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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20211D7501999-08-23023 August 1999 Responds to NRC Re Violations Noted in OI Rept 3-98-043 & EA 99-183.Corrective Actions:Oversight of Training Program & Contractor Policies That Implement Parts of Security Program Have Been Increased by Addl Position ML20205M9421999-04-13013 April 1999 Forwards Emergency Response Data System Implementation Documents.Data Point Library Updates for Kewaunee (271), San Onofre (272) & Clinton (273) Encl.Also Encl Plant Attribute Library Update for Grand Gulf (274).Without Encls ML17230A3661999-03-18018 March 1999 Forwards Listed Nelia Insurance Policy Endorsements for Kewaunee Nuclear Power Plant,Per Requirements of 10CFR140.15 ML20203F2541999-02-10010 February 1999 Informs That Beginning 990216,DE Hills Will Be Chief of Operations Branch Which Includes Operator Licensing Function ML20155F7951998-11-0303 November 1998 Second Partial Response to FOIA Request for Documents. Records Subj to Request Encl & Identified in App C ML20154F1481998-10-0202 October 1998 Forwards Insp Rept 50-305/98-15 on 980831-0904.No Violations Noted.Insp Exam of Activities Conducted Under License Re Physical Security & to Compliance with Commission Rules & Regulations & with Conditions of License ML20237E0881998-08-24024 August 1998 Clarifies Info Provided Re Containment Ventilation Sys & Use of Mixing Factor of 0.5,in Response to NRC Request Made During Telcon ML20237A2301998-08-0707 August 1998 Forwards Original & Three Copies of Rev 11 to Knpp Security Manual.Screening Criteria Form for Each Change W/Description & Criteria of Review Has Been Included as Attachment A. Reissued Security Manual Included in Attachment B.W/O Encls ML20236R9051998-07-21021 July 1998 Informs That Document Entitled, WCAP-14677,Rev 1 F* & Elevated F* Tube Alternate Repair Criteria for Tubes W/Degradation within Tubesheet Region of Kewaunee Sgs, Will Be Withheld from Public Disclosure,Per 10CFR2.790 ML20249B7471998-06-23023 June 1998 Forwards RAI Re 980601 Proposed Amend to Revise F* & Ef* Criteria for SG Tubes in Kewaunee Tss.Proposed Amend Would Revise Existing F* & Ef* Distances in TS 4.2.b to Reflect Changes to Primary to Secondary Differential Pressure ML20249A8751998-06-16016 June 1998 Forwards Request for Addl Info Re Proposed Amend to Redefine Parent Tube Pressure Boundary for Westinghouse Mechanical Hybrid Expansion Joint SG Tube Sleeves,Submitted by Util ML20248M2521998-06-0909 June 1998 Forwards Assessment of Kewannee Cycle 22 Alternate Repair Criteria 90 Day Rept,For Info ML20217F3401998-04-23023 April 1998 Forwards Annual Environ Monitoring Rept Jan-Dec 1997, Per TS 6.9.b.1.Results of 1997 Land Use Census,Iaw Plant ODCM, Section 3/4.7.1,included in Rept ML20216B3281998-04-0707 April 1998 Discusses Amend 132 to License DPR-43.Requested Revised Analysis Reflecting Higher Source Term Encl.Results of Analysis Conclude That Potential Thyroid Doses to Public Continue to Be Less than Guideline Values of 10CFR100 ML20217J2131998-04-0202 April 1998 Forwards Copy of Each Revised Forms 398,personal Qualifications Statement & 396,certification of Medical Exam by Facility Licensee.Due to Error on Instructions for Form 398,addendum for Completing Form Are Provided ML20217H4031998-03-27027 March 1998 Informs That NRC Staff Has Initiated Variety of Activities Re Mgt of Licensing Basis Info as Result of Problems Encountered at Millstone & Maine Yankee Facilities ML20217G1461998-03-25025 March 1998 Responds to NRC Re Violations Noted in Insp Rept 50-305/98-03 on 980128-0203.Corrective Actions:Controlling & Properly Securing SGI ML20203C8481997-12-10010 December 1997 Forwards Emergency Response Data Sys Implementation Documents for Plants.W/O Encl ML20212H0121997-11-0404 November 1997 Forwards Insp Rept 50-305/97-14 on 970915-19.No Violations Noted.Rept Identifies Areas Examined within Security Program ML20217P3511997-08-26026 August 1997 Ack Receipt of & Check for $50,000 in Payment for Civil Penalty Proposed by NRC in . Corrective Actions Will Be Examined During Future Insp ML20217J9641997-08-11011 August 1997 Responds to NRC Re Violations Noted in Insp Rept 50-305/97-02 on 970106-31.Corrective Actions:Will Revise IST Procedures to Use More Accurate Instrumentation Satisfying Requirements & to Include Acceptance Criteria ML20140E8861997-06-0707 June 1997 Forwards Amend 133 to License DPR-43 & Safety Evaluation. Amend Establishes New Design Basic Flow Rate for AFW Pumps Consistent W/Assumptions Used in Reanalysis of Limiting Design Basis Event for AFW Sys ML20140F2171997-04-30030 April 1997 Final Response to FOIA Requests for Documents.Records in App B Encl & Will Be Available in PDR IA-97-130, Final Response to FOIA Requests for Documents.Records in App B Encl & Will Be Available in PDR1997-04-30030 April 1997 Final Response to FOIA Requests for Documents.Records in App B Encl & Will Be Available in PDR ML20140F2211997-04-0404 April 1997 FOIA Request for Documents Re Recently Issued TIA for Plant Concerning Safety Question on Auxiliary Feedwater Sys ML20137A2111997-03-14014 March 1997 Transmits Info Pertaining to NRC Staff Review of Weld Defects in CE Designed SG Tube Sleeves ML20134Q0981997-02-21021 February 1997 Ninth Partial Response to FOIA Request for Documents. Forwards Documents Listed in App P.App Q Documents Partially Withheld (Ref FOIA Exemption 6).Documents Also Available in PDR ML20134Q1251997-02-20020 February 1997 Forwards Original & Three Copies of Rev 10 to Knpp Security Manual.Manual Is Being Changed to Incorporate Use of Vehicle Barrier Sys,Per 10CFR73.55 & 73.1(a).Encl Withheld ML20133E7031997-01-0606 January 1997 Forwards Insp Rept 50-305/96-12 on 961118-27 & Notice of Violation ML20133G2291997-01-0606 January 1997 Ltr Contract:Task Order 115, Kewaunee Safety Sys Operational Performance Insp, Under Contract NRC-03-93-026 ML20129K1131996-11-0505 November 1996 Forwards Copy of Master Bwr/Pwr Gfes Exam W/Answer Key for Info.W/O Encl ML20129J2641996-10-29029 October 1996 Ack Receipt of 960613 & 1024 10CFR50.54(a) Submittals Re Changes to Quality Assurance Program Description.Based on Review,Nrc Concludes That Revision Continues to Meet Requirements of 10CFR50,App B & Acceptable ML18065B0081996-10-14014 October 1996 Informs That Overheads Will Be Presented by Licensee at 961016 Meeting at NRC Headquarters in White Flint.Encl Withheld ML20117P6861996-09-20020 September 1996 Forwards Rev 9 to Security Manual.Encl Withheld ML20117L7171996-09-0505 September 1996 Forwards Proposed Tech Specs Re Amend for Use of Westinghouse Laser Welded Steam Generator Tube Sleeves,Per Discussion W/Nrc ML20100M7451996-02-29029 February 1996 Provides Revised Description of Proposed Vehicle Control Measures.Encl Withheld ML20217H4281996-01-24024 January 1996 Discusses Review of Nuclear Energy Inst Guidance Document, Guideline for Managing NRC Commitments, Rev 2,dtd 951219 ML20094H8491995-11-0606 November 1995 Forwards Rev 8 to Security Manual.Rev Withheld ML20091P4951995-08-28028 August 1995 Forwards Clarification of Rev 7 to Security Manual.Encl Withheld ML20094D9291995-08-10010 August 1995 Forwards Scenario Package for 951011 Emergency Exercise at Plant,Per from Cj Paperiello ML20087K2451995-08-0202 August 1995 Forwards Revised Description of Proposed Vehicle Control Measures.Primary Change in Design Is Use of Jersey Barriers in Lieu of Combination Cable & Rock Design.Encl Withheld ML20084L1091995-05-30030 May 1995 Forwards Rev 7 of Kewaunee NPP Security Manual.Encl Withheld ML20080N0061995-02-28028 February 1995 Forwards Summary Description of Plant Proposed Vehicle Control Measures & Results of Vehicle Bomb Comparison.Encl Withheld ML20078R3291994-12-19019 December 1994 Discusses Results & Conclusions of Osre Conducted During 940815-18.Weakness Noted as Being Unique & Only Possible During Specific Time Periods ML20072J3401994-08-22022 August 1994 Responds to NRC Re Violations Noted in Insp Rept 50-305/94-09 on 940516-0704.Corrective Actions:Memo,Stating That Turbine Driven AFW Pump Should Be Declared Inoperable Whenever AFW-10A or 10B Closed or Inoperable,Issued ML20070P5811994-03-29029 March 1994 Requests Meeting W/Nrc & Appropriate Members of NRC Dept Re Disposal of high-level Radwaste from NPP ML20059E9511994-01-0707 January 1994 Requests Addl Info Re Graded Approach for GL 89-10, Safety-Related Motor-Operated Valve Testing & Surveillance ML20058E6581993-12-0101 December 1993 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 940209.Informs That Facility Must Submit Ltr Identifying Individuals Who Will Take Exam ML20058A1291993-11-16016 November 1993 Forwards Safeguards Info Referenced in Preliminary Draft Guide Re Proposed Rule for Protection Against Manevolent Use of Vehicles at Nuclear Power Plants.Encl Withheld ML20059D2761993-10-26026 October 1993 Forwards Copy of Master Bwr/Pwr Gfes Exam W/Answer Key.W/O Encl 1999-08-23
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20211D7501999-08-23023 August 1999 Responds to NRC Re Violations Noted in OI Rept 3-98-043 & EA 99-183.Corrective Actions:Oversight of Training Program & Contractor Policies That Implement Parts of Security Program Have Been Increased by Addl Position ML17230A3661999-03-18018 March 1999 Forwards Listed Nelia Insurance Policy Endorsements for Kewaunee Nuclear Power Plant,Per Requirements of 10CFR140.15 ML20237E0881998-08-24024 August 1998 Clarifies Info Provided Re Containment Ventilation Sys & Use of Mixing Factor of 0.5,in Response to NRC Request Made During Telcon ML20237A2301998-08-0707 August 1998 Forwards Original & Three Copies of Rev 11 to Knpp Security Manual.Screening Criteria Form for Each Change W/Description & Criteria of Review Has Been Included as Attachment A. Reissued Security Manual Included in Attachment B.W/O Encls ML20217F3401998-04-23023 April 1998 Forwards Annual Environ Monitoring Rept Jan-Dec 1997, Per TS 6.9.b.1.Results of 1997 Land Use Census,Iaw Plant ODCM, Section 3/4.7.1,included in Rept ML20216B3281998-04-0707 April 1998 Discusses Amend 132 to License DPR-43.Requested Revised Analysis Reflecting Higher Source Term Encl.Results of Analysis Conclude That Potential Thyroid Doses to Public Continue to Be Less than Guideline Values of 10CFR100 ML20217G1461998-03-25025 March 1998 Responds to NRC Re Violations Noted in Insp Rept 50-305/98-03 on 980128-0203.Corrective Actions:Controlling & Properly Securing SGI ML20217J9641997-08-11011 August 1997 Responds to NRC Re Violations Noted in Insp Rept 50-305/97-02 on 970106-31.Corrective Actions:Will Revise IST Procedures to Use More Accurate Instrumentation Satisfying Requirements & to Include Acceptance Criteria ML20140F2211997-04-0404 April 1997 FOIA Request for Documents Re Recently Issued TIA for Plant Concerning Safety Question on Auxiliary Feedwater Sys ML20134Q1251997-02-20020 February 1997 Forwards Original & Three Copies of Rev 10 to Knpp Security Manual.Manual Is Being Changed to Incorporate Use of Vehicle Barrier Sys,Per 10CFR73.55 & 73.1(a).Encl Withheld ML18065B0081996-10-14014 October 1996 Informs That Overheads Will Be Presented by Licensee at 961016 Meeting at NRC Headquarters in White Flint.Encl Withheld ML20117P6861996-09-20020 September 1996 Forwards Rev 9 to Security Manual.Encl Withheld ML20117L7171996-09-0505 September 1996 Forwards Proposed Tech Specs Re Amend for Use of Westinghouse Laser Welded Steam Generator Tube Sleeves,Per Discussion W/Nrc ML20100M7451996-02-29029 February 1996 Provides Revised Description of Proposed Vehicle Control Measures.Encl Withheld ML20094H8491995-11-0606 November 1995 Forwards Rev 8 to Security Manual.Rev Withheld ML20091P4951995-08-28028 August 1995 Forwards Clarification of Rev 7 to Security Manual.Encl Withheld ML20094D9291995-08-10010 August 1995 Forwards Scenario Package for 951011 Emergency Exercise at Plant,Per from Cj Paperiello ML20087K2451995-08-0202 August 1995 Forwards Revised Description of Proposed Vehicle Control Measures.Primary Change in Design Is Use of Jersey Barriers in Lieu of Combination Cable & Rock Design.Encl Withheld ML20084L1091995-05-30030 May 1995 Forwards Rev 7 of Kewaunee NPP Security Manual.Encl Withheld ML20080N0061995-02-28028 February 1995 Forwards Summary Description of Plant Proposed Vehicle Control Measures & Results of Vehicle Bomb Comparison.Encl Withheld ML20078R3291994-12-19019 December 1994 Discusses Results & Conclusions of Osre Conducted During 940815-18.Weakness Noted as Being Unique & Only Possible During Specific Time Periods ML20072J3401994-08-22022 August 1994 Responds to NRC Re Violations Noted in Insp Rept 50-305/94-09 on 940516-0704.Corrective Actions:Memo,Stating That Turbine Driven AFW Pump Should Be Declared Inoperable Whenever AFW-10A or 10B Closed or Inoperable,Issued ML20070P5811994-03-29029 March 1994 Requests Meeting W/Nrc & Appropriate Members of NRC Dept Re Disposal of high-level Radwaste from NPP ML20056C5071993-02-19019 February 1993 FOIA Request for Documents Re Meeting Minutes,Summaries, Transcripts or Other Documents Resulting from NRC Meeting Held 930209 at Region III Ofc in Glen Ellyn,Il to Discuss Kewaunee Engineering Activities & Other Items of Interest ML20128H9271993-02-13013 February 1993 Advises That All Actions Necessary to Ensure Compliance W/ 10CFR50,App E,Section VI Re ERDS Completed.Installation of ERDS Hardware in Technical Support Ctr Complete & Temporary Telephone Line Replaced W/Permanent Line ML20128D2721993-02-0202 February 1993 Provides Listed Submittal Describing Actions Currently Being Performed & Schedule for Completion of Actions Associated W/ Resolution of long-term Recommendation GL-4,per ML20126E7221992-12-28028 December 1992 Forwards Response to NRC Re Weaknesses & Followup Items Noted in Insp Rept 50-305/92-21 of Annual Emergency Plan Exercise.Corrective Actions:More Mgt Involvement Will Be Provided & Emergency Plan Will Be Revised ML20095G9561992-04-27027 April 1992 Forwards Rev 5 to Security Manual,Revised to Reflect Requirements of New Access Authorization Rule.Rev Withheld ML20091M5531992-01-27027 January 1992 Forwards Rev 4 to Security Manual,Reflecting Recent Organizational & Title Changes & Adding Vehicle Insp Portal on North Gate.Rev Withheld ML20086E3411991-11-21021 November 1991 Forwards Response to Security Concern RIII-91-A-0056,per NRC .Investigation Determined That No Violation of Burns fitness-for-duty Program Occurred & That Burns Program Meets NRC Guidance for Overtime ML20079L0391991-10-29029 October 1991 Forwards Rev 3 to Security Manual to Address Issues Identified in NRC .Manual Withheld ML20079K8081991-10-28028 October 1991 Forwards Emergency Response Data Sys Implementation Program Plan.Implementation Program Plan Indicates That Sys May Be Operational as Early as Feb 1992 Provided No Obstacles Encountered During Hardware/Software Implementation ML1116610971991-08-30030 August 1991 Forwards Rev 3 to WCAP-11476, Handbook on Flaw Evaluation Kewaunee,Unit 1 Steam Generators Upper Shell to Cone Weld. Proprietary Suppl 1 to Kewaunee Unit 1 Steam Generator Upper Shell to Cone Welds Steam Generator... Withheld ML20091B6991991-07-25025 July 1991 Forwards Exercise Scenario Manual Minus Inject Messages Addressing Ingestion Pathway Objectives on Day 2 & 3 of 910924 Annual Emergency Exercise at Plant,Per NRC Requesting Advance Submittal of Exercise Objective.W/O Encl ML20073C2761991-04-0505 April 1991 Forwards Rev 2 to Security Manual,Reflecting Expanded Protection Area Boundary.Rev Withheld (Ref 10CFR73.21) ML1116610051990-10-0909 October 1990 Forwards Nonproprietary WCAP-12712 & Proprietary WCAP-12711, Reevaluation of U-Bend Tube Fatigue for Kewaunee Plant Steam Generators, Per NRC Bulletin 88-002 ML1116610071990-09-17017 September 1990 Requests Withholding of Proprietary WCAP-12711, Reevaluation of U-Bend Tube Fatique for Kewaunee Plant Steam Generators. ML1116506681990-08-17017 August 1990 Forwards Pages Inadvertently Deleted from 1990 Rev to Updated FSAR Submitted on 900720 ML20055C9811990-06-29029 June 1990 Forwards Response to Violations Noted in Insp Rept 50-305/90-04.Response Withheld (Ref 10CFR73.21) ML1116609691990-04-11011 April 1990 Requests That WCAP-12558 Kewaunee Steam Generator Tubesheet Crevice Indications Return to Power Rept, Be Withheld (Ref 10CFR2.790) ML1116609671990-04-0606 April 1990 Forwards Nonproprietary WCAP-12559 & Proprietary WCAP-12558, Kewaunees Steam Generator Tubesheet Crevice Indications Return to Power Rept, as Followup to 900328 Meeting. Proprietary Version Withheld (Ref 10CFR2.790) ML20012A4031990-03-0101 March 1990 Informs That Revised Listed Drawings Sent to Region III for Filing ML20006E8641990-02-19019 February 1990 Suppl Response to NRC 890725 Ltr Re Safeguards Info Violation Noted in Insp Rept 50-305/89-09.Corrective Action: Section V of General Employee Training Manual Security Removed ML1116609341990-01-15015 January 1990 Forwards Nonproprietary WCAP-12441 & Proprietary WCAP-12440, Presentation to NRC Re Kewaunee (Wps) SECY-83-472 LOCA Analysis Effort. Wiesemann 891204 Request for Withholding Also Encl.Proprietary Rept Withheld (Ref 10CFR2.790) ML20005D9601989-12-27027 December 1989 Forwards Response to Allegation RIII-A-89-A-0137.Encl Withheld (Ref 10CFR73.21) ML20005D8131989-12-22022 December 1989 Forwards Status & Proposed Schedule for Security Mod Completion.Implementation Schedule for Proposed Mods Extended Until Oct 1990 Due to Several Major Project Increases.Encl Withheld (Ref 10CFR73.21) ML20011D9111989-12-20020 December 1989 Forwards Executed Amend 8 to Indemnity Agreement B-53 ML19332E6091989-12-0404 December 1989 Forwards Rev 1 to Security Manual.Rev Withheld (Ref 10CFR73.21) ML1116609361989-12-0404 December 1989 Submits Application for Withholding of Proprietary WCAP-12440, Presentation to NRC Re Kewaunee (Wps) SECY-83-472 LOCA Analysis Effort, Per 10CFR2.790.Affidavit Supporting Request Encl ML20247J7721989-07-19019 July 1989 Forwards Rept for Unannounced off-hours Drills on 881020 for State of WI,site-specific to Zion,Point Beach,Kewaunee & Prairie Island Nuclear Power Stations.No Deficiencies or Areas Requiring Corrective Actions Noted 1999-08-23
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Kewaunee Nuclear Power Plant North 490, Highway 42 I Kewaunee. WI 54216-9511 920-388-2560 l
August 23,1999 10 CFR 2.202 U. S. Nuclear Regulatory Commission Attention: Document Control Desk ;
Washington, D.C. 20555 i
Ladies / Gentlemen:
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Docket 50-305 Operating License DPR-43 Kewaunee Nuclear Power Plant Response to Apparent Violation. EA 99-183
Reference:
Letter from J. A. Grobe (NRC) to M. L. Marchi (WPSC) dated July 22,1999 (NRC Office ofinvestigations Report 3-98-043)
In the reference, the Nuclear Regulatory Commission (NRC) informed Wisconsin Public Service Corporation (WPSC) of the results of an investigation by NRC Office ofInvestigations (01). The NRC's preliminary conclusion is that there is an apparent violation of regulatory requirements regarding willful falsification of records by a member of management in the Kewaunee Plant's contracted security staff. Accordingly, NRC has asked WPSC to respond to the apparent violation.
In the reference the NRC informed WPSC of the option to have a predecisional enforcement conference to discuss the issues further. As WPSC indicated in a telephone conversation with Mr. James Creed, NRC Region 111, we have waived the enforcement conference option and are providing the information requested by the NRC in the attachment to this letter.
Should there be any questions regarding any of the information provided, please contact me or a member of my staff for clarification.
Sincerely, t I
- U N M
Mark L Marchi Subscribed and Sworr to Before Me.This <#7; Day k
Vice President-Nuclear 1999 of d m ~ us.i_/
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GlH Notary Public, State of Wisconsin Attach.
cc - US NRC, Region 111 My Commission Expires:
US NRC Senior Resident inspector A4agle /rdoo /
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ATTACHMENT I i
Letter froin Mark L. Marchi (WPSC) i To {
1 1
Document Control Desk (NRC) l
! Dated !
! l l August 23,1999 Re: Response to Apparent Violation, EA 99-183 nehuc Pvoll ymotovm6 lcarwfileclicwe gparentviol disc
Document Control Desk August 23,1999 Attachment 1. Page 1 Apparent Violation The Nuclear Regulatory Commission's (NRC's) letter communicating the apparent violation, was not specific in citing what particular portion of the Code is considered to have been violated.
Consequently, our response to the apparent violation will be centered around the nature of the event that occurred.
Contrary to the requirements of the Kewaunee Plant Security Program, security weapons tests were not performed as required on all security equipment on two occasions. Specifically, the annual tests of shotguns were not performed on i1 shotguns in 1997 and nine shotguns in 1998. It was also found that the management individual from the contracted security firm responsible for conducting the equipment tests, falsified the documentation that signified completion of the tests for the periods in question. It was also determined that the individual responsible for the tests provided false information to the Kewaunee Plant Security Director when questioned on the subject.
WPSC Resnonse Wisconsin Public Service Corporation (WPSC) concurs with the finding as described above. WPSC's internalinvestigation of the event concluded that the contracted security management representative deliberately falsified records that are used to document performance of the tests. When confronted with the evidence, the individual denied any wrongdoing. Although the incident and the act itselfis serious, it was determined to be an isolated incident conducted by a single person. The contracted security organization is The Wackenhut Corporation (TWC).
WPSC would like to clarify a point made in the Oflice ofInvestigation (01) report letter. The letter notes that subsequent confirmatory testing of the shotguns resulted in two that failed their test.
WPSC would like to make it clear that the failures in and of themselve, do not mean that failing to conduct the previous tests resulted in the shotguns having been in an inoperable or degraded state for any particular duration. Although we can not conclusiv"y state that they were fully functional either, it should be cicar that the failures could have occurred a. 2ny time.
WPSC is aware that NRC is particularly concerned with events and/or conditions involving willful violations and considers them of sufficient significance to warrant escaJated enforcement. WPSC is equally sensitive to the seriousness of this type of event which is, in part, what prompted the extent and timeliness of corrective actions that have been taken. I 1
Document Control Desk l August 23,1999 l Attachment 1, Page 2 l However, WPSC feels that enforcement discretion can and should be applied when considering any civil penalty and at what level the NRC assesses the apparent violation. As indicated in the letter notifying WPSC of the apparent violation, WPSC identified the condition and took prompt and effective corrective actions to address the issue. Additionally, WPSC promptly notified NRC Region III of the condition even though the condition in and of itself did not meet regulatory reporting criteria. NRC also indicated in the letter that NRC's final decision will be based on )
1 confirmation on the docket that the corrective actions previously described to the NRC have been l
or are being taken. This response will provide that confirmation.
Reason For Violation I l
The individual responsible for conducting shotgun functional tests did not perform the required tests j j
on all shotguns in the Security Group's inventory. Why the individual failed to conduct the tests could i l
not be determined. When confronted with the evidence that the tests were not conducted the I individual denied falsifyng records that indicated tlnt the tests were performed. A contributing factor to the event was that there was no second verification or review requirements included in the process l which could have prevented the event.
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The condition was found when it was determined that statements made by the individual responsible for conducting the tests could not be substantiated by plant security computer access records and weapons location records. The access computer showed that the individual responsible for performing the test was not in the plant long encugh or in the area of the weapons in order to obtain all the weapons he had attested to testing. Also, when weapons are taken ofTsite for any reason, they are logged as out of service. There were no log entries which would indicate the weapons were taken off l site for testing during the time intervals the suspect individual indicated that he had conducted the weapons tests.
The individual was a member of management / supervisory staff and was solely responsible for conducting and recording the tests. This was not considered an unusual situation for an individual in this type of position. The position was felt to be at a sufliciently elevated level of responsibility that m =wn..m
l Document Control Desk
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j August 23,1999 Attachment 1, Page 3 a review of the activities' performance and confirmation of records were not required. Nevertheless, j this did introduce the potential for a deliberate act of an individual to go unnoticed.
I I
The falsified records were working records kept on the status of tests performed on the weapons. l These records are used as the basis for documenting that the tests were completed in a formal record,
" Security implementing Procedure (SIP) 30.02-10." The original inquiries started when the formal record was questioned as being out of date. When the individual responsible for the records was questioned on the status of the weapons he indicated he had forgotten to complete the formal record and indicated he had performed the required tests. His suppon for his statement was that he used the l l
working record to track the status until he entered the information on the formal record.
i Corrective Actions
- Oversight of the Training Program and contractor policies that implement parts of the security program have been increased with the addition of another licensee position to the security organization. This oversigh: should reduce potential of reoccurrence.
- Security contractor policies were reviewed and those that implement parts of the security program have been verified to include proper licensee review and oversight.
- All shotguns that could not positively be verified as having had an annual test fire were removed from service and test fired on 10/16/98.
- The two weapons that failed to properly cycle duria testing have been repaired, re-tested, and placed back in service.
- All training records that the responsible individual was involved with were reviewed for the past three years and written tests for 1998 were re-scored to verify compliance with the training and qualificationu (T&Q) manual. No discrepancies that impacted the T&Q progiam were detected and minor discrepancies were corrected. The minor errors were reviewed for considerations of this investigation and determined not to be a case of fitisification or a deliberate act.
. Other processes within the security program were reviewed to determine a similar pattern of a single individual having sole responsibility for a process or lack of proper oversight. Other processes were determined to have proper dissemination of responsibilities and oversight.
. The policy and procedure for documenting test firing of firearms have been revised and updated.
Policy now provides additional oversight and verification of the program. These measures are designed to prevent reoccurrence.
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Document Control Desk
~ August 23,1999 -
Attachment 1, Page 4 -
e' Reviews were conducted of other programs and actions that the position was responsible for to determine compliance with the security program. No other abnormalities or concerns were detected.
- ' The security contractor pohey was revised to include an annual review of the security contractor responsibilities. These measures are designed to ensure periodic verification and continued licensee oversight of contractor policies.
. All personnel involved in the event as well as the security force were advised of the situation and responsibilities in ensuring thorough review and reporting of concerns found within any program and the ramifications of falsification.
. Since the event the contracted employee had been terminated by TWC.
- Comoliance Schedule The corrective actions described above have been completed.
. . . 4, &, .,-