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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20204G6521999-03-18018 March 1999 Comments Re PRM 50-64.Urges Commission to Delete Paragraph Containing Joint & Several Liability Clause as Contained in Final Policy Statement 3F1298-06, Comment Supporting Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Expresses Concern Re Absence of Definition of risk-significant Configurations & Unacceptable Level for Safety Function Degradation1998-12-0909 December 1998 Comment Supporting Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Expresses Concern Re Absence of Definition of risk-significant Configurations & Unacceptable Level for Safety Function Degradation 3F1098-09, Comment Re Integrated Review of Assessment Process for Commercial Npps.Recommends That Assessment Process Be Reviewed with Consideration of Enforcement Process,Insp Process & Reporting Process1998-10-0505 October 1998 Comment Re Integrated Review of Assessment Process for Commercial Npps.Recommends That Assessment Process Be Reviewed with Consideration of Enforcement Process,Insp Process & Reporting Process ML20199E0821998-01-23023 January 1998 Comment Supporting PRM 50-63A Re Emergency Plan for CR3 to Include Mandatory Stockpiling of Ki for Distribution to General Public in Event of Severe Accident ML20137E5171997-03-24024 March 1997 Order Prohibiting Involvement in NRC-licensed Activities (Effective Immediately) ML20134H3201996-12-0101 December 1996 Transcript of 941201 Interview of RP Weiss in Crystal River, Fl.Pp 1-12 ML20199C7791996-09-19019 September 1996 Transcript of 960919 Interview of C Smith in Crystal River, Florida Re OI Rept 2-96-033.Pp 1-16.W/Certificate of Svc. Birth Date & Social Security Number Deleted ML20199C8521996-09-19019 September 1996 Transcript of 960919 Interview of R De Montfort in Crystal River,Florida Re OI Rept 2-96-033.Pp 1-15.W/Certificate of Svc.Birth Date & Social Security Number Deleted ML20199C8181996-09-18018 September 1996 Transcript of 960918 Interview of J Weaver in Crystal River, Florida Re OI Rept 2-96-033.Pp 1-31.W/Certificate of Svc. Date of College Graduation Deleted ML20199C8031996-09-18018 September 1996 Transcript of 960918 Interview of J Atkinson in Crystal River,Florida Re OI Rept 2-96-033.Pp 1-21.W/Certificate of Svc.Birth Date & Social Security Number Deleted ML20199C8271996-09-18018 September 1996 Transcript of 960918 Interview of M Culver in Crystal River, Florida Re OI Rept 2-96-033.Pp 1-34.W/Certificate of Svc. Birth Date & Social Security Number Deleted ML20199C7471996-09-18018 September 1996 Transcript of 960918 Interview of D Jones in Crystal River, Florida Re OI Rept 2-96-033.Pp 1-30.Birth Date & Social Security Number Deleted ML20134H5901996-04-0404 April 1996 Partially Deleted Transcript of 960404 Enforcement Conference Proceedings Before Ebneter in Atlanta,Ga. Pp 1-240 ML20134H5791996-03-28028 March 1996 Partially Deleted 960328 Predecisional Enforcement Conference Between NRC & R Weiss Before L Reyes in Atlanta, Ga.Pp 1-92 ML20134H5821996-03-28028 March 1996 Partially Deleted Transcript of 960328 Predecisional Enforcement Conference Between NRC & DA Fields in Atlanta, Ga.Pp 1-86 IA-97-313, Transcript of 951130 Interview of P Hinman in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-146.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted1995-11-30030 November 1995 Transcript of 951130 Interview of P Hinman in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-146.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted ML20248J6091995-11-30030 November 1995 Transcript of 951130 Interview of P Hinman in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-146.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted ML20203B8041995-11-30030 November 1995 Transcript of 951130 Interview of G Halnon in Crystal River, Fl Re Safety Culture & Attitudes of People,Shift Supervisors & Detailed Sys Questions on Makeup Sys.Pp 1-34.Supporting Documentation Encl ML20199C9891995-11-30030 November 1995 Transcript of 951130 Interview of B Hickle in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-134.Title Page Encl.Birth Date & Social Security Number Deleted ML20199C9811995-11-29029 November 1995 Transcript of 951129 Interview of P Saltsman in Crystal River,Florida Re OI Rept 2-94-036.Pp 1-98.W/Certificate of Svc.Title Page Encl.Pages 96-97 Missing.Birth Date & Social Security Number Deleted ML20199C9661995-11-29029 November 1995 Transcript of 951129 Interview of G Halnon in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-134.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted ML20199C9421995-11-29029 November 1995 Transcript of 951129 Interview of C Bergstrom in Crystal River,Florida Re OI Rept 2-94-036.Pp 1-96.Title Page Encl. Birth Date & Social Security Number Deleted ML20199C9611995-11-29029 November 1995 Transcript of 951129 Interview of D Czufin in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-38.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted ML20199C9291995-11-28028 November 1995 Transcript of 951128 Interview of P Fleming in Crystal River,Florida Re OI Rept 2-94-036.Pp 1-58.Title Page Encl. Birth Date & Social Security Deleted ML20199C8891995-11-28028 November 1995 Transcript of 951128 Interview of P Beard in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-97.W/Certificate of Svc. Title Page Encl.Birth Date & Social Security Number Deleted ML20199C9121995-11-28028 November 1995 Transcript of 951128 Interview of G Boldt in Crystal River, Florida Re OI Rept 2-94-036.Pp 1-86.Title Page Encl.Birth Date & Social Security Number Deleted ML20098B2801995-09-27027 September 1995 Comment Supporting Petition for Rulemaking PRM-50-61 Re Proposed App as Improvement Over Existing App R on Basis That It Allows Utilities to Apply Fire Protection Resources in Proportion to Safety Significance of Plant Areas ML20091S0531995-08-31031 August 1995 Comment on Review of Revised NRC SALP Program.Use of Numerical Scores Has Proven to Be Punitive from Economic Perspective ML20087L9681995-08-22022 August 1995 Withdrawal of Motion to Quash Subpoena.* Informs That D Fields Withdrew Previously Filed Motion to Quash Subpoena. W/Certificate of Svc ML20087L9631995-08-22022 August 1995 Withdrawal of Motion to Quash Subpoena.* Informs That RP Weiss Withdraws Previously Filed Motion to Quash Subpoena. W/Certificate of Svc ML20087K3331995-08-17017 August 1995 Motion to Quash Subpoena.* D Fields Moves That Subpoena Served by Wj Mcnulty Be Quashed.W/Certificate of Svc ML20087K3441995-08-17017 August 1995 Motion to Quash Subpoena.* RP Weiss Moves That Subpoena Served by Wj Mcnulty Be Quashed.W/Certificate of Svc ML20129E8331995-08-0808 August 1995 Partially Withheld Transcript of 950808 Interview of M Van Sicklen in Crystal River,Fl.Pp 1-85 IA-96-330, Partially Withheld Transcript of Interview of C Smith in Crystal River,Fl.Pp 1-331995-08-0808 August 1995 Partially Withheld Transcript of Interview of C Smith in Crystal River,Fl.Pp 1-33 ML20129G4551995-08-0808 August 1995 Partially Withheld Transcript of Interview of C Smith in Crystal River,Fl.Pp 1-33 ML20129G4461995-08-0808 August 1995 Transcript of 950808 Interview of Jt Atkinson in Crystal River,Fl.Pp 1-26 NL-95-0061, Comment on Draft GL Re Testing of safety-related Circuits. Util Primary Concern W/Requested Actions of Proposed GL Is Schedule1995-07-18018 July 1995 Comment on Draft GL Re Testing of safety-related Circuits. Util Primary Concern W/Requested Actions of Proposed GL Is Schedule NL-95-0053, Comment on Review of NRC Insp Rept Content,Format & Style. Insp Repts Frequently Not Appropriately Focused on Safety Issues1995-06-29029 June 1995 Comment on Review of NRC Insp Rept Content,Format & Style. Insp Repts Frequently Not Appropriately Focused on Safety Issues ML20083N4611995-05-0505 May 1995 Comment Re Proposed GL Concerning Pressure Locking & Thermal Binding of Safety Related Power Operated Valves.Tis to Insp Personnel,Surveys or Other Means Could Confirm That SR Power Operated Valves Capable of Performing Safety Function ML20077M6791994-12-29029 December 1994 Comments Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operation for Nuclear Power Reactor ML20077E8231994-12-0808 December 1994 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re Rev to NRC NPP License Renewal Rule ML20134H3141994-12-0101 December 1994 Transcript of 941201 Interview of D Fields in Cystal River, Fl.Pp 1-40 ML20203B6801994-12-0101 December 1994 Transcript of 941201 Interview of Gh Halnon in Crystal River,Fl Re Problem W/Curve of make-up Tank That Occurred on 940905.Pp 1-18.Supporting Documentation Encl ML20064G1491994-03-0808 March 1994 Comments on Whistleblower Protection Issue.Lists Violations Identified ML20067C1491994-02-15015 February 1994 Comment on Draft NUREG-5884 Re Revised Analyses of Decommissioning for Ref Pressurized Water Reactor Power Station ML20056G9831993-08-27027 August 1993 Comment on Whistleblower Protection Issue 3F0492-15, Comment Concurring W/Comments Offered by NUMARC on Sections 7 & 8 of Draft NUREG-1449, Shutdown & Low-Power Operation at Commercial Nuclear Power Plants in Us. Urges NRC to Consider Comments Carefully1992-04-30030 April 1992 Comment Concurring W/Comments Offered by NUMARC on Sections 7 & 8 of Draft NUREG-1449, Shutdown & Low-Power Operation at Commercial Nuclear Power Plants in Us. Urges NRC to Consider Comments Carefully ML20094E1141991-12-19019 December 1991 Comment on Draft Reg Guide DG-8005, Assessing External Radiation Dose from Airborne Radioactive Matls. Reg Guide Provides Minimal New Info to Nuclear Industry & Would Probably Be Best Combined W/Some Other Reg Guide ML20127E4551991-11-0303 November 1991 Directors Decision DD-91-6 Denying Proceeding Per Stated 10CFR Part to Suspend or Revoke Operating License of Util ML20024H4281991-05-24024 May 1991 Comment Opposing Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. 1999-03-18
[Table view] Category:ORDERS
MONTHYEARML20137E5171997-03-24024 March 1997 Order Prohibiting Involvement in NRC-licensed Activities (Effective Immediately) ML20055C6001990-05-24024 May 1990 Order Imposing Civil Monetary Penalty in Amount of $100,000 Based on Violations Noted in Insp Conducted on 890424-28. Violations Noted:Licensee Failed to Comply W/Environ Qualification Requirements ML20206F7511988-11-17017 November 1988 Order Imposing Civil Penalty in Amount of $50,000 Due to Violations Involving Radiation Safety Program ML20195B5661988-10-31031 October 1988 Order Imposing Civil Monetary Penalty in Amount of $25,000 Based on Problem Re Emergency Diesel Generator Inability to Perform Design Basis Functions ML20212N2541986-08-26026 August 1986 Order Imposing Civil Monetary Penalties in Amount of $50,000 for Failure to Conduct Activities in Full Compliance of License DPR-72.App Withheld (Ref 10CFR73.21) DD-85-19, Order Extending Time Until 860303 for Commission to Review Director'S Decision DD-85-19.Served on 8602201986-02-19019 February 1986 Order Extending Time Until 860303 for Commission to Review Director'S Decision DD-85-19.Served on 860220 ML20133E0811985-07-29029 July 1985 Order Imposing Civil Monetary Penalty in Amount of $50,000 for Violations Identified During 840812-16 Insp.App Withheld (Ref 10CFR2.790 & 73.21) 1997-03-24
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UNITED STATES NUCLEAR REGULATORY COMMISSICN Ir. the Matter of ) Docket No. 50-302 Crystal River Unit 3 ) License flo. OPR-72 Crystal River, Florida ) EA 88-34 ORDER It! POSING CIVIL MONETARY PENALTY I
Florida Power Corporation, Crystal River, Florida (Itcensee) is the holder of Operating License No. OPR-72 (license) issued by the fluelear Regulatory Comis-i sion (Comission or NRC) on January 28, 1977. The license authorizes the licensee to operate the Crystal River facility in accordance 'ith the condi-tions specified therein.
II An NRC inspection of the licensee's activities under the license was conducted on November 30 - December 4,1987 The results of tnis inspection indicated j that the licensee had not conducted its activities in full ccepliance with NRC requiru ents. A written Notice of Violation and Proposed Imposition of Civil The
- Penalty (Nutice) was served upon the licensee by letter dated May 4, 1988.
Notice stated the nature of the violation, the provision of the NRC's require-rents that the licensee had violated, and the arount of the civil penalty proposed for the violation. The Itcensee responded to the Noti:e of Violation j and Proposed imposition of Civil Penalty by letter dated June 2, 1988. In its
, response, the licensee admits the violation and does rot take issue with the Severity Level, but requests nitigation of the civil penalty on the basis that the nitigation factors in 10 CFR Part 2, Appendix C Section V.B. were not appropriately applied in assessing the penalty.
I 9811010076 G:31031 PDR ADOCK O*!000302 o PDC
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I After consideration of the licensee's response and the statements of fact, r .- r explanations, and argum nt for mitigation contained therein, the Deputy Execu-tive Director for Regional Operations has determir.ed, as set forth in the Appendix to this Order, that the original penalty proposed for the violation .
designated in the Notice of Violation and Proposed Impo'ition of Civil Penalty should be mitigated by 50%.
IV l.
l In view of the foregoing and pursuant to Section 234 of the Atomic Energy Act of 1954, as amended (42 U.S.C. 2282, FL 96-295) and 10 CFR 2.205, IT IS HEREBY ORDERED THAT:
The licensee pay a civil penalty in the amount of Twenty-Five Thousand Dollars ($25,000) within 30 days of the date of this Order, by check, craft, or money order, payable to the Treasurer of the United States f and mailed to the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, ATTN: Docueent Control Desk, Washington, D.C. j 20555.
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V j A
The licer.see may request a hee:ing within 30 days of the date of this Order. !
request for a hearing shall be cicarly rarked as a "Request for an Enforcement
s J
3 Hearing" and ' ball be addressed to the Director, Office of Enforcerrent, U.S.
Nuclear Regulatory Commission, ATTN: Document Control Det k, Washington, D.C.
20555, with a copy to the Assistant General Counsel for Enforcernent, the Regional Adtninistrator, Region 11, and to the NRC Resident inspecter, Crystal River, Unit ,'.
If a hearing is requested, the Cero,ission will issue an Order designating the titre and place of the hearing. If the licerste fails to request a hearing within 30 days of the date of this Order, the provisions to this Order shall be effective witnout further proceedings. If payrrent has not been made by L.',at time, the natter may be referred to the Attorney General for collection.
In the event the licensee requests a hearing as provided above, the issue to be censidered at such hearing shall be:
whether en the basis of the violatioris set forth in the flotice cf Violation and Proposed Imposition of Civil Penalty referenced in Section !! above, which the licensee has admitted, this Orcer should tie sustained.
FOR THE tlUCt. EAR REGULATORY CCMMISSION
- l h "C Ty , Deputy Executive Director V for Operatlons Dated at Reckville,flaryland thisjl4dayofCctober1988
I l
APPENDIX EVALUATION AND CONCLUSION On May 4, 1988 a Notice of Violation and Proposed Imposition of Civil Pendity !
(Notice) was issued for violations identified during an NRC inspection. Florida Power Corporation responded to the Notice on June 2, 1988. The licensee admits the violation, but request 3 mitigation of the civil penalty. t Restatement of Violation >
(
10 CFR Part 50, Appendix B, Criterinn XVI, requires measures be established to j
assure that conditions adverse to quality, such as failures, malfunctions, ;
deficiencies, deviations, defective materials and equipment, and none i cenformances are promptly identified and corrected. i Contrary to the above, from May 1980 until October 1987, the licensee failed to ;
assure that a condition adverse to quality, nanely, a potentially overloaded l emergency diesel generator (EDG), was promptly identified and corrected.
Specifically: (a) the load on EDG/A, for certain design basis events, would l
have been approxfnately 3545 kw which is above the manufacturer's published ,
l 30-minute rating of 3300 kw; (b) on several occasione, the licensee performed the 18-month surveillance testing of both A and B diesel generators with loads ;
above the 3000 kw rating, and the licensee failed to identify and perform, ,
af ter each such run, the manufacturer's recomended inspection of certain
- critical components; and (c) the licensee had not identified that surveillance
' testing was performed at a maxirum of 3100 kw even though the worst case design !
basis accident load given in the Final Safety Analysis Report is 3180 kw.
Sumary of 1.f censee's Response
\
f Florida Power Corporation (FPC) admits that the violation occurred and does I not take issue with its Severity level. However, FTC requests mitigation of ;
- the civil penalty on the basis that the mitigation factors in 10 CFR Part 2 l l
Appendix C,Section V,B., were not appropriately applied in assessing the l penalty, its argunents in support of mitigation r e that its corrective 1
actions were timely and aggressive, that it identified the violation, and ,
! that proper credit was nat given for its Configuration Management Program. i l
i NRC Evaluation
! Under the NRC's Enforcement Policy, in ef fect at the time of the violation l was identified, reductions of up to 50% of the base civil penalty may be given l when a licensee identifies the violation and promptly reports it to the NRC. f
)
i in weighing this factor, consideration will be given to, among other things, :
I j the length of time'the violatinn existed prior to discovery, the opportunity !
available to discuver the violation, the ease of discovery and the promptness and completeness of any required report. In addition, the staff gives credit i for effective comprehensive licenset programs for detection of prcblems that I may constitute, or lead te violation of regulatory requirements. [
t With respect to the problem as described in the NOV, the staff credits the ,
licenste with identifying the problen. The staff recognizes that the problem l 1
existed for approximately seven years as a result of a fundamental error that l i was incorporated at the tire of a design modification (January 1980), but notes l
' that there was not a reasonable opportunity to discover the problem prior to f
r
.. j J
Appendix ,
the time when the licensee began a detailed review of the EDG loading in J'ine 1987. The staff has reconsidered the complexity of the problem as it related to the length of time that it took the licensee to fully realize and understand the extent of the problem, and the premptness and completeness with 4
which the licensee submitted the required reports. While the licensee argues that mitigation for identification is appropriate based on their comprehensive Ccnfiguration Managerent Program (CHP), the FF,C notes that in the case of this violatten, the problem was not discovered fron the CHP, but rather while determining the setting for an emergency diesel generator directional power relay which was being added to correct prcblems disclosed during an event described in LER 84-003-00. Nevertheless, the staff has concluded to mitigate the original civil penalty by 507, for this factor.
l Mitigation of 50% may also be given for corrective actions which are unusually arompt and extensive. On the other hand, the civil penalty may be increased
)y as much as 50% if inHietion of currective action is not prompt or if the corrective action is only minimally acceptable. In weighing this factor, J
consideration will be given to, among other things, the timeliness of the corrective action, degree of licensee initiative, and the comprehensiveness i
of the corrective action--such as whether the action is focused narrowly to the
! specific violation or broadly to the general area of concern.
Alt 5nugh the special testing which was conducted to empirically confirm the
- loading calculations was an important part of the licensee's corrective action, the performance of these tests was only done at the insistence of the NRC to f support the licensee's request foi en exemption from the requirements of GDC-17.
Furthermore, while the licensee is complying with the terms of the exemption, the licensee has not yet impicmented the long-term solution to bring the facility into cocpliance with GDC-17. As noted in the staff's h0V, the CMP represents a positive comitment to programatic cor. figuration enhancement; however, weaknesses still exist and need to be remedied in your planned efforts to improve the effectiveress of the CMP for prompt corrective action in the resolution of design problems. Therefore, tesed en .1 review of the above considerations for the factor of corrective actions, the base ancunt was not citigated or escalateo.
NPC Conclusi:n for reasons set forth herein, the NRC Staff has concluded that the licensee has provided an adequate basis for mitigation of the civil peralty by 50%.
Consequently, the civil penalty in the amount of $25,000 shculd be imposed.
..o. ,
Florica Power Corporation :
DISTRIBUTION:
, PDR LPDR 7 SECY CA i JTaylor, DEDRO JNGrace, Rll i
-JLieberman, OE RPerfetti, OE LChandler, OGC Fingram, PA GJohnson, RM Enforcement Coordinators RI, RII, RI!!, RIV, RV TMurley NRR [
DCrutchfield, NRR
SConnelly, OIA !
EJordan, AE00 :
CA file !
ES File State of Florida DCS l l
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RPerfetti HWong HLErnst LChander JLieberman aflor 10/15/88 10/2 T/88 104W88 10h5/88 10L y/88 1/g/88 j i
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