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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217N5861999-10-22022 October 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-09 Issued on 990827 ML20217H6911999-10-19019 October 1999 Ack Receipt of 990928 Application to Revise Technical Safety Requirements 2.2.3.15 & 2.7.3.14.Initial Administrative Review Finds Application Acceptable.Completion of Review Is Anticipated by 991215 ML20217N9141999-10-15015 October 1999 Forwards Rev 6 of NCS Cap,Providing Addl Details within Subtask 3.3,addl Ncsa/E Reviews & Establishes New Milestone to Conduct Addl Reviews IAW Procedure XP2=EG-NS1037, Review of Non-Priority 1 & 2 ML20217M2961999-10-15015 October 1999 Provides Addl Changes to Updated SAR Certificate Amend Request,Including Changes Made IAW Item 5 of Plan of Action Schedule for Compliance Plan Issue 2 & Changes That Resulted from Reevaluation of Autoclave head-to-shell O-ring ML20217G4671999-10-14014 October 1999 Forwards Proprietary Insp Rept 70-7002/99-207 on 990920-23. No Violations Noted.Under Provisions of Section 2.790(d), Repts Containing Info Related to Licensee MC&A Program, Exempt from Public Disclosure ML20217G1731999-10-14014 October 1999 Requests Addl Info Re Applications Dtd 990924,requesting Amends to Cocs for Paducah & Portsmouth GDPs for Revised QA Programs.Encl Identifies Specific Info Needed.Info Should Be Provided within 30 Days ML20217F5481999-10-0808 October 1999 Discusses Insp Rept 70-7002/99-12 on 990810-0920 at Ports- Mouth Gaseous Diffusion Plant.No Cited Violations of NRC Requirements Were Identified During Insp ML20217B6121999-10-0606 October 1999 Forwards Copy of Security Incident Log for Month of Sept 1999 ML20217A4781999-10-0404 October 1999 Forwards Revised Event Rept 99-17,for Event Resulting from Determination That Sprinkler Sys Not Capable of Meeting Operability Requirements.Caused by Mineral Deposits.Provided Following Completion of Root Cause Evaluation ML20212H5991999-09-27027 September 1999 Responds to Violations Noted in Insp Rept 70-7002/99-09. Corrective Actions:Engineering Evaluated Site Rail Track Insp Process for Improvement ML20216J7891999-09-27027 September 1999 Provides Required 30-day Event Rept 99-19 for Event That Resulted from Failure of Cascade Automatic Data Processing Data Processing Smoke Detection Sys at Portsmouth Gaseous Diffusion Plant.Encl 2 Is List of Commitments Made in Rept ML20212H1251999-09-24024 September 1999 Notifies NRC of Change in Regulatory Commitments Associated with Submittal Date for Update of Application SAR Chapter 3.Specifics of Commitment Changes of Listed ML20212H3801999-09-24024 September 1999 Responds to 990723 RAI Re 1999 Annual Update to Certification Applications ML20212G0551999-09-23023 September 1999 Provides Revised 30-day Event Rept 99-06 for Emergency Condition That Was Declared Alert at Portsmouth Gaseous Diffusion Plant ML20212G9401999-09-23023 September 1999 Responds to 990806 Reply to NOV in Ltr with Insp Rept 70-7002/99-04.Revised Reply Reviewed & Responses to Violations 1.B & 1.C Do Not Fully Address Needs as Clarified in 990715 Telcon.Resubmit Response within 30 Days of Ltr ML20212H3721999-09-22022 September 1999 Forwards NRC Form 790 Classification Record Documents for Paducah & Portsmouth GDPs That Were Generated During Month of Aug 1999.Without Encl ML20217J1211999-09-20020 September 1999 Submits Listed Comments on NRC Proposed Rule, Reporting Requirements for Nuclear Power Reactors ML20216E6911999-09-13013 September 1999 Forwards 30-day Written Rept Er 99-18,re Actuation of Cascade ADP Smokehead in X-333 Bldg Low Assay Withdrawal Station.Caused by UF6 Release from Law A/B Compressor Shaft Seal Area.Planned C/As Will Be Provided in Revised Rept ML20211Q7761999-09-10010 September 1999 Forwards Insp Rept 70-7002/99-205 on 990816-20.No Violations Noted.Insp Consisted of Selective Exams of Computer Systems, Representative Records & Interviews with Personnel ML20211P2091999-09-0909 September 1999 Provides Staff Written Clarification of NRC Reporting Expectations of When Double Contingency Losses Should Be Reported to NRC IAW Bulletin 91-001, Reporting Loss of Criticality Safety Controls, & Suppl ML20211Q8041999-09-0808 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-05 ML20211Q7171999-09-0808 September 1999 Forwards Required 30-day Written Event Rept 99-14,rev 1,re 990628 Event Involving Actuation of Brake Sys on Liquid U Hexafluoride Handling Crane at Plant.Revised Rept Includes Corrective Actions.Commitments in Rept Also Encl ML20211N8951999-09-0707 September 1999 Forwards Required 30 Day Event Rept 99-17,for Event That Resulted from Determination That 13 Sprinkler Sys Associated with High Pressure Fire Water Sys in Process Buildings Were Not Capable of Meeting Operability Requirements ML20211P3831999-09-0303 September 1999 Forwards Coc GDP-1,amend 3 & Coc GDP-2,amend 4 for Paducah (Pgdp) & Portsmouth (Ports) Gdps,Respectively by Revising Pgdp & Ports QAPs in Vol 3 of Respective Certificate Applications ML20211M6401999-09-0303 September 1999 Forwards Security Incident Log for Month of Aug 1999,per Requirements of 10CFR95.57(b) ML20211M6941999-09-0202 September 1999 Forwards 30-day Written Event Rept 99-09,rev 1,for Event Involving Actuation of Brake Sys on Liquid U Hexafluoride Handling Crane at Plant.Revised Rept Includes Root Cause & Corrective Actions.List of Commitments,Included ML20211L4871999-09-0101 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-07 Issued on 990709 ML20211K2081999-08-31031 August 1999 Discusses 990730 Revised Response to RAI Transmitted by NRC Re 990528 Response for Severity Level IV Violations Identified in Insp Rept 70-7002/99-06 ML20211K4041999-08-31031 August 1999 Forwards Responses to Remaining NRC Questions/Comments from 980601 & 0709 NRC RAIs Re SAR Update ML20211M7031999-08-30030 August 1999 Forwards Proprietary Rev 0 to Arming & Arrest Authority Security Plan for Paducah & Portsmouth Gaseous Diffusion Plants, for Review & Approval.Encl Withheld ML20211H2741999-08-27027 August 1999 Forwards Insp Rept 70-7002/99-09 on 990629-0809 & Notice of Violations Re Involving Inadequate Corrective Actions of Concern,Due to Staff Failure to Take Actions to Prevent Recent Derailment ML20211G9891999-08-26026 August 1999 Informs That on 990812,NRC Completed three-day Licensing Review of Activities Associated with Usec 990526,certificate Amend Request (CAR) to Reopen Compliance Plan Issues 8,9 & 23 at Portsmouth Plant ML20211D9311999-08-23023 August 1999 Forwards Required 30-day Written Event Rept 99-16 Re Event Involving Autoclave High Condensate Level Shutoff Actuation at Portsmouth Gaseous Diffusion Plant.List of Commitments, Included ML20211A7011999-08-17017 August 1999 Forwards Copy of Final Amend to 10CFR76 for Info of Subcommittee.Final Rule Is Being Transmitted to Fr for Publication.Final Rule Will Amend Regulations That Apply to Paducah & Portsmouth Gaseous Diffusion Plants ML20211C5951999-08-17017 August 1999 Submits Changes to Authorized Derivative Classifier List for Portsmouth Gdp.Changes Are Current as of 990806 ML20211D6341999-08-16016 August 1999 Forwards Proprietary Info Containing Process That Would Be Followed Once Deposit Identified That Could Cause Usec to Exceed NRC Possession Limit.Proprietary Encl Withheld ML20211D2351999-08-16016 August 1999 Replaces Ltr Forwarding Proprietary Followup to Submittal Re Holdup of U Enriched Greater than or Equal to 10 Weight Percent U-235 in Process Equipment ML20211D5771999-08-16016 August 1999 Submits Rev 1 to Event Rept 99-12,to Clarify That Only One of 50 Ball Lock Pins on Packages Used in Shipment Was Unfastened When Shipment Was Received.Cause Has Not Been Determined.Usec Revised Procedure XP4-TE-UH2400 ML20211C3941999-08-13013 August 1999 Forwards Proprietary Followup to Submittal Re Holdup of U Enriched Greater than or Equal to 10 Weight Percent U-235 in Process Equipment.Encls Withheld ML20211C8031999-08-13013 August 1999 Forwards Proprietary Versions of Rev 33 Changes to Fundamental Nuclear Matls Control Plan & Transportation Security Plan.Proprietary Encl Withheld ML20210P6981999-08-10010 August 1999 Forwards Insp Rept 70-7002/99-11 on 990719-23.No Violations Noted.Insp Consisted of Selective Exam of Procedures & Representative Records,Interviews with Personnel & Observations of Activities in Progress ML20210Q6061999-08-0909 August 1999 Forwards NRC Form 790 Classification Record Documents for Paducah & Portsmouth Gdps,Per 10CFR95.57.Records Were Generated During Month of July 1999.Without Encl ML20210Q5291999-08-0909 August 1999 Responds to Violations Noted in Insp Rept 70-7002/99-07. Corrective Actions:On 990622,results of Nda Surveys for G-17 Valves Moved Outside Bldg X-744H Were Obtained ML20210N8511999-08-0606 August 1999 Forwards Copy of Security Incident Log for Month of July 1999 ML20210P1841999-08-0606 August 1999 Revised Response to NRC NOV Re Violations Noted in Insp Rept 70-7002/99-04.Corrective actions:DOI-832-99-03 Revised & Reissued on 990729,to Include Any Document Utilized to Support Safety Basis in Ncse ML20211A7901999-08-0404 August 1999 Forwards Info Requested During Briefing by NRC Staff on 990726 Re NRC Interactions with Usec ML20211N2031999-08-0404 August 1999 Forwards Proprietary Versions of Rev 32 Changes to Fundamental Nuclear Matls Control Plan (FNMCP) & Transportation Security Plan.Proprietary Info Withheld,Per 10CFR2.790 & 9.17(a)(4) ML20210L1751999-08-0202 August 1999 Forwards Required 30-day Event Rept 99-15 Re Event That Resulted from Declaration of Alert Emergency Classification at Portsmouth Gaseous Diffusion Plant.Encl 2 Contains List of Commitments Made by Licensee ML20210U8511999-07-30030 July 1999 Forwards Quarterly Status Rept for Portsmouth Nuclear Criticality Safety Program Corrective Action Plan for Period 990421-0716.No New Commitments Are Contained in Submittal ML20210K0291999-07-30030 July 1999 Responds to NRC Expressing Concerns with 990528 Reply to NOVs Re Insp Rept 70-7002/99-006.Revised Response Encl 1999-09-09
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20217N5861999-10-22022 October 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-09 Issued on 990827 ML20217H6911999-10-19019 October 1999 Ack Receipt of 990928 Application to Revise Technical Safety Requirements 2.2.3.15 & 2.7.3.14.Initial Administrative Review Finds Application Acceptable.Completion of Review Is Anticipated by 991215 ML20217G4671999-10-14014 October 1999 Forwards Proprietary Insp Rept 70-7002/99-207 on 990920-23. No Violations Noted.Under Provisions of Section 2.790(d), Repts Containing Info Related to Licensee MC&A Program, Exempt from Public Disclosure ML20217G1731999-10-14014 October 1999 Requests Addl Info Re Applications Dtd 990924,requesting Amends to Cocs for Paducah & Portsmouth GDPs for Revised QA Programs.Encl Identifies Specific Info Needed.Info Should Be Provided within 30 Days ML20217F5481999-10-0808 October 1999 Discusses Insp Rept 70-7002/99-12 on 990810-0920 at Ports- Mouth Gaseous Diffusion Plant.No Cited Violations of NRC Requirements Were Identified During Insp ML20212G9401999-09-23023 September 1999 Responds to 990806 Reply to NOV in Ltr with Insp Rept 70-7002/99-04.Revised Reply Reviewed & Responses to Violations 1.B & 1.C Do Not Fully Address Needs as Clarified in 990715 Telcon.Resubmit Response within 30 Days of Ltr ML20211Q7761999-09-10010 September 1999 Forwards Insp Rept 70-7002/99-205 on 990816-20.No Violations Noted.Insp Consisted of Selective Exams of Computer Systems, Representative Records & Interviews with Personnel ML20211P2091999-09-0909 September 1999 Provides Staff Written Clarification of NRC Reporting Expectations of When Double Contingency Losses Should Be Reported to NRC IAW Bulletin 91-001, Reporting Loss of Criticality Safety Controls, & Suppl ML20211Q8041999-09-0808 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-05 ML20211P3831999-09-0303 September 1999 Forwards Coc GDP-1,amend 3 & Coc GDP-2,amend 4 for Paducah (Pgdp) & Portsmouth (Ports) Gdps,Respectively by Revising Pgdp & Ports QAPs in Vol 3 of Respective Certificate Applications ML20211L4871999-09-0101 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-07 Issued on 990709 ML20211K2081999-08-31031 August 1999 Discusses 990730 Revised Response to RAI Transmitted by NRC Re 990528 Response for Severity Level IV Violations Identified in Insp Rept 70-7002/99-06 ML20211H2741999-08-27027 August 1999 Forwards Insp Rept 70-7002/99-09 on 990629-0809 & Notice of Violations Re Involving Inadequate Corrective Actions of Concern,Due to Staff Failure to Take Actions to Prevent Recent Derailment ML20211G9891999-08-26026 August 1999 Informs That on 990812,NRC Completed three-day Licensing Review of Activities Associated with Usec 990526,certificate Amend Request (CAR) to Reopen Compliance Plan Issues 8,9 & 23 at Portsmouth Plant ML20211A7011999-08-17017 August 1999 Forwards Copy of Final Amend to 10CFR76 for Info of Subcommittee.Final Rule Is Being Transmitted to Fr for Publication.Final Rule Will Amend Regulations That Apply to Paducah & Portsmouth Gaseous Diffusion Plants ML20210P6981999-08-10010 August 1999 Forwards Insp Rept 70-7002/99-11 on 990719-23.No Violations Noted.Insp Consisted of Selective Exam of Procedures & Representative Records,Interviews with Personnel & Observations of Activities in Progress ML20211A7901999-08-0404 August 1999 Forwards Info Requested During Briefing by NRC Staff on 990726 Re NRC Interactions with Usec ML20210G0391999-07-26026 July 1999 Forwards Compliance Evaluation Rept & Fr Notice for Revised Qaps,Per 990212 Application ML20210D8181999-07-23023 July 1999 Submits Response to SA Toelle Ltr Dtd 990614, 10CFR76.68(a)(3) Decreased Effectiveness Reviews & RAI for Paducah & Portsmouth Transmittals of 1999 Annual Update to Certification Applications ML20210V3481999-07-16016 July 1999 Informs That Staff Completed Review of New Payment Surety Bonds (Psb) for Paducah & Portsmouth Gdps,Which Were Provided in .Cancelled Psbs for Liberty Mutual Insurance Co & Safeco Insurance Co of America,Encl ML20209G2501999-07-14014 July 1999 Forwards Copy of Compliance Evaluation Rept Prepared to Support Resolution & Closure of Violation in Insp Rept 70-7002/97-203,re Failure to Have Adequate Benchmarks in Validation Rept Analysis of Models of U Sys ML20209F1031999-07-12012 July 1999 Forwards Insp Rept 70-7002/99-204 Conducted on 990614-17.No Violations Noted.Major Areas Inspected:Mc&A Safeguards Program.Rept Details Withheld,Per 10CFR2.790 ML20209E8711999-07-0909 July 1999 Discusses Insp Rept 70-7002/99-08 on 990614-17 & Forwards Notice of Violation ML20209E8551999-07-0909 July 1999 Forwards Insp Rept 70-7002/99-07 on 990517-0629 & Nov. Violation of Concern Because Staff Displayed Lack of Rigor in Failing to Ensure That Nuclear Facility Criticality Safety Controls Were Implemented as Listed ML20209D4821999-07-0707 July 1999 Discusses Licensee 990702 Request That NRC Exercise Discretion Not to Enforce Compliance with Actions Required by Tsrs 2.2.3.2,2.4.3.1,2.5.3.1 & 2.7.3.2.NRC Concluded That NOED Warranted ML20209B7911999-07-0101 July 1999 Forwards Insp Rept 70-7002/99-203 Conducted on 990607-11.No Violations Noted ML20196H8421999-06-29029 June 1999 Discusses Insp Rept 70-7002/99-06 on 990322-26 & Forwards Notice of Violation & Proposed Imposition of Civil Penalty in Amount of $55,000 ML20196F1121999-06-23023 June 1999 Responds to 990528 Response to NOV Submitted by with Insp Rept 70-7002/99-06.Response Not Fully Addressing Informational Needs in Notice.Response to Notice Requested to Be Resubmitted within 30 Days of Date of Ltr ML20207H5001999-06-11011 June 1999 Discusses Insp Rept 70-7002/99-05 on 990406-0515 & Forwards Notice of Violation Re Weakness in Staff Knowledge & Implementation of Plant Procedures in Several Program Areas ML20195J2001999-06-11011 June 1999 Ack Receipt of Certificate Amend Request Re Reopening of Compliance Plan Issues 8,9 & 23.Staff Has Completed Initial Administrative Review of Application & Anticipates Completing Review by 990831 ML20207G2641999-06-0808 June 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-03 Sent on 990528.Reviewed Corrective Actions & Have No Futher Questions.Actions Will Be Examined During Future Insp ML20207F2571999-06-0202 June 1999 Informs That NRC Disagrees with Usec Conclusion for Not re-opening Issue 2 of Compliance Plan,Since Proposed Change to Sarup Submittal Constitutes Major Rev to Operating Safety Bases Contained in Technical Safety Requirements ML20207A0121999-05-21021 May 1999 Forwards Insp Rept 70-7002/99-04 on 990222-0312 & Notice of Violations Re Inadequate Knowledge & Understanding by Some Staff & Mgt of Corrective Action ML20207E5421999-05-18018 May 1999 Discusses Apparent Violation Involving Usec & Lockheed Martin Utility Svcs,Inc.(Lmus) Mgt Discriminating Against Lmus Employee at Paducah Gaseous Diffusion Plant. Violation Being Considered for Escalated Ea.W/O Encl 2 ML20206S3091999-05-17017 May 1999 Confirms Meeting Scheduled for 990610 in Lisle,Il to Discuss Failure to Classify Emergency Conditon as Alert IAW Portsmouth EP ML20206N3851999-05-12012 May 1999 Forwards Amend 1 to Coc GDP-1 & Amend 3 to Coc GDP-2 IAW 990316 Applications,Revising Paducah & Portsmouth Gaseous Diffusion Plants Technical Safety Requirement Sections 3.1.1 & 3.10.4 ML20206H5601999-05-0606 May 1999 Ack Receipt of Responding to Notice of Violation Noted During Insp 70-7002/99-202 of 990319.Corrective Actions Acceptable,Per 10CFR2.201 ML20206E9761999-05-0303 May 1999 Forwards Amend 2 to Coc GDP-2,reducing Ports Fundamental Nuclear Matl Control Plan Requirements Re Min Number of UF6 Cylinder Receipts from Russia ML20206E3781999-04-29029 April 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/99-01.Actions Will Be Examined During Future Insp ML20206E4281999-04-29029 April 1999 Forwards Insp Rept 70-7002/99-03 on 990222-0406 & NOV Re Failure to Understand & Implement Personnel Safety Controls During Maint Evolution ML20206B5611999-04-22022 April 1999 Forwards Insp Rept 70-7002/99-06 on 990322-26 & Nov.One Violation Identified Involving Failure of Plant Shift Superintendent,Acting as Incident Commander for Er to Fire on 981209,to Classify Emergency Condition as Alert ML20205K4251999-04-0707 April 1999 Forwards Compliance Evaluation Rept for GDP-1 & GDP-2, Supporting Change in Title of Executive Vice President, Operations.Notice of Amend,Which Has Been Forwarded to Ofc of Fr for Publication,Encl ML20205J2051999-04-0606 April 1999 Forwards Amend 1 to Coc GDP-2,revising Issue A.2 of Portsmouth Gaseous Diffusion Plant Compliance Plan.Condition 8 Revised to Include Date of 981228 ML20205F6721999-03-31031 March 1999 Forwards Proprietary Copy of Compliance Evaluation Rept Prepared to Support Amend of Coc GDP-2.Notice of Amend,Which Has Been Forwarded to Ofc of Fr for Publication,Also Encl. Proprietary Encls Withheld ML20196K3981999-03-19019 March 1999 Forwards Insp Rept 70-7002/99-202 Conducted on 990222-26. Violation Noted.Major Areas Inspected:Mc&A Safeguards Program.Rept Details Withheld,Per 10CFR2.790(d) ML20204H9611999-03-18018 March 1999 Forwards RAI Re 990212 Applications Requesting Amends to Coc for Paducah & Portsmouth Gaseous Diffusion Plants for Revised QAPs ML20204D7991999-03-17017 March 1999 Discusses Insp Rept 70-7002/99-01 on 990112-0222 & Forwards Notice of Violation.Violation Identified Involved Licensee Staff Returning Sys to Svc Following Safety Actuations Without Appropriately Documenting Safety Actuations ML20204E2341999-03-17017 March 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7002/98-18 .Reviewed C/As & Have No Further Questions.C/As Will Be Examined During Future Insps ML20207G4991999-03-0505 March 1999 Discusses Rescheduling of 1999 Portsmouth Emergency Preparedness Exercise to 990914.Date Change Acceptable to Local Officials ML20207B3361999-03-0202 March 1999 Ack Receipt of 990212 Applications for Amend to Cocs GDP-1 & GDP-2.Staff Has Completed Initial Administrative Rev of Applications & No Omissions of Deficiencies Were Identified. Staff Anticipates Completing Review by 990416 1999-09-09
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September 8, 1999 Mr. J. N. Adkins Vice President - Production United States Enrichment Corporation Two Democracy Center 6903 Rockledge Drive Bethesda, MD 20817
SUBJECT:
RESPONSE TO INSPECTION REPORT 70-7002/99005
Dear Mr. Adkins:
This refers to your July 23,1999, response to our letter dated June 11,1999, with Inspection Report 70-7002/99005. We have reviewed your corrective actions and have no further questions at this time. Your corrective actions will be examined during future inspections.
If you have any questions, please contact me at (630) 829-9806.
Sincerely, M e P. Phillips, Acting Chief Fuel Cycle Branch Docket No. 70-7002 Certificate No. GDP-2 cc: J. M. Brown, Portsmouth General Manager P. J. Miner, Manager, Nuclear Regulatory Affairs, Portsmouth ;
H. Pulley, Paducah General Manager S. A. Toelle, Manager, Nuclear Regulatory Assurance and Policy, USEC Portsmouth Resident inspector Office Paducah Resident inspector Office R. M. DeVault, Regulatory Oversight Manager, DOE E. W. Gillespie, Portsmouth Site Manager, DOE DOCUMENT NAME: G:\SEC\POR99005.RES To receive a copy of this document, indicate in the box:"C" = Copy without enclosure "E"= Copy with enclosure"N"= No copy
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NAME # Milli [pli)#6 l DATE 09/f/69 OFFICIAL RECORD COPY
, 9909150155 99090s PDR ADOCK 07007002 PDR
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USEC A Global Energy Company uly 23,1999 GDP 99 7 U. S. Nuclear Regulatory Commission Attention: Document Control Desk Washington, D.C. 20555-0001 Portsmouth Gaseous Diffusion Plant (PORTS) l Docket No. 70-7002 -
Response to Nuclear Regulatory Commission Concern in Inspection Report (IR) 70-7002 The subject IR contained two violations concerning failure to follow plant procedures. While the IR did not require the United States Enrichment Corporation (USEC) to respond to these violations, the NRC requested USEC to respond to the " apparent generic weaknesses in your staff s knowledge and rigor ofimplementation of plant procedures that the individual violations indicate."
A multi-disciplined team was assembled which performed an extensive review of this issue. The results of their review and the corrective actions that USEC is taking to address this issue are provided in Enclosure 1. Enclosure 2 lists the commitments contained in this submittal. Unless specifically noted, the corrective actions specified in the enclosures apply solely to PORTS.
Ifyou have any questions regarding this submittal, please contact Peter J. Miner at (740) 897-2710.
Sincerely,
/
W
. Morris Brown General Manager Portsmouth Gaseous DifTusion Plant Enclosures As Stated cc. NRC Regional Administrator - Region III NRCyesident InspectorfPORTSi #
United States Enrichment Corporation Portsmouth Gaseous DifTusion Plant P.O. Box 628, Piketon, OH 45661 JUL 3 0 1999
Enclosure 1 GDP 99-2034 Page1of4 UNITED STATES ENRICIIMENT CORPORATION (USEC)
RESPONSE TO NRC CONCERN IN INSPECTION REPORT (IR) 70-7002/99005
- 1. Hackground Information In IR 99005, the NRC issued two violations concerning failure to follow plant procedures.
While the IR did not require the USEC to respond to these violations, the NRC requested USEC to respond to the " apparent generic weaknesses in your staff s knowledge and rigor ofimplementation of plant procedures that the individual violations indicate." In response, USEC assembled a multi-disciplined team to investigate the site procedure noncompliances, determine the root causes of the noncompliances, and develop corrective actions. This team consisted ofindividuals from Maintenance, Operations, Engineering, Production Support, Site and Facilities, Admhiistrative Support, Environmental Safety and Health, Work Control land Regulatory AtTairs. Additionally, an individual from the Paducah Gaseous Diffusion Plant also assisted in the investigation.
The objectives of the team were to determine in each organization the extent of the condition, the root causes and contributing causes using the Taproot
- analysis methodology, and to develop a corrective action plan to improve performance in this area. To investigate the l
) extent of this condition, trend reports were reviewed relating to failure to follow procedures and inadequate procedures. These trend reports, along with their raw data, were then ;
analyzed by the team members. Based on their review and analysis, the team identified the l
following: '
1 a
Over the past year (June 1,1998 to May 31,1999) there have been approximately 360 Problem Reports (prs) relating to failure to follow procedures. A review of the trends for this area revealed there has been an increase in failure to follow procedures '
over the past year on a per month basis.
- Approximately 80% of procedure violations identified over the past year relate to noncompliance with administrative procedures (which are primarily Information Use procedures). The major categories of these procedure noncompliances were:
Radiation Protection / Radiological Control Lockout /Tagout Calibration In an earlier efTort to address procedure noncompliances (i.e., those identified in IR 98005), site training was conducted at PORTS on June 17,1998 to emphasize the importance of procedure compliance. During that training, management concentrated on adherence to work procedures (i.e., In-Hand and General Intent procedures) and what to do if deficiencies in these procedures were discovered. A J
l a
Enclosure 1 GDP 99-2034 Page 2 0f 4 l review _of trend reports and raw data revealed that the number of work procedure <
violations have been reduced and the number of problem reports identifying inadequate work procedures has increased. This indicates that the work force is aware of the importance of adhering to work procedures and identifying work procedure deficiencies.
Approximately 66% of the root cause investigations conducted on failure to follow administrative procedures have resulted in cause codes of either " accountability" or ;
" enforcement needs improvement," while an additional 25% have a cause code of
" communication of procedure change and/or new procedures needs improvement." l The nature of the procedure noncompliances is not limited to a few isolated procedures but is spread over numerous programs. -
Many of the PORTS XP2 procedures (i.e., those procedures that apply to more than .
one site organization) do not have formal training modules and many that do are f
conducted only on an "as required" basis. There is a tendency to rely heavily on required reading to communicate procedure revisions, which has been ineffective, in many cases.
i Less than 10% of prs relating to failure to follow procedures have personnel or nuclear safety significance. Rather, they relate to administrative requirements such as documentation or communication.
In order to gain additional insight into the problems associated with failure to follow procedures, a questionnaire was developed and interviews were conducted with over 80 personnel in a variety of organizations. This additional investigation identified a number of problems which were reviewed and categorized into problem statements. The problem j statements were then analyzed using the Taproot
II. Causes of Procedure Noncompliance !
Based on the results of the reviews and the analysis described in Section I, the following root ,
causes were identified:
)
Administrative procedures are not properly communicated to the personnel responsible for implementing them and the requirements are not reinforced on an i ongoing basis. Personnelinterviewed stated that they are not always familiar with these type procedures, and in some cases, there is little or no continuing training. l l
t t
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Enclosure 1 GDP 99-2034 Page 3 of 4
. The procedure development process does not take skill-of-the-craft -into consideration, which sometimes results in procedures containing excessive detail.
Additionally, the verification and validation process does not effectively utilize feedback from personnel who use the procedure.
III. Corrective Actions In February 1999, PORTS conducted a site-wide stand down regarding an adverse -
trend in Human Performance. This stand down discussed recent human performance errors including procedure noncompliances. This stand down emphasized that i personnel must clearly follow procedures and pay attention to detail.
. Procedure Compliance at PORTS has been added to the " Adverse Trend" section of the PORTS Corrective Actions Program Report. This will first appear in the July 1999 report. This performance indicator will be reviewed monthly by PORTS Senior Management to determine if effective corrective actions are being taken.
Organization Managers will review with their employees the requirements of those administrative procedures that their organization have experienced the most noncompliances with and the employee's responsibilities for following these procedures. This action will be completed by August 21,1999.
. The procedure change process will be revised to incorporate the first time use concept into the validation process to gain feedback from the individuals doing the work. This action will be completed by September 30,1999.
. Administrative procedures will be evaluated to identify those which present a risk to personnel or nuclear safety when a single violation of the procedure occurs. This action will be completed by October 15,1999. Following this evaluation, actions will be developed to add or revise training on these procedures, as appropriate.
. The process for issuing / revising procedures will be revised to strengthen the process of training on administrative procedures. Specifically, this revision will address continuing training for administrative procedures. This action will be completed by January 15,2000.
. . The procedure change process will be revised to require that a training summary be developed for procedure revisions. This training summary will highlight the procedure requirements and changes. This training summary will be utilized when conducting required reading or crew briefings for procedure training. This action will be completed by January 15,2000.
Enclosure 1 GDP 99-2034 Page 4 of 4
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A follow-up assessment will be initiated to evaluate the effectiveness of the above corrective actions to determine if the desired result is being achieved and to determine if additional actions are warranted. The PORTS Nuclear Regulatory Affairs Manager j will advise the NRC Senior Resident Inspector of the results of this assessment. This action will be completed by June 23,2000.
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. l Enclosure 2 GDP 99-2034 Page1of2 List of Commitments'
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Organization Managers will review with their employees the requirements of those administrative procedures that their organization have experienced the most noncompliances with and the employee's responsibilities for following these procedures. This action will be completed by August 21,1999.
The procedure change process will be revised to incorporate the first time use concept into the validation process to gain feedback from the individuals doing the work. This action will be completed by September 30,1999. ,
Administrative procedures will be evaluated to identify those which present a risk to personnel or nuclear safety when a single violation ~of the procedure occurs. This action'will be completed by October 15,1999. Following this evaluation, actions will be developed to add or revise training on these procedures, as appropriate.
The process for issuing / revising procedures will be revised to strengthen the process of training on administrative procedures. Specifically, this revision will address continuing training for administrative procedures. This action will be completed by January 15,2000. ,
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The procedure change process will be revised to require that a training summary be developed !
for procedure revisions. This training summary will highlight the procedure requirements and !
changes. This training summary will be utilized when conducting required reading or crew briefings for procedure training. This action will be completed by January 15,2000. ,
l A follow-up assessment will be initiated to evaluate the effectiveness of the above corrective actions to determine if the desired result Is being achieved towards procedure compliance l
and determine if additional actions are warranted. The PORTS Nuclear Regulatory Affairs i Manager will advise the NRC Senior Resident Inspector of the results of this assessment. i This action will be completed by June 23,2000. '
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' Regulatory commitments contained in this document are listed here. Other corrective actions listed in this submittal are not considered regulatory commitments in that they are either statements of actions completed, or they are considered enhancements to USEC's investigation, procedures, programs, or operations.
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