IR 05000317/1997002

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Ack Receipt of 970911 Ltr & Check for $176,000 in Payment of Civil Penalties Proposed by NRC in 970811 Ltr Re Insp Repts 50-317/97-02 & 50-318/97-02
ML20198P927
Person / Time
Site: Calvert Cliffs  Constellation icon.png
Issue date: 11/07/1997
From: Lieberman J
NRC OFFICE OF ENFORCEMENT (OE)
To: Cruse C
BALTIMORE GAS & ELECTRIC CO.
References
50-317-97-02, 50-317-97-2, 50-318-97-02, 50-318-97-2, EA-97-192, NUDOCS 9711120055
Download: ML20198P927 (2)


Text

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% . . . . . ,o November 7, 1997 EA ^7-192 Mr. Charles Vice President - Nuclear Energy Baltimore Gas and Electric Company (BGE)

Calvert Cliffs Nuclear Power Plant 1650 Calvert Cliffs Parkway Lusby, Maryland 20657-4702

Dear Mr. Cruse:

This will acknowledge receipt of your letter dated September 11,1997, and your check of

$176,000 dollars in payment of the civil penalties proposed by the NRC in a letter dated August 11,1997.

In your response, you admitted all of the violations. With respect to Violation ll.A.2, your response indicated that a comprehensive assessment of the Radiation Safety Program was warranted, including procedure evaluation and organizational process review; and that final corrective actions, as appropriate, would be taken as a result of that effort. We understand that

" this effort is now complete and that you wiu be prepared to dicuss the outcome, including corrective actions taken or planned, in the management meeting scheduled for November 13, 1997. We also understand that your staff will also be prepared to describe generic improvements in your radiological control program, including High and Very High Radiation Area controls, that resulted from your review and assessment activites.

Additionally, we understand that you do not agree that fuel movement continued on March 28, 1997 without a proper evaluation or understanding of the discrepancy in grapple position indicators, as described in Violation Ill.A.3. We acknowledge that the problem had been assesseo and that engineering personnel were preparing a design change to correct the issue after defueling. This was documented in Inspection Report 50-317 (318)/97-02.

Notwithstanding, contrary to 10 CFR Part 50, Appendix B, Criterion XVI, the issue, as j acknowledged in your response, was not promptly corrected after it was discovered.

ig in accordance with 10 CFR 2.790 of the NRC's " Rules of Practice," a copy of this letter will be placed in the NRC Public Document Room (PDR).

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Your cooperation with us is appreciated.

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Sincerely,

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