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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217F8231999-10-13013 October 1999 Informs That on 990930,NRC Completed mid-cycle PPR of Catawba Nuclear Station.Based on Review,Nrc Did Not Identify Any New Areas That Warranted More than Core Insp Program Over Next Five Months.Historical Listing of Issues,Encl ML20217H0041999-10-13013 October 1999 Forwards MOR for Sept 1999 & Revised MOR for Aug 1999 for Catawba Nuclear Station,Units 1 & 2 ML20217F1301999-10-0707 October 1999 Forwards Rev 1 to Request for Relief 99-03 from Requirements of ASME B&PV Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting (Vg) Sys ML20212J3011999-10-0101 October 1999 Forwards Exemption from Certain Requirements of 10CFR54.17(c) Re Schedule for Submitting Application for Operating License Renewal.Se Also Encl ML20217K2651999-10-0101 October 1999 Forwards Retake Exams Repts 50-413/99-302 & 50-414/99-302 on 990921-23.Two of Three ROs & One SRO Who Received Administrative Section of Exam Passed Retake Exam, Representing 75 Percent Pass Rate 05000414/LER-1999-004, Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments1999-09-27027 September 1999 Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments 05000413/LER-1999-015, Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept1999-09-27027 September 1999 Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept ML20217A7911999-09-24024 September 1999 Forwards Insp Repts 50-413/99-05 & 50-414/99-05 on 990718- 0828 at Catawba Facility.Nine NCVs Identified Involving Inadequate Corrective Actions Associated with Degraded Svc Water Supply Piping to Auxiliary Feedwater Sys ML20212E6471999-09-24024 September 1999 Discusses GL 98-01 Issued by NRC on 980511 & DPC Responses for Catawba NPP & 990615.Informs That NRC Reviewed Response for Catawba & Concluded That All Requested Info Provided.Considers GL 98-01 to Be Closed for Catawba ML20212F0941999-09-21021 September 1999 Discusses Closeout of GL 97-06, Degradation of Steam Generator Internals for Cns,Units 1 & 2 ML20212M2001999-09-20020 September 1999 Confirms 990913 Telcon Between M Purser & R Carroll Re Management Meeting to Be Conducted on 991026 in Atlanta,Ga to Discuss Operator Licensing Issues 05000414/LER-1999-005, Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments1999-09-20020 September 1999 Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments ML20212D5321999-09-15015 September 1999 Informs That Duke Energy Corp Agrees to Restrict Max Fuel Rod Average Burnup to 60,000 Mwd/Mtu,In Order to Support NRC Final Approval & Issuance of Requested Amend ML20212B4641999-09-14014 September 1999 Forwards Monthly Operating Repts for Aug 1999 & Revised Monthly Operating Rept for Catawba Nuclear Station,Units 1 & 2 ML20212A4131999-09-14014 September 1999 Informs That TR DPC-NE-2009P Submitted in 990817 Affidavit, Marked Proprietary,Will Be Withheld from Public Disclosure, Pursuant to 10CFR2.709(b) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20212M1931999-09-13013 September 1999 Refers to 990909 Meeting Conducted at Region II Office Re Presentation of Licensee self-assessment of Catawba Nuclear Station Performance.List of Attendees & Licensee Presentation Handout Encl ML20212A3751999-09-10010 September 1999 Informs That Postponing Implementation of New Conditions Improved by RG 1.147,rev 12,acceptable Since Evaluation on Relief Based on Implementation Code Case for Duration of Insp Interval ML20212A5191999-09-0808 September 1999 Requests NRC Approval for Relief from Requirements of ASME Boiler & Pressure Vessel Code,Section XI,1989 Edition,App VI,VI-2430(c) & 2440(b).Approval of 99-GO-002 Is Requested by 000301 05000413/LER-1999-014, Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment1999-09-0101 September 1999 Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment 05000414/LER-1999-003, Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev1999-08-31031 August 1999 Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev 0 of LER ML20211H1741999-08-30030 August 1999 Forwards Comments on Catawba Nuclear Station Units 1 & 2 & McGuire Nuclear Station,Units 1 & 2 Specific Reactor Vessel Info Contained in Rvid.Ltr Dtd 990107,rept ATI-98-012-T005 & Partial marked-up Rept WCAP-14995 Encl ML20211M4451999-08-30030 August 1999 Forwards Summary of Util Conclusions Re Outstanding Compliance Issue Re Staff Interpretation of TS SR 3.0.1,per Insp Repts 50-369/99-03 & 50-370/99-03,as Discussed with NRC During 990618 Meeting 05000413/LER-1999-013, Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER1999-08-25025 August 1999 Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER ML20211M8191999-08-25025 August 1999 Confirms 990825 Telcon Between G Gilbert & R Carroll Re Mgt Meeting to Be Held on 990909 in Atlanta,Ga,To Allow Licensee to Present self-assessment of Catawba Nuclear Station Performance ML20211A9641999-08-20020 August 1999 Forwards SE Authorizing Licensee 990118 Request for Approval of Proposed Relief from Volumetric Exam Requirements of ASME B&PV Code,Section XI for Plant,Units 2 ML20211C1191999-08-18018 August 1999 Forwards ISI Rept Unit 1 Catawba 1999 RFO 11, Providing Results of ISI Effort Associated with End of Cycle 11 ML20211B9471999-08-18018 August 1999 Forwards Request for Relief 99-02,associated with Limited Exam Results for Welds Which Were Inspected During Unit 1 End of Cycle 11 RFO ML20211C3651999-08-17017 August 1999 Forwards Rev 25 to Catawba Nuclear Station Units 1 & 2 Pump & Valve Inservice Testing Program, Which Includes Reformatting of Manual & Addl Changes as Noted in Attached Summary of Changes ML20211F2971999-08-17017 August 1999 Forwards non-proprietary & Proprietary Updated Pages for DPC-NE-2009,submitted 980722.Pages Modify Fuel Design & thermal-hydraulic Analysis Sections of DPC-NE-2009. Proprietary Page 2-4 Withheld,Per 10CFR2.790 05000413/LER-1999-011, Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment1999-08-16016 August 1999 Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment ML20211B1121999-08-16016 August 1999 Forwards Topical Rept DPC-NE-2012, Dynamic Rod Worth Measurement Using Casmo/Simulate, Describing Results of Six Drwm Benchmark Cycles at Catawba & McGuire & Discusses Qualification to Use Drwm at Catawba & McGuire ML20210V0321999-08-13013 August 1999 Forwards Insp Repts 50-413/99-04 & 50-414/99-04 on 990606- 0717.Six Violations of NRC Requirements Identified & Being Treated as non-cited Violations,Consistent with App C of Enforcement Policy ML20210S2751999-08-12012 August 1999 Forwards Monthly Operating Repts for July 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for June 1999,encl ML20210Q3751999-08-0505 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Authorized Representative of Facility Must Submit Ltr as Listed,Thirty Days Before Exam Date,In Order to Register Individuals for Exam ML20210N9521999-08-0404 August 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual.Documents Constitutes Chapter 16 of Ufsar.With List of Effective Pages IR 05000413/19980131999-08-0202 August 1999 Discusses Integrated Insp Repts 50-413/98-13,50-414/98-13, 50-413/98-16,50-414/98-16 & NRC Special Repts 50/413/99-11 & 50-414/99-11 Conducted Between Aug 1998 & May 1999.Six Violations Occurred,Based on OI Investigation & Insp ML20210M6411999-07-29029 July 1999 Forwards Request for Relief 99-03 from Requirements of ASME Boiler & Pressure Vessel Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting Air (Vg) Sys 05000413/LER-1999-010, Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units1999-07-22022 July 1999 Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units IR 05000413/19990101999-07-22022 July 1999 Discusses Insp Rept 50-413/99-10 & 50-414/99-10 on 990314- 0424 & Forwards Notice of Violation Re Failure to Comply with TS 3.7.13,when Misalignment of Two Electrical Breakers Rendered SSS Inoperable from 981216-29 ML20217G5241999-07-20020 July 1999 Forwards Exam Repts 50-413/99-301 & 50-414/99-301 on 990524- 27,0603,07-10 & 16.Of Fourteen SRO & RO Applicants Who Received Written Exams & Operating Tests,Eight Applicants Passed & Six Failed Exam 05000413/LER-1999-009, Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept1999-07-19019 July 1999 Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept 05000414/LER-1999-001, Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed1999-07-15015 July 1999 Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed ML20209H4431999-07-14014 July 1999 Forwards Monthly Operating Repts for June 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for May 1999 on Unit Shutdowns Also Encl ML20210A5771999-07-14014 July 1999 Forwards Revsied Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e),changing Sections 16.7-5,16.8-5,16.9-1,16.9-3,16.9-5 & 16.11-7.Manual Constitute Chapter 16 of UFSAR ML20216D3941999-07-14014 July 1999 Forwards Revs to Catawba Nuclear Station Selected Licensee Commitments Manual NUREG-1431, Forwards SER Agreeing with Util General Interpretation of TS LCO 3.0.6,but Finds No Technical Basis or Guidance That Snubbers Could Be Treated as Exception to General Interpretation1999-07-0909 July 1999 Forwards SER Agreeing with Util General Interpretation of TS LCO 3.0.6,but Finds No Technical Basis or Guidance That Snubbers Could Be Treated as Exception to General Interpretation ML20196L0371999-07-0808 July 1999 Approves Requested Schedule Change of Current two-year Requalification Examinations to non-outage dates.Two-year Cycle Will Start on 991001 & Will End on 020930 05000413/LER-1999-008, Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach1999-07-0808 July 1999 Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach ML20196J9001999-07-0606 July 1999 Informs That 990520 Submittal of Rept DPC-NE-3004-PA,Rev 1, Mass & Energy Release & Containment Response Methodology, Marked Proprietary Will Be Withheld Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 IR 05000413/19990031999-07-0101 July 1999 Discusses Insp Repts 50-413/99-03 & 50-414/99-03 Completed on 990605 & Transmitted by Ltr .Results of Delibrations for Violation Re Discovery of Potentially More Limiting Single Failure Affecting SGTS Analysis Provided 1999-09-08
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20217H0041999-10-13013 October 1999 Forwards MOR for Sept 1999 & Revised MOR for Aug 1999 for Catawba Nuclear Station,Units 1 & 2 ML20217F1301999-10-0707 October 1999 Forwards Rev 1 to Request for Relief 99-03 from Requirements of ASME B&PV Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting (Vg) Sys 05000414/LER-1999-004, Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments1999-09-27027 September 1999 Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments 05000413/LER-1999-015, Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept1999-09-27027 September 1999 Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept 05000414/LER-1999-005, Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments1999-09-20020 September 1999 Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments ML20212D5321999-09-15015 September 1999 Informs That Duke Energy Corp Agrees to Restrict Max Fuel Rod Average Burnup to 60,000 Mwd/Mtu,In Order to Support NRC Final Approval & Issuance of Requested Amend ML20212B4641999-09-14014 September 1999 Forwards Monthly Operating Repts for Aug 1999 & Revised Monthly Operating Rept for Catawba Nuclear Station,Units 1 & 2 ML20212A5191999-09-0808 September 1999 Requests NRC Approval for Relief from Requirements of ASME Boiler & Pressure Vessel Code,Section XI,1989 Edition,App VI,VI-2430(c) & 2440(b).Approval of 99-GO-002 Is Requested by 000301 05000413/LER-1999-014, Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment1999-09-0101 September 1999 Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment 05000414/LER-1999-003, Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev1999-08-31031 August 1999 Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev 0 of LER ML20211H1741999-08-30030 August 1999 Forwards Comments on Catawba Nuclear Station Units 1 & 2 & McGuire Nuclear Station,Units 1 & 2 Specific Reactor Vessel Info Contained in Rvid.Ltr Dtd 990107,rept ATI-98-012-T005 & Partial marked-up Rept WCAP-14995 Encl ML20211M4451999-08-30030 August 1999 Forwards Summary of Util Conclusions Re Outstanding Compliance Issue Re Staff Interpretation of TS SR 3.0.1,per Insp Repts 50-369/99-03 & 50-370/99-03,as Discussed with NRC During 990618 Meeting 05000413/LER-1999-013, Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER1999-08-25025 August 1999 Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER ML20211B9471999-08-18018 August 1999 Forwards Request for Relief 99-02,associated with Limited Exam Results for Welds Which Were Inspected During Unit 1 End of Cycle 11 RFO ML20211C1191999-08-18018 August 1999 Forwards ISI Rept Unit 1 Catawba 1999 RFO 11, Providing Results of ISI Effort Associated with End of Cycle 11 ML20211C3651999-08-17017 August 1999 Forwards Rev 25 to Catawba Nuclear Station Units 1 & 2 Pump & Valve Inservice Testing Program, Which Includes Reformatting of Manual & Addl Changes as Noted in Attached Summary of Changes ML20211F2971999-08-17017 August 1999 Forwards non-proprietary & Proprietary Updated Pages for DPC-NE-2009,submitted 980722.Pages Modify Fuel Design & thermal-hydraulic Analysis Sections of DPC-NE-2009. Proprietary Page 2-4 Withheld,Per 10CFR2.790 05000413/LER-1999-011, Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment1999-08-16016 August 1999 Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment ML20211B1121999-08-16016 August 1999 Forwards Topical Rept DPC-NE-2012, Dynamic Rod Worth Measurement Using Casmo/Simulate, Describing Results of Six Drwm Benchmark Cycles at Catawba & McGuire & Discusses Qualification to Use Drwm at Catawba & McGuire ML20210S2751999-08-12012 August 1999 Forwards Monthly Operating Repts for July 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for June 1999,encl ML20210N9521999-08-0404 August 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual.Documents Constitutes Chapter 16 of Ufsar.With List of Effective Pages ML20210M6411999-07-29029 July 1999 Forwards Request for Relief 99-03 from Requirements of ASME Boiler & Pressure Vessel Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting Air (Vg) Sys 05000413/LER-1999-010, Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units1999-07-22022 July 1999 Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units 05000413/LER-1999-009, Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept1999-07-19019 July 1999 Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept 05000414/LER-1999-001, Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed1999-07-15015 July 1999 Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed ML20216D3941999-07-14014 July 1999 Forwards Revs to Catawba Nuclear Station Selected Licensee Commitments Manual ML20209H4431999-07-14014 July 1999 Forwards Monthly Operating Repts for June 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for May 1999 on Unit Shutdowns Also Encl ML20210A5771999-07-14014 July 1999 Forwards Revsied Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e),changing Sections 16.7-5,16.8-5,16.9-1,16.9-3,16.9-5 & 16.11-7.Manual Constitute Chapter 16 of UFSAR 05000413/LER-1999-008, Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach1999-07-0808 July 1999 Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach ML20196G7461999-06-22022 June 1999 Requests Exemption from Requirements of 10CFR54.17(c) That Application for Renewed Operating License Not Be Submitted to NRC Earlier than 20 Yrs Before Expiration of Operating License Currently in Effect ML20196E9541999-06-18018 June 1999 Forwards SG Tube Insp Conducted During Unit 1 End of Cycle 11 Refueling Outage.Attachments 1,2,3 & 4 Identify Tubes with Imperfections in SGs A,B,C & D,Respectively ML20195K4571999-06-14014 June 1999 Forwards MORs for May 1999 & Revised MORs for Apr 1999 for Catawba Nuclear Station,Units 1 & 2 ML20195J1691999-06-10010 June 1999 Forwards Written Documentation of Background & Technical Info Supporting Catawba Unit 1,notice of Enforcement Discretion Request Re TS 3.5.2 (ECCS-Operating),TS 3.7.12 (Auxiliary Bldg Filtered Ventilation Exhaust Sys) ML20217G5771999-06-0909 June 1999 Forwards Post Exam Comments & Supporting Reference Matls for Written Exams Administered at Catawba Nuclear Station on 990603 05000414/LER-1999-002, Forwards Abstract of LER 99-002-00 Re Forced Shutdown of Plant as Result of Flow Restriction Caused by Corrosion of Afs Assured Suction Source Piping Due to Inadequate Testing. Final LER Will Be Submitted No Later than 9907081999-06-0303 June 1999 Forwards Abstract of LER 99-002-00 Re Forced Shutdown of Plant as Result of Flow Restriction Caused by Corrosion of Afs Assured Suction Source Piping Due to Inadequate Testing. Final LER Will Be Submitted No Later than 990708 ML20207F2381999-06-0101 June 1999 Forwards Copy of Catawba Nuclear Station Units 1 & 2 1998 10CFR50.59 Rept, for NRC Files ML20195J1131999-05-26026 May 1999 Requests Approval to Change Cycle Dates for Two Year Requalification Training Program Required by 10CFR55.59,to Improve Scheduling of Requalification Exams to non-outage Periods 05000413/LER-1999-007, Forwards LER 99-007-00,re Operation Prohibited by TS 3.4.7. Commitments Identified in LER Are Listed in Planned Corrective Actions Section1999-05-26026 May 1999 Forwards LER 99-007-00,re Operation Prohibited by TS 3.4.7. Commitments Identified in LER Are Listed in Planned Corrective Actions Section ML20195B4751999-05-24024 May 1999 Forwards Rev 7 to UFSAR Chapter 2 & Chapter 3 from 1998 UFSAR for Catawba Nuclear Station.List of Instructions on Insertion Encl ML20196L1851999-05-20020 May 1999 Forwards Proprietary & non-proprietary Version of Rev 1 to TR DPC-NE-3004, Mass & Energy Release & Containment Response Methodology, Consisting of Finer Nodalization of Ice Condenser Region.Proprietary Info Withheld ML20196L1791999-05-20020 May 1999 Communicates Util Licensing Position Re Inoperable Snubbers. Licensee Has Determined That Structure of ITS Has Resulted in Certain Confusion Re Treatment of Inoperable Snubbers 05000413/LER-1997-009, Forwards LER 97-009-02, Unanalyzed Postulated Single Failure Affecting SG Tube Rupture Analysis, Suppl Revises Planned C/A Described in Suppl 1 to Ler.Current Status of C/As & Addl C/As Planned,Provided in Rept1999-05-17017 May 1999 Forwards LER 97-009-02, Unanalyzed Postulated Single Failure Affecting SG Tube Rupture Analysis, Suppl Revises Planned C/A Described in Suppl 1 to Ler.Current Status of C/As & Addl C/As Planned,Provided in Rept ML20206T4481999-05-13013 May 1999 Forwards Rev 3 to Topical Rept DPC-NE-3002-A, UFSAR Chapter 15 Sys Transient Analysis Methodology, IAW Guidance Contained in NUREG-0390 ML20206R1721999-05-13013 May 1999 Forwards Monthly Repts for Apr 1999 for Catawba Nuclear Station,Units 1 & 2 & Revised Monthly Operating Repts for Mar 1999 ML20206T0281999-05-12012 May 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual. Document Constitutes Chapter 16 of UFSAR 05000413/LER-1999-006, Forwards LER 99-006-00,re CR Ventilation Sys Inoperability. Root Cause & Corrective Actions for Occurence Are Being Finalized & Will Be Reported in Supplement Rept on 9906071999-05-10010 May 1999 Forwards LER 99-006-00,re CR Ventilation Sys Inoperability. Root Cause & Corrective Actions for Occurence Are Being Finalized & Will Be Reported in Supplement Rept on 990607 ML20206N8201999-05-10010 May 1999 Forwards Revs 15 & 16 to Catawba Unit 1 Cycle 12 COLR, Per TS 5.6.5.Rev 15 Updates Limits for New Catawba 1 Cycle 12 Reload Core & Rev 16 Revises Values Re Min Boron Concentrations for Rwst,Cla & SFP ML20206J4431999-05-0303 May 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e).Document Constitutes Chapter 16 of UFSAR ML20206D2141999-04-29029 April 1999 Forwards 1998 Annual Radioactive Effluent Release Rept for Catawba Nuclear Station,Units 1 & 2, Per Plant TS 5.6.3. Rept Contains Listed Documents ML20206E4101999-04-26026 April 1999 Forwards Four Copies of Rev 9 Todpc Nuclear Security & Contingency Plan,Per 10CFR50.54(p)(2).Changes Do Not Decrease Safeguards Effectiveness of Plan.Encl Withheld,Per 10CFR73.21 1999-09-08
[Table view] Category:PUBLIC ENTITY/CITIZEN/ORGANIZATION/MEDIA TO NRC
MONTHYEARML20238B7731987-08-0707 August 1987 FOIA Request for Records Explaining Status of Listed LERs Omitted from List,Previously Received from Nrc,Of LERs Filed by Commercial Nuclear Power Plant Licensees for Operating Year 1986 ML20209H9471985-11-11011 November 1985 Notifies of Address Change for Organization & R Guild ML20205B7851985-06-28028 June 1985 Lauds 850604 Decision to Propose Civil Penalty for 10CFR50.7 Violation.Util Attitude Toward QC Inspectors & Managers Unacceptable.Presentation of Gap Views Re 10CFR2.206 Violation Presented in ML20129H8901985-03-25025 March 1985 FOIA Request for All Agency Records Re NRC Insp Repts 50-413/84-89 & 50-414/84-40 ML20199G4021985-02-25025 February 1985 Expresses Concern Re Whipsaw Approach of Submitting Util W/Region IV Findings,Violations,Required Responses & Investigation Issues,At Same Time.Approach Counter Productive & Confusing.Response Re Catawba Ltr Requested ML20117E6491984-12-13013 December 1984 FOIA Request for All Documents Re Commission 841210 Decision to Hold Meeting to Consider Facility Proposed Hydrogen Control Rule & How Issue of Hydrogen Control Could Affect Approval of Full Power OL ML20106F4531984-10-26026 October 1984 Forwards Two Pages of Tables I-III to Accompany 28 Pages of Dictated Proposed Findings on Foreman Override Issue ML20136F2211984-09-27027 September 1984 Requests That NRC Issue Civil Penalty in Amount of $250,000 Against Util for Deliberate & Persistent Harassment of QC Inspectors at Facility from Approx 1978 - 1984 ML20107L1151984-09-0505 September 1984 FOIA Request for Four Categories of Info Re Notice of Violation at Facility ML20084A7751984-04-17017 April 1984 Objects to Carolina Environ Study Group Suggestion to Include South/Southwest Charlotte,Nc in Emergency Planning Zone ML20090A7381984-04-0202 April 1984 FOIA Request for Records Re Emergency Planning for Facility ML20086T7821984-02-29029 February 1984 Forwards Joint Proposed Findings of Fact & Conclusions of Law on Contentions PA44/CESG18 Re Reactor Embrittlement & Joint Contention DES17 Re Adverse Weather ML20083N1121984-02-0808 February 1984 Appeals Denial of FOIA Request for Records Re WR Mcafee Allegations for Period Mar 1977 - Mar 1979,open Conference Held by NRC at Site in Nov 1979 & Staff Discussions of Util Topical QA Manual ML20138L4311984-02-0808 February 1984 Requests Extension of 30 Days to Respond to Util Response to Gap 2.206 Petition Re Reinsp,Review,Mgt Audit & Monitoring of Plant.Meeting W/Site Employees Requested ML20087N5841984-01-27027 January 1984 Forwards Affidavit of H Langley Re QC Concerns for Info & Review ML20079P6221984-01-26026 January 1984 Requests Commission Take Action in OL Hearings to Enforce Articulated Policies Re Conduct of OL Hearing.Commission Should Review Views of Chairman of ASLB & Direct IE to Apprise ASLB of Findings & Matl Evidence ML20087N5551984-01-18018 January 1984 FOIA Request for Records Generated in Connection W/ Investigation of Issues Raised by H Langley & in Camera Witnesses Who Testified in Licensing Proceeding ML20205E6431984-01-0303 January 1984 Forwards marked-up Affidavit of WR Mcafee Re Concerns Over Quality of Const at Facility & Ability to Operate Safely & W/O Harm to Public Health ML20083B5061983-12-17017 December 1983 Informs That Certificate of Svc Filed 831216 Failed to List Jl Riley & H Presler.Individuals Served ML20133C6221983-12-0202 December 1983 Responds to 831101 Request for Addl Info Re Issues Raised in Gap 830914 Petition Concerning Plant.Answers to Specified Questions Listed ML20090L4701983-11-21021 November 1983 FOIA Request for Documents Re Nr Hoopingarner Allegations Concerning Facility Activities from Aug 1977 - Aug 1980 ML20087A7461983-11-21021 November 1983 FOIA Request for Documents Re WR Mcafee Allegations Involving Facility from Mar 1977 - Mar 1979,NRC Open Conference at Site in Nov 1979 & Review of Util Topical QA Manual ML20082P8441983-11-13013 November 1983 Identifies D Steila as Witness for Des Contention 17.W/o Encl.Certificate of Svc Encl ML20129A1651983-10-28028 October 1983 Responds to Chairman Palladino Re Charges by Gap of Util Violations of 10CFR,App B ML20133C6001983-10-28028 October 1983 Clarifies Misperceptions Identified in 831024 Response to Gap Re Investigation of Allegations About Atomic Energy Reorganization Act.Concerns Are Worker Concerns & Not Gap Concerns ML20132B6611983-10-0606 October 1983 Discusses Concerns Re QA Breakdown at Facility.Interviews W/Witnesses Revealed Possibility of Impropriety & Violation of NRC Rules & Regulations by Onsite Inspector.Investigation Can Be Completed When Anonymity Is Guaranteed ML20093M1131983-09-14014 September 1983 Requests Mod of CP to Include 100% Reinsp of safety-related Areas,Review of Design Deficiencies,Breakdown in Design Change Control Sys & Review of Qa/Qc Program by Independent Contractor.Confidential Info Deleted ML20076A8851983-08-11011 August 1983 Forwards Graphs of Tables Er 2.3.0-2 & Er 2.3.0-3 Showing Wind Occurrences Observed by Applicant at 10 & 40-meter Elevations in 1976-77,in Response to Request at 830808 Prehearing Conference.Related Correspondence ML20077J4611983-07-28028 July 1983 Requests Transcripts of Deposition Testimony Prepared in Discovery in OL Proceeding Per FOIA ML20129A1911983-05-26026 May 1983 Submits Correction to Affidavit Sent on 830526.BP Garde & J Phillips Affidavits,Newspaper Articles & Miscellaneous Util Nonconformance & Insp Repts Encl ML20082F9531983-05-12012 May 1983 FOIA Request for Info on Special Investigation Conducted by Ofc of Inspector & Auditor Re Activities Surrounding Welding Inspectors Incident at Facilities ML20080B0401983-04-21021 April 1983 Requests Complete Review of Allegations Re Worker Harassment,Intimidation & Deliberate Undermining of Welding QC Program ML20080B0311983-04-21021 April 1983 FOIA Request for Info Re Investigation of QC Welding Inspector Allegations Concerning Facilities ML20069K3051982-10-22022 October 1982 Requests Encl Comments on Des Be Transmitted to Appropriate NRC Ofc.Des Summary of Cost/Benefit in Table 6.1 Deficient ML20039F8471982-01-11011 January 1982 Opposes Licensing of Facilities ML20148D9331980-10-0404 October 1980 Expresses Concern Re Sale of Facility.Action Will Strengthen Duke Power Co Monopoly ML19225B5421979-06-20020 June 1979 FOIA Request for Summary Sheet of Power Plant Operator Exam Results Presented to NRC on 790420 & License Exams & Test Results for Duke Power Co Employees from 750101 to Present ML19283B6421979-01-21021 January 1979 FOIA Request for Documents Re NRC Reevaluation of Rasmussen Rept 1987-08-07
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GOVE 'NMENT ACCOUNTABILITY PROJECT Institute for Pohty Stuches 00cKETED
~N USHRC 1901 Que Street N.W. Washington D.C. 20009 (202)234 0362 J
'84 JMi30 All:09 =
January 25, 1984 ^
77 ~.: : n :;;.
' "; 9 i...j f7,E ;
n .-
Honorable Chairman Nunzio Palladino Honorable Victor Gilinsky Honorable James Asseltine Honorable Thomas Roberts Honorable Frederick Bernthal United States Regulatory Commission "
Washington, D.C. 20555 h
Dear Commissioners:
)e v
The Government Accountability Project (GAP), the Palmetto Alliance (Palmetto), and the ;
Carolina Environmental Study Group (CESG), joined by Mr. Harry Langley, Mr. Howard i Samuel, Nunn, Jr., Mr. Ron McAfee, Mr. Nolan Hoopengarner, and other confidential h
witnesses, request that you take immediate action in the Catawba Nuclear Station 5 (Catawba) operating licensing hearings to enforce the articulated policies of the Commission concerning the conduct of operating licensing hearines. U E.
It is our belief that both the Nuclear Regulatory Commission Staff (Staff) and the Chairman of the Licensing Board have seriously misinterpreted, to the detriment of k the public health and safety, several Statements of Policy issued by the Commission ,
to give guidance on both the conduct and the objective of the operating licensing hearings. We have appealed directly to the Commission on this matter because of the 3
apparently irreversible position of the Licensing Board to close the record on :
nunerous serious safety issues, on January 31, 1983,b without considering some of the most directly relevant information available to it. In particular, neither the
]
Office of Investigations (01), the Staff counsel, nor the Licensing Board itself, if 1
.a nave taken steps to insure that the Licensing Board will receive the highly relevant
]
information being developed in two parallel inquiries being conducted by the Office j of Inspector and Auditor (OIA) into misconduct by the Region II personnel who $
violated Commission policies regarding protection of witnesses and failure to enforce
-1/ tomic Safety and Licensing Board (ASLS: No . 81 -463- 01 OL), Memorandum and Order Confirmir.; Closing of the Record and Schedule for Filing Proposed Findings, December 30,19E3.
8401310287 840126 PDR ADOCK 05000413 g PDR g60h
To T.he Comission2rs January 26, 1984 1974 Comnission instructions to Duke Power Company (Duke) to establish an independent quality control (QC)/ quality assurance (QA) structure for both the Catawba and McGuire nuclear projects, and by O! into harassment and intimindation of welding QC inspectors by Duke Catawba management, and the deliberate actions by Duke to circumvent the requirements of 10 C.F.R. Part 50, for the establishment of an independent t QA/QC department.
We request that you take the following actions:
- 1. Review the stated views of the Chairman of the Licensing Board of the Catawba proceedings that it is the primary instruction of the Commission to the '
Catawba Board to finish the proceeding by the fuel load date for Catawba, regardless of important safety issues for consistency with the Commission's Statement of Policy on conduct of Licensing Proceedings, 46 Fed. Reg. 28533; and
- 2. Direct 01 to promptly apprise the Licensing Board of the findings and material evidence at the conclusion of the ongoinc OI investigation pursuant to the
" general duty of the NRC Staff to inform the Boa:'i of matters what are material to the issues in controversy so that informed decisions can be t
made." Statement of Policy on Investigations and Adjudicatory Proceedings, 48 Fed. Reg. 3635E, August 10,19S3.
I. BACKGROUND Catawba is a two unit nuclear reactor being constructed near Rock Hill, South Carolina by Duke. Both petitioners Palmetto and CESG are legal bitervenors in the operating licensing proceedings. Fetitioner G'D is an independent public in-terest organi::ation conducting an investigation into allegations of worker harassment and intimidation, a pervasive QA breakdown, construction and hardware defects, and inadequate regulatory oversight at the Catawba facility. Petitioners Mr. Nunn and Mr. Langley are former workers at the Catawba facility, who have testified in the ASLB hearings about concerns of shoddy workmanship, poor manage-ment, and safety-related technical issues. Each petitioner has taken individual steps to insure that the construction and potential operation of the Catawba ;
facility are done with care, quality, and with primary concern for the public !
i' health and safety.
For examle, Mr. Langley raised concerns in 1978 about the continuing practice j of craftsran te ignore the instructicrs of OC inspectors. Also in 1978, he 4
To Thg Commissioners January 26, 1984 protested the abuse of authority by the Catawba QA manager to override or ignore nonconforming conditions reported by inspectors such as himself. More recently, Mr. Langley told NRC investigators about the fraudulent training seminars con-ducted at Catawba, which raise questions about the adequacy of those workers. His Affidavit describes:
9 Each week of school we were given a test. In order to become a certified welding inspector, we were required to pass each test.... In the second week of the class, the day before we were to be given the test, the answers and a copy of the test appeared in our notebooks after our normal break.
From then on, every week, the day before the test in later afternoon, a copy of the test anc the answers would appear in our notebooks. Everyone of the 12 of us received the same test and answers.
1 Mr. holan Hoopengarner, a former Catawba worker, has raisec multiple questions since 1975 about worker safety issues, excessive waste, disregard by Duke of its own corstruction procedures and NRC requirements, l
Mr. Ron McAfee, a former electrical QC inspector at Catawba, left the job site in 1979 because of tne demoralizinc, dangerous, and disorganized state of the construc- f tion project. Situations like the following " yellow ribbon" incident convinced him f I
that Duke had no intention of following proper procedures.
...had called us to inspect, meaning that the work should have been completed prope rl y. Mr. Land told us to mark whatever we found that was wrong (we tied yellow ribbons to tnose items). We found literally dozens of problems; the J
cable tray roor was filled with yellow ribbons and when Land and one of his bosses care in and saw it, they both got very upset. They promptly fixed the errors and removed the ribbons. No documentation of these mi, takes or the correcticns was made.
Mr. Howard knn, removed from service a few months ago, raised technical issues in an i_n carera proceeding before the Board. His most serious allegations--regardi'nc laminations in the steel containment plate, the use of bad welding rods and wire, were hearc by the Board. However, discovery into Duke and the NRC Staff's explanatir s been refused to intervenors.
CESG opposed the original Catawba construction permit on environmental issues, design of the thin ice wall reactor, adequacy of the cooling towers, and lack of independence of CA/0C from construction. They continue to raise serious scientific issues regardinc tne synergistic effect of four nuclear power plants on one metro-politan area, and the inadequacy of emergency planning for Charlotte and surrounding areas in tne event of a nuclear incident.
V To The Cdmmissioners January 26, 1984 Finally, Palmetto joined the Catawba proceeding in 1981, and has participated in the 01. case through active discovery and litigation issues of a QA breakdown, in-adequacy of the design of the spent fuel pool at Catawba to absorb spent fuel from all Duke's nuclear plants. Palmetto is also actively engaged in opposition to Duke rate hikes based on ill-planned and abandoned nuclear projects.
3 GAP's investigation, which began in March,1983, with background information from CESG and Palmetto, led to the filing of a separate citizens petition filed September 14, 1983, pursuant to 10 C.F.R. 2.206. Our request can.be summarized as follows:
- 1. A " vertical s' ice" of the safety systems at the Catawba facility to determine if the failure of the design control system and the failure of the quality assurance / quality control procedures in con-struction indicated that the "as built" condition of the plant was in ccmpliance with the requirements of the Atomic Energy Act of 1954, as amended.
- 2. < managerent audit of the Catawba site management to determine the cause of the project's problems with inspection of the QA/QC program.
- 3. An 01 inquiry into the deliberate violation of the Commission's requirerents for Duke to develop and maintain an independent QA/QC prograr separate from construction.
4 Com-ission monitoring of the investigation by the OIA announced in April,19E3, into improprieties by Region II personnel in the handling of complaints of hart:: cent, intimidation, and a QA breakdown brought -
to the NR: Staff by numerous welding QC inspectors.
On October E,1953, we filed a second letter requesting that you take irrediate action to resolve the conflict of interest situation in Region 11 regarding the witnesses fror whom GAP had compiled information.
In subsequent correspondence between GAP and the Commission Staff, we continued to raise our concerns over the apparent conflict of interest by the Region II officials sn attorney: representing the NoC Staf f in the ongoing licensing hearings and the allegedly " independent" inspection effort launched by Region II into the safety concerr.s raised b;. GA nitnesses. ,
To The Commissioners January 26, 1984 H. VIOLATION BY THE ATOMIC SAFETY AND LICENSING BOARD OF THE NRC STATEMENT OF POLICY ON CONDUCT OF LICENSING PROCEEDINGS, 46 Fed. Reg. 28533, May 27,1981
- 1. The Chairman of the Catawba Licenting Board has mistakenly concluded that the intent of the Commission policy regarding expedited OL proceeding Q issued in May,1981, is to create a standard which places the completion of the operating licensing hearings, prior to fuel load, ahead of the fulfillment of the greater responsibility and legal requirement to resolve safety issues which have become litigated matters in an adequate manner.
- 2. The Statement of Policy states:
The Commission wishes to emphasize though that, in expediting the hearings, the board should ensure that the hearings are fair, and produce a record which leads to high quality decisions that adequately protect the public health and safety and the environment.
(Emphasis added.)
The etlicy was developed following the "re-examination of the entire regulatory structure" after the Three Mile Island accident by the Commission. A situation whicr. is described in the policy as "... for the first time the hearings on a number of operating license applications may not be concluded before construction is completed. " Essentially, the " backlog" of nuclear plants facing the need for operating licensing hearings was an impending problem. The Commission issued a policy statement then (1951), "on the need for the balanced and efficient conduct of all phases of the hearing process."
Unfortur,ately for the public, the 1981 expedited hearing policy is seriously mis-understood by the Catawba Board. On numerous occasions throughout the Catawba hearings, as well as throughout the pre-hearing scheduling discussions, the ,
Licensing Board Chairman, Judge James L. Kelley, expressed his opinion regarding the Commission policy on completion of all operating licensing issues, except emergency planning, prior to Duke fuel load dates. For example, on October 11, 1953, during a hearing discussion on the Commission policy above-referenced, Judge Kelley stated:
Try to finish this proceeding, except for offsite emergency planning, by the time they load fuel . That's a very simple concept, and that's really as far as these proceedings go, all we need to worry about.
(Pg. 2392, lines 1-9)
On another occasion in the issuance of a ruling, he stated:
I
To The Co'mmissioners Janua ry 26, 1984 l The parties have talked this over. We all recognize that this is a big record, and some additional time is warranted. We'd like to give more than we can afford to, but our problem is we got a problem on the other end. We have anticipated fuel load date about mid-May, and it's the Commission's stated policy that we are bound to attempt to decide this case by that time.
(Pg.11, 910, and confirmed in LBP 81-463-01 OL, December 30, 1983) another, It would...it might very well, however, prejudice the Board's ability to decide the safety issue prior to the fuel lead, anticipated fuel load date, and/or contrary to the Commission's policy on the conduct of licensing proceedings.
(Pg.11, 218, lines 15-20)
It is the unanimous mquest of petitioners that the Commission enforce its obligation to the public established under the inherent authority vested in it in the Atomic Energy Organization Act of 195A, as amended.
To be blunt, a Board attitude such as thac held by the Catawba Board, insures that the agency embarrassment of Zinmer--97 percent completed and yet cancelled because of a ,qA breakdown discovered af ter the ooeratino license record was closed, and Diablo Canyon, where massive and continuing OA problems were only discovered after the NRC licensed the plant--will continue to be the scandals of the future.
III. RE00EST FOR C09'ISSION TO DIRECT 01 TO INFORM THE BOARD OF ALL MATERI AL EEING DEVEL0DED IN ITS ONGOING INVESTIGATION Pursuant to 10 C.F.R. Part 2, the Staff has a duty to disclose of material informa-tion related to matters in controversy so that the Board can make informed decisions.
The Commission recognized, as coes GAP, that "There are potential conflicts be-i tween a presiding officer's need to be informed of material developments and an investigating office's need to avoid premature disclosures that could compromise the inspection or investigation." However, the failure of 01 to reouest that the Board consider its findings when the issues before both 01 and the Board are .
I parallel, is inexplainable. (Compare ALBP No. 81-463-01 OL, Motions Re: Contention
{
Six, Prehearing Conference Orders, and letter from William J. Dircks to Billie Firner Garde, Attachment =1) which states:
The first imestigation pertains to allegations regarding a possible lack of CA/QC independence and related issues. The second investigation pertains to allegations regarding welding OC inspectors. This represents one of the normal courses of action taken by the agency when allegations ;
are received.
e
To The Commissioners January 26, 1984 i
Clearly, nothing could be more relevant to an informed decision of the company's attitude and trustworthiness than the evidence being compiled by the OI investiga- .
tion. To ignore such evidence would confirm the public's worst fears about the t;RC operating license process--it's a charade. l However, in light of recent developments, petitioners believe that the Staff in this case has simply misread its duty to disclose. For example, an order issued January 19, 1984, in the Waterford Steam Electric Station, Unit 3, Ja n . 19, 1984 , the Board granted a five week extension time to respond to allegations that formed the basis of a joint intervenors motion. These allegations led to an ongoing O! and Region IV investigation / inspection effort, which the Staff suggested and the Board agreed would be a " benefit" to the Board prior to its ruling on the motion. Interestingly enough, Waterford's anticipated fuel load date is March 31,1984 Yet even that panel recognizes the importance of a complete record--
and chose to delay the hearing in order to receive 01's visws.
The Catawba Board's obsession with meeting the fuel load date is inexplicable to petitioners--but it brings to mind the "can of worms" analogy where the only way to deal with a can of worms when the lid is off is to put it in a bigger can!
The lid is off tha worm can at Catawba. The Commission must take immediate action to insure that the Ecard understands that the special burden it carries in to public safety--not private profits, and that in order to fairly determine that
- uestion of safety--all information available to the parties on items of controversy rust be competently and aggressively litigated.
Respectfully submitted, Wili1am Ronalc Mc Afee Billie Pirner Garde Fermer Catawba Worker Government Accountability Project ,
E an E. Hoopengarner RoDert Guild Fcener Catawba Worker Attorney, Palmetto Alliance H:.sa rc Samuel fiunn, Jr. Jesse Riley Fcrmer Catawba Worker Carolina Environmental Study Group
-arry Langley Former Catawba Worker
ATTACHMENT I f[p uc, 'o UNITED STATES g e.
,' gg NUCLEAR REGULATORY COMMISSION
e i
E WASHINGTON. D. C. 20555
%' u j
..... NOV 2 31983 i
9 Es. Sillie Pirner Garde Director, Citizens Clinic Government Accountability Froject
- rstitute for Policy Stucies 1501 Que Street, N. W.
Washington, D. C. 20009
Dear Ms. Garce:
I nave reac .1:n interest your letter of Octcber 28, 1983, responcing to ny letter of October 24, 19E*. : I was pleased to note that the Government Accountatiilty Project (GAP) has urgec workers having safety-related concerns
- bring : er to ne NkC.
I v.c 1: reiterate my confiaence in ite ability of Region Il to conduct a the,re ;n anc otfective evaluation of allegations they have receivec in tne pas; oc ri receive in tne future. I assure you, my expressed confidence it iegi;r :: anc :na NRC staff is not ar. expression cf loyalty or personal o:iiga:1:ns to anj incivicual r.ar.ager. Tris confidence nas, insteac, ceveloped f r: ciese interactions over a long peric:' of time.
Tne Off1:e :f :nv:stigations nas recent'y opened two investigations at Catawba ceclin; a lees: in part with infornation containec in your September 14, 1983
- nitier. Tre first investigation pertains to allegations regarding a pessible la
- L re C RC indecenden:e anc related issues. Tne sc-cond investigation pertains tc allega:icts regarding welding QC inspectors. This represents one of the no m :w eses of action taken by the agency wnen allegations are received.
Fieate De associ :nn it is r, intent to continue to pursue issues tnat have p::et:ial fu i :ctir.;. :n :ne protection of tne public health and safety. -
Sincerely,
/3 h
,L !
A 4* / M Willun'2. Dircks Executive Direc:cr for Operations
GOVERNMENT ACCOUNTABILIT( PROJECT Instrtute for Pokey Studies 1901 Que Street. N.W.. Washington. D.C. 20000 (202)234 03S2 Ottober 26, 1983 Mr. Willia: J. Dircks Executive Director for Operations United Stat es Nuclear Regulatory Co=ission Washington, D.C. 20555
Dear Mr. Dircks:
On October 24 you responded to an October 6 letter which the Govern =ent Accountability Project (GAP) wrote to the Chair an of the Comission on behalf of current and former workers at the Catawba nuclear facility in South Carolina. Your response indicates a nu=ber of =isperceptions which hopefully will be clarified by this letter.
My request to Chair =an Pall dino was for an Office of Investigations investigator to conduct or supervise the investigation of allegations about and evidence of violations of the Ato=tc Energy Reorganization Act, including but not li=ited to deliberate subversion of 10 CFR Appendix B by Duke Manage =ent, harassment and inti=idation of quality control inspectors, an institutionalized practice of construction and Quality Control supervision verbally overriding reported non-confor=ing conditions (NCI's),
a breakdown in the design control syste=, and worker infor=ation about falsification of records, destruction of docu=ents, cheating on qualification tests, direct inter-f erence eith workers' contacts to the Co==ission, substitution of unauthorized proce-dures for correct conctruction corrective actions in order tt meet cost and construction deadlines, and nu=erous specific hardware concerns which i=pugn the overall integrity of the construction of the Catawba faci.11ty.
These concerns are not mine, as you indicated throughout your letter, but rather the concerns of dozens of nuclear workers fro = the Catawba facility. Some of these workers have agreed to previde infor ation to the NRC for an investigation and/or inspection at the urging of GA?; however, the greate.st =ajority of workers we have talked to are not interested in providing in. formation to the NRC. Their perception, as ini.icated in =y letters, is that 'hll roads lead back to Duke" Your letter indicates, so=ewhat argumentatively, that you have "no co= parable hesi-tancy in vouching for the integrity of Region II with regard to their pursuit of safety-related issues or in taking proper and appropriate steps to provide confiden-tiality." That position was fortified recently by the = erit bonus given to the Region II director.
Mr. Dircks, I understand that ny request to the Co==1ssion for a special investigator placed you in a difficult position. As the responsible supervisor for Mr. O'Reilly and his staf f I e=pathize with your need to be loyal to your e=ployees when their integrity and credibility is under attack, as Region II clearly is in this =atter.
That is precisely one of the reasons that I initially pursued an informal series of
=eetings with the NRC since the spring of last yea r .
Unfortunately the rapidly deteriorating state of af fairs at Catawba and the failure of the NRC to take any action until completion of an Of fice of Inspector and Auditor
~
\
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(OlA) investigation lef t na no cptions but to formally request cpacific relief.
How2 var, clearly understand that there is nothing in the 2.206 request which was not either explained to or historically available to members of your staff, OI manage-ment, or OIA investigators. Your staff chose to put the burden of proof of construc-tion flaws, a QA breakdown, and deliberate Duke violations on SAP - an organization ,
with technical and investigative resources ince= parable to the NRC's. Your staff chose to ignore or postpone dealing with company information which became available through discovery in the Atomic Safety and Licensing Board hearings. Your staff chose to ignore the informal com=unications about the worsening situation at Catawba, in f avor of the " ostrich syndro=e" wh!ch caused these problems in the first place.
I hope that the briefing you requested on the background of the 2.206 request and the October 6 letter included the fact that the first meeting I requested with the Ce: mission was with you - personally, and that that request was made at the urging of a Congressional aide who believed that your office would recognize the need for i==ediat e appropriate act ion.
Your let ter i=ples that GAP has become a bottleneck to information about Catawba getting to the NRC from Duke, and I a= deeply distressed by that perception.
GAP has always and will always urge workers who have concerns they wish to be investigated to go to the NRC. Two weeks ago, in f act, GAP mailed a letter to over 300 QC/QA inspectors to insure that they knew (1) their rights for protection fro:
prisals and harass:ent, (2) their avenues of redress, and (3) the i=portance ofre-givin; information to the NRC. I have included a copy of that letter for you. As '
you can see I encourage workers to go to the NRC first - as I do in all of my investi-gations.
Ironically, the focus of your letter see=s to be cy responsibility to pass on infor:stion to workers in contact with me about the Atomic Energy Act and the D3L provisions and to urge the: to come forward so their information "can be #
promptly evaluated and . . . corrective action icitiated."
l These statements hopeless reveal either a total cisunderstanding of the Catawba situation, or naivete about the agency inspection / investigation process. )
To su=marize, the workers at the Catauba site have been trying since at least December 19E0 to get the NRC to investigate substantive charges of harassment and in t imida t ion, violations of company construction and quality assurance procedures, and f aulty wor ktanship. The NRC has consistently turned those charges back to Duke and left the workers to f are the best they could. To expect or even imply that I can or should sc:ehow convince them to now trust the same inspectors or investigators t ha t have let ther down consistently is ludicrous. That is why I requested the i Chair =an to take unusual and exceptional action to provide an investigation tea:
which I can honestly represent to these workers as credible and sincerely interested in the pur suit of the real Catawba problems. ;
Your language to def end your staf f is understandcbic, but the issues of concern to se are (1) the as-built condition of the Catawba plant, and (2)the re= oval of an atmosphere of fear and hara ssment from the site. I at interested in moving as i
quickly as possible through our own investigation and then on to cooperate with yours. -
however, let there be no =isunderstanding that (1) the bottleneck for the information you wish =e to previde has been Regien II, (2) that this infor=ation could have and
) should ha7e been invest igated by the NRC years ago, and (3) as a result of the agency's continuous foot-dragging the workers have lost total confidence in the agency as either capable or willing to investigate Duke Power Co=pany. 4 l
1 suggest that you personally review the docu=entation available to the NRC in detail >
before you are se quick to defend your staff and ignore the substantial proble: l fa:ing your agency.
l
Y
+
Catcwba is 85% complete end Duka la rushing toward a licens2 in a few nonths.
The plant has a prima facie quality assurance br2akdown, and the as-built condition is indetert:inste.
3 Respectfully,
/-
Billie Pirner Garde Director, Citizens Clinic Encl.
l
- ____ _. _.