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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20211P4761999-09-0909 September 1999 Discusses Arrangements Made Between Recipient & Pj Isaac for Administration of Operator Licensing Exams at Univ of Florida Reactor Scheduled for Week of 991011 ML20211B3531999-08-16016 August 1999 Accepts Ltr as Formal Notification That JW Powers Will No Longer Be Performing Licensed Activities for Facility ML20216D3041999-07-20020 July 1999 Submits Rept of Change in Facility Organization at Level 1 Which Is Level Responsible for Univ of Fl Training Reactor (Uftr) Facility Licenses,Charter & Site Administration ML20209C4971999-06-29029 June 1999 Forwards 14 Day Rept on Potential TS Violation Re Failure to Measure Adequately Secondary Flow Limiting Safety Sys Setting,Which Was Reported by 990608 & 10 Telcon ML20195J0931999-06-15015 June 1999 Informs That NRR Determined That Revs to Univ of Florida Operator Requalification Plan Submitted by Ltr Dtd 990514, Does Not Alter Intent of Presently Approved Orp.Submitted Orp Considered Acceptable ML20195H5101999-06-0808 June 1999 Documents 990608 Telcon Between T Michaels & J Wolf Re Potential Inadequacies in Checking Secondary Cooling Low Flow Trip.Event May Be Potentially Reportable Occurrence Per TS Sections 4.1 & 6.6.2 ML20195B3981999-05-17017 May 1999 Provides Rept of Significant Change in Facility Organization at Level 3 Which Is Level Responsible for day-to-day Operations of Univ of Fl Training Reactor ML20206U2431999-05-14014 May 1999 Forwards Rev 4 to Univ of Fl Training Reactor Operator Requalification & Recertification Training Program Plan for July 1999 - June 2001. Changes,Discussed ML20205R0601999-04-16016 April 1999 Ack Receipt of Ltr Dtd 990218,which Encl Rev 11 to Univ of Florida Training Reactor Emergency Plan Submitted Under Provisions of 10CFR50.54(q).NRC Approval Not Required ML20205E4641999-03-29029 March 1999 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel ML20207A6051999-02-19019 February 1999 Forwards Rev 11 to Uftr SAR, Dtd Jan 1981 Which Was Initiated as Result of Changes in Personnel Monitoring Badges Supplied to Univ by NVLAP-accredited Supplier.Rev 11 to EP for Uftr, Encl ML20155G8521998-11-0202 November 1998 Forwards Insp Rept 50-083/98-202 on 981006-09.No Violations Noted.No Significant Safety Issues Identified ML20154E1621998-10-0101 October 1998 Forwards Insp Rept 50-083/98-201 on 980908-10.No Violations Noted.Univ of Fl Training Reactor Respiratory Protection Program Found to Conform to Requirements of 10CFR20.1703 ML20236X2691998-08-0303 August 1998 Forwards Rev 2 to Univ of Fl Training Reactor Respiratory Protection Program, Reflecting Changes Necessitated by Updated Univ of Fl Respiratory Protection Program Along W/ Recommendations from NRC Info Notices 97-066 * 98-020 ML20217M6461998-03-27027 March 1998 Forwards Updated Proposal Intended to Meet Requirements of 10CFR50.64(c)(2).Proposal Is Essentially Unchanged Except for Revised Schedule & Presence of Substantive Info on Progress to Date Including Final Fuel Bundle Design ML20203C4261997-12-0303 December 1997 Forwards Amend 22 to License R-56 & Safety Evaluation.Amend Consists of Revs to TS 6.2.5(1) & on Figure 6.1 to Reflect Name Change from Dept of Nuclear Engineering Sciences to Dept of Nuclear & Radiological Engineering ML20216B3501997-10-17017 October 1997 Forwards Pp Changes Which Constitute Rev 10 of Univ of Florida Training Reactor Emergency Plan.Rev 10 Consists of Set of Updates & Revs to 13 Listed Pages ML20211N0381997-10-0707 October 1997 Forwards Explanatory Ltr & Change Pages That Constitute Rev 14 of Univ of Fl Training Reactor Physical Security Plan. Encls Withheld,Per 10CFR2.790(d) ML20217H7881997-10-0606 October 1997 Forwards Corrected Page of Uftr Organizational Chart Submitted W/Amend 22 of Tss,Per 970903 Telcon.Encl Part of Chart Not Intended to Be Changed from Approved TSs ML20217B2391997-09-0909 September 1997 Forwards Insp Rept 50-083/97-201 on 970630-0703.No Violations Noted ML20217P3211997-08-22022 August 1997 Ack Receipt of Forwarding Rev 10 to Univ of Fl Training Reactor Emergency Plan.Rev Does Not Decrease Effectiveness of Emergency Plan.Nrc Approval Not Required ML20198F7511997-08-0101 August 1997 Informs That on 970804,non-power Reactor Insp Program Will Be Transferred from Region II Ofc to NRR ML20148G3321997-05-29029 May 1997 Forwards Univ of Fl Training Reactor Operator Requalification & Recertification Training Program Plan, Jul 1997-June 1999 ML20138D8841997-04-21021 April 1997 Informs That Dj Cronin Resigned as Acting Reactor Manager on 970328 & Wg Vernetson Assumed That Position on Same Date ML20140C8631997-04-10010 April 1997 Forwards Rev 10 to Uftr Emergency Plan. Changes Contained in Plan,Discussed ML20137R5231997-04-0808 April 1997 Forwards Most Recent Proprietary Quarterly Log of Security Events for Univ of Fl Training Reactor R-56 License at Univ of Fl.Encl Withheld ML20137G6151997-03-27027 March 1997 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel ML20137U6121997-03-25025 March 1997 Informs That NRC Region II Ofc Will Move to Atlanta Federal Ctr Complex on 970425.List of Telephone Numbers & Directions to New Ofc Encl ML20137C1731997-03-20020 March 1997 Informs That Encl SRO Certificate Being Forwarded to JW Powers at Univ of Fl.W/O Encl ML20137C1151997-03-17017 March 1997 Forwards Ltr of 1995-96 Univ of Fl Training Reactor Annual Progress Rept ML20140C7141997-03-17017 March 1997 Forwards Copy of 1995-96 Univ of Florida Training Reactor Annual Progress Rept in Compliance W/Requirements of Section 6.6.1 of Uftr TSs ML20137D6361997-03-17017 March 1997 Forwards Rev 10 to Univ of Fl Training Reactor SAR Dtd Jan 1981 Submitted as Part of Last Relicensing Effort.Rev Consists of Changes to Single Pp,Initiated as Result of Comments from Staff Member Checking Matls Re Training ML20140C7221997-02-28028 February 1997 Forwards One Copy of 1995-96 Univ of Florida Training Reactor Annual Progress Rept Per TS Reporting Requirements ML20137C1341997-02-28028 February 1997 Forwards 1995-96 Univ of Fl Training Reactor Annual Progress Rept ML20136C3091997-02-27027 February 1997 Informs of Licensee Failure to Address Major Contributing Factor to Root Cause of Incident That Occurred at Facility on 970113 Re Improper Stack Calibr.Nrc Expects Licensees to Provide Appropriate Mgt Guidance of Licensed Activities ML20135C3421997-02-25025 February 1997 Forwards Operator Licensing Exam Rept 50-083/OL-97-01 on 970210-11 ML20135C1231997-02-25025 February 1997 Submits Copy of Results of Operator Initial Examination Conducted at University of Florida on 970210.W/o Encl ML20149M6731997-01-15015 January 1997 Discusses Potential TS Violation Re Improper Stack Monitor Calibr.Caused by Flawed Procedure That Failed to Correct for Delay of Cs-137 Calibr Source.Performed full-power Reactor Run on 970114 & Found Monitor to Be Properly Calibr ML20132A9721996-12-12012 December 1996 Discusses Arrangements for Written & Operating Exams Scheduled for Wk of 970210.Listed Ref Matl for Exams Requested at Least 60 Days Prior to Exam Date ML20128N4211996-10-10010 October 1996 Forwards Amend 21 to License R-56.Amend Consist of Revs to TS to Permit Submittal of Annual Rept for Activities 6 Months Following End of Uftr Prescribed End of Yr Which Occurs on 960831 ML20128N2971996-10-0303 October 1996 Repts Significant Change in Campus Radiation Control Function That Interacts W/Level 1 Personnel in Order to Facilitate Communications W/Commission ML20117N3891996-09-0909 September 1996 Informs That D Simpkins Will No Longer Be Performing Licensed Activities for Facility ML20117K7881996-09-0404 September 1996 Submits Significant Change in Facility Organization at Level 3,responsible for day-to-day Operation of Uftr ML20116J5751996-08-0909 August 1996 Forwards Annual Progress Rept of Univ of Fl Training Reactor Sept 1994 - Aug 1995 ML20116A0671996-07-19019 July 1996 Submits Response to Violations Noted in Insp Rept 50-083/96-01.Corrective Actions:Facility Administrative Staff Logged Many H in Late June & Early Jul to Generate & Submit First of Two Repts ML20113C9341996-06-21021 June 1996 Provides Explanatory Ltr & Change Pages That Constitute Rev 13 for Univ of Florida Training Reactor Physical Security Plan.W/O Encl ML20101L3451996-03-27027 March 1996 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel. Proprietary Info Withheld ML20094D0931995-10-27027 October 1995 Forwards Rev 12 to Physical Security Plan.Second Page Submitted to Assure Complete Current Copy of Univ of Fl Training Reactor.Rev Withheld ML20092G0931995-09-14014 September 1995 Forwards Rev 9 to FSAR for Univ of Fl Training Reactor ML20086M7661995-07-18018 July 1995 Forwards Rev 12 of Physical Security Plan for Univ of Florida Training Reactor Per 10CFR50.54.Encl Withheld 1999-09-09
[Table view] Category:EDUCATIONAL INSTITUTION TO NRC
MONTHYEARML20055H8411990-07-19019 July 1990 Submits Decommissioning Rept Info for Reactor,Per 10CFR50.33 & 50.75 Requirements.Funds for Decommissioning Will Be Requested from State of Fl Legislature When Decision to Decommission Facility Made ML20043E5811990-06-0404 June 1990 Advises of Appointment of P Achey as Chairman of Univ Radiation Control Committee,Effective 900412 ML20012C4951990-03-0707 March 1990 Advises That Jv Lombardi New Permanent President of Univ of Florida Effective 900305.President Responsible for Uftr Facility License,Charter & Site Administration ML19354D8881990-01-12012 January 1990 Responds to NRC 891218 Ltr Re Violations Noted in Insp Rept 50-083/89-04.Corrective Actions:All NRC Required Surveillances Tracked as to Day of Month Performed to Assure Allowable Surveillance Intervals Not Exceeded ML20005G8231990-01-12012 January 1990 Forwards Rev 5 to Emergency Plan.Page 11-1 Re New Security Response Procedure Incorporated in List of Procedures Primarily for Completeness ML20248B4791989-09-18018 September 1989 Forwards Rev 6 to FSAR for Univ of Florida Training Reactor, Consisting of Update of Chapter 11 of SAR Based on Internal Review ML20248F1111989-09-15015 September 1989 Advises That 890915 Safety Channel 1 High Voltage Trip Not Violation of Tech Specs But in View of Recent Equipment Problems,Recommends NRC Be Notified for Info Purposes.Trip Will Be Examined at 890919 Safety Review Meeting ML20244B7181989-05-30030 May 1989 Forwards Rev to Upgrade Operator Requalification & Recertification Program for Jul 1989 - June 1991 ML20247B4181989-05-0404 May 1989 Responds to NRC Ltr Re Violations Noted in Insp Rept 50-083/89-01.Corrective Actions:Detailed Radiation Surveys of Vertical Port Area Taken & Documented ML20244D2181989-04-0303 April 1989 Informs of Significant Change in Facility Organization. Mm Criser Replaces RA Bryan as President of Univ & Holds Line Responsibility for Level 1 Administration of Reactor, Facility License,Charter & Site Administration ML20247K7991989-03-27027 March 1989 Forwards Updated Proposal Intended to Meet Requirements of 10CFR50.64(c)(2) for Scheduling of Fuel Conversion ML20246L3851989-02-24024 February 1989 Advises of Failure to Notify NRC of Significant Change in Facility Organization at Level I on 890221.Effective 880801, Wm Phillips Assumed Title of Dean of Univ,College of Engineering ML20235Q5211989-02-21021 February 1989 Informs of Replacement of W Chen W/Wm Phillips as Dean of Univ of Florida College of Engineering ML20196D6341988-11-30030 November 1988 Forwards 1987-1988 Univ of Florida Training Reactor Annual Progress Rept. W/O Encl ML20195F9551988-11-14014 November 1988 Advises That Reactor Safety Review Committee Reviewed & Concluded Potential Violation of Tech Specs,Section 6.3 Re Requirement That Facility Be Operated in Accordance W/Written Procedures,Per 881114 Telcon ML20206J1411988-11-0707 November 1988 Submits Followup on 881104 Event Re Failure of Temp Record to Track Properly & Requiring Unscheduled Shutdown.Probable Cause Isolated & Planned Recovery Will Be Reviewed by Reactor Safety Review Subcommittee within 24 H ML20205R4701988-10-17017 October 1988 Forwards Rev 3 to Emergency Plan,Consisting of Corrected Page 8-4 to Reflect That Other Hosps Now Designated to Handle Crystal River 3 Radiation Accident Victims ML20150B2301988-06-30030 June 1988 Forwards Rev 5 to Univ of Florida Training Reactor FSAR ML20150B6961988-06-13013 June 1988 Advises That Failure of Control Blade Safety 2 Clutch Indicating Lamp Constitutes Ro,Per 880613 Telcon ML20153H4501988-05-0606 May 1988 Responds to NRC Ltr Re Violations Noted in Insp Rept 50-083/88-01.Corrective Actions:Scheduled Ar-41 Measurement Postponed Until Analysis to Assure Conservatism of Present Methodology Documented & Effluent Isotope Counting Planned ML20151V2071988-04-11011 April 1988 Notifies of Recurrence of Failure of Safety Channel 1 During Power Run Conducted for Senior Lab Training Operations Lab. Test Used to Verify Proper Operation of Safety Channel.Test Results Successful & Channel Returned to Normal Operation ML20150F3811988-03-22022 March 1988 Forwards Updated Proposal Re Requirements of 10CFR50.64(c)(2).Updated Proposal Includes Certification That Funding for Conversion Available Through DOE & Tentative Conversion Schedule Based on Fuel Availability ML20196J1521988-03-0707 March 1988 Forwards Revised Amend 17 Tech Spec Pages to 870602 Application for Amend,Per 880205 Request.Rev Addresses Areas of Concern Listed in ML20235H1271987-09-25025 September 1987 Forwards Rev 4 to FSAR as Part of Relicensing Effort.Rev Re Fire Protection & Communications Sys ML20214U9851987-05-29029 May 1987 Forwards Rev 3 to Fsar,Changing Part I Re Radiation Monitoring Concerning Environ Monitoring Sys & Part II Re App 15G as Part of Relicensing Effort.App 15G Will Be Added to SAR to Address Wigner Energy Storage & Graphite Fires ML20215A8971987-05-26026 May 1987 Forwards Std Operating Procedure Uftr SOP-D.5 Re Preparation & Transfer of Reactor Waste Shipments,Per 870423 Response to Violations Noted in Insp Rept 50-083/87-01.No Shipments Will Be Made Until Procedure Reviewed & Approved by NRC ML20214F4681987-05-14014 May 1987 Responds to NRC Re Highly Enriched U/Lowly Enriched U Conversion Schedule.Schedule Shortened by 8 Months as Shown on Encl Reworked Table II (Rev 1).All Analytical Work Will Be Performed in-house ML20210C1721987-04-23023 April 1987 Responds to NRC Re Violations Noted in Insp Repts 50-083/87-01 & 50-083/87-02.Corrective Actions:Produced New Policy Requiring Licensed Shipper & New Procedure to Control Shipment of Waste.No Shipments Until Procedure in Effect ML20205H5331987-03-26026 March 1987 Forwards Proposal Intended to Meet Requirements of 10CFR50.64(c)(2).Proposal Includes Certification That Funding for Conversion Available Through DOE & Tentative Schedule for Conversion ML20205N4101987-03-19019 March 1987 Responds to Violations Noted in Insp Rept 50-083/87-01. Corrective Actions:Notice Describing 10CFR19 & 20 Requirements & Stating Where Info Can Be Found Posted ML20207Q9281987-03-0303 March 1987 Forwards Revs to Emergency Plan,Including Page Corrections to Body of Plan (Pages 5-2,8-1,8-3 & 8-4) & Revs to Emergency Response Procedures SOP-B.1 & SOP-B.2 ML20215B1941986-12-19019 December 1986 Discusses 861211 Event Re Stack Dilute Fan & Core Vent Fan Secured by Actuation of Evacuation Alarm & Evacuation Alarm/ Core Vent Sys Interlocks White Stack Count Rate Approx 300 Cps ML20214V6071986-11-29029 November 1986 Forwards Annual Progress Rept of Univ of Florida Training Reactor,Sept 1985 - Aug 1986 ML20203E1391986-07-18018 July 1986 Forwards Rev 2 Pages for Facility Sar,Per NRC Insp 50-083/86-01 on 860218-21.Revs Concern Sections 7.3 & 7.6 & Figure 1-8 from Chapter 1 Re source-range Detector in Nuclear Instrumentation Channel 1 ML20205P0981986-05-13013 May 1986 Forwards Submitted to Region II Notifying That Js Tulenko,Chairman of Nuclear Engineering Sciences Dept, Holds Level 1 Administrative Responsibility for Facility,Per Tech Specs.Tulenko Should Be Put on Mailing List ML20205P1301986-05-0606 May 1986 Advises That Js Tulenko Made Permanent Chairman of Nuclear Engineering Sciences Dept on 860505 & Holds Level 1 Administrative Responsibility for Facility,Per Tech Spec Section 6.6.3,Paragraph 1 ML20197J7921986-04-17017 April 1986 Responds to Violations Noted in Insp Rept 50-083/86-01. Corrective Actions:Suppl to 50.59 Evaluation/Determination 85-17 Generated to Meet 10CFR50.59(b) Requirements.Full Compliance Will Be Achieved by 860615 ML20137V2881985-11-27027 November 1985 Forwards 1984-1985 Training Reactor Annual Progress Rept ML20132C6491985-09-0606 September 1985 Forwards Rev 9 to Physical Security Plan.Rev Removes Implication in Section 4.1 of SOP-F.1 Not Subj to 10CFR73.71.Change Labeled Technical Change Notice.Rev Withheld (Ref 10CFR2.790) ML20129J2061985-07-10010 July 1985 Forwards Rev 8 to Physical Security Plan,Reflecting Current Security Requirements & Implementation of Physical Security Plan.Rev Withheld (Ref 10CFR2.790) ML20098E5651984-09-25025 September 1984 Notifies of Complete Implementation on 840921 of Revised Emergency Plan Approved by NRC on 840604 ML20086M1521984-02-0101 February 1984 Forwards Proprietary Resubmission of Rev 7 to Physical Security Plan.Rev Withheld (Ref 10CFR2.790) ML20082H5541983-11-22022 November 1983 Forwards Rev 7 to Physical Security Plan.Rev Withheld ML20076M2581983-09-15015 September 1983 Forwards Public Version of Licensee Request for Addl 30-day Extension Until 831015 to Submit Amends to Emergency Plan ML20076L1221983-07-29029 July 1983 Requests 30-day Extension Until 830915 to Submit Revised Emergency Plan ML20072S5561983-03-31031 March 1983 Forwards Rev 6 to Physical Security Plan.Rev Withheld (Ref 10CFR2.790) ML20072L3241983-02-28028 February 1983 Forwards Operator Requalification & Recertification Program Plan for Jul 1983 - June 1985 ML20028B8171982-11-30030 November 1982 Forwards Annual Progress Rept of Univ of Fl Training Reactor, Sept 1981-Aug 1982 ML20066A4451982-10-27027 October 1982 Forwards Proposed Changes to 14 Pages of Tech Specs Transmitted by Granting 20-yr License Renewal. Changes Correct Typographical & Nomenclature Errors & Will Have No Significant Negative Effect on Safe Operation ML20027E2761982-10-26026 October 1982 Forwards Public Version of Proposed Emergency Plan 1990-07-19
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20211B3531999-08-16016 August 1999 Accepts Ltr as Formal Notification That JW Powers Will No Longer Be Performing Licensed Activities for Facility ML20216D3041999-07-20020 July 1999 Submits Rept of Change in Facility Organization at Level 1 Which Is Level Responsible for Univ of Fl Training Reactor (Uftr) Facility Licenses,Charter & Site Administration ML20209C4971999-06-29029 June 1999 Forwards 14 Day Rept on Potential TS Violation Re Failure to Measure Adequately Secondary Flow Limiting Safety Sys Setting,Which Was Reported by 990608 & 10 Telcon ML20195H5101999-06-0808 June 1999 Documents 990608 Telcon Between T Michaels & J Wolf Re Potential Inadequacies in Checking Secondary Cooling Low Flow Trip.Event May Be Potentially Reportable Occurrence Per TS Sections 4.1 & 6.6.2 ML20195B3981999-05-17017 May 1999 Provides Rept of Significant Change in Facility Organization at Level 3 Which Is Level Responsible for day-to-day Operations of Univ of Fl Training Reactor ML20206U2431999-05-14014 May 1999 Forwards Rev 4 to Univ of Fl Training Reactor Operator Requalification & Recertification Training Program Plan for July 1999 - June 2001. Changes,Discussed ML20205E4641999-03-29029 March 1999 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel ML20207A6051999-02-19019 February 1999 Forwards Rev 11 to Uftr SAR, Dtd Jan 1981 Which Was Initiated as Result of Changes in Personnel Monitoring Badges Supplied to Univ by NVLAP-accredited Supplier.Rev 11 to EP for Uftr, Encl ML20236X2691998-08-0303 August 1998 Forwards Rev 2 to Univ of Fl Training Reactor Respiratory Protection Program, Reflecting Changes Necessitated by Updated Univ of Fl Respiratory Protection Program Along W/ Recommendations from NRC Info Notices 97-066 * 98-020 ML20217M6461998-03-27027 March 1998 Forwards Updated Proposal Intended to Meet Requirements of 10CFR50.64(c)(2).Proposal Is Essentially Unchanged Except for Revised Schedule & Presence of Substantive Info on Progress to Date Including Final Fuel Bundle Design ML20216B3501997-10-17017 October 1997 Forwards Pp Changes Which Constitute Rev 10 of Univ of Florida Training Reactor Emergency Plan.Rev 10 Consists of Set of Updates & Revs to 13 Listed Pages ML20211N0381997-10-0707 October 1997 Forwards Explanatory Ltr & Change Pages That Constitute Rev 14 of Univ of Fl Training Reactor Physical Security Plan. Encls Withheld,Per 10CFR2.790(d) ML20217H7881997-10-0606 October 1997 Forwards Corrected Page of Uftr Organizational Chart Submitted W/Amend 22 of Tss,Per 970903 Telcon.Encl Part of Chart Not Intended to Be Changed from Approved TSs ML20148G3321997-05-29029 May 1997 Forwards Univ of Fl Training Reactor Operator Requalification & Recertification Training Program Plan, Jul 1997-June 1999 ML20138D8841997-04-21021 April 1997 Informs That Dj Cronin Resigned as Acting Reactor Manager on 970328 & Wg Vernetson Assumed That Position on Same Date ML20140C8631997-04-10010 April 1997 Forwards Rev 10 to Uftr Emergency Plan. Changes Contained in Plan,Discussed ML20137R5231997-04-0808 April 1997 Forwards Most Recent Proprietary Quarterly Log of Security Events for Univ of Fl Training Reactor R-56 License at Univ of Fl.Encl Withheld ML20137G6151997-03-27027 March 1997 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel ML20137C1151997-03-17017 March 1997 Forwards Ltr of 1995-96 Univ of Fl Training Reactor Annual Progress Rept ML20140C7141997-03-17017 March 1997 Forwards Copy of 1995-96 Univ of Florida Training Reactor Annual Progress Rept in Compliance W/Requirements of Section 6.6.1 of Uftr TSs ML20137D6361997-03-17017 March 1997 Forwards Rev 10 to Univ of Fl Training Reactor SAR Dtd Jan 1981 Submitted as Part of Last Relicensing Effort.Rev Consists of Changes to Single Pp,Initiated as Result of Comments from Staff Member Checking Matls Re Training ML20140C7221997-02-28028 February 1997 Forwards One Copy of 1995-96 Univ of Florida Training Reactor Annual Progress Rept Per TS Reporting Requirements ML20137C1341997-02-28028 February 1997 Forwards 1995-96 Univ of Fl Training Reactor Annual Progress Rept ML20149M6731997-01-15015 January 1997 Discusses Potential TS Violation Re Improper Stack Monitor Calibr.Caused by Flawed Procedure That Failed to Correct for Delay of Cs-137 Calibr Source.Performed full-power Reactor Run on 970114 & Found Monitor to Be Properly Calibr ML20128N2971996-10-0303 October 1996 Repts Significant Change in Campus Radiation Control Function That Interacts W/Level 1 Personnel in Order to Facilitate Communications W/Commission ML20117N3891996-09-0909 September 1996 Informs That D Simpkins Will No Longer Be Performing Licensed Activities for Facility ML20117K7881996-09-0404 September 1996 Submits Significant Change in Facility Organization at Level 3,responsible for day-to-day Operation of Uftr ML20116J5751996-08-0909 August 1996 Forwards Annual Progress Rept of Univ of Fl Training Reactor Sept 1994 - Aug 1995 ML20116A0671996-07-19019 July 1996 Submits Response to Violations Noted in Insp Rept 50-083/96-01.Corrective Actions:Facility Administrative Staff Logged Many H in Late June & Early Jul to Generate & Submit First of Two Repts ML20113C9341996-06-21021 June 1996 Provides Explanatory Ltr & Change Pages That Constitute Rev 13 for Univ of Florida Training Reactor Physical Security Plan.W/O Encl ML20101L3451996-03-27027 March 1996 Forwards Updated Proposal Submitted to NRC to Meet 10CFR50.64 Requirements for Updating Scheduling of Uftr Conversion from HEU to LEU Fuel. Proprietary Info Withheld ML20094D0931995-10-27027 October 1995 Forwards Rev 12 to Physical Security Plan.Second Page Submitted to Assure Complete Current Copy of Univ of Fl Training Reactor.Rev Withheld ML20092G0931995-09-14014 September 1995 Forwards Rev 9 to FSAR for Univ of Fl Training Reactor ML20086M7661995-07-18018 July 1995 Forwards Rev 12 of Physical Security Plan for Univ of Florida Training Reactor Per 10CFR50.54.Encl Withheld ML20086P9401995-07-11011 July 1995 Expresses Opinion That 10CFR20.1601(c) Can Readily Relieve Any Burden on License R-56 Operations,In Response to NRC 950605 Request for Input on Burden Associated W/Controlling Radiation Beams at Facility ML20086D3941995-06-12012 June 1995 Informs That E Mcalpine Relative to Failure of Primary Coolant Flow Line Return Sensor Discovered on 950609,per 950612 Telcon ML20084L8871995-05-31031 May 1995 Forwards Revised Plan Re Operator Requalification & Recertification Program for Jul 1995 Through June 1997 ML20083P3771995-05-11011 May 1995 Forwards Rev 8 Pages 5-9 & 9-7 for Univ of Fl Training Reactor (Uftr) SAR Dtd Jan 1991,consisting of Changes in Schematics Describing Uftr Secondary Water Cooling Sys to Reflect Mods That Have Been Implemented ML20081L9371995-03-27027 March 1995 Forwards Updated Proposal Intended to Meet Requirements of 10CFR50.64(c)(2),outlining How Licensee Intends to Include DOE Funding Certification for First Phase of Project ML20081J6851995-03-14014 March 1995 Advises That Univ Has Concluded That Leakage of Primary Coolant Heat Exchanger Potential Abnormal Occurrence & Potentially Reportable Per TS Section 6.6.2 ML20080F7391995-01-20020 January 1995 Forwards Rev 9 to Univ of Fl Training Reactor Emergency Plan. Changes Considered Relatively Minor in Nature,Result of Reviews of Plan & Response to Simulated Emergencies Following Emergency Drills ML20072R3891994-08-31031 August 1994 Responds to Violations Noted in Insp Rept 50-083/94-01. Licensees Currently Receiving Comments & Corrections on Draft Program ML20029D9321994-05-0606 May 1994 Responds to Violation Noted in Insp Rept 50-083/94-01. Corrective Action:Written Statement Issued to Potential Respiratory Users Re Leaving Area at Any Time for Relief While Engaged in Activities of Respiratory Program ML20065B8061994-03-28028 March 1994 Forwards Updated Proposal to Meet Requirements of 10CFR50.64(c)(2) for Updating Scheduling of Univ of Fl Training Reactor Conversion from HEU to LEU Fuel ML20057E8931993-09-30030 September 1993 Forwards Rev 11 of Psp,Section 11,Page 11-1.Rev Allows Authorized Individuals Granted Unescorted Access to Security Area to Leave Badges in Controlled Access Area W/O Wearing Badges During Normal Working Hours.Encl Withheld ML20056G5751993-08-0202 August 1993 Forwards Rev 8 to Univ of Fl Training Reactor Emergency Plan, Consisting of Updates & Minor Revs to Listed Pages. Floor Plan Updated to Reflect New Room Numbers & Ofc Setup ML20046B7521993-07-30030 July 1993 Informs of Change in Facility Organization at Level 3 ML20198H3881993-07-0707 July 1993 Forwards Proprietary Log of Security Events for Univ of Fl Training Reactor R-56 License at Univ of Fl.Encl Withheld ML20044G8331993-05-28028 May 1993 Forwards Revised, Operator Requalification & Recertification Training Program Plan of Univ of Florida Training Reactor Jul 1993 Through June 1995. ML20125E0171992-12-10010 December 1992 Forwards Rev 8 to Emergency Plan, Consisting of Set of Updates & Minor Revs to Pages to Include ii,v,1-5,Chapter 3, (Pages 3-1 Through 3-8),5-2,8-2,8-3 & 10-6 1999-08-16
[Table view] |
Text
y NUCLEAR ENGINEERING SCIENCES DEPARTMENT Nuclear Reactor Facility University of Florida I
enverneeson,cwor NUCHAR REACTCe tULDING
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- h Gainevine,FlorH 32411 March 19,1987 *
- Phone (904)392-14M Tolos$4330 United States Nuclear Regulatory Commission Region II 101 Matietta Street, N.W.
Atlanta, GA 30323 Attention: J. Nelson Grace Ragional Administrator Re: Inepection Report No. 50-83/87-01 (Inspector B.K. Revsin)
Dear Mr. Grace:
This report is divided into two parts to address the two violations cited in Inspection Report No. 50-83/87-01.
A. Inspection Report No. 50-83/87-01 cites the UFTR facility with a Severity Level V violation for failure to conspicuously post 10 CFR Parts 19 and 20 or post a notice describing the documents and stating where to find them Contrary to 10 CFR 19.11 requirements, on February 9-11, 1987, 10 CFR Parts 19 and 20 were not conspicuously posted nor was a notice posted describing the documents and statigg where they may be examined.
- 1. Admission or Denial of the ViNlation On the dates referenced,10 CFR Parts 19 and 20 were readily avail-able in the documents cabinet in the UFTR control room as part of a bound volume of 10 CFR Parts 0 to 199. Although Parts 19 and 20 were not separately posted, they were available to all individuals work-ing in the f acility. However, they were not conspicuously posted and no notice was posted describing the documents and stating where they could be examined. Therefore, the violation citing failure to post 10 CFR 19 and 20 is admitted, though it should be noted that the documents were available as part of a bound volume of regulations in the control room.
- 2. Reasons tor the Violation 1
The failure to comply fully with the requirements of 10 CFR 19.11 is i due to an oversite in failing to comply with the verbatim posting I requirements of 10 CFR 19.11 in that having the bound volume of 10 i CFR Parts 0 - 199 was considered to be meeting the posting require-ments.
- 3. Corrective Steps Taken/Results Achieved Prior to the conclusior. of the inspection on February 11, 1987, and l after consultation with Inspector Revsin, the posting requirements l of 10 CFR 19.11 were carefully revie"ed. Immediate corrective action was taken on February 11, 1987 to meet all posting requirements of 10 CFR 19.11 to include posting a notice describing 10 CFR 19 and 10 CFR 20 and statinn where they could be examined.
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.- o U.S. Nuclear Regulatory Commission March 19,1987 Page Two In addition, a quarterly surveillance data sheet (Q-6) has been gen-erated to assure meeting all 10 CFR 19.11 posting requirements. This Q-6 surveillance data sheet was first used on February 25,1987 to control posting of the Notice of Violation from Inspection Report 50-83/87-01 to demonstrate d2at this surveillance is implemented and effective at assuring 10 CFR 19.11 posting requirements are met. l
- 4. Corrective Steps to be Taken to Avoid Further Violations No further corrective steps are considered necessary, s
- 5. Date When Full Compliance Will be Achieved Full compliance was achieved on February 11,.1987. Final review and approval of the Q-6 surveillance data sheet form by the Reactor j Safety Review Subcommittee was concluded on March 12, 1987 to assure ;
the Q-6 surveillance is effective to preclude recurrence of this ,
violation. The Q-6 surveillance data. sheet will be installed in all SOP manuals by April 30, 1987.
B. Inspection Report No. 50-83/87-01 cites the UFTR facility for a Severity Level IV violation for failure to follow Technical Specification 6.3 re-quiring that the facility be operated according to University of Florida Training Reactor (UFTR) Standard Operating Procedure D.2, " Radiation Work Permit," Revision 9, approved May 16, 1985. The notice of violation cites failure to follow SOP-D.2 in six (6) areas as follows:
- 1. An index of radiation work permits (RWP) was not maintained in the RWP Notebook. ,
- 2. The initiation of RWP No. 86-14-I and the termination of RWP Nos. >
86-14-I and 86-12-II were not noted in the UFTR Daily Operations ,
Log.
- 3. RWP survey results were not recorded on RWP Nos. 85-22-II, 86-7-I, 86-8-I and 86-17-II. i
- 4. RWP survey measurements performed in 1986 did not include instrument name, serial number, distance from the measured object and the name of the individual performing the measurements.
- 5. RWP Nos. 86-10-I, 86-12-II and 86-14-I were not terminated within seven days of initiation.
- 6. RWPs issued in 1986 were not signed by both the senior reactor op-erator and the reactor manager.
These parts of the violation will be addressed individuully.
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U.S. Nuclear Regulatory Commission March 19, 1987 Page Three
- 1. An index of radiation work permits (RWP) was not maintained in the RWP Notebook.
- a. Admission or Denial of the Violation The violation is admitted.
- b. Reasons for the Violation The RWP index was not maintained because SOP-D.:2 does not have an index form associated with it. Coupled with the historical lack of index prior to Revision 9 of SOP-D.2 based on the mini-mal need for use of the procedure, the need for the index was overlooked in the review of the procedure. . The need for the in-dex was not detected because there was no checkoff item on the RWP Form SOD-D.2A to indicate entry of data on the RWP index.
- c. Corrective Steps Taken to Date/Results Achieved An index for the 1984 through 1987 RWP logs has been generated and placed in the respective notebooks. The 1987 RWP index was developed and implemented on February 11, 1987. Indices for 1985 and 1986 were developed as of 16 February 1987. Minor cor-rections were completed as of March 16, 1987.
Training has been conducted on the existing SOP-D.l2 for all li-censed operators. Several RWPs generated and used since the in-spection have been entered properly in the 1987 index.
The generation of the 1987 index assures this violation item will not recur. In addition, a complete revision of SOP-D.2 has been generated to include an index form and a review space on the RWP form to assure complete index entries. While this SOP is in review for approval, training has been conducted for all facility operators to assure the index is used and verbatim compliance is followed with the existing Revision 9 of SOP-D 2.
- d. Corrective Steps to be Taken to Avoid Further Violations A draf t version of Revision 10 of SOP-D.2 is under review. After Revision 10 is approved, training be conducted and this Revision 10 of SOP-D.2 will be implemented. With implementation of Revision 10, this violation will be assured not to recur and all corrective actions will be completed, w________
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U.S. Nuclear Regulatory Commission March 19,1987 Page Four
- e. Date of Full Compliance Full compliance was achieved on 16 February 1987 when indices had been completed in the RWP Log Notebooks for 1985,1986 and 1987 with the 1987 index maintained since February 11, 1987.
Training will be conducted on the approved Revision 10 of SOP-D.2 and Revision 10 will be implemented by April 30, 1987.
- 2. The initiation of RWP 86-14-I and the termination of RWP Nos. 86 I and 86-12-II were not noted in the UFTR Daily Operations Log.
- a. Admission or Denial Although no work controlled by RWP 86-14-I was ever initiated, the portion of the violation dealing with the initiation and termination of 86-14-I is admitted. This condition was not clear, especially since Revision 9 of SOP-D.2 has no provision for separate filing of approved but not issued RWPs.
Since RWP 86-12-II was not logged on the Daily Operations Log, this portion of the violation is admitted.
- b. Reason for the Violation Although approved by the Radiation Control Officer and given an RWP Serial Number, records indicate RWP 86-14-I was never used to control any work. The work that would have been accomplished (had RWP 86-14-I been used) was accomplished under different RWP numbers.
No distinction exists in UFTR SOP-D.2, Revision 9, concerning approval of the conditions specified by an RWP, issuance of an RWP number, and approval to start the RWP-controlled work. Due to the administrative structures of the UFTR and University of Florida Radiation Control Office, approval and issuance of an RWP may occur on different days. With the potential for these functions to occur at different times, approval and issuance are clearly separate functions, though not clearly delineated on the current version of SOP-D.:2, which is recognized to need clarification in this regard. RWP 86-14-I was approved for use on July 22, 1986 to control installation / removal of the incore Rapid Sample Insertion (Rabbit) Assembly. Although approved for use, no exposure record is associated with the RWP because the work of installing and testing the new system was performed at a later date under RWP 86-15-II. Note RWP 86-14-II was issued in the interim on August 13, 1986 for other unrelated work. Shielding surveys were also performed under RWP 867 1 II; RWP 86-19-II was later usod to remove and replace the !
rabbit for further testing. So no record of the use of RWP 86-14-I exists. In effect the RWP was not issued, and therefore
l U.S. Nuclear Regulatory Commission l March 19,1987 l Page Five l
i not entered or terminated in the Daily Operations Log, although physically placed in the RWP Log. While filed in the RWP notebook, RWP 86-14-I should have been marked unused to avoid confusion.
The failure to log termination of RWP 86-12-II was a personnel error. With special training conducted on verbatim compliance, this type of violation should not recur. With the generation and approval of a revised SOP with a checkoff to assure full RWP termination, the quustion of use of an RWP will be clear in the future.
- c. Corrective Steps Taken/Results Achieved RWP 86-14-I has been properly marked as unused in the 1986 RWP log notebook and its index. Revision 10 of SOP-D 2 is under review to address differences of issuance versus approvalof RWPs and how to handle RWPs that are approved but not issued for controlling actual work.
- RWP 86-12-II has been logged in the RWP notebook as terminated l using information taken from the Operations Log and logged on the RWP. Training has been conducted to assure verbatim compliance within the existing SOP-D.2 to assure proper initiation and termination of RWP';s. RWP's since the NRC inspection have all been properly initiated and terminated,
- d. Corrective Steps to be Taken to Avoid Further Violations ,
Revision 10 to the RWP procedure will deal with RWP ap-proval, issuance of the RWP number and approval for the work to i begin as three separate conditions so that there will be no question about whether an RWP such as RWP 86-14-I has been used. In addition, RWPs that are approved and assigned Serial Numbers, but not issued or used to control work will be re-quired to be filed with a notation explaining non-usage.
The new revision to the RWP procedure will include a review checkoff to assure future RWPs are terminated in the Daily Op-erations Log to prevent recurrence of failure to terminate an RWP. When training has been conducted on Revision 10 of SOP-D.:2 and the revision has been implemented, this item will be con-sidered closed. j l
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l U.S. Nuclear Regulatory Commission
! March 19,1987 Page Six i
- e. Date of Full Compliance RWP 86-14-I was marked as unused on February 16,1987 with a 1986 index entry made as to its status. RWP 86-12-II was logged properly for termination as of February 16, 1987.
Full compliance with commitments including training on and im-plementation of Revision 10 of SCP-D.:2 will be achieved by April 30, 1987.
- 3. RWP surveys were not recorded for RWP 85-22-II, RWP 86-7-I, RWP 86-8-I and RWP 86-e7-II.
- a. Admission or Denial of the Violation
< > This violation is admitted in that there was a failure to explicitly note that no survey initially was needed prior to work.
- b. Reasons for the Violation The RWP procedure in Step 7.2.1.5 explains what the designation
" Survey Measurements" on the RWP form means. Step 7.2.1.5 does not specify that the surveys are required to be performed, merely details what is considered to be complete information if survey data is obtained prior to the task performance. The pro-cedure further delineates what must be included with a survey measurement. This step of the procedure, in contrast to pre-vious steps that specify the indicated information will be en-tered, does not require an entry for this blank on the RWP form. There is no procedural requirement that such surveys be performed except as specified by the RWP. Such a requirement was not made by the RWP's in question because the conditions
- prior to accomplishing tasks specified by the RWP made such surveys meaningless; before the tasks were accomplished, the i radiation and contamination levels could not be other than l background. The monitoring that occurred during the work covered by the RWP's was not considered to be a survey.
Various tasks are performed at the UFTR with normal shutdown conditions prior to commencement of the tasks for cases where no condition exists that could cause radiation levels above normal shutdown / background levels, a pre-job survey provides no useful information to the performance of the task. These are frequently Level II RWP's as are two of the issued RWP's cited for no surveys. In these circumstances, unless required by
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U.S. Nuclear Regulatory Commission March 19,1987 '
Page Seven
! appropriate instructions in "special instructions" or " monitor-f ing required," a survey is not required. Additionally, RWP 86-14-I has been determined from records to have never been used
- as explained under Item II. Therefore, surveys were not I considered to be required here.
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Surveys for PWP 86-7-I and 86-8-I were conducted and maintained by Radiation Control but not noted on the RWP form. Copies of
- those surveys have been attached to the RWP's and the RWP'is de-4 noted to reflect the attachment.
l c. Corrective Steps Taken/Results Achieved j Training conducted on the existing SOP-D..2 has emphasized ver-batim compliance and the need to conduct and record surveys for all RWP's until a revised SOP-D.2 is installed to clarify this
. point. RWP's used since the inspection have all had surveys re-j corded. To assure clear requirements, Revision 10 of SOP-D.2.
has been generated to emphasize delineation of survey require-l ments to include a negative checkoff when none is considered
! necessary prior to opening the RWP and that monitoring, in it-
- self, is a survey. Revision 10 specifies how to control and document approved but unissued RWP's like RWP 86-14-I. Final-ly, surveys maintained by radiation control for RWP 86-7-I and
. 86-8-I have been attached to the RWP's, and the RWP';s annotated to indicate the attachments.
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- d. Corrective Steps to be Taken to Avoid Further Violations
, Revision 10 of SOP-D.:2 will be approved and training will be conducted on it for all operatorr to indicate when surveys are not necessary with a negative checkoff and monitoring with work in progress will be similarly documented; survey forms as at-
- tachments will be explicitly permitted in Revision 10.
- e. Date of Full Compliance Full compliance has been in effect since February 11, 1987 for-all RWPs issued subsequent to the NRC inspection. Again, . af ter review and approval of Revision 10 of SOP-D.2, training will be conducted and SOP-D.l2, Revision 10.will be implemented with full compliance with commitments achieved by April 30, 1987.
- 4. RWP survey measurements performed in 1986 did not include instrument
- name, serial number, distance from measured object and the name of the individual performing the measurements.
- a. Admission or Denial l
l This violation is admitted.
U.S. Nuclear Regulatory Commission March 19,1987 Page Eight
- b. Reasons for the Violation The reason for this violation is failure of the RWP fom to be compatible with the SOP-D.2 requirements to assure a match of requirements with spaces to record data. As a result, the lack of a specified blank on which to record the data resulted in failure to record some survey measurement data.
- c. Corrective Steps Taken/Results Achieved The corrective action to date has been twofold. Training has been conducted on the existing SOP to assure verbatim compli-ance. Second, all RWPs used since the inspection have included all required data. These steps have been effective as RWPs now include all survey information. In addition, information for all 1985 and 1986 RWPs has been reconstructed and included on RWPs where possible, always fully documented as to date entered.
Revision 10 of SOP-D.2 where compatibility of text requirements and RWP form blanks (UFTR Form SOP-D.2A) is implemented will provide long term assurance that this violation does not recur.
- d. Corrective Steps to be Taken to Avoid Further Violations Revision 10 of SOP-D.2 with the RWP form (UFTR Form SOP-D.2A) will provide designated places on the form for required infor-mation, and a separate review to assure all appropriate infor-mation is included. When the revision is approved, training will be conducted on the Revision 10 of SOP-D.2. Subsequent im-pimentation of the Revision in combination with these two ac-tions will serve to prevent recurrence of this failure to re-cord information required related to survey measurements,
- e. Date When Full Compliance Will Be Achieved Full compliance has been achieved as far as new RWPs are con-cerned as of February 11, 1987. Full compliance for all commit-ments including training on and implementation of Revision 10 of SOP-D.2 will be achieved by April 30, 1987.
- 5. RWP Nos. 86-10-I, 86-12-II and 86-14-I were not terminated within seven days of initiation.
- a. Admission or Denial This violation is admitted. It should be noted that this viola-tion for RWP-86-12-II and RWP 86-14-I is essentially the same action as noted in Violation 2; and RWP 86-10-I was terminated via the Daily Operating Log, but not on the RWP.
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U.S. Nuclear Regulatory Commission March 19,1987 Page Nine o
- b. Reasons for the Violation RWP 86-12-II was not terminated properly,' RWP 86-10-I was ter
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minated via the Daily Operations Log as specified in SOP-Dgf ,
Section 7.3.3 but was not terminated on the RWP Form SOP-D.2A.
The actions required by the step were not completely performed at that time due to personnel error and because there was no RWP index (see Violation 1). With respect to proper termination of the RWP as specified in 7.2.1.12, an additional failure for RWP 86-4-I was noted and corrected during review of all RWPs for 1984 - 1987.
With respect to RWP 86-14-I, see Section 2b.
- c. Corrective Steps Taken/Results Achieved RWPs 86-4-I, 86-10-I, and 86-12-II, have been terminated and logged as such in all required locations including the 1986 RWP Index. RWP 86-14-I has been marked as unused - not issued.
Training has been conducted on the existing SOP-D.2 to assure verbatim compliance. Since the inspection, all RWPs have been terminated within seven (7) days to demonstrate the effective-ness of these corrective actions.. Finally, Revision 10 of SOP-D.2 has been generated to address full compliance of all RWPs ;
with SOP-D.2 requirements.
- d. Corrective Steps to be Taken to Avoid Further Violations Corrective steps to be taken to assure verbatim complianco including final review and approval of Revision .10 of SOP-D.2 followed by training on its use and subsequent implementation.
- e. Date When Ful'1 Compliance Will be Achieved Full compliance for all existing RWPs was achieved by February 16, 1987. Full compliance for commitments involving training and implementation of Revision 10 of SOP-D.2 will be achieved by April 30, 1987.
- 6. RWPs issued in 1986 were not signed by both the senior reactor op- i erator and the reactor manager. i
- a. Admission or Denial This violation is admitted. l l
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U.S. Nuclear Regulatory Coinmission ,
March 19,1987 Page Ten
- b. Reason for the Violation At the UFTR, the reactor manager is a senior reactor operator, ,
and one signature is intended to meet both requirements, per revisions of the D.2 SOP dating back to 1976. Hence, the RWP Form (UFTR Form SOP-D.2A) only has space for a single signa-ture. Of course, the r ocedure itself caused confusion with respect to intent of his signature requirement. The entry,
" Senior Reactor Operator and the Reactor Manager or his designated alternate," read in an earlier revision, " Senior Operator (or Reactor Supervisor)." The title change from Reactor Supervisor to Reactor Manager and the requirement that the UFTR Reactor Manager hold a senior reactor operator license necessitated a change to the procedure which should have read
" Reactor Manager or his designated alternate (Senior Reactor Operator)." Note that this reading is more restrictive than the earlier revision. Revision 10 to the RWP procedure will clearly delineate the requirement for a single signature.
- c. Corrective Steps Taken/Results Achieved Until the revised SOP-D.2 is approved, two signatures are being required to assure verbatim compliance. Training has been con-ducted to assure compliance. All RWPs issued since the inspec-tion carry two signatures to demonstrate effectiveness of the training, j
- d. Corrective Steps to be Taken to Avoid Further Violations Training on the existing SOP will prevent recurrence until the revised SOP-D.2 is approved and implemented. At that point the single signature requirement will be clearly delineated.
Retraining on Revision 10 of SOP-D.2 will prevent recurrence of this violation. l
- e. Date of Full Compliance Full compliance has been in ef fect since 11 February 1987.
Training and implementation of Revision 10 of SOP-D.2 will be completed by April 30, 1987.
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U.S. Nuclear Regulatory Commission March 19,1987 Page Eleven Final Comments Inspection Response actions to date include the following:
l 1. Correction of the Severity Level V violation on 10 CFR 19.11 and develop-ment of the approved and implemented Q-6 surveillance data sheet to as-sure all posting requirements are met. With these actions the response to the Severity Level V Violation is considered closed.
- 2. Review of all RWP notebooks for 1984-1987 to correct all deficiencies with memoranda generated to document review and corrective actions.
Training has been conducted to assure the existing SOP-D.2 is followed with verbatim compliance. This step assures all Severity Level IV Viola-tion items will not recur. All RWP's issued since the inspection have been properly documented and implemented. Revision 10 of SOP-D.2 has been generated to assure compatibility of SOP text and form format i as well as better delineation of some requirements to preclude re-
- currence of all cited violation items including the uncertainty in l whether an RWP is approved and issued or not. Revision 10 of SOP-D.2 will be approved and training conducted to assure implementation of Revision 10 by April 30, 1987 to conclude response to the Severity Level IV.
We trust this response satisfies the requirements delineated in Inspection Re-t port 50-83/87-01. If there are further questions, please advise.
I I
Sincerely, ,
}l jdv r William G. Vernetr en Director of Nucle Facilities WGV/ps j cc: P.M. Whaley J.S. Tulenko )
Reactor Safety Review Subcommittee (RSRS) i k
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