ML20207J519

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Ack Receipt of 860925 Response to Insp Rept 50-302/86-25 & 860825 Notice of Violation.Violation B Re Failure to Fill Position of Emergency Liaison Officer Remains as Stated. Response to Violation Requested within 30 Days of Ltr Date
ML20207J519
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 12/23/1986
From: Grace J
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
To: Wilgus W
FLORIDA POWER CORP.
References
NUDOCS 8701080501
Download: ML20207J519 (2)


See also: IR 05000302/1986025

Text

_ ~

OF/isa/

DEC 2 31986

Florida Power Corporation

ATTN: Mr. W. S. Wilgus

Vice President Nuclear Operations

P. O. Box 14042, M.A.C. C-2-M

St. Petersburg, FL 33733

Gentlemen:

SUBJECT: REPORT NO. 50-302/86-25

Thank you for your response of September 25, 1986, to our Notice of Violation

issued on August 25, 1986, concerning activities conducted at your Crystal River

facility. A preliminary acknowledgement of your response was provided in our

letter of October 28, 1986. We have completed our evaluation of your response

and have determined that it meets the requirements of 10 CFR 2.201.

With regard to your denial of Violation B, your response failed to adequately

describe how individuals designated to fill the position of Emergency Liaison

Officer (i.e., offsite communicator) are to be trained for that position in

accordance with the requirements cited in the Notice of Violation, viz.,

10 CFR 50.47(b)(15) and Section 19.0 of the Radiological Emergency Response Plan

(RERP) which requires that communications training be incorporated into the

emergency preparedness training program. Your statement that the " Emergency

Coordinator will provide specific and direct guidance to the individual making

the notification resulting in real-time training" is not acceptable. In the

past, during real emergencies at.other licensee facilities, the use of previously

untrained staff, such as guards or STA, for communications led to the inadequate

transfer of information. The concept of on-the-spot or "real time" training

during an emergency is inconsistent with the letter and intent of the regulatory

and RERP requirements listed above.

We have concluded, for the reasons given above, that Violation B occurred as

stated in the Notice of Violation.

Pursuant to 10 CFR 2.201, you are required to submit to this office, within

30 days of the date of this letter, a written statement of the steps you have

taken or plan to take to correct and prevent recurrence of this violation and the

date when full compliance will be achieved.

The responses directed by this letter are not subject to the clearance procedures

of the Office of Management and Budget issued under the Paperwork Reduction Act

of 1980, PL 96-511.

8701080501 861223

PDR ADOCK 05000302

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Florida Power Corporation 2

If you have questions pertaining to the contents of this letter, please call

Messers. D. M. Collins or T. R. Decker of rqy staff at 404-331-5586 or

404-331-2559, respectively.

We appreciate you cooperation in this matter.

Sincerely,

DBlG!!i.- .ud BY:

\5,liTJAa GaACE

J. Nelson Grace

cc: . F. McKee, Director

\ Nuclear Plant Operations

QR. C. Widell, Manager

Nuclear Operations Licensing

and Fuel Management

bec: RC Resident Inspector

Document Control Desk

State of Florida

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