a performance deficiency that was within Entergy's ability to

foresee and correct and should have been prevented. The inspectors determined that

Traditional Enforcement applies, as the issue had the potential to impact the NRC's

Enclosure

14

ability to perform its regulatory function because the NRC relies upon the accurate

certification by the licensee's medical examiner to ensure all licensed operators meet the

medical conditions of their license. Specifically, ten operators had not taken the stamina

test during their annual physical, but were certified by the medical examiner and licensee

as being fit to safely perform their watch-standing duties. Additionally, five of those

operators had not taken the stamina test during their biennial physical, but were certified

by the medical examiner and licensee as being fit to safely perform their watch-standing

duties. Lastly, an individualwho had not passed the blood pressure examination, and

required a license condition to take medication, was placed back on watch-standing duty

without such a license condition. The performance deficiency was screened against the

Reactor Oversight Process (ROP) per the guidance of Inspection Manual Chapter (lMC)

0612, Appendix B, "lssue Screening." No associated ROP finding was identified and no

cross-cutting aspect was assigned.

Enforcement: 10 CFR 55.53, requires, in part, that each license contains and is subject

to the following conditions whether stated in the license or not...(i) the licensee shall

have a biennial medical examination....(l) the licensee shall comply with any other

conditions that the Commission may impose to protect health or to minimize danger to

health and property.

10 CFR 55.21 requires, in part, that a licensee shall have a medical examination by a

physician every two years. The physician shall determine that the licensee meets the

requirements of 55.33(aX1 ).

10 CFR 55.33(a)(1) states that the applicant's medical condition and general health will

not adversely affect the performance of operator job duties or cause operational errors

endangering public health and safety. The Commission will base its finding upon the

certification by the facility licensee as detailed in 10 CFR 55.23.

10 CFR 55.23 requires, in part, that to certify the medical fitness of the applicant, an

authorized representative of the facility licensee shall complete and sign NRC Form 396,

"Certification of Medical Examination by Facility Licensee."

The NRC Form 396, after being signed by an authorized representative of the facility

licensee, demonstrates the medical fitness of the licensee and that the guidance

contained in ANSI/ANS 3.4-1983, "Medical Certification and Monitoring of Personnel

Requiring Operator Licenses for Nuclear Power Plants," was followed in conducting the

examination and making the determination of medical qualification.

Contrary to the above, at various times from March 2008 through October 2011, Entergy

failed to ensure that licensed operators standing watch were medically qualified in

accordance with ANSI/ANS 3.4-1983. Specifically, the portion of the annual medical

examinations involving a stamina assessment was not administered to ten operators,

and five of those licensed operators had not been administered stamina tests for over

two years (one operator had not taken a stamina test for over three years). In addition,

one operator did not pass the required blood pressure test but was determined to be

medically qualified to stand watch, and did so, without any license condition.

lmmediately after the NRC identified the issues, Entergy restricted operators from watch

until they could pass the requirements of their medical testing. Regarding the individual

for whom a condition was required for blood pressure medication, Entergy requested the

Enclosure

15

license amendment and the license has been appropriately conditioned. Entergy

entered the issues into their corrective action program (CR-PNP-2O11-04554). These

issues are being characterized as an apparent violation in accordance with the NRC's

Enforcement Policy, and its final significance will be dispositioned in separate future

correspondence. (AV 0500029312011 005-01, Licensed Operators Stood Watch

Without Being Medically Qualified)

.2 lntroduction: The inspectors identified an AV of 10 CFR 50.9, "Completeness and

Accuracy of Information," related to Entergy's medical examinations of licensed

operators. Specifically, Entergy did not provide information to the NRC that was

complete and accurate in all material respects, in that Entergy submitted two NRC

licensed operator renewal applications which certified that the applicants met the

medical requirements for license renewal when in fact they did not complete the required

stamina tests.

Description: As part of the biennial LORT program inspection, the inspectors reviewed a

sample of licensed operator medical records. The inspectors identified that Entergy

provided information to the NRC that was not complete and accurate in all material

respects, in that Entergy submitted two NRC licensed operator renewal applications

which certified that the applicants met the medical requirements for license renewal

when in fact they did not.

The ANSI/ANS 3.4-1983, section 5.2.1, and Entergy procedure EN-NS-112, section

5.6[5] require a stamina test to be completed as part of satisfactorily completing the

biennial medical exam. Entergy submitted two NRC Form-396s for renewal of operator

licenses which certified that the applicants met the medical requirements of

ANSI/ANS 3.4-1983. This form, when signed by an authorized representative of the

facility licensee, certifies that a physician conducted a medical examination of the

applicant as required in 10 CFR 55.21, and that the guidance contained in

ANSI/ANS 3.4-1983 was followed in conducting the examination and making the

determination of medical qualification. The inspectors noted NRC Form 396 was signed

by a senior licensee representative, verifying the examination had been performed.

The NRC issued one individual a license renewal on June 23, 2011, but at the time of

renewal the individual had not completed the NRC-required biennial medical exam

because stamina testing had been deferred by the Pilgrim Medical Examiner for at least

two years (i.e., individual was deferred in January 2010 and again in January 201 1

which was the end of the two year period for the physical). Another individual was also

issued an NRC license renewal on June 23,2011, but at the time of renewal the

individual had not completed the NRC-required biennial medical exam because stamina

testing had again been deferred by the Pilgrim Medical Examiner for over two years (i.e.,

individual was deferred in March 2008, February 2009, February 2010, and in January

2011).

Analvsis: The inspectors determined that Entergy's failure to provide complete and

accurate information to the NRC was a performance deficiency that was within Entergy's

ability to foresee and correct and should have been prevented. The inspectors

determined that Traditional Enforcement applies, as the issue had the potential to impact

the NRC's ability to perform its regulatory function, Specifically, Entergy did not provide

information to the NRC that was complete and accurate in all material respects, in that

although Entergy had not administered complete medical examinations of licensed

Enclosure

16

operators in accordance with ANSI/ANS 3.4-1983 (because it had not conducted

stamina testing), it submitted two NRC Form-396s for renewal of operator licenses which

certified that the applicants met the medical requirements of ANSI/ANS 3.4-1983.

Subsequently, the NRC made a licensing decision based on this information that was

not complete and accurate in all material respects. The performance deficiency was

screened against the ROP per the guidance of IMC 0612, Appendix B, "lssue

Screening." No associated ROP finding was identified and no cross-cutting aspect was

assigned.

Enforcement: 10 CFR 50.9 requires, in part, that information provided to the

Commission by a licensee shall be complete and accurate in all material respects.

Contrary to the above, Entergy submitted two NRC licensed operator renewal

applications which certified that the applicants met the medical requirements for license

renewal when in fact they did not, in violation of 10 CFR 50.9. Entergy entered this

issue into their corrective action program (CR-PNP-2011-04554). This issue constitutes

an apparent violation in accordance with the NRC's Enforcement Policy, and its final

significance will be dispositioned in separate future correspondence,

(AV 0500029312011005-02, Entergy Did Not Provide Complete and Accurate

Medical Information for Licensed Operator Renewal Applications)

.3 fntroduction: The inspectors identified an AV of 10 CFR 50.74, "Notification of Change

in Operator or Senior Operator Status." Specifically, Entergy did not notify the NRC

within 30 days of discovering a change in medical condition for two licensed operators.

Description: As part of the biennial LORT program inspection, the inspectors reviewed a

sample of licensed operator medical records. The inspectors identified that Entergy had

not notified the NRC within 30 days of learning of a change in medical condition for two

licensed operators for which a license condition was required by 10 CFR 50.74. In

addition, the inspectors noted facility staff also failed to adhere to the requirements of

EN-NS-112, "Medical Program," Section 5.6, related to, "Changes in medical condition

or medication use." Paragraph(c), states in part, "lf the change in medical

condition/medication is determined to be chronic or maintenance then notification shall

be made to the NRC within 30 days of identification ..."

ln December 2Q10 and in August 2010 respectively, Pilgrim medical staff became aware

of medical conditions that caused two licensed operators to fail to meet the requirements

of 10 CFR 55.21 and for which license conditions were required. Specifically, for the first

example, the inspectors identified that a licensed operator informed the Pilgrim medical

officer during the physical examination in December 2010 that he/she had been put on

hypertension medication. For the second example, Entergy staff, during their October

2011 extent of condition review of medical records, identified that vision test results

documented on an operator's August 2010 medical exam warranted NRC notification

due to a change in the operator's vision (the operator needed corrective lenses). Pilgrim

staff did not notify the NRC of these medical changes until November 10, 2011, a period

greater than 30 days.

Analvsis: The inspectors determined that Entergy's failure to notify the NRC within

30 days of discovering the change in medical condition for two licensed operators was a

performance deficiency that was within Entergy's ability to foresee and correct and

should have been prevented. The inspectors determined that Traditional Enforcement

applies, as the issue had the potential to impact the NRC's ability to perform its

Enclosure

17

regulatory function because if a licensed operator has a change in medical condition, the

NRC may need to perform a review for consideration of a licensing action. Specifically,

Entergy had not notified the NRC within 30 days of learning of a change in medical

condition for two licensed operators for which a license condition was required. The

performance deficiency was screened against the ROP per the guidance of IMC 0612,

Appendix B, "lssue Screening." No associated ROP finding was identified and no cross-

cutting aspect was assigned.

Enforcement: 10 CFR 50.74 requires, in part, "Each licensee shall notify the

Commission in accordance with 50.4 within 30 days of the following in regard to licensed

operator or senior operator:,..(c) Permanent disability or illness.,." Contrary to the

above, in December 2010 and in August 2010, Entergy did not notify the NRC within

30 days of learning of a change in medical condition for two licensed operators for which

a license condition was required. Specifically, Pilgrim medical staff became aware of

medical conditions that caused two licensed operators to failto meet the requirements of

10 CFR 55.21 and for which license conditions were required, but the staff did not notify

the NRC of these medical changes until November 10, 2011, a period greater than

30 days. As a result of the inspection, Entergy entered this issue into their corrective

action program (CR-PNP-2011-04554), and submitted requests for license amendments.

This issue constitutes an apparent violation in accordance with the NRC's Enforcement

Policy, and its final significance will be dispositioned in separate future correspondence.

(AV 0500029312011005-03, Entergy Did Not Notify the NRC Within 30 Days of

Discovering Changes in Medical Gonditions)

.4 lntroduction: The inspectors identified a Severity Level lV NCV of 10 CFR 55,53 (e) and

(f), "Conditions of Licenses," because Entergy incorrectly credited two individuals for

proficiency watch-standing experience and then these operators subsequently stood

watch without meeting the minimum proficiency requirements necessary to maintain an

active license.

Description: As part of the biennial LORT program inspection, the inspectors evaluated

Pilgrim watch standing records for time on shift. The NRC's regulations related to the

proficiency requirements for NRC licensed personnel are contained in 10 CFR 55.53,

"Conditions of Licenses." Specifically, Section 55.53(e) requires, in part, that to maintain

an active status, the licensee shall actively perform the functions of an operator or senior

operator on a minimum of seven 8-hour or five 12-hour shifts per calendar quarter. For

licensed operators that do not fulfill these requirements, Paragraph (f) of 10 CFR 55.53

states, in part, that prior to resumption of functions authorized by a license, the facility

licensee shall certify that the individual license holder has completed a minimum of

40 hours4.62963e-4 days <br />0.0111 hours <br />6.613757e-5 weeks <br />1.522e-5 months <br /> of shift functions under the direction of an operator or senior operator as

appropriate and in the position to which the individualwill be assigned.

Procedure No. 1.3.34, "Operations Administrative Policies and Processes," Revision

121 , Section 6.4, states that in order for a licensed RO to receive credit for a shift, the

license holder must stand seven "complete" 8-hour shifts or five "complete" 12-hour

shifts per quarter and shall be logged as filling one (or more) of the following RO

positions for the shift claimed: (a) Operator-at-the Controls, (b) Balance of Plant (BOP),

or (c) Emergency Core Cooling System (ECCS), Contrary to this guidance, during the

2no quarter of 2011, the inspectors identified that one licensed RO stood one of five

required proficiency watches and a second licensed RO stood two of five required

proficiency watches as the "Extra BOP" which is not one of the three credited shift crew

Enclosure

18

positions. These watches were incorrectly credited towards meeting their minimum

required quarterly proficiency requirements. The inspectors also determined that one of

the licensed operators incorrectly took credit for two complete 12-hour watches when the

watch-stander did not stand a complete watch in the control room. Specifically, over the

course of two credited 12-hour watches, the individual was present in the control room

for approximately 8 and 8.75 hours8.680556e-4 days <br />0.0208 hours <br />1.240079e-4 weeks <br />2.85375e-5 months <br /> on April 27,2011, and on May 1,2011, respectively,

These watches did not represent l'complete" watches as defined in Pilgrim procedure

1.3.34.

NUREG 1021, Revision 9, Supplement 1, Section ES-605, states that watch standing

proficiency credit may also be appropriate for certain licensed RO or Senior Reactor

Operator (SRO) shift crew positions that are in excess of those required by a facility's

Technical Specifications (TS) if the licensee has in place administrative controls that (1)

list the title, description of duties, and indication of which positions are required by TSs

and (2) for shift crew positions in excess of TS, a description of how the position is

meaningfully and fully engaged in the functions and duties of the analogous minimum

licensed position(s) required by TS (Note: this same guidance was sent out to the

industry in NRC Regulatory lssue Summary 2007-29, "Clarified Guidance for Licensed

Operator Watch-Standing Proficiency," December 27,20Q7). In addition, TS

Amendment223, Section 5.2.2 states, in part, that at least one licensed RO shall be

present in the control room when fuel is in the reactor, and at least two licensed ROs

shall be present in the control room during reactor startups, scheduled reactor shutdown,

and during recovery from reactor trips. During the period of time in question, Pilgrim was

in a refueling outage requiring only one licensed RO to be present in the control room.

The inspectors determined that the activities assigned to these two operators as the

third (Extra BOP) operator during the periods in question (i.e., April 27-May 19, 2011) did

not meet the guidance established in ES-605, "meaningfully and fully engaged in the

function and duties of the analogous minimum licensed position required by technical

specifications" for the following reasons: 1) The operators were not fully engaged in the

function and duties of the analogous minimum licensed position required by TS, in fact

they were assigned as a third (Extra BOP) on shift during a period when TS required

only one RO to be present at the controls; 2) the operators were not assigned to duties

analogous to minimum TS positions but were instead assigned to perform various

surveillance testing (e.9., valve operability testing) and verifying completion of a startup

checklist as the third ROs assigned on shift; and 3) being assigned as the third RO

(Extra BOP) to the shift, they were essentially assisting the other watch standers and did

not have the primary responsibility to monitor and safely operate the reactor plant, In

this case the inspectors determined that the operators were not actively performing the

duties analogous to minimum TS positions. 10 CFR 55.4 states that "actively performing

the functions of an operator [ROJ or senior operator ISRO] means that an individual has

a position on a shift crew that requires an individual to be licensed as defined in the

facility's technical specifications, and that the individual carries out and is responsible for

the duties covered by that position."

Therefore, by not maintaining their RO license in an active status in the 2no quarter 2011,

the license holders violated 10 CFR 55.53 (f) when they subsequently stood RO watches

in the 3'd quarter 2011 without first reactivating their licenses.

In addition, the inspectors identified that Entergy procedure 1.3.34, section 5.8[3]

describes several specific duties that an additional licensed operator assigned to the

control room could perform that would meet the guidance prescribed in ES-605,

Enclosure

19

"meaningfully and fully engaged in the function and duties of the analogous minimum

licensed position required by technical specifications." For example, verifying control rod

manipulations as a second operator would be an example of a watch-stander that is

meeting this criteria. However, the inspectors determined that the procedure does not

establish adequate controls and guidance for ensuring credit is given only for proficiency

watches where the operator is meaningfully and fully engaged in the function and duties

of the analogous minimum licensed position required by TS.

Analvsis: The inspectors determined that Entergy incorrectly credited two individuals for

proficiency watch-standing experience and then these operators subsequently stood

watch in the control room. This error constitutes a performance deficiency that was

within Entergy's ability to foresee and correct and should have been prevented. The

inspectors determined that Traditional Enforcement applies, as the issue had the

potential to impact the NRC's ability to perform its regulatory function because if a

licensed operator fails to meet the conditions of their license, the NRC may need to

perform a review for consideration of a licensing action, and if the information regarding

an individual's qualifications is not accurately presented, the NRC could potentially make

an incorrect licensing decision based on the inaccurate information. Specifically,

Entergy did not ensure that two reactor operator (RO) licensed individuals maintained

their RO licenses in an active status in the 2no quarter 2011, prior to standing RO

watches in the 3'o quarter 201 1 which violated a license condition as specified in 10 CFR 55.53 (e) and (f). The performance deficiency was screened against the ROP per the

guidance of IMC 0612, Appendix B, "lssue Screening." No associated ROP finding was

identified and no cross-cutting aspect was assigned. This issue is similar to violation

example 6.4.c.1(c) in the NRC Enforcement Policy for a Severity Level lllviolation

because it involves noncompliance with a condition stated on an individual's license.

However, since there were no adverse impacts to nuclear safety, the NRC has

determined that this issue constitutes a Severity Level lV NCV in accordance with the

NRC's Enforcement Policy.

Enforcement: 10 CFR 55.53 (e)states, in part, "...To maintain an active status, a

license holder shall actively perform the functions of an operator or senior operator on a

minimum of seven 8-hour or five 12-hour shifts per calendar quarter. (f) lf paragraph (e)

is not met, before resumption of function...an authorized representative of the facility

licensee shall certify...(2) That the licensee has completed a minimum of 40 hours4.62963e-4 days <br />0.0111 hours <br />6.613757e-5 weeks <br />1.522e-5 months <br /> of

shift function under the direction of an operator or senior operator..." Contrary to the

above, prior to allowing two RO licensed individuals from resuming licensed activities in

the 3rd quarter of 2011, the Entergy did not certify that the qualifications and status of

the operator licensees were current and valid, regarding each individual meeting the

minimum of seven 8-hour or five 12-hour shifts per calendar quarter. In fact, the RO

licensed individuals had not completed the minimum of seven 8-hour or five 12-hour

shifts per calendar quarter, yet were maintained in an active status by Entergy. Entergy

implemented immediate corrective action that included discontinuing the practice of

crediting ECCS and Extra BOP positions for proficiency. ln addition, Entergy plans to

revise procedure 1.3.34 to reflect which RO watch standing positions shall receive

proficiency credit, and to revise the Narrative Log module to eliminate redundant roster

positions and to identify positions that qualify for proficiency. Because this issue had no

adverse impacts to nuclear safety, and has been entered into the corrective action

program (CR-PNP-201 1-04649), this violation is being treated as a Severity Level lV

NCV, consistent with the NRC Enforcement Policy. (NCV 05000293/2011005-04,

Enclosure

20

Entergy Incorrectly Credited Operators Proficiency Watch-Standing Experience

and the Operators Subsequently Stood Watch)

.5 Introduction: The inspectors identified a Green finding of 10 CFR 55.59,

"Requalification," based on a determination that greater than 20 percent of the biennial

requalification written exam questions administered to licensed operators during weeks

three and four of the 2010 examination cycle were unacceptable.

Description: The NRC-required biennialwritten exams are designed to ensure that

licensed operators maintain safe standards of knowledge and ability in order to take

appropriate safety-related actions in response to actual abnormal or emergency

conditions. As part of the biennial LORT Program inspection, the inspectors evaluated

the content of two NRC required biennial written exams that the licensee developed and

administered to licensed operators during weeks three and four of the 2010 examination

cycle. Twenty of the 70 questions reviewed (i.e., approximately 28.6 percent) were

found to be unacceptable containing psychometric flaws such as, more than one

implausible distracter, direct lookup and double jeopardy questions. These

unacceptable written exam flaws collectively affected the level of exam difficulty making

the exams too easy. Entergy procedure EN-TQ-114, "Licensed Operator Training

Program Description," section 5.7[3](h) states in part, "All items should adhere to the

appropriate psychometric attributes and the psychometric error rate should be as low as

possible." and section 5.7[3](d) further states in part, "No test item in the comprehensive

written examination should be a direct lookup question," NUREG-1021, "Operator

Licensing Examination Standards for Power Reactors," Appendix B, "Written

Examination Guidelines," lists implausible distracters as a psychometric deficiency to be

avoided and section C.2.m, states in part, "Avoid "specific determiners" that give clues to

the correct answer. Specific determiners include the following:..(5) implausible

distracters." Adhering to the established qualitative guidelines for developing written

exams is important because it establishes an objective standard used throughout the

nuclear industry to ensure that the NRC-required biennial written exams are written at an

appropriate level of difficulty. The licensee entered this finding into their corrective

action process, an apparent cause evaluation was conducted and corrective actions

were assigned to remove closed reference questions from the biennial exam and to

evaluate revising EN-TQ-1 14 to add the use of a plausibility statement for each

distracter used (CR-PNP-201 1-04561 ).

Analvsis: A performance deficiency was identified in that Entergy did not ensure that

NRC-required biennial comprehensive written examinations met the qualitative

standards established for NRC written examinations. The inspectors determined that

the finding was more than minor because it was associated with the Human

Performance attribute of the Mitigation Systems cornerstone and affected the

cornerstone objective of ensuring the availability, reliability, and capability of systems

that respond to initiating events to prevent undesirable consequences (i.e., core

damage). Specifically, the finding affected the quality and level of difficulty of biennial

written exams which potentially impacted Entergy's ability to appropriately evaluate

licensed operators.

The risk importance of this issue was evaluated using IMC 0609, Appendix l, "Licensed

Operator Requalification Significance Determination Process (SDP)." Appendix I was

entered using the number of written exam questions that did not meet the qualitative

standard for the written exam questions, The qualitative standard used by the

Enclosure

21

inspectors is defined in NUREG-1021, Rev. 9, ES-602, Attachment l, "Guidelines for

Developing Open-Reference Examinations," and Appendix B, "Written Examination

Guidelines." Since 28.6 percent of the questions reviewed did not meet the guidance,

Block 16 of Appendix I applied, specifically, "Were more than 20 percent of the written

questions sampled by the inspectors unacceptable?" Based on this screening criteria,

the finding was characterized by the SDP as having very low safety significance (greater

than 20 percent unacceptable), or Green. A review of the possible cross-cutting aspects

was performed and no cross-cutting aspect was identified that would be considered a

contributor to the cause of the finding.

Enforcement: 10 CFR 55.59, "Requalification," Section 4,"Evaluation," requires in part,

that the requalification program must include written examinations which determine

licensed operators'and senior operators' knowledge of subjects covered in the

requalification program and provide a basis for evaluating their knowledge of abnormal

and emergency procedures. However, the regulation does not specify a requirement for

the quality of exam material. Therefore, no violation of regulatory requirements

occurred. Enforcement action does not apply because the performance deficiency did

not involve a violation of a regulatory requirement. Entergy entered this issue into the

corrective action program (CR-PNP-201 1-04561). Because this finding does not involve

a violation of regulatory requirements and has very low safety significance, it is identified

as a FlN. (FlN 0500029312011005-05, Written NRC BiennialWritten Examinations

Did Not Meet Qualitative Standards)

1R12 Maintenance Effectivenesg (71111.12 - 1 sample)

a. lnspection Scope

The inspectors reviewed the 10 CFR 50.65(b) Scoping Evaluation of Alternate Shutdown

Panels (ASP) in order to assess the effectiveness of maintenance activities on ASP

performance and reliability. The inspectors verified that ASPs were evaluated for

scoping under the maintenance rule in accordance with 10 CFR 50.65, Requirements for

Monitoring the Effectiveness of Maintenance at Nuclear Power Plants. The inspectors

reviewed system health reports, corrective action program documents, maintenance

work orders, and maintenance rule basis documents to ensure that Entergy was

identifying and properly evaluating performance problems within the scope of the

maintenance rule.

b. Findinqs

No findings were identified.

1R13 Maintenance RiskAssessments and EmergentWork Control (71111.13- 3 samples)

a. Inspection Scope

The inspectors reviewed station evaluation and management of plant risk for the

maintenance and emergent work activities listed below to verify that Entergy performed

the appropriate risk assessments prior to removing equipment for work. The inspectors

selected these activities based on potential risk significance relative to the reactor safety

cornerstones. As applicable for each activity, the inspectors verified that Entergy

performed risk assessments as required by 10 CFR 50.65(aX4) and that the

Enclosure

22

assessments were accurate and complete. When Entergy performed emergent work,

the inspectors verified that Operations personnel promptly assessed and managed plant

risk. The inspectors reviewed the scope of maintenance work and discussed the results

of the assessment with the station's probabilistic risk analyst and Operations personnel

to verify plant conditions were consistent with the risk assessment. The inspectors also

reviewed the technical specification requirements and inspected portions of redundant

safety systems, when applicable, to verify risk analysis assumptions were valid and

applicable requirements were met.

. Yellow Risk during Reactor Core lsolation Cooling system maintenance

. Green Risk with Low Pressure Coolant Injection system unavailable, 'A' pressure

sensor for the Automatic Depressurization System Maintenance, and Recirculation

Flow Converter Calibration

o Yellow Risk with High Pressure Coolant Injection system unavailable and

maintenance being performed on the'B'Turbine Building Closed Cooling Water heat

exchanger

b. Findinqs

No findings were identified.

1R15 Operabilitv Determinations and Functionalitv Assessments (71111.15 - 3 samples)

a. Inspection Scope

The inspectors reviewed operability determinations for the following degraded or non-

conforming conditions:

. CR-PNP-2011-4342, Seismic Monitoring Equipment Trouble Alarm

. CR-PNP-2011-5388, Safety Relief Valve 203-3C Leaking

. CR-PNP-2O11-5355, Main Steam lsolation Valve 28 Position Indication Limit Switch

Failed Post Maintenance Test

The inspectors selected these issues based on the risk significance of the associated

components and systems. The inspectors evaluated the technical adequacy of the

operability determinations to assess whether technical specification operability was

properly justified and the subject component or system remained available such that no

unrecognized increase in risk occurred. The inspectors compared the operability and

design criteria in the appropriate sections of the technical specifications and UFSAR to

Entergy evaluations to determine whether the components or systems were operable.

Where compensatory measures were required to maintain operability, the inspectors

determined whether the measures in place would function as intended and were

properly controlled by Entergy. The inspectors determined, where appropriate,

compliance with bounding limitations associated with the evaluations.

b. Findinqs

No findings were identified.

Enclosure

23

1R19 Post-Maintenance Testinq (71111.19 - 5 samples)

a. Inspection Scope

The inspectors reviewed the post-maintenance tests for the maintenance activities listed

below to verify that procedures and test activities ensured system operability and

functional capability. The inspectors reviewed the test procedures to verify that the

procedures adequately tested the safety functions that may have been affected by the

maintenance activity, that the acceptance criteria in the procedure was consistent with

the information in the applicable licensing basis and/or design basis documents, and that

the procedure had been properly reviewed and approved. The inspectors also reviewed

test data to verify that the test results adequately demonstrated restoration of the

affected safety functions.

r Reactor Core lsolation Cooling Trip & Throttle Valve Maintenance

. Eight Year Preventive Maintenance Work and testing on electrical components for

the'B' Emergency Diesel Generator (EDG)

. 'B' EDG Replacement of Air Start Motors, Fuel Tank Level Calibration, and

Turbocharger Maintena nce

. 'B'EDG Emergency Diesel Generator Lockout During Testing

. Main Steam lsolation Valve AO-203-2B Cable Replacement

b. Findinss

No findings were identified.

1R20 Refuelinq and Other Outaoe Activities (71111.2A - 1 sample)

.1 Forced Outaqe 19-2

a. Inspection Scope

The inspectors reviewed the outage plan and shutdown risk assessments for a forced

outage performed from November 17,2011, through November 25,2011. The outage

was performed following a plant shutdown due to a 'B'feedwater check valve (a

containment isolation valve) steam leak. The documents reviewed during the inspection

are listed in the Attachment. During this outage, the inspectors observed plant shutdown

and start-up activities including the outage activities listed below:

r Hot and Cold Shutdown Cooling Control;

. Shutdown Risk Assessment and Risk Management;

r lmplementation of Technical Specifications;

o Outage Control Center Activities;

r Plant Startup; and

. Licensee identification and resolution of problems.

b. Findinqs

No findings were identified.

Enclosure

24

.2 Forced Outaqe 19-3

a. lnspection Scope

The inspectors reviewed the outage plan and shutdown risk assessments for a forced

outage performed from December 27 , 2011 , through January 1 , 2012. The outage was

performed following a plant shutdown due to Safety Relief Valve leakage. The

documents reviewed during the inspection are listed in the Attachment. During this

outage, the inspectors observed plant shutdown and start-up activities including the

outage activities listed below:

o Hot and Cold Shutdown Cooling Control;

. Shutdown Risk Assessment and Risk Management;

r lmplementation ofTechnical Specifications;

. Outage Control Center Activities;

. Plant Startup; and

. Licensee identification and resolution of problems.

b. Findinqs

No findings were identified.

1R22 Surveillance Testins (71111.22 - 4 samples)

a. lnspection Scope

The inspectors observed performance of surveillance tests andlor reviewed test data of

selected risk-significant structures, systems, and components (SSCs) to assess whether

test results satisfied technical specifications, the UFSAR, and Entergy's procedure

requirements. The inspectors verified that test acceptance criteria were clear, tests

demonstrated operational readiness and were consistent with design documentation,

test instrumentation had current calibrations and the range and accuracy for the

application, tests were performed as written, and applicable test prerequisites were

satisfied. Upon test completion, the inspectors considered whether the test results

supported that equipment was capable of performing the required safety functions. The

inspectors reviewed the following surveillance tests:

a 'A' Residual Heat Removal Pump Quarterly surveillance test

a 'D'Salt Service Water Pump In-Service Test (lST)

o High Pressure Coolant Injection (HPCI) Quarterly IST and HPCI Quarterly Valve

Operability Test

Local Leak Rate Test of Feedwater Discharge Check Valve and Containment

lsolation Valve (ClV) 6-CK-628

b. Findinos

No findings were identified.

Enclosure

25

2. RADTATTON SAFETY (RS)

Cornerstone: Occupational / Public Radiation Safety

2RS01 Radioactive Hazard Assessment and Exposure Controls (71124.01)

a. Inspection Scope

During the period from October 17,2011, through October 21,2011, the inspector

conducted the following activities to verify that Pilgrim properly assessed the radiological

hazards in the workplace and implemented appropriate radiation monitoring and

exposure controls during refueling outage operations. lmplementation of these controls

was reviewed against the criteria contained in 10 CFR Part 20, Standards for Protection

Against Radiation, relevant Technical Specifications, and the licensee's procedures.

Inspection Planning

o The inspector reviewed radiation protection program self-assessments and audits.

Radioloqical Hazard Assessment

o The inspector verified that Pilgrim assessed the potential impact of higher dose rates

in steam-affected areas during unit down-powers.

o The inspector reviewed the two most recent surveys for each elevation of the

Reactor Building and other selected spaces.

. The inspector walked down the facility, including the Reactor Building, to evaluate

material and radiological conditions. The inspector verified the integrity and postings

of the Locked High Radiation Areas (LHRA) in the Reactor Building and the

Radwaste Processing area.

. The inspector verified the surveys included identification of hot particles, alpha

emitters, potential airborne radioactive material, hazards associated with work

activities, and severe radiation fields, as appropriate.

lnstructions to Workers

. The inspector toured radioactive material storage areas and verified containers were

labeled and controlled in accordance with 10 CFR 20.1904, "Labeling Containers."

. The inspector reviewed radiation work permits (RWPs)for entrance into the drywell

to perform in-service inspection (lSl), scaffold work, and insulation work.

. The inspector verified that electronic personal dosimeter (EPD) set-points were

appropriate.

o The inspector reviewed all dosimeter alarms for 2011 and verified that workers

responded appropriately to the alarms and each event was reviewed by Radiation

Protection staff. In most cases. the event was entered into the corrective action

program.

Contamination and Radioactive Material Control

o The inspector reviewed Pilgrim's procedure for the survey and release of material.

Enclosure

26

The inspector verified that instrumentation is used at its typical sensitivity and is

sufficient to control the spread of contamination and prevent the unintended release

of radioactive materials from the site.

o The inspector verified two sealed sources from Entergy's inventory were accounted

for and intact.

. The inspector verified no transactions occurred that involved nationally tracked

sources.

Radioloqical Hazards Control and Work Coveraqe

. The inspector verified conditions were consistent with surveys, RWPs, and worker

briefings.

. The inspector verified the adequacy of radiation protection job coverage,

contamination control, and job area surveys.

. The inspector verified licensee controls for work areas with significant dose gradients

were adequate.

r The inspector reviewed the controls in place at the spent fuel pool for highly

activated material stored in the pool. The inspector verified appropriate controls

were in place.

. The inspector verified posting and physical controls for high radiation areas were

appropriate at the Reactor Water Clean Up Heat Exchanger room and the Backwash

Receiver Tank room.

Risk-Siqnificant Hiqh Radiation Area and Very Hiqh Radiation Area Controls

. The inspector discussed the controls and procedures in place for high radiation

areas (HRA) and very high radiation areas (VHRA) with the Radiation Protection

Manager (RPM).

o The inspector discussed the controls in place for special areas that have the

potential to become VHRAs during certain plant operations with a first line health

physics supervisor,

. The inspector verified that Pilgrim's controls for all VHRAs ensure that individuals will

not be able to gain unauthorized access.

Radiation Worker Performance

. During observations of workers, the inspector verified workers were aware of the

work area radiological conditions and the RWP requirements. The inspector

observed that workers performed activities in accordance with the RWP

requirements.

. The inspector reviewed condition reports (CRs) for human performance errors and

observable trends.

Radiation Protection Technician Proficiencv

. During observations of radiation protection technicians, the inspector verified the

technicians were aware of the area radiological conditions and the RWP

requirements. The inspector observed that technicians performed activities in

accordance with their training and qualifications.

Enclosure

27

. The inspector reviewed CRs for radiation protection technician errors and observable

trends,

Problem fdentification and Resolution

. The inspector verified problems associated with radiation monitoring and exposure

control are being identified at an appropriate threshold.

b. Findinqs

No findings were identified.

2RS02 Occupational As Low As ls Reasonablv Achievable Planninq and Controls (71124.02)

a. Inspection Scope

During the period from October 17,2011, through October 21,2011, the inspector

conducted the following activities to verify that the licensee was properly implementing

operational, engineering, and administrative controls to maintain personnel exposure As

Low As is Reasonably Achievable (ALARA). lmplementation of these controls was

reviewed against the criteria contained in 10 CFR Part2Q, applicable industry standards,

and the licensee's procedures.

lnspection Planninq

r The inspector reviewed Pilgrim's collective exposure history including the three year

rolling average.

r The inspector reviewed the specific trends in collective exposures and source term

measurements.

. The inspector reviewed the site specific procedures associated with maintaining

occupational exposures ALARA.

Radioloqical Work Planning

r The inspector obtained a list of the work activities ranked by estimated exposure for

the Spring 2011 refueling outage.

r The inspector reviewed the ALAM work activity evaluations, exposure estimates,

and exposure control requirements.

. The inspector verified Pilgrim identified appropriate dose mitigation techniques,

defined reasonable dose goals, included decreased worker efficiency from use of

respirators and heat stress, and included remote technologies.

. The inspector compared the actual exposure received with the dose estimates and

the actual hours with the estimated hours.

. The inspector reviewed post job reviews and verified that Pilgrim performs in-

progress reviews at two set-points, 40 pgrcent of estimate and 80 percent of

estimate, prior to actual exposure reaching the estimates. The inspector verified

problems identified in the post job reviews were entered into the corrective action

program.

Verification of Dose Estimates and Exposure Trackino Svstems

Enclosure

28

. The inspector reviewed the assumptions and basis described in the RWP and

ALARA packages for in-service inspection activities, reactor disassembly and

assembly activities, and scaffold activities. The inspector reviewed the "ALAM

Program" and "Radiation Work Permits" procedures to determine Pilgrim's

methodology for estimating exposures for specific work activities.

Source Term Reduction and Control

. The inspector reviewed Pilgrim's source term reduction program and the effects on

dose rates.

Radiation Worker Performance

. See section 2RS01, (Radiation Worker Performance and Radiation Protection

Technician Proficiency)

Problem ldentification an4 Resolution

. The inspector verified that problems associated with ALARA planning and controls

are identified in Pilgrim's corrective action program and properly addressed.

b. Findinqs

No findings were identified.

2RS03 ln-Plant Ai[Forne Radioactivitv Control and Mitiqation (71124.03)

a. Inspection Scope

During the period from October 17 , 2011, through October 21, 2011, the inspector

conducted the following activities to verify that the licensee was controlling in-plant

airborne concentrations consistent with ALARA. lmplementation of these controls was

reviewed against the criteria contained in '10 CFR Part20, applicable industry standards,

and the licensee's procedures.

Inspection Planninq

r The inspector reviewed Pilgrim's UFSAR to identify potential airborne area and the

associated ventilation systems or airborne monitoring instrumentation.

o The inspector reviewed Pilgrim's procedures for maintenance, inspection, and use of

respiratory protection equipment.

Enqineerinq Controls

o The inspector verified Pilgrim used ventilation systems as part of its engineering

controls to control airborne radioactivity. The inspector verified that the reactor

building and the spent fuel pool ventilation systems have adequate ventilation airflow

capacity and particulate filter/charcoal unit efficiencies are adequate.

Enclosure

29

Use of Respiratorv Protection Devices

. The inspector verified the air used in Self-Contained Breathing Apparatus (SCBA) is

tested and meets Grade D quality.

. The inspector verified training records for several individuals deemed fit to use

respiratory devices.

o The inspector observed respiratory equipment storage areas and verified the

physical condition of the device components. The inspector verified onsite personnel

assigned to repair vital components have received vendor-provided training.

Self-Contained Breathinq Apparatus for Emerqencv Use

. The inspector observed the monthly inspection of four SCBAs staged in various

locations including the Control Room. The inspector verified Pilgrim's capability to

refill and transport bottles to and from the control room and the Operations Support

Center during emergency conditions.

o The inspector verified control room operators and shift radiation protection

technicians are trained and qualified in the use of SCBAS. The inspector also

verified personnel assigned to fill bottles are trained and qualified to that task.

o The inspector verified appropriate mask sizes are available and that the control room

operators on duty had no facial hair that would interfere with the sealing surface of

the face seal and those that required corrective lenses had respiratory corrective

lenses readily available in the control room.

. The inspector reviewed maintenance records for the four SCBAs inspected and

verified any work performed is done by a contractor with certified training.

Problem ldentification and Resolution

o The inspector verified that problems associated with control and mitigation of in-plant

airborne radioactivity are put in the corrective action program and properly

addressed for resolution.

b. Findinss

No findings were identified.

2RS04 Occupational Dose Assessment (7 1 124.04)

a. Inspection Scope

During the period from October 17,2011, through October 21,2011, the inspector

conducted the following activities to verify that Pilgrim appropriately monitors

occupational dose. lmplementation of these controls was reviewed against the criteria

contained in 10 CFR Part20, applicable industry standards, and the licensee's

procedures.

Inspection Planninq

o The inspector reviewed audits and self assessments of the radiation protection

program.

Enclosure

30

o The inspector reviewed the most recent National Voluntary Laboratory Accreditation

Program (NVLAP) accreditation report for Pilgrim's vendor.

r The inspector review Pilgrim's dosimetry procedures.

o The inspector verified that Pilgrim has established procedural requirements for

determining when external and internaldosimetry is required.

External Dosimetrv

r The inspector verified that Pilgrim's personnel dosimeters are NVLAP accredited.

. The inspector evaluated the storage of dosimeters on-site. Pilgrim requires

dosimeters be stored on-site. The inspector verified that Pilgrim does not use non-

NVLAP dosimeters.

. The inspector verified the correction factor used for electronic dosimeters is based

on sound technical principles. The inspector reviewed condition reports for the trend

analysis of electronic dosimeters and the implemented actions.

lnternal Dosimetrv

o The inspector verified the procedures used to assess dose from internally deposited

nuclides address methods for determining if an individual is internally or externally

contaminated, the release of contaminated individuals, the determination of entry

route, and assignment of dose. The inspector verified that the frequency of whole

body count measurements is consistent with the biological half-life of the potential

nuclides available for intake. The inspector verified that whole body counting is the

method for screening intakes. The inspector reviewed whole body counts performed

for contaminated individuals and verified that each had sufficient counting time/low

background, used an appropriate nuclide library, and anomalous peaks/nuclides

received appropriate disposition. The inspector verified that hard-to-detect nuclides

are accounted for in the dose assessments.

o The inspector reviewed in-vitro monitoring for divers to determine tritium intake. The

inspector reviewed the adequacy of collection and storage of samples,

r The inspector reviewed the adequacy of dose assessments based on

airborne/Derived Airborne Concentration (DAC) monitoring. The inspector verified

that Pilgrim has not had to perform DAC calculations during the assessment cycle.

r The inspector reviewed internal dose assessments for which an actual internal

exposure greater than 10 millirem was assigned.

Special Dosimetric Situations

. The inspector reviewed several skin dose assessments. Pilgrim uses VARSKIN to

perform the calculations.

o The inspector reviewed Pilgrim's neutron dosimetry program. The inspector verified

Pilgrim uses the vendor's TracEtch chip and that calculations account for the gamma

radiation.

o The inspector verified that Pilgrim appropriately assigns total effective dose

equivalent (TEDE), shallow dose equivalent (SDE) and lens dose equivalent (LDE)

to individuals from both internal and external monitoring results, supplementary

information, and surveys including air monitoring results as required.

Problem ldentification and Resolution

Enclosure

31

' The inspector verified that problems associated with occupational dose assessment

have been identified at the appropriate threshold and properly addressed in Pilgrim's

corrective action program.

b. Findinqs

No findings were identified.

2RS05 Radiation Monitorinq Instrumentatign (7 1 124.05)

a. lnspection Scope

During the period from October 17 , 2011, through October 21, 2011, the inspector

conducted the following activities to verify that the licensee was ensuring the accuracy

and operability of radiation monitoring instruments.

Calibration and Testinq Proqram

Laboratory l nstrumentation

o The inspector verified that appropriate corrective actions were implemented for

instrument response to indications of degraded instrument performance.

Portable Survey Instruments, Area Radiation Monitors, Electronic Dosimetry, and Air

Samplers/Continuous Air Monitors

. The inspector verified that Pilgrim evaluated the possible consequences of

instrument use since the last successful calibration or source check for two

instruments that either failed source check or calibration.

4. OTHER ACTIVITIES

4AA1 Performance lndicator Verification (7 1151)

.1 Mitiqatinq Svstems (2 samples)

a. Inspection Scope

The inspectors reviewed Performance lndicator (Pl) data to determine the accuracy and

completeness of the reported data.

o Emergency AC Power from the fourth quarter 2010 through the third quarter 2011

lMS06l

. Cooling Water (Salt Service Water/Reactor Building Closed Cooling Water) from the

fourth quarter 2010 through the third quarter 2011 [MS10]

The review was accomplished by comparing reported Pl data to confirmatory plant

records and data available in plant logs, Condition Reports (CRs), Licensee Event

Reports (LERs), and NRC inspection reports. To determine the accuracy of the

Enclosure

32

performance indicator data, inspectors used definitions and guidance contained in the

Nuclear Energy Institute (NEl) Document 99-02, "Regulatory Assessment Performance

lndicator Guideline," Revision 6, and NUREG-1022,"Event Reporting Guidelines 10

CFR 50.72 and 10 CFR 50.73." The documents reviewed during the inspection are listed

in the Attachment.

b. Findinss

No findings were identified.

.2 Occupational Exposure Control Effectiveness (1 sample)

a. Inspection Scope

The inspector reviewed implementation of Entergy's Occupational Exposure Control

Effectiveness Pl Program. Specifically, the inspector reviewed recent CRs, and

associated documents, for occurrences involving locked HRAs, VHRAS, and unplanned

exposures against the criteria specified in Nuclear Energy Institute (NEl) 99-02, to verify

that all occurrences that met the NEI criteria were identified and reported as Pls. This

inspection activity represents the completion of one sample relative to this inspection

area; completing the annual inspection requirement.

b. Findinqs

No findings were identified.

4c42 Problem ldentification and Resolution (71152)

.1 Routine Review of Problem ldentification and Resolution Activities

a. Inspection Scope

As required by Inspection Procedure71152, "Problem ldentification and Resolution," the

inspectors routinely reviewed issues during baseline inspection activities and plant

status reviews to verify that Entergy entered issues into the corrective action program at

an appropriate threshold, gave adequate attention to timely corrective actions, and

identified and addressed adverse trends. In order to assist with the identification of

repetitive equipment failures and specific human performance issues for follow-up, the

inspectors performed a daily screening of items entered into the corrective action

program and routinely attended condition report screening meetings.

b. Findinqs

No findings were identified.

,2 Semi-Annual Trend Review (1 sample)

a. Inspection Scope

The inspectors performed a semi-annual review of site issues, as required by Inspection

Procedure 71152, "Problem ldentification and Resolution," to identify trends that might

Enclosure

33

indicate the existence of more significant safety issues. ln this review, the inspectors

included repetitive or closely-related issues that may have been documented by Entergy

outside of the corrective action program, such as trend reports, Pls, major equipment

problem lists, system health reports, maintenance rule assessments, and maintenance

or corrective action program backlogs. The inspectors also reviewed Entergy's

corrective action program database to assess condition reports written in various subject

areas (equipment problems, human performance issues, as well as individual issues

identified during the NRCs daily condition report review (Section 4OA2.1). The

inspectors reviewed Entergy's quarterly trend reports to verify that Entergy personnel

were appropriately evaluating and trending adverse conditions in accordance with

applicable procedures.

b. Findinqs and Observations

lmplementation of the Operabilitv Determination Process

The inspectors have continued to observe deficiencies in the areas of Operability

Determinations, including quality, timeliness, conservative decision making, and entry

into Technical Specifications. The inspectors have discussed these observations at the

time of their occurrence, during quarterly exit meetings, and during semi-annual trend

review discussions. Training was conducted by the Operations and Engineering

departments and improvements were subsequently noted in the quality and level of

detail in some operability samples in 2011. In addition, CR-PNP-2011-0137 and CR-

PNP-2011-1140 were written by the Operations Department in January and March of

2011 respectively, to assess operability shortfalls and to address programmatic areas for

improvement. As a corrective action to CR-PNP-2O11-0137, further operability training

was conducted by the Operations Department. However, additional recent examples

have been identified by the inspectors during the past six months, including:

The operability of a CR documenting that the ripple voltage for a power supply for the "A"

RHR containment spray flow header was out of specification. The immediate

assessment of operability was conducted approximately 9.5 hours5.787037e-5 days <br />0.00139 hours <br />8.267196e-6 weeks <br />1.9025e-6 months <br /> after identification and

no assessment of a limit for allowed ripple voltage was discussed. No extent of

condition assessment was performed and the "8" loop was subsequently found

significantly out of specification and declared inoperable as a result. Compensatory

measures to periodically measure "A" loop ripple voltage were not considered in the

original operability assessment when the nature of the degradation was unknown.

These were subsequently put in place when the "B" loop was also found out of

specification.

The operability assessment for a CR documenting control rod scram times which may be

affected by seismic concerns was not originally identified as "Operable-Compensatory

Measure," even though the operability evaluation required actions to be taken under

certain plant conditions to maintain control rods operable. The recognition and

designation of compensatory measures to maintain operability continues to be an area

that requires improvement.

A CR documenting misalignment and a bent pin on a connector for MSIV 28 was not

submitted to the control room. The inspectors brought this to the attention of Operations

and scheduling personnel who had initiated the CR. The subsequent operability

assessment indicated that the assessment of the condition was covered under another

Enclosure

34

CR that documented the replacement of MSIV cables, However, the other CR did not

address the as-left condition of the misaligned connector and the bent pin and the basis

for acceptability of this condition and system operability.

The inspectors concluded that the operability determination process improvements

remain a work in progress and corrective actions and progress in response to this trend

will continue to be evaluated.

.3 Annual Sample: Safetv Relief Valve Operability (1 sample)

a. Insoection Scope

The inspectors selected the issues of safety relief valve (SRV) and automatic

depressurization system (ADS) valve leakage and setpoint test failures as an inspection

sample for in-depth review to assess the corrective actions taken by Entergy to address

these long-standing issues. Entergy's corrective actions included replacing the four ADS

valves and the two safety relief valves with a Target Rock three-stage relief valve

design, increasing the capacity of the two safety relief valves, and amending the license

to allow for a set-point pressure band of +l- 3o/o. Additionally, the new valves were

equipped with multiple leak detection temperature indicators.

The inspectors reviewed procedures, condition reports, engineering evaluations,

modification packages, post maintenance testing, and license amendment

correspondence, and interviewed plant personnel to assess Entergy's problem

identification, evaluation, and corrective action effectiveness with respect to SRV and

ADS valve leakage and set-point drift. Additionally, the inspectors reviewed the

technical specifications and UFSAR to assess the change to the relief valves with

respect to design and licensing bases requirements. Documents reviewed are listed in

the attachment.

b. Findinqs and Observations

No findings were identified.

The ADS valves and SRVs were originally a two-stage Target Rock-type design,

consisting of a pilot-stage assembly and a main-stage assembly. Industry Operating

Experience had shown that two-stage Target Rock relief valves exhibited some amount

of pilot-stage leakage during plant operation. Additionally, the technical specification

allowed valve setpoint pressure band was +/- 1%, which left little margin to maintain the

valves operable in the event of valve leakage. As a result, SRV and ADS valve pilot-

stage leakage were challenges throughout the plant's operating history and caused

several forced shutdowns.

The inspectors noted, based on nuclear industry operating experience, that the

replacement of all the ADS and SRVs with the three-stage Target Rock design was a

significant positive step in reducing the likelihood of relief valve seat leakage.

Additionally, the inspectors noted Entergy's evaluation of an expanded relief valve set-

point pressure band and subsequent license amendment have resulted in significantly

more operating margin for the plant in the event that a valve does exhibit signs of

leakage. Finally, the inspectors determined the addition of several temperature

Enclosure

35

monitoring points on the valve would allow Entergy to more effectively evaluate the

operability of the valve should any leakage occur.

40A3 Follow-Up of Events and Notices of Enforcement Discretion (71 153)

.1 Operator Performance Durinq Thermal Backwash (1 sample)

a. Inspection Scope

The inspectors observed an infrequently performed evolution on November 17,2011.

Specifically, the inspectors observed a plant downpower to support thermal backwash of

the condenser, and control rod scram time testing. The inspectors reviewed procedural

guidance for station power changes and the power maneuver plan, and observed control

room conduct and control of the evolution. During the downpower, significant leakage

was identified from the'B' Feedwater Check Valve (a Containment lsolation Valve

(ClV)). Pilgrim determined that the CIV could not meet its safety function, shut down the

plant, and commenced Forced Outage 19-2 (see section 1R20). The documents

reviewed during this inspection are listed in the Attachment.

b. Findinqs

No findings were identified.

.2 Safetv Relief Valve (SRV-3D) Leakaqe

Inspection Scope

The inspectors observed a plant shutdown on December 27 , 2011 after operators

identified significant first-stage leakage on SRV-3D, Pilgrim determined that the leakage

exceeded limits in their station procedure, entered technical specifications, and shut

down the plant to commence Forced Outage 19-3 and repair the SRV (see section

1R20). The inspectors reviewed procedural guidance for station power changes and the

power maneuver plan, and observed control room conduct and control of the evolution,

The documents reviewed during this inspection are listed in the Attachment.

b. Findinqs

No findings were identified.

40A6 Meetinqs. Includinq Exit

A radiation protection exit meeting was held on October 2Q, 2011. Tom White, Acting

Engineering Director, attended the meeting. At the exit meeting, the inspector confirmed

that no proprietary information was provided to the inspector for the inspection.

On December 20, 2011 , the operator licensing inspectors presented the biennial

licensed operator requalification inspection results to Mr. R. Smith, Site Vice President,

and other members of the Entergy staff.

On January 10, 2Q12, the resident inspectors conducted an exit meeting and presented

the preliminary inspection results to Mr. Robert Smith, and other members of the Pilgrim

Enclosure

36

staff. The inspectors confirmed that proprietary information provided or examined during

the inspection was controlled and/or returned to Entergy, and the content of this report

includes no proprietary information.

4CA7 Licensee-ldentified Violations

The following violation of very low safety significance (Green) was identified by Entergy

and is a violation of NRC requirements which meets the criteria of the NRC Enforcement

Policy for being dispositioned as a non-cited violation (NCV),

Technical specification 5.4,1, "Procedures," requires that written procedures shall be

established, implemented, and maintained including the emergency operating

procedures (EOP) required to implement the requirements of NUREG-0737,

"Clarification of TMI Action Plan Requirements," and NUREG-0737, Supplement 1, as

stated in Generic Letter 82-33, "Order Confirming Licensee Commitments on Emergency

Response Capability Schedules." Contrary to technical specification 5,4.1, portions of

EOP-2, "RPV Control, Failure to Scram," could not have been implemented from

October 8, 2011 through November 6,2011. Specifically, injection of sodium

pentaborate would not have been able to be performed because Pilgrim's warehouse did

not resupply its inventory of the required 12 barrels of sodium pentaborate necessary to

implement EOP-2. Pilgrim entered this issue into the corrective action program as CR-

PNP-201 1-4887 , and obtained the required inventory on November 6, 201 1 . The

inspectors determined that the finding was of very low safety significance (Green) in

accordance with NRC Inspection Manual Chapter 0609, Attachment 4, "Phase 1 - Initial

Screening and Characterization of Findings," Mitigating Systems Cornerstone, because

the finding was not a design or qualification deficiency, did not represent a loss of

system safety function, did not represent an actual loss of a single train for greater than

its technical specification allowed outage time, and did not screen as potentially risk

significant due to a seismic, flooding, or severe weather initiating event.

ATTACHMENT: SUPPLEM ENTARY I N FORMATION

Enclosure

A-1

SUPPLEMENTARY INFORMATION

KEY POINTS OF CONTACT

Enterqv Personnel

G. Bradley Component Engineering

B. Chenard System Engineering Manager

B. Clow Radiation Protection Technician

S. Colburn Supervisor Access Authorization and Fitness for Duty

J. Dreyfuss Plant General Manager

V. Fallacara Engineering Director

A. Felix Auxiliary Operator

J. Fitzsimmons Radiation Protection Supervisor

J. House Superintendent, Initial Operations Training

W. Lobo Licensing Engineer

J. Lynch Director, Nuclear Safety Assurance and Licensing Manager

J. Macdonald Assistant Operations Manager-Shift

T. McElhinney Training Manager

W. Morrow Radiation Protection Supervisor

A. Muse Superintendent, Operations Training

D. Noyes Operations Manager

J. Priest Radiation Protection Manager

R. Smith Site Vice President

J. Taormina Maintenance Manager

M. Thornhill Radiation Protection Supervisor

J. Whalley Operations Shift Manager

T. White Emergency Planning Manager

LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED

Opened

AV 05000293t201 1 005-01 Licensed Operators Stood Watch Without Being Medically

Qualified (Section 1R1 1)

AV 05000293t201 1 005-02 Entergy did not Provide Complete and Accurate Medicat

Information for Licensed Operator Renewal Applications

(Section 1R1 1)

AV 050002 93 l 201 1 005-03 Entergy did not Notify the NRC Within 30 Days of

Discovering Changes in Medical Conditions

(Section 1R1 1)

Enclosure

A-2

Opened and Closed

NCV 05000293t201 1 005-04 Entergy lncorrectly Credited Operators Proficiency Watch-

Standing Experience and the Operators Subsequently

Stood Watch (Section 1R1 1)

FtN 050002931201 1 005-05 Written NRC BiennialWritten Examinations did not meet

Qualitative Standards (Section 1R1 1)

Enclosure

A-3

LIST OF DOCUMENTS REVIEWED

Section 1R01: Adverse Weather Protection

Procedures

8.C.40, Seasonal Weather Surveillance, Revision 25

2.2.38, Plant Heating System, Revision 48

2.2.35, Section 7.2, Condensate Storage Tank Temperature Control, Revision 44

Section 1R04: Equipment Aliqnment

Procedures

2.2.8, Standby AC Power System (Diesel Generators), Revision 98

2.2.21, High Pressure Coolant Injection System, Revision 79

8.C.13, Locked Component Lineup Surveillance, Revision 80

8.C.43, Monthly System Valve Lineup Surveillance, Revision 11

Condition Reports

CR-PNP-2011-2498, Valve 23-HO-320, Handwheel to Valve Stem Key Found Missing

CR-PNP-2011-3424, High Pressure Coolant Injection Turbine Exhaust Line Drain Pot Valves

lndicating Open when Normally Closed

CR-PNP-2011-4818, lSl Drawing Not Updated

CR-PNP-2011-5217, HPCI Oil Relay Pilot Supply Block Valve is not listed in the valve checklist

(Attachment 2) in the HPCI system procedure 2.2.21

Technical Specifications:

3.2.8, Protective Instrumentation

3.5.C, High Pressure Coolant Injection System

3.13, Inservice Code Testing

Miscellaneous

Updated Final Safety Analysis Report, Section 8.5, Standby AC Powersource

FSAR, Section 6.4.1, High Pressure Coolant Injection System

P&lD M243, High Pressure Coolant Injection System, Revision 53

P&lD M244, Sheet 1, High Pressure Coolant Injection System, Revision 31

P&lD M244. Sheet 2, High Pressure Coolant Injection System, Revision 9

Section 1R05: Fire Protection

Procedures

5.5.2, Special Fire Procedure, Revision 48

Condition Reports

CR-PNP-2011-4960, Blue matting is in contact with LS-9028; the level switch provides RBCCW

Pump Area Leakage alarm to main control room

CR-PNP-2011-4961, Tools such as tape, channel locks, screwdriver, and wire cutters were

adrift in the I Beam next to 815; this was reported by the NRC

CR-PNP-2011-4962, Sheet metal is leaning upright against the west wall of the 'A'Aux Bay;

one of the sheets has slid down such that it is behind, and in contact with the tubing for

FT-6240 "A SSW Loop Flow Transmitter." This was identified by the NRC resident.

Enclosure

A-4

CR-PNP-201 1-51 1 1 , During an NRC walkdown of fire area 1.21 fue zone 1 .21 'A' RBCCW

room the inspector questioned why hose reel RA-43-06 in fire area 1.22'B' RBCCW

room was noted in section F (Fire Protection Equipment) of the FHA

CR-PNP-2011-2239, Dry Chem Cart Outside of High Pressure Coolant Injection Room Found

Blocked

CR-PNP-2011-3338, Housekeeping lssues ldentified During High Pressure Coolant Injection

Room Walkdown

CR-PNP-201 1-3963, High Pressure Coolant Injection Exhaust Line Vacuum Breaker Check

Valve Insulation Not Replaced

CR-PNP-2011-5116, Found Combustible Material in a Level 1 Combustible Free Zone

CR-PNP-2011-4795,ldentified Wooden Stairs Down on Torus Room Floor

Maintenance OrdersMork Orders

WO 52251827, Task 01

WO 52294163, Task 01

WO 52302684, Task 01

Technical Specifications:

3.5.C, High Pressure Coolant Injection System

Miscellaneous

Fire Hazards Analysis

Compensatory Actions and Disabled Annunciator Log

Fire Door Inspections

Fire Damper Inspections

FSAR, Section 6.4.1, High Pressure Coolant Injection System

P&lD M243, High Pressure Coolant lnjection System, Revision 53

P&lD M244, Sheet 1, High Pressure Coolant Injection System, Revision 31

P&lD M244, Sheet 2, High Pressure Coolant lnjection System, Revision 9

'A' RBCCW Room Function Test Zone 2A

Section 1R11: Licensed Operator Requalification Proqram

Miscellaneous

LORT/NRC Simulator Exam Scenario, SES-2011-05, EPR Failure, Reactor

Recirculation Seal Failure, Loss of Normal Feed, Anticipated Transient Without Scram,

Loss of Offsite Power. and Torus Leak

Procedures

EN-TQ-114, Licensed Operator Requalification Training Program Description, Revision 6

EN-NS-112, Nuclear Management Manual, Medical Program, Revision 8

PNPS 1.3.34, Operations Administrative Policies and Procedures, Revision 121

TQF-201-1M05, Remedial Training Plan, Revision 8

RTYPE H6.09, Procedure 9.1, APRM Calibration, Revision 24

O-RO-03-03, NRC License Training Program Reactor Startup Competency Evaluation,

Revision 10

O-RQ-04-01-138, May 2011 IRM SCRAM Event Review Instructor Guide, Revision 0

O-RQ-04-04-68, Reactor Startup and Criticality Template Instructor Guide, Revision 0

License Medical Restrictions List

Licensee Watch-Standing Proficiency List

Enclosure

A-5

Condition Reports:

cR-PNP-2011-Q2475

CR-PNP-201 1-04554

CR-PNP-201 1-04355

CR-PNP-201 1-04561

CR-PNP-201 1-04649

Simulator Work Orders (closed):

A900009

A900345

8000041

8000046

80001 1 2

80001 1 6

8000126

80001 31

80001 32

80001 36

8000145

8000146

8000147

80001 60

Simulator Work Orders (open):

DR-Ag-100

DR-80-070

DR-81-034

DR-B1-044

EC 0000017226

Simulator Performance Tests:

T.1 9.3 w/T.S, Core Thermal Power Evaluation @ 50 percent

T.1 9.3 w/T.5, Core Thermal Power Evaluation @75 percent

T.10 AT02 3.27.2, ATWS with Failure to Initiate ARI

T.10 ED24 3.20.2, Total Loss of All AC Power

Section 1 Rl2: Maintenance Effectiveness

Procedures

EN-DC-204, Maintenance Rule Scope and Basis, Revision 2

EN-DC-205, Maintenance Rule Monitoring, Revision 3

Condition Reports

CR-PNP-201 1-4803, Need to Review the Maintenance Rules Scoping of Alternate

Shutdown Panels

List of Condition Reports Addressing Alternate Shutdown Panel Degraded Conditions over

the last several years

Enclosure

A-6

Miscellaneous

Maintenance Rule Basis Documents for Residual Heat Removal, Reactor Core

lsolation Cooling, High Pressure Coolant Injection, and Automatic Depressurization Systems

Section 1R13: Maintenance Risk Assessments and Emerqent Work Control

Procedures

1.5.22, Risk Assessment Process, Revision 14

8.M.2-2.3.1, ADS-Pump Discharge AC Interlock, Revision 31

LM.2-3.6.5, Neutron Monitoring System Flow converter Functional and

Calibration Test, Revision 37

8.5.2.2.1, LPCI System Loop A Operability-Pump Quarterly and Biennial

(Comprehensive) Flow Rate Tests and Valve Tests, Revision 53

Miscellaneous

Equipment Out-of-Service Quantitative Risk Assessment Tool

RCIC Super Window 2011 Maintenance Activity List

Control Room Logs

Weekly Risk Assessment for 11114111

Section I R1 5: Operabilitv D.eterminations and Fu nctionalitv Assessments

Procedures

5.2.1, Earthquake, Revision 34

EN-OP-111, Operational Decision-Making lssue (ODMI) Process, Revision 6

1.3.109, lssue Management, Revision 8

2.4.29, Stuck Open Safety Relief Valve, Revision 25

EN-OP-104, Operability Determination Process, Revision 5

Condition Reports

CR-PNP-2011-4342, Seismic System Trouble, Red error light lit and associated functionality

evaluation

CR-PNP-2011-4446, Seismic instrument on 91' elevation has degraded power supply

CR-PNP-201 1-5388, SRV-203-3C Leaking

CR-PNP-2011-2635, SRV-3C Leaking coming out of refueling outage

CR-PNP-2011-5411, SRV-203-3C, Epic Point RXXO12 indicating 200 degrees F

CR-PNP-2011-5421, Temperature Indication for Safety Valve 203-4A is fluctuating

CR-PNP-2011-5410, SRV tailpipe alarm set incorrectly at 200 degrees F

CR-PNP-2O11-5355, Main Steam lsolation Valve 28 Position Indication Limit Switch Failed

Post Maintenance Test

Section 1 R19: Post-Maintenance Testinq

Procedures

EN-WM-107, Post Maintenance Testing, Revision 3

EN-MA-125, Troubleshooting Control of Maintenance Activities, Revision 8

3.M.4-78, RCIC Turbine Major Preventive Maintenance lnspection, Revision 10

3.M.4-107, RCIC Turbine Overspeed Trip Preventive Maintenance, Revision 6

8.5.5.8, RCIC Overspeed Trip Test, Revision 31

Enclosure

A-7

3.M.3-51, Electrical Termination Procedure, Revision 28

3.M.3-1, A5/AO Busses Protective Relay Calibration/Functional Test and Annunciator

Verification, Revision 1 30

8.9.1, Emergency Diesel Generator and Associated Emergency Bus Surveillance, Revision 122

3.M.3-61.5, Emergency Diesel Generator Two-Year Overhaul Preventive Maintenance,

Revision 43

3.M.3-61.9, Emergency Diesel Generator Four-Year Preventive Maintenance, Revision 8

3.M.3-1, A5/AO Buses 4KV Protective Relay Calibration/Functional Test and Annunciator

Verification, Revision 130

3.M.3-5, Electrical Termination Procedure, Revision 28

8.1.11.21, Mainsteam lsolation Valve Cold Shutdown Operability, Revision 2

8.7 .4.4, Main Steam lsolation Valve Operability, 600/o Power, Revision 24

Condition Reports

CR-PNP-2011-4476, RCIC Trip & Throttle Valve Work identified discrepancies

CR-PNP-201 1-5496, Inspector was concerned that the procedure step to replace the magneto

shorting wire had been signed as not performed

Maintenance OrdersMork Orders

WO 00262619, Replace Hanger for PT-1360-24 Sensing Line

WO 51533719, Tasks 1 & 2, Replacement of screw spindle ring & thrust washer and

post maintenance test for major inspection of the RCIC trip & throttle valve

WO 52314345, Tasks 1-4, Overspeed Trip MaintenanceX-202

WO 52229557, Task 5, Motor Operated Controller (MOC) Potentiometer Checks

WO 52313841, Tasks 4, Exercise Potentiometer on MOC, X-107B

WO 52229557, Task 1, Replace 'B' EDG MOC Potentiometer

WO 52229557, Task 2, Post Installation Test of 'B' EDG MOC Potentiometer

WO 52314423,Task 1 EDG'B'to Bus 46 Relay Calibration and FunctionalTest

WO 52349213, Tasks 1 & 2, Diesel Generator Preventive Maintenance X-1078 Mechanical

WO 52285928, Tasks 1-6, Cat. 24, AOV Overhaul Actuator AO-4522

WO 51532089, Tasks 1-3, EDG 'B' Fuel Oil Level is rising about 4 gallons

WO 00294230, Tasks 1 & 2, 47-CK-301C 'B' EDG Turbo Assist Air Receiver Leaking By

WO 00296754 01, Troubleshoot 'B' EDG Lockout During Testing

WO 00296754 02, Perform Electrical Meggar Testing of generator and cables to breaker

in accordance with 3.M.3-61.5, Attachment 2C

WO 52376404 01, Conduct Procedure 8.9.1, Emergency Diesel Generator and

Associated Emergency Bus Surveillance, Revision 122

WO 00297770, Tasks 3, J58, Embrittled Conductors in Cables SBNSl5BCA & BCC

WO 00290898, Task 2, Stroke Time and Adjust Valve Fast Closure

Miscellaneous

Procurement Engineering Evaluation 49494, Potentiometer, Motor Operated, Standard

Single Turn

Section 1R20: Refuelins and Other Outase Activities

Procedures

3.M.1-45, Outage Shutdown Risk Assessment, Revision 13

2.1.5, Controlled Shutdown from Power, Revision 111

2.1.7, Vessel Heatup and Cooldown, Revision 54

Enclosure

A-8

2.2.23, Automatic Depressurization System, Revision 33

2.4.29, Stuck Open Safety Relief Valve, Revision 25

2.1.5, Controlled Shutdown From Power, Revision 114

Condition Reports

CR-PNP-201 1-5285, Two project managers exceed the 72 hour8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> rule by approximately 3 hours3.472222e-5 days <br />8.333333e-4 hours <br />4.960317e-6 weeks <br />1.1415e-6 months <br />

CR-PNP-2O1 'l-5286, Maintenance Fin Team Supervisor will violate the fatigue rule to

support outage

CR-PNP'2011-5304, Performed 6 fatigue assessment waivers for the l&C department

CR-PNP-2O11-5300, Four l&C individuals exceeded Fatigue Rule limits during support

of forced outage

CR-PNP-2011-5296, ln the Upper SWGR room, observed Bus A5, Degraded Voltage

relays 127-504-3 and 127-504-4 and Undervoltage Relay 127-504-2 in the

tripped condition

CR-PNP-2011-5259, SRM'C', the as-found high voltage reading

CR-PNP-2QI1-5284,6 PS&O planners exceeded the administrative limit of greater than

72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> in any 7-day period

CR-PNP-2011-5265, There are areas of pipe insulation that are loose and/or missing

CR-PNP-2011-276Q, Drywelltemperature point DRY004 is exceeding its trigger point of 169"F

CR-PNP-2011-5266, Per EN-FAP-OM-006 the Pilgrim GMPO has approved 35

engineering personnel to exceed overtime guidelines

CR-PNP-2011-5278, Checked out of warehouse three new bonnets (PlL-21113) for

6-CK-62B valve, cleaned and inspected, found indications on allthree bonnets in

sealing area

CR-PNP-2011-5281, The following maintenance l&C employees require fatigue

assessment waivers per EN-OM-123

CR-PNP-2011-5282, A Fatigue rule waiver was completed and approved for RPT who

will exceed the 34 hour3.935185e-4 days <br />0.00944 hours <br />5.621693e-5 weeks <br />1.2937e-5 months <br /> break rule and the 72 hour8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> in 7 day period rule as per

EN-OM-123

CR-PNP-2011-5283, Due to the forced outage Mechanical Maintenance violated the

Fatigue Rule

CR-PNP-2O1 1-5315, During inspection of Junction box J207 , a small cut was observed on

the white conductor of cable A2NS3Xa near the cable jacket

CR-PNP-2011-5298, During walkdown of nozzles in the drywell it was discovered that

strong backs for the Drywell biological shield plugs above the N2B (A-20A) and N2J

(A-20C) Nozzles are missing

CR-PNP-2011-5442, CR-PNP-201 1-5355 both check list boxes on the CR were marked

"NO." The CR was not processed through operations, and CRG review then missed

the potential reportability/operability req uirement

CR-PNP-2011-5870, Received Alarm - Relief/Safety Valve Leaking (C9031-42)

CR-PNP-2011-5886, 'B' Feed Pump Minimum Flow Piping Damaged Insulation

CR-PNP-2011-5879, Need a detailed evaluation for utilizing SRV3C Pilot Valve for SRV3D

CR-PNP-2011-5881, Kaye Temperature Readings could not be Validated at C85

CR-PNP-2O11-5891, 'B' Reactor Feed Pump Minimum Flow Valve Cycling at Higher

Power than Expected

CR-PNP-2O11-5923, After substituting rod positions for control rod 18-23 in accordance

with PNPS 2.2.90, # Substituted Rods ln Core on SUBCR display remained at 0

CR-PNP-2011-5922, Control rod 18-23 had no position indication at position 06

Enclosure

A-9

CR-PNP-2011-5921, When entering substitute values for failed rod positions, the RWM

still displayed the number of substitute values as zero

CR'PNP-2011-5920, Unexpected result of Rod Worth Minimizer in response to lost

position indication

CR-PNP-2011-5918, Rod Drift alarm (C905L-A3) on rod 18-23. Rod 18-23 has no

position indication at position 02

Technical Specifications

Technical Specifications 3.3.F, Rod Worth Minimizer (RWM)

50.72, Notification for a Technical Specification Required Shutdown Dated 1212612011

3.6.D, Safety and Relief Valves

Miscellaneous

FSAR 7.16.4.3, Rod Worth Minimizer Function, The RWM sequences stored in the

computer memory are based on control rod withdrawal procedures designed to limit

and, thereby, minimize individual control rod worth to acceptable levels as

determined by the design basis rod drop accident

FSAR 14.5.1, Control Rod Drop Accident

FSAR Chapter 4.4 Nuclear System Pressure Relief System

NRC Information Notice 93-39, Radiation Beams from Power Reactor Biological Shields

Shutdown Schedule

Shutdown Risk Profile

50.72 Notification of Plant Shutdown on 11117111

RPV Cooldown Data

Pilgrim Nuclear Power Station Startup from Forced Outage Power Man. Plan 19-10

OSRC Readiness for Restart Review 11121111

Power Maneuver Plan Dated 1212612011

Power Ascension Profiles

EN-OM-123, Fatigue Management Program, Revision 4

Section 1R22: Surveillance Testing

Procedures

8.5.2.2.1, LPCI System Loop 'A' Operability-Pump Quarterly and Biennial Flow Rate Tests and

Valve Tests 8.5.3.2.1, Salt Service Water Pump Quarterly and Biennial (Comprehensive) Operability and

Valve Operability Tests, Revision 24

8.5.4.1, High Pressure Coolant Injection (HPCI) System Pump and Valve Quarterly and Biennial

Comprehensive Operability, Revision 1 07

8.5.4.4, HPCI Valve (Quarterly) Operability Test, Revision 49

8.7.1.5, Local Leak Rate Testing of Primary Containment Penetrations, lsolation Valves, and

Inspection of Containment Structure, Revision 58

2.1.11.1, System Fill, Vent and Drain Instructions, Revision 21

Condition Reports

CR-PNP-2011-4612, M&TE failure during the RHR 'A'operability required the operability to

be performed twice

CR-PNP-2011-1390, East Salt Service Water Bay Level Reading Downscale

CR-PNP-2011-5451, During LLRT, Valves 6-H0-428 and 6-H0-429 did not provide a vent path

Enclosure

A-10

Maintenance OrdersMork Orders

WO 52354592, Task 01, Perform P-2O3A-LPCI LOOP 'A' Quarterly Operability Test

WO 52375127-01, Perform Salt Service Water Pump 'D' Quarterly Operability Test

Technical Specifications

3,5.B.4, Salt Service Water System

Miscellaneous

FSAR, Section 10.7, Salt Service Water System

Drawing M252, Sheet 2, P&lD Nuclear Boiler, Revision 67

Drawing M243, P&lD HPCI System, Revision 53

Drawing M208, Sheet 1, P&lD Condensate and Feedwater, Revision 68

Local Leak Rate Testing Data Sheets

Section 2RS01: Radiological Hazard Assessment and Exposure Gontrols

Procedures

EN-RP-100, Radiation Worker Expectations, Revision 7

EN-RP 101, Access Control for Radiologically Controlled Areas, Revision 6

EN-RP-102, Radiological Control, Revision 2

EN-RP-105, Radiation Work Permits, Revision 9

EN-RP-108, Radiation Protection Posting, Revision 10

EN-RP-110, ALARA Program, Revision 7

EN-RP-115-01, BRAC Survey Instructions, Revision 0

EN-RP-121, Radioactive Material Control, Revision 6

EN-RP-131, Air Sampling, Revision 8

EN-RP-302, Operation of Radiation Protection lnstrumentation, Revision 1

Audits and Self Assessments

LO11.0140, Inadequate Collective Radiation Exposure Performance lmprovements 912111

RP11-28, Pilgrim Nuclear Power Station 2010 Radiation Protection Program Annual Report

10124111

Survevs

Survey No. Date Time

PNP-1110-0042 10t6t11 031 5

PNP-1110-0039 10t5111 1120

PNP-1110-0033 10t5t11 0840

PNP-1110-0025 10t4t11 0930

PNP-1106-0117 6t14t11 1400

PNP-1109,0073 9t9t11 21oO

PNP-1108-0106 8t12111 0800

PNP-1110-0111 10t14t11 1 500

PNP-1110-0056 10t8t11 1 535

PNP-1110-0001 1ol1l11 1510

PNP-1110-0005 1012111 1510

PNP-1109-0024 914t11 1 500

PNP-1109-0180 9t22t11 1615

PNP-1108-0238 8t30t11 0300

PNP-1110-0104 10t13t11 1 600

Enclosure

A-11

PNP-1109-0050 9t7 t11 2100

PNP-1110-0119 10t16111 1 600

PNP-1110-0063 10tgt11 1725

Condition Reports

CR-PNP-201 0-0069. 1 875

CR-PNP-2011-0621, 3031 , 3544, 3192, 3721, 3757 , 3981

Section 2RS02: Ocgupational ALARA Planninq and Controls

Procedures

EN-RP-100, Radiation Worker Expectations, Revision 7

EN-RP-101, Access Control for Radiologically Controlled Areas, Revision 6

EN-RP-102, Radiological Control, Revision 2

EN-RP-105, Radiation Work Permits, Revision 9

EN-RP-110, ALARA Program, Revision 7

Condition Reports

cR- PNP-2011-1743, 1670, 1619, 1904, 2070, 2335

Post Job Review

2011498, ALARA Post Job Review for IN-SERVICE INSPECTION

2011481, ALARA Post Job Review for Install & Remove Scaffolding

2011539, ALARA Post Job Review for Insulation All Areas

2011506, ALARA Post Job Review to Replace 4 SRV's and 2 Safety Valves, PM Acoustic

Monitors, and ADS Equipment

Section 2RS03: In-Plant Airborne Radioactivitv Control and Mitiqation

Procedures

5.8.2, Emergency Facilities and Equipment Audits, Revision 37

6.7-123, Use of Breathing Air Monitoring and Supply System, Revision 5

6.7.1-201, Operation of the SCBA Air Compressor, Revision 11

6.7.1-202, PNPS Emergency Use Respiratory Protection Equipment Inspection, Revision 0

EN-RP-S01, Respiratory Protection Program, Revision 4

EN-RP-502, lnspection and Maintenance of Respiratory Protection Equipment, Revision 7

EN-RP-503, Selection, lssue, and Use of Respiratory Protection Equipment, Revision 5

SCBA Packs

Pack No. Hiqh Pressure Reducer Serial No.

1 38112-17

13 1 1 5S07200061 06

16 2870105

29 040901 6999

Condition Reports

CR-PNP-201 0-091 5, 3769

oR-PNP-201 1-0441, 0453

Enclosure

A-12

Other

Grade D Air Analysis Results Reports

Air Bank 611110

Compressor 11110110

Compressor 8/30/11

Service Air RM-1 213111

Service Air RM-1 515111

Service Air RAIV-1 8125111

Section 2RS04: Occupational Dose Assessment

Procedures

EN-RP-201, Dosimetry Administration, Revision 3

EN-RP-202, Personnel Monitoring, Revision 8

EN-RP-203, Dose Assessment, Revision 4

EN-RP-204, Special Monitoring Requirements, Revision 4

EN-RP-208, Whole Body Counting / In-Vitro Bioassay, Revision 4

Condition Reports

cR-201 1 -01 35, 1494, 02014, 2029, 3402

Section 4OA1 : Performance lndicator Verification

Condition Reports

CR-2011-0721, Failure of 'B' RBCCW HX

CR-2011-4285, Salt Service Water Pump Motors operating above their full load capacity

Miscellaneous

Mitigating System Performance lndicator (MSPI) Data Sheets for Salt Service Water and

Reactor Building Component Cooling Water Cooling Systems

MSPI Emergency AC Power System October 2010

September 201 1 Datasheets

Control Room Narrative and Tech Spec Logs

NEI 99-02, Regulatory Assessment Performance Indicator Guideline, Revision 6

NRC Performance Indicators for Pilgrim Nuclear Power Station

Section 4OA2: Problem ldentification and Resolution

Procedures

EN-FAP-LI-006, Senior Assessment Review Board (SARB) Process, Revision 0

Condition Reports

cR-PNP-2011-2222

cR-PNP-2011-2614

cR-PNP-2011-2635

CR-PNP-2011-2822

CR-PNP-2011-0137

CR-PNP-2011-1140

Enclosure

A-13

Maintenance OrdersMork Orders

WO 0022911214,lmplement EC 5000071989 for RV-203-3A for RFO 18

WO 00229113 10, lmplement EC 5000071989 for RV-203-38 for RFO 18

WO 0022911411, lmplement EC 5000071989 for RV-203-3C for RFO 18

WO 002291 15 1 1, lmplement EC 5000071989 for RV-203-3D for RFO 18

WO 00277163, TE 6284A for SRV D Rose 40 degrees, performed 5114111

WO 52261107 01, 8.5.6.2 ADS Subsystem Manual Opening of Relief Valves (Alt Method)

Miscellaneous

3379-270-7, 6x10 Pilot Operated Main Steam Relief Valve with 3-Way Solenoid Air Operator,

Rev.0

EC 5000071989, SRV/SSV Setpoint and Tolerance lncrease, and Replacement, Rev. 8

ECN29021, FSAR Changes for SRV/SSV Replacement, Rev. 2

PO 10250443, Curtis Wright Test Report for valve 09J-001-2, performed 315111

PO 10250443, Curtis Wright Test Report for valve 09J-001-3, performed 318111

PO 10250443, Curtis Wright Test Report for valve 09J-001-4, performed 3110111

PO 10250443, Curtis Wright Test Report for valve 09J-001-5, performed 3111111

Pilgrim Station 2011 Second Quarter, Quarterly Trend Report

Pilgrim Station 2011 Third Quarter, Quarterly Trend Report

3046, ADS Accumulator Post Operability Time, Rev. 1

Safety Evaluation by the Office of Nuclear Reactor Regulation Related to Amendment No. 235

To Facility Operating License No. DPR-35, dated March 28,2011

SRV/SSV License Amendment 235

Section 4OA3: Follow-up of Events and Notices of Enforcement Discretion

Procedures

2.1.14, Station Power Changes, Revision 106

2.2.94.5, Main Condenser Backwash, Revision 6

Miscellaneous

Power Maneuver Plan dated 11116111

Enclosure

A-14

LIST OF ACRONYMS

ADAMS Agencywide Documents Access and Management System

ALARA As Low As is Reasonably Achievable

CA corrective action

CFR code of federal regulations

crv containment isolation valve

CR condition report

DRP Division of Reactor Projects

DRS Division of Reactor Safety

EDG emergency diesel generator

EP emergency preparedness

FSAR Final Safety Analysis Report

HPCI high pressure coolant injection

HRA high radiation area

rMc Inspection Manual Chapter

tsl in-service inspection

LER licensee event report

NCV non-cited violation

NEI Nuclear Energy Institute

NRC Nuclear Regulatory Commission

NVLAP National Voluntary Laboratory Accreditation Program

PI performance indicator

PNPS Pilgrim Nuclear Power Station

RBCCW reactor building closed cooling water

RCtC Reactor Core lsolation Cooling

RFO refueling outage

RHR residual heat removal

RPM Radiation Protection Manager

RPS reactor protection system

RWP's radiation work permit(s)

SCBA self-contained breathing apparatus

SSC structure, system, or component

UFSAR Updated Final Safety Analysis Report

VHRA very high radiation areas

WO work order

Enclosure