ML20214K477

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Insp Repts 50-327/86-01 & 50-328/86-01 on 860106-17,0210-14 & 0623-27.Deficiencies Noted:Failure to Demonstrate Qualification for Eight Types of Equipment & One Sys & Failure to Install Equipment in Qualified Environ
ML20214K477
Person / Time
Site: Sequoyah  Tennessee Valley Authority icon.png
Issue date: 08/11/1986
From: Hubbard G, Potapovs U
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II), NRC OFFICE OF INSPECTION & ENFORCEMENT (IE)
To:
Shared Package
ML20214K471 List:
References
50-327-86-01, 50-327-86-1, 50-328-86-01, 50-328-86-1, NUDOCS 8608210117
Download: ML20214K477 (30)


See also: IR 05000327/1986001

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U.S. NUCLEAR REGULATORY COMMISSION

OFFICE OF INSPECTION AND ENFORCEMENT

Report Nos: 50-327/86-01; 50-328/86-01

Docket Nos: 50-327/328

License Nos: DPR-77, DPR-79

Licensee: Tennessee Valley Authority

' 831 Power Building

Chattanooga, Tennessee 37401

Facility Name: Sequoyah Nuclear Plant, Units 1 and 2

Inspection At: Knoxville and Chattanooga, Tennessee

Inspection Conducted: January 6-17, February 10-14, and June 23-27, 1986

Inspector: . 7- Date

G. T. Hubbard, Equipment Qualification & Test

Engineer

Also participating in the inspection and contributing to the report were:

U. Potapovs, Chief, Equipment Qualification Inspection Section, IE

S. D. Alexander, Engineer, IE

R. N. Moist, Inspector,.IE

A. R. Johnson, Engineer, IE

P. Shemanski, Engineer, NRR

A. S. Masciantonio, Engineer, NRR

R. O. Karsch, Engineer, NRR

A. B. Ruff, Reactor Engineer, RII

L. F. Foster, Reactor Inspector, RII

L. D. Bustard, Member of Technical Staff, Sandia National Laboratories (SNL)

V. J. Dandini, Member of Technical Staff, SNL

J. W. Grossman, Member of Tec Staff, SNL

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Approved by: Lk h d / 2.-zV2- - O d'IN

U. Potapovs, Chief, Equi; ment Qualification Date

Inspection Section, IE i

8608210117 860815

PDR ADOCK 05000327

G POR

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INSPECTION SUMMARY

Inspection on January 6-17, February 10-14,and June 23-27, 1986 (Inspection

Report Nos.50-327/86-01; 50-328/86-01)

Areas Inspected: Announced inspection to review the licensee's implementation

of a program per the requirements of 10 CFR 50.49 for establishing and maintaining

the qualification of electric equipment within the scope of 10 CFR 50.49.

Results: The inspection determined that the licensee has implemented a program

to meet the requirements of 10 CFR 50.49, except for certain deficiencies listed

below. At the completion of this inspection, the licensee was in the process

of finishing activities to establish qualification of equipment within the scope

of 10 CFR 50.49; therefore, a follow-up NRC EQ inspection will be performed prior

to plant restart.

Report

Name

Paragraph Item Number

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Potential Enforcement / Unresolved Items:

4.D.(1)(a) 50-327/86-01-06;

1. Masoneilan 8012 Level Control Valve

50-328/86-01-06

Westinghouse Modular Electrical 4.0.(1)(b) 50-327/86-01-07;-

2.

1

Penetration' Assembly 50-328/86-01-07

4.D.(1)(c) 50-327/86-01-08;

3. Essex Power and Control Cable

50-328/86-01-08

ASCO Solenoid Valve, Model 206-381 4.0.(1)(d) 50-327/86-01-09;

4.

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50-328/86-01-09

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Nutherm 32KW Air Duct Heater 4.D.(1)(e) 50-327/86-01-10;

5.

50-328/86-01-10

GA Technologies RD-23 Radiation 4.0.(1)(f) 50-327/86-01-11;

6.

Detector / Brand-Rex Coaxial Cable 50-328/86-01-11

Eaton Multiconductor Signal Cable 4.D.(1)(g) 50-327/86-01-12;

7.

50-328/86-01-12

Limitorque Motor Valve Operators 4.D.(1)(h) 50-327/86-01-13;

8.

50-328/86-01-13

Cyprus (Rome) Power and Control 4.D.(1)(1) 50-327/86-01-14;

9.

Cable 50-328/86-01-14

10. Barton Transmitter, Lot 7-764 4.D.(2) 50-328/86-01-15

11. Raychem Splices / Breakouts 4.F.(1) 50-327/86-01-15;

50-328/86-01-16

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Open Items:

12. Completion of EQ Training 4.A(4) 50-327/86-01-01;

50-328/86-01-01

13. Completion of Audit Corrective Actions 4.A(6) 50-327/86-01-02;

50-328/86-01-02-

4.B. 50-327/86-01-03;

14. Revision to Maintenance Procedure

SQM 62

50-328/86-01-03

15. Completion of Maintenance Program 4.B. 50-327/86-01-04;

50-328/86-01-04

16. Equipment Maintenance History 4.8 50-327/86-01-05;

Effects on Qualification 50-328/86-01-05

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DETAILS

1. PERSONS CONTACTED:

1.1 Tennessee Valley Authority (TVA)

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H. L. Abercrombie, Sequoyah Site Director

R. A. Sessoms, EQ Project Manager

C. E. Cantrell, Assistant to EQ Project Manager

D. W. Wilson, Project Engineer

D. L. Williams, Supervisor, Nuclear Licensing Staff

E. Daugherty, Commodity Group Leader (CGL)

J. E. Wills, Nuclear Licensing Engineer

W. L. Elliot, Commodity Group Manager

J. A. Teague, Site Support Coordination Manager

T. E. Spinks, Technical Advisor - QC Programs and Procedures

D. L. Reed, CGL

R. W.McIntosh,

L. N. Cantrell, Manager

Technical-Staff

Office

EQ ofProject

Engineering)

(EQP

J. F. Wagner, CGL

D. L. Kitchel,.WBN EQP

F. W. Tanner, Management Review Team Member

R. J. Pratt, FQ Evaluator

K. W. Brown, CGL

R. A. Brown, EQ Evaluator

D. B. Arp, EQ Evaluator

A. W. Thomas, EQ Evaluator

D.- F. Ackerly, EQ Evaluator

J. K. Greene, EQ Evaluator

N. A. Pike, EQ Evaluator

A. W. Lewis, EQ Evaluator

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D. D. Dayton, E0 Evaluator

E. E. McBee, EQ Evaluator

D. L. Kirby, Sytems Engineer

T. R. Witmer, Aging Analyst

P. Johnson, Aging / Management Review Staff

W. C. Graham, EQ Evaluator

L. P. Woodley, EQ Evaluator

T. S. Orr, EQ Evaluator

B. E. Reagan, EQ Evaluator

R. D. McKnight, EQ Evaluator

C. D. Helton, EQ Evaluator

R. C. Foust, EQ Evaluator

0. H. Seals, Systems Engineer

F. Denny, Quality Management Staff

R. L. Mills, Engineer

D. Rom.ine, Engineer

R. Poole, Engineering Assistant

R. J. Griffin, Nuclear Safety Review Staff (NSRS) Site Representative

G. T. Hall, Engineer

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W. S. Wilburn, Technical Services Manager

C. R. Brimer, Manager - Site Services

B. S. Schofield, Engineer

D. E. Crawley, Health Physics Supervisor

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G. B. Kirk, Compliance Supervisor i

J. T. Crittenden, Chief Public Safety

H. D. Elkins, Jr., Group Supervisor

M. J. Edwards, Health Physics

C. W. LaFever, Instrumentation Engineering Supervisor

D. H. Tullis, Mechanical Maintenance Supervisor

R. N. Butler, QA Evaluator "

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C. M. Lowe II, QA Engineel-

R. L. Bruce. Program & Standard Section Supervisor

H. B. Rankin, Design Services, Manager

R. C. Denney, Design Services, Staff

B. M. Patterson, Maintenance Superintendent

P. R. Wallace, Plant Manager

L. M. Nobles, Superintendent D8E

R. C. Birchell, Mechanical Engineer ,

J. M. Blankenship, Information Officer

R. W. Olson, Modification Manager

D. L. Jeralds, Instrumentation Craf t Supervisor

M. R. Sedlacik, Electrical Modifications Supervisor

J. P. Vineyard, OE Project Manager

M. A. Skarzinski, Electrical Maintenance Supervisor

B. W. Hooper, Electrical Maintenance

J. M. Anthony, Operations Group Supervisor

L. S. Bryant, Mechanical Maintenance Engineering Supervisor

M. R. Harding, Engineering Group Manager

R. E. Alsup, Licensing Project Manager

S. W. Littrell, EQ Coordinator

R. Gladney, Instrument Maintenance Engineering Supervisor

W. E. Andrews, Site Quality Manager

F. C. Mashburn, Nuclear Engineer

T. M. Galbreth, Site Representative

J. W. Kelly, E.A. Engineer

T. Kontovich, Electrical Maintenance Engineering Supervisor

F. D. Cuzzort, Electrical Engineer

R. L. Collins, Electrical Project Staff Engineer

R. H. O'Donnell, OE Staff Engineer

C. E. Chmielewski, Nuclear Engineer

R. M. Mooney, Supervisor Systems Engineer Section

J. L. Hamilton, QE/QC Supervisor

A. E. Ives, Program Administration

R. W. Fortenberry, Engineering Section Supervisor

R. C. Manley, Planning and Scheduling Supervisor

R. Sauer, Employee Concerns

T. Galbreth, Employee Concers

J. S. Nieri, SQN Employee Concerns

1.2 Consultants

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C. J. Crane, Westec Services, Inc.

K. E. Weise, Westec Services, Inc.

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1.3 Observer

R. K. Ho, Consultant to Nuclear Utility Group on EQ

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1.4 NRC

R. H. Wessman, Senior Managenent Team Staff -

L. J. Watson, Resident Inspector

D. P. Loveless, Resident Inspector

T. E. Conlon, Chief, PSS

G. G. Zech, Chief, Vendor Program Branch

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2. PURPOSE

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The purpose of this inspection was to review the licensee's implementa-

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tion _of a program.to meet the requirements of 10 CFR 50.49 for Sequoyah

Nuclear Plant (SQN), Units 1 and 2.

3. BACKGROUND-

The NRC held a meeting with TVA on May 10, 1984 to discuss TVA's proposed

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methods to resolve the equipment qualification (EQ) deficiencies _ identified'

in the Safety Evaluation Report (SER) dated April 26, 1983 for Units 1 and

2 and in the Franklin Research Center (FRC) Technical. Evaluation Reports

(TERs) dated March 31, 1983 for both units. Discussions also included TVA's

general metho' d ology for compliance with 10 CFR 50.49 and Justification for

i Continued Operation (JCO) for those items for which environmental qualifi-

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cation was not complete. Based on TVA letters dated November 14, 1983, and

March 23 and April 3,1984 the NRC granted TVA a scheduler extension to -

10 CFR 50.49(g) requirements until November 30, 1985 for Unit 1. Addi-

tionally, based on TVA letters dated November 7 and 21,1984, the NRC

granted a similar scheduler extension for Unit 2 until November 30, 1985.

In both cases, JC0s were submitted for equipment which had not been quali-

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fied in time to meet rule deadline requirements of Spring 1984 for Unit 1

and Fall 1984 for Unit 2.

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On August 21-22, 1985 TVA shutdown both units of SQN due to concerns that

documentation at TVA nuclear sites might be inadequate for environmental

qualification of electrical equipment within the scope of 10 CFR 50.49.

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This decision was based on the results of a TVA management review of the

environmental qualification activities for compliance with 10 CFR 50.49

at TVA nuclear sites. This review was conducted by TVA staff and Westec

Services, Inc. Based on this decision and the results of the review, TVA

initiated an indepth program to ensure that environmental qualification of

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all electrical equipment within the scope of 10 CFR 50.49 was established

at SQN and all other TVA nuclear sites.

4. FINDINGS

' The NRC inspectors examined the licensee's program for establishing the

qualification of electric equipment within the scope of 10 CFR 50.49.

The program was evaluated by examination of the licensee's qualification

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documentation files, review of procedures for controlling the licensee's

EQ efforts, verification of the adequacy and accuracy of the licensee's

i 10 CFR 50.49 equipment list, examination of the licensee's program for

maintaining the qualified status of the covered electric equipment, and

evaluation of the licensee's corrective action on the findings of the

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TVA/Westec management review.

The NRC inspectors determined that TVA had developed and had implemented

a new EQ program which is defined in the program plans of the " Environ-

mental Qualification Project Manual." The licensee had established quali-

fication of the equipment within the scope of 10 CFR 50.49 and had docu-

mented the qualification in E0 binders. These binders also established the

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installation and maintenance criteria for the equipment. In cases where

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additional activities were necessary to ensure qualification, open items

were identified in the front of the binders and a means of assuring com-

pletion of these activities was established. In addition. ,the plant was

required to verify and to document that all maintenance requirements had

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been met.

The licensee's EQ Project _(E0P) had generated over 60 Significant Conditions

Report (SCRs) that.affected EQ. The EQP also. identified approximately 30

SCRs that were EQ related but were generated by _other licensee organizations.

These items were being tracked and a method of assuring completion of both

groups of SCRs prior to restart was established. Approximately 12 other

outstanding technical issues, including the effect of mainsteam line break l

(MSLB) superheat in the valve vault, have been resolved or are being followed

to assure adequate resolution, including field modifications if necessary.

The issue concerning MSLB superheat in the valve vault was not addressed

in the preparation of the binders since final environmental conditions

for the vault had not been established when the binders were prepared.

The licensee stated that the binders would be revised to establish quali-

fication of equipment for any changes in environmental conditions once this

issue was resolved.

Based on the inspection findings, which are discussed in more detail below,

the inspection team determined that TVA has implemented a program to meet

the requirements of 10 CFR 50.49. Although some deficiencies have been

identified, qualification of electric equipment within the scope of the

rule will be established prior to SQN restart.

A. E0 Program Procedures

The inspectors reviewed the licensee's program to determine whether

10 CFR 50.49 requirements concerning environmental qualification of.

electrical equipment important to safety had been factored into in-

structions and procedures. The licensee had established a project

within the Office of Engineering (0E) to develop an equipment

qualification program. This project initiated the program, established

the basic requirements and guidelines, developed the_10 CFR 50.49

List, and prepared the EQ binders, that reflect the installed status

of EQ equipment for Sequoyah. The activities and applicable

procedures reviewed durir.g this inspection are detailed below:

(1) Office of Engineering Procedures

Environmental Qualification Project Manual, (EQP-01), issued by

OE, described the methods and format used to document equipment

evaluations required to demonstrate compliance with 10 CFR 50.49.

This manual provided instructions for performing environmental

qualification (EQ) evaluations and for completing auditable EQ

files. The documents for the files were placed in uniquely iden-

tified EQ binders (EQBs). Each binder addressed a generic piece of

equipment that was used in various applications in the plant. All

plant quipment included in each binder was uniquely identified

and traceable to its generic counterpart. Each EQB consisted

of the following sections:

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(a) Title page referring to the vendor and equipment types

- (b Revision log

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(c Table of Contents . .

(d Open item and qualification deficiency listing

(e TAB A - Identification of equipment comprising the equipment

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(f) TAB B - Checklist for evaluation of environmental qualifica-

tion including summary and conclusion

. (g) TAB C - Analyses and justification

(h) TAB D - Qualification documents

(1) TAB E - Miscellaneous. documents and correspondence

(j) TAB F - Field verification' data

(k) TAB G - Qualification maintenance data sheets

(1) TAB H - Vendor instruction manual

(m) TAB I'- Vendor drawing for equipment.

(n) TAB J - Evaluation of IE circulars, bulletins, and vendor

bulletins

One of the major parts of the EQB was Tab B which was a check-

list that was used by the binder preparers. By filling out

the checklist properly, the preparer (evaluator) ensured, that

i' equipment.was qualified or corrective ' action was initiated to

bring equipment into qualification. The checklist was compre-

hensive and listed items under each of its major headings that-

the preparer used to aid him in determining qualification. The

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evaluator's (preparer's) comments for each item on the checklist'

were supported by material in other sections-(TABS) of the EQB.

This support material was referenced specifically by TAB No. and page

and paragraph number. This detailed checklist allowed the auditor

to quickly find the supporting ' documentation and/or analysis for the

i particular piece of equipment. The checklist consisted of the

following major headings:

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i (a) Documentation

(b) Conclusion of Review

(c) Qualification Criteria

(d) Qualification Methodology

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e) Equipment Description

[ f) Installation Interfaces

g) Test Sequence

h) Aging

i) Material Analysis

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j) Equipment Electrical Characteristics

i k) Required Operating Environment

j 1) Comparison of Test Conditions to Specified Conditions

m) Operability Test Results

n) Maintenance and Surveillance

o) Summary of Review

Another major part of the EQB was TAB G which provided qualifica-

tion maintenance data sheets (QMDS) for each piece of plant

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equipment that was covered by the tinder. Discussion of QPDS

sheets and how they were used is provided in section 4.B. on

maintenance.

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Training on the above documents and other Office of Engineering

procedures was required for preparers and approvers of the EQB,

The training records of personnel were audited on a sampling

' basis and were found to be satisfactory.

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(2) Sequoyah Office of Engineering On-Site Project Documents

TVA had established an on-site Office of Engineering Project

which developed Administrative Instructions specifically

for the 10 CFR 50.49 EQ program. This OE project also acts as

the architect engineer for the site. The following procedures

were reviewed:

(a) Sequoyah Engineering Project (SQEP) Administrative Instruc-

tion, (AI-08A), " Equipment Qualification Program Documenta-

tion." AI-08A specified' how EQBs are maintained and, if

necessary, how new EQBs'will be prepared if this action

' falls within OE responsibility. This document parallels

the requirements specified in EQP-01 which was discussed'

above. AI-08A commits the Office of Engineering to act-

as the architect / engineer for various technical and docu-

ment control activities with regard to the 10 CFR 50.49

program as it affects Sequoyah.

(b) SQEP-AI-11B, " Document Control for EQ Binders and 10 CFR

50.49 List." This instruction provided measures for the

control and distribution of Sequoyah's 10 CFR 50.49 do-

cuments. It discussed how equipment qualification change

notices and Quality-Information Releases (QIRs) are

controlled and how they control changes to EQ binders and

the 10 CFR 50.49 List.

(c) Other Sequoyah Office of Engineering Project Procedures  !

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which had been revised to incorporate changes required by l

10 CFR 50.49 were also reviewed. These procedures were:

(a) SQEP-AI-11, "ECN Handling." This described the methods

to be utilized to handle engineering change notices

(ECNs) and ensure that equipment qualification is

evaluated during the preparation and review of ECNs.

(b) SQEP-AI-11A, "FCR Handling." This described the methods

to control the preparation, review, and approval of

Field Change Requests (FCRs) to ensure that EQ parameters

are considered in FCRs.

(3) Sequoyah Nuclear Plant (Site Power Operations Department)

Documents

Approximately 20 site procedures and instructions were reviewed.

About 1/3 of these procedures / instructions were new and were

specifically written for the 10 CFR 50.49 program. The remaining

2/3 were changed or revised to incorporate 10 CFR 50.49 require-

ments. The procedures provided detailed information and

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instructions for the control of 10'CFR 50.49 ' activities and

the implementation of 10 CFR 50.49 requirements at Sequoyah.

Discussions of some procedures and instructions reviewed are

detailed below:

(a) Sequoyah Admin'istrative Standard Practice, (SQA-173),

"Sequoyah Nuclear Plant- 10 CFR 50.49 Environmental-

Qualification Program." This was the site's standard

practice procedure for maintaining compliance to -

10 CFR 50.49 requirements after the issuance and turn-

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over of the Office of Engineering EQBs and 10 CFR 50.49

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List. SQA 173 defined responsibilities, interfaces,

and control of both onsite and offsite 10 CFR 50.49

programs that affect the Sequoyah site. This document

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listed the various implementing documents as they applied

to the 10 CFR 50.49 site program. Some of the responsi-

bilities specified in SQA 173 are assigned to the EQ

Coordinator who was the central figure in the 10 CFR 50.49

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site program. The Plant Maintenance Superintendent, who

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was responsible for maintaining the qualification of EQ'

equipment, had identified the Electrical and Instrumentation -

Supervisors as the responsible _ individuals for all EQ main-

tenance activities, even if the maintenance was outside their

discipline. The plant quality assurance staff performed

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quality control inspections and surveillance of the site's

EQ program.

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(b) SQt. 174, "10 CFR 50.49 List and E08 Control." This proce-

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dure was written specifically to control the on-site distri-

bution and revisions to the EQBs and the 10 CFR 50.49 List.

The.QIR was used as the notification vehicle of on-site

initiated changes to these documents. Af ter a modification,-

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which affected 10 CFR 50.49, equipment item was completed, ~

a QIR was used to notify appropriate personnel. OE used

the environmental qualification change notice as the vehicle

to alert users of EQ changes that were accomplished by ECNs.

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Changes that affect Design Base Events (DBE) require a Design

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Change Request.

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(c) SQA 175, " Equipment Information System (EQIS)." The EQIS

was a computer system which was the data base for component

data. Procedure SOA 175 described the controls and require-

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ments placed upon the use of the EQIS to ensure an accurate

data base for safety-related (S/R) (especially 10 CFR 50.49)

equipment. Controls were accomplished with software security,

' audits, and administrative controls of data input. EQIS

was utilized as a machinery history record for the " required"

maintenance items on the QMDS for 10 CFR 50.49 equipment.

(d) SQA 161, " Procurement of 10 CFR 50.49 Equipment." This

procedure established the plant requirements for ensuring

that unique technical requirements are met during the

procurement of electrical equipment included under 10 CFR

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50.49. This applied to all materials,1 components, and

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spare parts used dur.ing replacement and maintenance of

equipment. This procedure assigned particular respon-

sibilities and -functions to certain organizations to help

ensure that proper materials and parts are specified,

procured, fabricated, tested, received. . identified, and -

stored to meet and maintain. the technical and environmental

requirements of 10 CFR 50.49 equipment.

(e) Other procedures.and instructions had been revised to

implement the requirements-of the Sequoyah 10 CFR 50.49

program. These documents were reviewed to. determine if '

they included provisions to ensure adequate control of

procurement, maintenance, receipt inspection, storage,

modification, vendor technical information, nonconfor-

mances, and documentation activities associated with

10 CFR 50.49 equipment. Pertinent comments were dis-

cussed and resolved with licensee personnel.- Sequoyah

Nuclear Plant' documents reviewed are listed below:

! SQM 1, " Maintenance Program"

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SQM 2, " Maintenance Management System"

SQM 57, " Preventive Maintenance Program"

i SQM 50, " Maintenance History and Trending"

AI-4, " Document Control"

AI-11, " Receipt Inspection, Nonconforming Items, QA

Level / Description Changes and Substitutions"

AI-19, " Plant Modifications Af ter Licensing"

AI-23, " Vendor Manual Control"

AI-36, " Storage, Handling, and Shipping of QA Material"

AI-39, " Critical Structures, Systems and Components

(CSSC)" .

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SQA26, " Review, Reporting, and Feedback of Operating '

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Experience Items"

SQA45, " Quality Control of Material and Parts and

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p SQA125, " Controlled Documents"

SQA134, " Critical Structures, Systems, and Components

(CSSC) List"

(f) Several items of improvement / clarification were discussed

with licensee personnel and are being considered for

inclusion-in future changes to procedures. Improvements

being considered are listed below:

(1) An abbreviation and definition section should be added

to each procedure. This section should follow the

scoping and reference sections such that it precedes

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the main body of the procedure.

(2) A change should be made to forms (TVA 575 etc.) so

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that the preparer has to consider and indicate certain

instructions on the form such as:

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10 CFR 50.49 material: Yes No

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CSSC: Yes No

2)

3) QA Level , No QA Required

At the time of the inspections, this information was

being put on the forms by a rubber stamp.

(3) Deletion of a note and caution note in SQA 45 that is

confusing and not needed in light of requirement that

precedes these notes. That is, delete reference to

the write in phrase, "For General Plant Use" on TVA

Form 575, (See b above).

(4) Correction of several typos identified to the licensee.

These improvement / clarification items discussed with

licensee personnel are not considered significant

relative to meeting program requirements; therefore,

no follow-up during future NRC inspections will be

performed concerning these items.

(4) Training - A training session on the general aspects of EQ was

monitored. The presentation of this training was considered

professional and informative with regard to EQ. The presen-

tation described the history of EQ and discussed the impact of

items such as General Design Criteria, Union of Concerned

Scientists (UCS), IE Information Notices, IE Bulletins, IE

Circulars, Commission Orders, Generic Letters and finally, the

resulting 10 CFR 50.49 Rule (Law). The training session relayed

to the participants the importance of Environmental Qualification

of electrical equipment in potential harsh environments and how

the successful implementation of the program depended upon each

employee.

At the time of the February inspection, approximately 500 licensee

perscnnel had attended this general EQ Training. It was estimated

that approximately 200 more employees were to attend the training.

Training also was required for selected employees on various

Sequoyah 10 CFR 50.49 procedures and instructions. This training

consists of an 8 hour9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br /> Seminar / Training Session. At the time of

i

the February inspection, approximately 75 licensee personnel had

attended this training course. The licensee stated that approxi-

mately 150 more employees were to attend this training. At the

time of the February inspections, attendance records, for both

these training programs were reviewed to confirm class attendance.

Completion of the above training is considered an Open Item

(50-327/86-01-01; 50-328/86-01-01) which will be reviewed during

the follow-up inspection prior to restart.

I

(5) Nuclear Power Stores Tour

The inspectors performed a walkthrough inspection of the Nuclear

Power Stores. This walkthrough revealed the following:

(a) 10 CFR 50.49 equipment / parts are uniquely identified.

8

.

- _ _ _ . -- . . . _ . . - . -. - _ - - . - . ._-

- _ _ _ - - _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ - _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _

.

,..

.

(b) 10 CFR Part 50.49 equipment and parts appeared to be

' adequately stored.

(c) Some individual parts were separately bagged for

protection and control.

(d) Storeroom areas were being well maintained.

(e) Shelf life items were identified as such and items

examined were within their allotted shelf life.

(f) The control and use of commercial spray can products

(waxes, oils, pest control, etc.) contain detrimental

chemicals was discussed.

(g) Items were easily located and were stacked for easy

access.

(h) Temperature and humidity was being controlled.

A discussion with stores personnel also indicated that no

equipment / parts were being released on TVA Form 575 unless

10 CFR 50.49 or Non 10 CFR 50.49 was designated on the form.

(6) Review of TVA's Internal Audits of the EQ Program

TVA has conducted several audits of the EQ program since it

was established following the shutdown of SQN in August 1985.

These audits have included a management audit in November 1985,

a QA audit in December 1985, an'd an engineering assurance audit in

April-May 1986. These audits included review of the EQP activi-

ties in both Knoxville and Chattangoca, the site's OE project,

,

and the Office of Nuclear Power. The NRC inspectors reviewed the

two issued audit reports and preliminary finding notices from the

engineering assurance audit (the report had not been issued).

The inspectors also held discussions with audit team members.

The reviews of the reports and the discussions with audit team

members indicated that the audits identified some findings re-

quiring corrective action; as well as, some recommendations to

l

clarify or improve certain aspects of the EQ program. Corrective

'

action was being taken by the licensee; however, it had not been

completed. Completion of audit corrective actions is considered

an Open Item. (50-327/86-01-02; 50-328/86-01-02.) which will be

reivewed in the follow-up inspection.

Based on the inspectors' review of procedures, discussions with

licensee personnel, and review of documentation, the inspection team

determined that 10 CFR 50.49 requirements concerning environmental

qualification of electrical equipment important to safety were

factored into the licensee's instructions and procedures and the

licensee had implemented them.

9

- _ - - _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _

..

..

. .

.

B. E0 Maintenance Program

The NRC inspectors reviewed the licensee's provisions for preserving

the qualified status of equipment qualified to 10 CFR 50.49. Tab G

of the EQ binders provided QMDSs for each piece of plant equipment

that is covered by the binder. The QMDS sheets specified the required

maintenance to ensure continued qualification and listed the recommended

maintenance and/or surveillance activities. The recommendations fcr

maintenance and surveillance activities aid in detecting material or

equipment performance degradation and provide aid in maintaining the

equipment in a qualified state for potential harsh environments.

The NRC inspectors reviewed maintenance procedures SQM 62 ("10 CFR

50.49 Program, Qualification Maintenance Data Sheets Implementation"),

SQM 1, SQM 2, SQM 57, and SQM 58. Procedure SQM 62 addressed the

utilization of QMDS documentation and was written'specifically for

implementation of the documentation. The QMDS documentation is

used by schedulers and maintenance personnel to ensure mairtenance

documents are prepared, maintenance activities are scheduled, and

maintenance work is performed. During the inspectors review of this

procedure and discussions with SQN personnel, the inspectors recom-

mended that the procedure should have the change evaluation, described

' in SQM 57, incorporated in this procedure. The inspectors also re-

commended that the QMDSs " Storage Requirement" should be addressed

in this procedure. SQN personnel stated that these recommendations

would be incorporated in the next revision to the procedure. Incor-

poration of the above revision is considered an open item (50-327/

86-01-03; 50-328/86-01-03) which will be reviewed during a future

NRC inspection.

Appendix C of SQM 62 was used to ensure that all QMDS requirements

and recommendations were accounted for in the maintenance and

surveillance programs. A typical Appendix C form included the

unique equipment identification number, EQ binder number, type of

requirement, frequency of activity, implementation procedure number,

and the responsible site group. The inspectors reviewed six

Appendix C forms which had been completed for 10 CFR 50.49 items.

The inspectors also reviewed records in the instrumentation and

electrical maintenance areas for several EQ Binder QMDS items. This

review included a brief walk / talk through of several QMDS items on

the EQIS and Preventive Maintenance (PM) computer system. This re-

.

view revealed that implementation of the program in this area was

'

being accomplished. The inspectors were advised that all " essential"

,

QMDS items were not complete. These QMDSs are being tracked to en-

sure all are being worked. During the June inspection, the inspectors

reviewed the QMDS status which showed completions ranging from 86% to

96% for Units 1 & 2 in the electrical and instrument areas.

10

.- - - - . . - . . . - . - __

'

. .

.

. .

,

The inspectors review of the licensee's procedures and records

determined that the licensee was implementing a program to maintain

the qualified status of 10 CFR 50.49 items; however, the program was

not complete at the time of the inspection. Since the licensee had

.

not completed the implementation of his maintenance program for EQ-

i equipment, completion of this effort is identified as an open item

c

-(50-327/86-01-04; 50-328/86-01-04) which will be reviewed during

the follow-up NRC inspection.

In addition.to the completion of the licensee's OMDS program, the.

.

inspectors were concerned with the depth of the review the li:ensee

> was performing to ensure a valid qualification baseline was esta-

blished. The licensee based the ' qualification of 10 CFR.50.49

equipment on the assumption that equipment-is installed and main-

tained in accordance with standard vendor.reconenended practices /

procedures. If these are not followed or activities are perforled.

on the equipment outside vendor recemmendations, the qualified

status of the equipment may be affected. While it was determined

during the inspection that the licensee is establishing.a quali-

1

fication baseline for all equipment, there is concern that instal-

! lation procedures and subsequent modification or maintenance acti-

vitie.s on qualified equipment may not have been sufficiently re-

. ,

viewed to determine-if the qualified status of equipment was main-

tained. Examples of this concern are as follows:

(1) During a maintenance inspection at Sequoyah in December,

1985, unresolved item 327/85-45-12 related to the lack of

documented torque requirements on screws holding vendor

supplied mounting brackets on four model 8316 ASCO solenoid

4

valves (1-FSV-63-42, -63-42,-68-305, and -77-20). Based

on the inspector's review

workofpackage

engineering) change notice (ECN)

6487 and the associated (WP 11806. the in-

' spector noted that neither the ECN nor the WP denoted any

special requirements for disassembly or reassembly of these

,

valves to allow for installation. In the above cases one

i

' or both of the valve mounting brackets were removed and no- '

l

screw torque requirements could be identified in the in-

.

sta11ation documentation as required in vendor instructions.

! There instructions need to be followed in order to main-

tain qualification. Since -that inspection, the licensee

,

,-

has ensured that the screws have been torqued in the proper

j sequence and to the appropriate levels.

(2) Paragraph 4.F (1) documents examples of Raychem splices /

bn akouts which were not installed according to vendor

recemmended procedures. While it is acknowledged that

a significant condition report (SCR) had been written

to inspect Raychem breakouts for possible installation

i-

problems, this was only after the problem had been

identified at TVA's Watts Bar Nuclear Plant and not as

a result of any planned activities of the Sequoyah EQ

program in the establishment of equipment qualification

baselines. Additionally, the SCR does not address some

.

of the deficiencies that were identified during the NRC

! walkdown.

.

11

l

'

_ __._.._._ _ ___ _. _-_,_. _.._,..___ __ _ _ _ . __.-,-_m___,_______

. _ . . _ . .__- . _

v.

. .

. .

.

(3) Paragraph 4.F (2) documents the fact that the initial

qualification of ASCO solenoid valves was.used on the-

assumption that'no thread sealant was used at interface

connections; however, the NRC walkdown inspection iden-

tified extensive use of thread sealant on most of the

valves inspected.- Although TVA has now determined that

the use of thread sealant is acceptable within defined

'

guidelines', the use of thread sealant was not pennitted

initially by documentation in the qualification binder.

Based on discussions with the licensee both during and following-

the inspection, it was determined that the licensee has performed

an extensive review of past documentation and . activities relative

'

to. installation, maintenance, and modification of qualified equip-

ment in establishino maintenance baselines for qualified equipment;

L however, the NRC will perform further review of the licensee's main-

tenance baseline activities during the follow-up inspection. _ This

i NRC review of the licensee's maintenance baselines is considered

an Open Item (50-327/86-01-05; 50-328/86-01-05).

C. EQ Master List

The licensee is required to maintain an up-to-date list of the

equipment that must be qualified under 10 CFR 50.49. The list at .

SQN was entitled "Sequoyah Nuclear Unit 1 and 210 CFR 50.49 List." '

The basis for this list was established from the "Sequoyah Harsh

Equipment List.(SQEL)," which is now a historical engineering .

document. The SQEL was a snapshot of the Sequoyah Unit 1 and 2 as

of September 1985. Since the TVA/Westec review, the SQEL had been

carefully reviewed and upgraded to ensure all appropriate equipment

' was included. For ease of access and control, this list was part

of a computer controlled environmental qualification data base.

,

  • Considered in the preparation of the 50.49 list and the SQEL were

environmental effects resulting from all postulated design-basis

'

accidents (DBAs) documented in the licensee's Final Safety Analysis

Report (FSAR), technical specification limiting conditions for opera-

tion-(LCOs), and emergency operating instructions (E0Is). Also con-

! .

sidered and reviewed in developing the lists were category and opera-

,

ting time documents, definitions of accident assumptions, and category

! definitions.

!

j In order to assure that the licensee's 50.49 list was being main-

'

tained up-to-date, the inspectors performed an indepth evaluation

of the following: (1) findings identified during the TVA/Westec

l

review; (2) the licensee's control of engineering change notices

and their impact on the 50.49 list; (3) procedures for maintaining

the completeness of the list; (4) the validity of accident assump-

tions; (5) E01s to confirm that during an accident the operators

will only be referred to reliable equipment assumed not to fail;

and (6) the 50.49 list to verify its accuracy.

r

I

12

4

,--n,-- , ~,-,,,,=--.-..-+ww, . _ _ , , , . - . - - , , + - - - - - - - --

mmw.----.-,,--.-=,-.,,----,,,v- e -r,, ,,,,.w_-m,--,

-

-,,mer,,,,,,,,m-.,,-

~

.. .

. .

,

The NRC inspectors reviewed the licensee's corrective action on the

following TVA/Westec review findings for SQN which had an effect on

the validity of the 50.49 list:

Observation No.1-SQN: " Completeness of Sequoyah Listing of

Electrical Equipment Located in A Harsh Environment Required to

Satisfy 10 CFR 50.49

Observation No. 2-SQN: " Lack of Documentation for Identification of

10CFR50.49(b)(2) Items-SQN"

Observation No. 3-SON: " Documentation Discrepancies and Technical

Omissions on Environmental Data Drawings"

Observation No. 4-SQN: " Incorrect Operating Times"

Observation No. 6-SQN: " Traceability of Technical Basis for Sequoyah

Class 1E Equipment List for Harsh Environment"

Observation No. 9-SQN: " Error in Emergency Operating Instruction

(E01)"

Observation No.13-SQN: " Lack of Cable Traceability"

Based on the inspectors review of the licensee's corrective action

on the above findings, discussions with licensee personnel, and

review of available documentation; the inspectors determined, during

the January inspection, that the licensee had taken adequate corrective

action on the findings or was pursuing a course of action relative to

the findings that would ensure their adequate resolution prior to SON

restart.

The NRC inspectors reviewed E01s to determine if they only referred

a reactor operator to equipment and systems capable of surviving any

harsh environment resulting from the associated DBA. This was to

ensure the operator would not be confused by misleading readings and

initiate actions which relied on failed equipment. The E0Is in place

during the January inspection at SQN referenced numerous devices and

control systems which would not survive an accident; however, the

licensee stated that they were in the> process of' upgrading procedures

and expected to have them in place in the near future. As an interim

measure operator training emphasized th'at in an emergency, operators <

,

should not rely on any single indication or parameter as a basis for

action, but should confirm readings by tracking independent associated

parameters. Additionally, the operators were trained to give preference

to instruments of known post-accident reliability. At SQN these in- '

struments were identified on the control console as " Post-accident

Monitoring" equipment. Based on reviews of E01 documentation and dis-

cussions with two reactor operators, the inspectors determined that the

licensee's interim measures were adequate to ensure that operators

would not be confused by misleading readings and initiate actions which

relied on failed equipment.

13

. . . -. .- .. -. . . _

. . - . . . -- . . .

, 7; . .

.

. .

,

t

'

'

'

In verifying the validity of the 50.49 list, the inspectors sampled

approximately 700 items of equipment required to be.on the list. In

i addition, certain other items of equipment which performed safety

functions and which might appear to need to be on the list during a

casual review were evaluated for inclusion on the list. To test the

thoroughness of the licensee's list review, the status of selected

< items in this last category were questioned. The licensee provided

satisfactory explanations why these items were not on the list. .The

'

inspectors also determined that," Post-accident Monitoring" equipment

(R.G. 1.97 Program) were in the process of being installed-in the

plant and added to the list. This effort is scheduled to be completed

by September 1987 during'the licensee's cycle four refueling outage.

U that the lists were complete and accurate prior to SQN restart. Since.

the licensee had an adequate program in place for controlling the

lists and no deficiencies were identified during the inspectors

review, no additional, indepth evaluations of the ' licensee's 50.49-

., list is anticipated during the follow-up inspection.

D. Environmental Qualification Files

,

The NRC inspectors examined 93 EQ binders for SQN Units 1 and 2 to  ;'

verify the qualification status of equipment within the scope of

10 CFR 50.49. Two binders (SOL-003 and IXT-001) found acceptable

during a. November 1985 NRR audit were not reviewed during this in-

' spection. Of the total of 95 binders, approximately 50 identified

as "open items" required field work to be accomplished at the plant

in order for the as installed 50.49 equipment to comply with quali--

fication requirements established in the binders. For the binders

,

'

with open items the licensee established a system to verify the

completion of the field work in accordance with binder requirements. .

In addition to comparing plant service conditions with qualification

test data and verifying the basis for these conditions, the inspectors

-

s reviewed areas such as required post-accident operating. time compared

  • to the duration of time the equipment had been demonstrated to be

"

qualified; similarity of tested equipment to that installed in the

i plant (e.g., insulation class, materials of components of the equip-

. .

,

ment, testo configuration compared to. installed configuration, and

'

documentation of both); evaluation of adequacy of test conditions;

aging calculations for qualified life and replacement interval

determination; effects of decreases in insulation resistance on

equipment performance; adequacy of demonstrated accuracy; evaluation

.

of test anomalies; and applicability of EQ problems reported in IE

ins /Bulletir.s and their resolution.

The intpectors found that the binders reviewed were readily auditable

o and documented qualification of the equipment except for the

deficiencies described in the following paragraphs.

.

(1) The NRC inspectors' review of the EQ binders discussed below

j. identified significant deficiencies in the binders to the ex- *

tent that qualification of the covered equipment was not esta-

blished when the inspectors initially reviewed the binders. In

these instances the licensee was able to establish qualification

14

'

,

Uw - , , - - , . .- ~~Um.b.._...-,.-,,-,,., s,- . .mm - - - , , - - m---,,,,_,.-. ..m.,,---m-...p,--.,.._ .--_,---e.. - .. . . . - _ _ ,

_

. .

. .

of the covered equipment either by additional data and/or new

analysis not originally included in the binders. The additional

data and/or new analysis was incorporated by the licensee into

t,inder revisions by June 27, 1986. The inspectors reviewed the

resisions and found the binders to be acceptable for establishing

qualification of the equipment; therefore, further review of the

affected binders is not planned. Even though the licensee was

able to demonstrate qualification of the covered equipment and

resolve the inspectors' concerns the items below are identified

as potential enforcement / unresolved items since qualification

was considered to be not established when the initial review of

the binders was performed.

(a) ihe inspector's review of binder ILCV-001, Masoneilan 8012

level control valve (electropneumatic valve positioner),

determined that documentation in the binder did not

adequately demonstrate the ability of the valve positioner

to maintain proportional function during a DBA. The main-

tenance of proportional function was defined in the binder

as being the functional performance requirement of the

positioner. Based on discussions with the licensee, he was

able.to demonstrate to the inspectors that proportional

function was not required for the valve positioner in its

inplant application. The licensee revised the binder to

reflect the positioner's true functional performance re-

quirement and was able to establish qualification of the

positioner to the new requirement. Since the binder did

not establish qualification to the initially defined

performance requirement this is identified as a Potential

Enforcement /UnresolvedItem(50-327/86-01-06;

50-328/86-01-06).

(b) The inspectors' review of binder PENE-002, Westinghouse

modular electrical penetration assembly (EPA), identified

concerns with the use of Arrhenius methodology with a six

hour duration test at 350 degrees F to demonstrate

qualification (post-accident operability) of EPR o' rings

in the EPAs for a 100 day, 115 degree F, post-accident

environment. The inspectors specifically questioned the

validity of extrapoling a six hour test to demonstrate a

post-accident operability requirement of 2400 hours0.0278 days <br />0.667 hours <br />0.00397 weeks <br />9.132e-4 months <br /> (100

days). Based on discussions with the inspectors, the

licensee revised the binder to include additional data

that established qualification of the EPR o' rings for use

in the EPAs at SQN without using the questioned methodology.

This is identified as a Potential Enforcement / Unresolved

Item (50-327/86-01-07; 50-328/86-01-07).

(c) The inspectors' review of binder CABL-022, Essex power and

control cable, determined that qualification documentation

(qualification checklist, TAB B) did not include a descrip-

tion of qualification test equipment, test equipment accu-

racies, and calibration data. Since this data was not avai-

15 j

!

i

- , , - - , - - - - - , - - , - -. . - . - . - _ _ - - - . .- . . - -

_. - . .- -_. . .-. . . . -_.

~

.

.

'

^

lable, the inspectors were concerned with the adequacy of

the test instrumentation to demonstrate performance of the

,

cable during a DBA. The. licensee resolved this concern by

performing and including in the-binder an error analysis

which demonstrated that-the test profile would envelope

actual DBA conditions even if test pressure / temperature

,

values varied by as much as a minus 20%. This is'

identified as a Potential Enforcement / Unresolved Item

'

(50-327/86-01-08); 50-328/86-01-08). (

'

(d) The inspectors' review of binder SOL-007, ASCO solenoid

-

valve model 206-381, determined that six of the valves

were subject to submergence DBA conditions in the plant

and the licensee was basing qualification of the valves on '

test data during which the test valves were not submerged.

l

Qualification was based on Wyle Laboratories test report

l No. 17523-1 for testing of conduit sealing methods. During

these tests one of the test seals failed and water entered.

the coil cavity of the ASCO valve which was connected to-

,

the seal. Documentation in the report indicated that coil

electrical function was maintained for.114.5 hours5.787037e-5 days <br />0.00139 hours <br />8.267196e-6 weeks <br />1.9025e-6 months <br /> into

.

the test. Since the valves were not subject to a complete

submergence test during qualification testing, the . inspectors

considered these six valves' to be unqualified for their-

accident environment. After the. inspectors' concerns were

discussed with the licensee the licensee was able to

-

demonstrate that the six valves would perform their respective

functions prior to exposure to submergence conditions during.

-a DBA. Additionally the licensee demonstrated by a failure

mode effects analysis that any failure of the valves after

submergence would not cause a detrimental effect on the plant

dperation and/or mislead the reactor operator during or

following a DBA. The licensee revised the binder to include

the above information and established qualification for the

six valves for their accident environments. This is-identified

as a Potential Enforcement / Unresolved Item (50-327/86-01-09;

I 50-328/86-01-09).

L

l (e) The inspector's review of binder IMIK-001, Nutherm 32KW

' air duct heater and control components, identified deficien-

cies in the documentation such that qualification was

considered to be not established. These deficiencies

included failure-to adequately document similarity between

tested and installed equipment and demonstrate post-accident

operability after DBA testing. In the case of post-accident

operability, the licensee based operability on thermal aging

tests at 200 degrees F and 100% relative humidity conducted

prior to accident testing. This approach did not consider

the effect of the accident environment on the post-accident '

equipment operation. The binder was revised to address

the identified issues and establish qualification of the i

i

heater. This is identified as a Potential Enforcement /

Unresolved Item (50-327/86-01-10; 50-328/86-01-10). j

16

l

t;~_ . , _ . . _ . - , . _ , . . _ _ .

. _ _ ._ _ . _ . _ _ _ _ _ _

,

..-

,

~

. .

.

(f) The inspectors reviewed binders IRE-001, GA Technologies

3

RD-23 radiation detector, and CABL-042, Brand-Rex coaxial

e cable, as a single item of equipment, since they are used

at SQN in the high range radiation monitoring system'(HRRMS)

which is highly sensitive to cable / detector interaction.

~

The inspectors determined that the detectors' functional

performance requirements (capacitance and insulation

resistance) were not clearly defined in conjunction with

the associated Brand-Rex cable. It was further determined

,

that the licensee had not adequately addressed all

possible issues with regard to the mechanical integrity of

the cable jacket and/or moisture intrusion at detector / cable -

connectors. Of particular concern to the inspectors was

the fact that cracking of the Hypalon cable jacket occurred

during qualification testing of the cable. Since cracking.

of the cable jacket could provide a path for moisture

intrusion and the fact that moisture intrusion adversely

l

affects system operation, the effect on qualification of

the equipment is considered significant. The licensee

+

revised both the detector and cable binders and established

> qualification of both items; therefore, establishing quali-

i

fication of the HRRMS. This is identified as a Potential

Enforcement / Unresolved Item (50-327/86-01-11; 50-328/86-01-11).

'

(g) The inspectors' review of binder CABL-017, Eaton.multiconductor

signal cable, identified that analysis of leakage currents

measured during cable qualification tests indicated possible

errors in instruments circuits could range from 4% (low end)

for transmitters to 15% (low end) for acoustic monitors and

RTDs. Since the licensee had not documented any analysis

relative to the acceptability of these possible errors in

i

either the cable binder or the associated instrument binders,

'

the inspectors were concerned with the ' affect of these errors

'

on plant system accuracy and/or functional performance

.l

.

requirements. The licensee' revised the binder to adequately

address leakage currents and established qualification of

l

i the cable. This is identified as a Potential Enforcement /

Unresolved Item (50-327/86-01-12; 50-328/86-01-12).

(h) The inspectors' review of binders M0V-001 thru -005,

Limitorque motor valve operators, identified one concern

!. with regard to documentation in the binders and the esta-

blishment of qualification of the operators. Of concern

l- to the inspectors was whether or not limit / torque switch

j

compartments of the operators needed to have drains to

prevent moisture / water accumulation in the compartment.

,

Since some operators in the plant were observed to have

long vertical conduit runs coming into the switch compart-

j

'

ments from above, the inspectors were concerned that the .

operators might not be qualified for installations of this

j

,

type. The licensee revised the binders to include additional

information and analysis and established qualification of

i

17

!

-. _ . . _ _ . _ _ _ . _ . . . ~ . _ . . - . . . _ _ . - . _ _ _ . _ _ _ . . _ _ , , . . , . - _ _ _ _ _ . . . _ _ _ . _ . _ . - , . _ . . - . . . . .

- . - .

,

. .

, .

,

the motor valve operator. This is identified as a Potential

Enforcement / Unresolved Item (50-327/86-01-13; 50-328/86-01-13).

Other Limitorque operator concerns were identified as open

.

items and are discussed in paragraph 4.D.(3).

(i) The inspectors of binder CABL-016, Cyprus (Rome) power and

control cable, identified that the calculations to demon-

strate cable post-accident. operability did not reflect the

actual cable operating temperature of 67.9 degrees Centi-

grade for cable 2PL4510B*B, which provides power to electric

motor 0-MTR-31A-28. The file was revised to include cal-

  • culations using actual cable operating temperature and

demonstrate post-accident operability. This is identified

as a Potential Enforcement / Unresolved Item (50-327/86-01-

14;50-328/86-01-14).

(2) The following paragraph describes one significant deficiency

identified during NRC binder review which was not corrected

prior to the end of this inspection.

The NRC inspectors reviewed the licensee physical verification

sheets in binder XHTR-001 for Barton transmitters, Lot 7-764.

Based on this review, the inspectors questioned the locations

of five steam generator level transmitters, which were within

3 inches of the postulated accident flood level of 694.5 feet

elevation for Unit 2 containment. The inspectors questioned

the accuracy of the locations and whether the transmitters

might indeed be partially submerged during the postulated flood;

therefore, being unqualified for their plant applications.

Based on the inspectors questions, the licensee. performed another

physical verification of the transmitters locations. The licensee

determined that two of the transmitters were located sufficiently

,

above flood level so as not to affect their qualification. The

other three transmitters were determined to also be above flood

level; however, they were connected to conduit fittings that

were below or at flood level. Conduit fittings below flood ,

levels are not allowed by the licensee's qualification criteria.

Since the conduit fittings were at or below flood level the

qualification of these transmitters was affected. The licensee

documented that transmitter 2-LT-3-38 was qualified in its

4

location since it would perform its function prior to exposure

to flooding and that failure af ter exposure to flooding would

not affect accident mitigation or mislead the reactor operator.

Transmitters 2-LT-3-43 and -56 were identified to be relocated

above the flood level to maintain qualification. The licensee

initiated an SCR to relocate the two transmitters. This is

Potential Enforcement / Unresolved Item (50-328/86-01-15).

(3) In addition to the deficiencies discussed above, the inspectors

review of the E0 binders identified other minor concerns that ,

were classified as inspection open items. These items included l

minor file deficiencies or omissions, clarifying data in the

i

.

binders, correcting minor inconsistencies in the documentation,  !

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1

J

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. . - .. .. -- -. .- - . - . . - - . - . - . - _ . - - . . - . - - . - . - - . . - . _ - . - - -

- -

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and verifying that special conditions of qualification have

been completed. The identified open items were corrected by

the licensee prior to the end of the June inspection. For those

items corrected by the licensee and reviewed by the inspectors

for adequacy, no further action will be taken. Binders which

had inspection open items identified against them and now con-

sidered acceptable are as follows:

(a) ILM-001, Masoneilan 8005A Level Modifier

(b) CABL-010, Belden Signal Cable

(c) CABL-043, Okonite Power and Control Cable

(d) SOL-001, Valcor Solenoid Valve

(e) ITS-002, Static-0-Ring Temperature Switch

(f SOL-006, ASCO Solenoid Valve Model NP8316

PENE-004, Westinghouse Canister Penetrations

(g

(h MOV-001 thru -005, Limitorque Motor Valve Operators

(i) XMTR-002, Foxboro E11GM Pressure Transmitter

(j) CABL-003, AIW Power and Control Cable

(k) CABL-001, BIW Multiconductor Signal Cable

(1) ILCV-001, Masoneilan 8012 Level Control Valve-

(m) CABL-012, Brand-Rex Signal Cable

(n) CABL-021, Essex Power and Control Cable

(o) GEN-001, Generic Binder

(p) CABL-036, Rockbestos Power and Control Cable

4

(4) IE ins and Bulletins - The NRC inspectors reviewed and

evaluated the licensee's activities related to the review of-

EQ related IE Information Notices (ins) and Bulletins. The

inspectors' review included examination of procedures and EQ

binders relative to ins / Bulletins. The procedures reviewed

' detera.ined that the licensee has a system for distributing,

reviewing, and evaltating ins / Bulletins relative to equipment

within the scope of 10 CFR 50.49 and that they are addressed in

'

appropriate equipment EQ bincers (Tab J of the Binder). During

the EQ binder reviews, the inspectors evaluated the' licensee's

l

actions with respect to applicable ins / Bulletins. The

inspectors identified no deficiencies during this review.

E. TVA/Westec Review Findings

In addition to the E0 binder reviews discussed above, the NRC

inspectors evaluated the binders relative to the licensee's

corrective actions on the qualification file related findings

identified in the TVA/Westec Management Review Report, dated

September 25, 1985. Since the findings were indicative of overall

programmatic deficiencies in qualification documentation, the

licensee did not specifically address each and every finding of the

report. Instead, he addressed the findings generically by

developing and implementing a new EQ program which is defined in the

program plans of the " Environmental Qualification Project Manual."

This program was designed to correct all the file related findings

generically. The licensee used this new program to completely

re-establish his qualification documentation for SQN. It was his

re-established documentation which was reviewed by the inspectors.

19

-. . - -. . _ . - - - - - -- - - - _ , --.

--_-,,.__l

. . - . - -

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TVA/Westec findings which are covered by the above approach are:

~

Observation No. 5-SQN: " Lack of Cable Qualification Documentation"

Observation No.- 7-SQN: " Deficiencies in SQN-NEB-XX-62 Westinghouse

Motor Evaluation"

Observation No. 8-SQN: " Deficiencies in MEB-72-025 Westinghouse -

Motor Evaluation for CS Pump Motors"

Observation No. 10-SQN: " Deficiency in EQS SQNEEB-RM-1 General

Atomic Radiation Monitors Qualification Evaluation"

i Observation No.11-SQN: " Deficiencies in SON-NEB-XX-55 Barton 764

,

Transmitters" .

,

!

Observation No. 12-SQN: " Deficiencies in Qualification File

MEB-30-66, 2-FC0-30-109 and 2-ZS-1-181 Namco Limit Switches"

Observation No.14-SON: " Cable Qualification File Deficiencies"

Observation No.15-SQN: " Cable Submergence Qualification Requirements"

c

Note: Discussions of licensee corrective action on other SQN TVA/Westec

findings is provided in paragraph 4.C.

'

Since the licensee took the generic approach regarding the TVA/Westec

- findings, the inspectors were unable to individually trace corrective

action on each and every finding. However, the inspectors had access

-

to the TVA/Westec report and as they reviewed EQ binders of equipment

specifically discussed in the SON portion of the report, they

evaluated the binder relative to the report findings. For example,

l

' Namco limit switch binders, 125-001 thru -004, were reviewed to

~

ensure that findings on Namco limit switches from the TVA/Westec report

i were adequately addressed in the binders. This type of a review was

performed for equipment associated with the observations listed above.

Additionally, the inspectors also reviewed report. findings for SQN

specific cable qualification files for generic application to binders

for cable not reviewed during the TVA/Westec review.

In order to determine whether findings on Browns Ferry Nuclear Plant

and Watts Bar Nuclear Plant were considered in the binder preparations

for SQN, the inspectors reviewed the findings for these plants. These

.

j

findings were considered for equipment specific applicability as

well as generic applicability in reviewing the SQN binders.

The inspectors review of the EQ binders identified only one concern ,

relative to the findings of the TVA/Westec report. This concern i

related to documentation of TVA's definition of functional performance

. requirements for electrical cable. This finding was identified in

1

the report as Observation 12 at Browns Ferry and was considered to

l have generic application to all cable binders. This concern was

20

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discussed with the licensee and he was able to demonstrate that

cable functional performance requirements were considered in the

preparation of the cable binders. Based on the concern, the

licensee included a section to his " Generic" qualification binder to

document how he was considering functional performance requirements

in preparing his cable binders. Even though he had not finalized

his Generic binder, at the time the concern was identified, the

licensee provided a copy of the added section to the inspectors and

they found it adequately addressed the concern.

F. Plant Physical Inspection

The NRC inspectors, with component accessibility input from the

licensee, selected more than 150 items of equipment for physical

inspection during the plant walkdowns. The items selected for.

inspection were chosen based on the inspectors' review of the EQ

binders, knowledge of potential problems with equipment installations

based on previous experience, and equipment located in the most severe

environmental zones (emphasis was placed on inside containment equip-

ment). An equal division of inspection items between Units 1 and 2

was sought and was considered to have been reasonably accomplished.

During the physical inspection, the inspectors examined characteristics

such as mounting configuration, orientation, interfaces, model number,

ambient environment, and physical condition. Only two concerns were

identified as having an effect on equipment qualification; however,

other observations which had no effect on equipment qualification

were documented.

(1) The plant walkdown inspection for Raychem type NMCK, NPKV, and

WCSF-N splices (including motor connector kits and cable break-

outs) ' covered by binders MCK-001, MCK-002, and SPLC-001 identified

instances of improper splice installations. Splices were obser-

ved to be bent too sharply and sleeves over Raychem breakouts were

observed to be too short. Equipment where -improperly installed

or questionable splices were observed were:

- Limitorque motor valve operators 1-FCV-3-47, 2-FCV-3-47,

1-FCV-1-15, and 2-FCV-3-136B

- Conduits 2V3035A and 2V30438 located in the Unit 2 annulus

- Pump motor 1-PMP-070-046

- Unit 1669 pipe chase cooler air handler blower motor

- Unit 1201A pipe chase cooler blower motor

- Motor 2-AHU-030-157

21

_ _ .

.._ . _ . . -. - __ _ ._ - _ -_ _ _ _ _

.-

, ,

.

An SCR had been written, prior to the June inspection, requiring i

inspection of approximately 850 Raychem breakouts; however, the l

plant walkdown indicated that all splices should be inspected i

'

to determine if they have been properly installed. This is a

Potential Enforcement / Unresolved Item ,(50-327/86-01-15;-

50-328/86-01-16).

(2) During the walkdown inspection of solenoid valves, in particular

'

ASCO solenoid valves covered by binder 50L-006, the inspectors

observed extensive use of thread sealant on most all valves

inspected. Since the valve qualification binder stated that

thread sealant should not be used on the valves, the inspectors

raised questions about the use of thread sealant in the plant.

The licensee was able to demonstrate to the inspectors that the

use of thread sealant was acceptable and he revised the solenoid

binders to reflect the use of thread sealant within defined

guidelines. This concern was treated as an open item which was

corrected during the inspection and is considered resolved as

'

identified in paragraph 4.D.(2).

!

(3) While the observations documented below do not directly effect

equipment qualification, they are considered significant with _

regard to plant cleanliness and/or overall equipment maintenance.

4

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(a) In general, housekeeping in the plant was not considered good,

especially in the valve vault and inside containment. The

inspectors recognize that work was going on in the plant, but a

housekeeping cleanup is necessary prior to plant startup.

(b) Mirror insulation on line near valve 2-FSV-63-172 had fallen

several feet below line.

i

(c) In RHR pump room 1A-A, flex conduit was rubbing against remote

'

manual operated valve, 1-74-5240. Work request WR 108311 has

been written. Also conduit bracket on conduit to motor

,

1-MTR-30-175 was pulled off the wall. Work request WR 108313

has been written. (Both work requests were written during the

I inspection.)

I

i (d) Corrosion, rust, loose solenoids, packing leaks, and/or other

miscellaneous observations were pointed out to TVA personnel by

the NRC inspectors on the following valves:

,

I 1-FSV-30-17,-58,-69

! 1-FSV-87-8

'

1-FCV-62-74

t- 2-FSV-62-72,-73,-74

2-FSV-77-9,-18

i

,

(e) On large 10-12" pipe near 2-FSV-30-15 and -50, RHR system MOV

i (Limitorque), packing leak was observed with crystallization

,

and corrosion on valve bonnet.

,

22

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. _ _ . . _ - . _ . _ . _ . . _ _ _ _ . _ _ _ .

..=

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(f) On valve 2-63-598 SIS Test #2 connection - packing leak was

observed along with evidence of seat leakage. Crystallization

was observed at valve tailpiece which was open to atmosphere.

(g) Valve 2-FCV-63-71 SIS Line, was unsupported except for its

piping (potential seismic concern). Packing leak was observed

along with evidence of body to bonnet leakage. Valve 2-FCV-63-70

was also unsupported.

(h) Two screws were missing or not installed properly on Masonelian

valve 1-LVC-3-174 and one screw was missing on 2-LVC-3-175.

(1) Corrosion was observed on screw holding Cutler-Hammer terminal

block in junction box 2-JB0X-991-1505.

(j) Plant ID Tags were missing on both Unit I hydrogen analyzers.

(k) Westinghouse pressure transmitters, 1 and 2-PT-30-0310A and

,

-0311B, were marked with a safe working pressure of 12 psig;

however, TVA claims a safe working pressure of 120 psig.

Nameplate should reflect proper pressure.

(1) Some cable, plcnt ID Tags were observed to be missing and/or

broken during walkdown.

-

(m) Mirror insulation was observed to be dented and crushed in

several places. Concern was expressed as to whether or not the

insulation was damaged sufficiently to be detrimental to the

insulation's thermal properties.

>

(n) Terminal blocks in Limitorque operator for valve 2-FCV-3-136B

were very dusty. Terminal blocks in Limitorque operator for

valve 2-FCV-3-15 were dirty and grimy. Drops of oil were obser-

ved in the bottom of the limit / torque switch compartment for valve

.

2-FCV-3-15.

(o) The flex conduit for position indicating limit switch on valve

2-FCV-77-18 was broken. Work request B132944 was issued.

Since the above observations were considered to be maintenince

,

oriented and they do not directly effect equipment qualification,

they have been referred to Region II for consideration in their

operational readiness review prior to SQN restart.

G. Employee Concerns

' The NRC inspectors reviewed lists of concerns from the TVA Employee Concerns

program to identify those that were considered to have potential effects

on the SON EQ Program. These identified concerns were then reviewed to

3

determine if they affected the EQ Program. If it was determined that they

did affect the program, they were reviewed to determine if they had ade-

quately been resolved in the current SON EQ program. The following concerns

were reviewed by the inspectors.

23

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~,


r ,,,n, , - - , - - - - , . . - - - , , - - - , , , - - -+ . , . . . . , , .

-

..w-~e.r,-n-~,,-.,.,-,,,,--.y--,,--ww e-,-,.,-----v.,m..,e-

. .- . - - . . ..--- - -

'

.

.

,.

(1) XX-85-122-014: Environmental Qualification of Electrical and I&C -

equipment and components is inadequate. This concern is being

addressed by the current program and will be corrected when TVA

completes their current program and the NRC issues a SER accepting

the SQN EQ Program.

(2) XX-85-094-013: . It is the quality problems regarding environmental

< qualification of components per NUREG 0588 that made the Sequoyah

plant shutdown. The comments of (1) above apply to this concern.

'

'

(3) IN-85-463-007: Relocation of equipment. This concern dealt with the

possibility that equipment purchased for one application might be used

in another application'for which it was not suited and this would not

be known because appropriate equipment documentation might not be kept

>

with the equipment. Of particular concern was the transfer of equip-

ment between different TVA plants. This concern was identified as

4

'

still open on the revised lists; however, the NRC inspectors did not

identify any instances of EQ equipment being used in inappropriate

applications during their EQ program review. Equipment reviewed had

'. documentation to support its use in its plant application and provided

traceability to its manufacturer. No further review of this concern

is planned at this time by this NRC' team.

(4) In-85-964-003: Material / equipment is ordered dedicated to a specific

.

system, unit, etc., but is frequently installed /used elsewhere and it

is unknown if documentation is revised to reflect this cannibalization.

This concern was still open on the reviewed lists. The comments.

,'

regarding NRC review of conern (3) above apply to this concern.

(5) XX-85-027-X03: TVA informed NRC tha~t cable had been removed from site

--Refer-

in 1981. The cable was still being removed from site in 1984.

ence NRC SQN EEB 8019R1 --Closed. The inspectors reviewed this concern

and determined that the cables in question, cable types PJJ and PNJ,

,

were used in EQ applications at SQN and their qualification was

>

covered by the current EQ program. The qualification of these cables

was documented in binders CABL-001, -015, -020, and -034.

These binders were reviewed by the NRC inspectors and found to

support qualification of these cables. Since qualification was

,

i-

established for these cables, no further review of this concern is

planned.

I

(6) MAS-85-002 and MRS-35-005: Raychem on 2-FCV-43-77 --Closed. TVA

did not verify this problem and the NRC inspectors did not look

at this specific splice. However, the inspectors did examine other

.

1

' Raychem splices at SQN and identified a Potential Enforcement /

Unresolved Item (see paragraph F.(1)) which must be corrected prior

-

to restart.

i

l

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' 24

.

~ +r n,v,,-- ,.,m ,,v-..y w,,, v,.,.,wm,m-,e.e,ngr w ,-e.ww --o n - a, nw- m nng n n -,- a m -. , . , - . - , ,-,,me.---..,.,wgnn,n, - , , - - -- , . - , - e,,...,.

.

. .

(7) MAS-85-003: Cable splice on CCS pump motor --Closed. TVA determined.

that cable 1PL4735 was the cable in question for this concern and the

splice was performed per 11-10, Rev._11, which required Raychem heat-

shrink. The inspectors did not look at this specific splice, but

the findings discussed in (6) above are applicable to this concern.

The NRC inspectors have identified other concerns that have the potential

for effecting EQ equipment. These will be reviewed during the NRC follow-

up inspection prior to SQN restart.

.

>

>

25