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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217N7591999-10-18018 October 1999 Provides Monthly Update on Progress of Installation of Seismic Upgrade Mods to Bldgs C-331 & C-335 ML20217M3861999-10-15015 October 1999 Provides Addl Changes to SAR Update Certificate Amend Request,Containing Changes That Resulted from re-evaluation of Autoclave head-to-shell O-ring Leakage Analysis Provided by DOE SAR Repts ML20217G1811999-10-14014 October 1999 Forwards Reissued Amend to Coc for Usec Paducah Gdp.Coc Corrects Coc Issued on 991006.Amend Number & Effective Date Were Inadvertently Incorporated as 3 & 991026,instead of 4 & 991105 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 ML20217F6801999-10-12012 October 1999 Forwards Updated Paducah GDP Certificate Amend Requests at NRC for Approval ML20217B2801999-10-0606 October 1999 Forwards Insp Rept 70-7001/99-203 on 990921-23.No Violations Noted ML20217B3521999-10-0606 October 1999 Forwards Amend 3 to Certificate of Compliance GDP-1 to Revise Six Technical Safety Requirements Sections.Sections Are 2.1.4.17,2.1.4.8,2.3.4.1,2.3.4.4,2.3.4.16 & 3.10.4.b. Compliance Evaluation Rept Also Encl ML20212K8941999-10-0404 October 1999 Forwards Insp Rept 70-7001/99-10 on 990720-0907 & Forwards NOV Indicating That Some Personnel Were Incorrectly Granted Unescorted Access to Controlled Access Areas Without Having Necessary Specific Training ML20216J8931999-10-0101 October 1999 Forwards Copy of Security Incident Log & Associated Info for Sept 1999 ML20216J9081999-09-30030 September 1999 Forwards Revised Written Event Rept 99-10,rev 3,pertaining to Corroded Fire Sprinkler Heads Affecting Operability of high-pressure Fire Water (HPFW) Sprinkler Sys.No Commitment Contained in Rept ML20217M3701999-09-29029 September 1999 Submits bi-monthly Update on Progress of Mods to Upgrade Audibility of Criticality Accident Alarm Sys (Caas).Schedule for CAAS Audibility Upgrades Attached 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 ML20212F0981999-09-22022 September 1999 Forwards Insp Rept 70-7001/99-12 on 990830-0902.Purpose of Insp Was to Determine If Security Requirements Adequately Implemented & Included Review of Approved Plant Security Plan.No Violations Identified 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 ML20212D4291999-09-17017 September 1999 Forwards Required 30-day Written Event Rept Re Criticality Accident Alarm Sys Response Time in Bldg C-710.Encl 2 Contains Commitments Contained in Submittal ML20212D4231999-09-16016 September 1999 Informs That Review of Event Rept Er 99-12 Revealed Listed Two Statements Inadvertently Omitted from Document ML20212B6611999-09-15015 September 1999 Forwards Insp Rept 70-7001/99-202 on 990816-20.No Violations Noted ML20212D2361999-09-15015 September 1999 Submits Monthly Update on Progress of Installation of Seismic Upgrade Mods to Bldgs C-331 & C-335 ML20212A5441999-09-14014 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7001/99-07 ML20212A5531999-09-14014 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7001/99-08 ML20211Q9951999-09-10010 September 1999 Forwards 30-day Written Rept ER-99-12,re Loss of Power to Autoclave Position 1 North & 1 South Process Gas Leak Detection (Pgld) in Bldg C-333-A.Caused by Electrical Short Circuit.Submitted Work Request 501636 for PI SEX-4 ML20216E4891999-09-0909 September 1999 Responds to Violations Noted in Insp Rept 70-7001/99-08. Corrective Actions:On 990602 Responsible Organization Manager Met with FP Engineer Performing Bldg Reappraisal & Made Clear Expectation for Prompt Reporting of Deficiencies 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 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 ML20211L6441999-09-0202 September 1999 Forwards Insp Rept 70-7001/99-11 on 990802-06.No Violations Noted.Insp Consisted of Selective Exam of Procedures & Representative Records,Interviews with Personnel & Observations of Activities in Progress ML20211M3551999-09-0101 September 1999 Forwards Copy of Security Incident Log & Associated Info for Month of Aug 1999,IAW 10CFR95.57(b) 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 ML20211G9971999-08-26026 August 1999 Forwards Rev 2 to Written Rept Er 99-10,re Corroded Fire Sprinkler Sys in Bldg C-337 & C-333.Analysis of Root Cause Has Not Been Completed.Statistically Based Sprinkler head- Sampling Plan Has Been Completed & Approved ML20211B5021999-08-20020 August 1999 Forwards Amend 2 to Certificate of Compliances GDP-1, Revising Paducah GDP Technical Safety Requirements Re Audibility Requirements for Criticality Accident Alarm Sys at Facility & Related Sections of SAR ML20211F1761999-08-20020 August 1999 Requests That Paducah GDP facility,C-709 Lab Annex Bldg Be Added to List of Facilities to Be Exempted from CAAS Detection Coverage ML20211D9751999-08-20020 August 1999 Forwards Rev 1 to Final Written Event Rept Er 99-11,re Unplanned Actuation of C-333-A Autoclave 1 North Autoclave Steam Pressure Control Sys (Aspcs) on 990623 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 ML20211D5811999-08-16016 August 1999 Submits Monthly Update on Progress of Installation of Seismic Upgrade Mods to Bldgs C-331 & C-335 ML20210P7421999-08-10010 August 1999 Forwards Insp Rept 70-7001/99-08 on 990529-0719 & Nov. Violations of Concern Because Late Reporting of Problems with safety-related Equipment Could Negatively Impact Continued Availability of Equipment 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 ML20210L6571999-08-0404 August 1999 Informs That Staff Completed Initial Review of 990720 Application to Amend Coc GDP-1.Staff Anticipates Completing Review by 990930 ML20211A7901999-08-0404 August 1999 Forwards Info Requested During Briefing by NRC Staff on 990726 Re NRC Interactions with Usec ML20210H3161999-07-30030 July 1999 Forwards Rev 1 to Written Event Rept ER-99-10,re Corroded Fire Sprinkler Heads Affecting Operability of HP Fire Water Sprinkler Sys in Bldg C-337 & C-333.Testing & Analysis of Root Cause & Corrective Actions Necessary Are Not Complete ML20210J1331999-07-30030 July 1999 Forwards Copy of Security Incident Log & Associated Info for Month of July 1999,per Reporting Requirements of 10CFR95.57(b) ML20210H2181999-07-29029 July 1999 Responds to Violations Noted in Insp Rept 70-7001/99-07. Corrective Actions:Smoke Watch Was Established Covering Area Affected by Process Gas Leak Detection Inoperabilty & Individuals Involved Were Counseled for Personnel Errors ML20210P7871999-07-29029 July 1999 Provides bi-monthly Update on Progress of Modifications to Upgrade Audibility of Criticality Accident Alarm Sys,In Response to NRC 981217 Request ML20210F9761999-07-28028 July 1999 Forwards Compliance Evaluation Rept Prepared to Support Amend of Coc GDP-1 Re Criticality Accident Alarm Sys Audibility.Notice of Amend Forwarded to Ofc of Fr Also Encl ML20210J7921999-07-27027 July 1999 Forwards Proprietary NRC Form 327, Special Nuclear Matl (SNM) & Source Matl (SM) Physical Inventory Summary Rept, for Paducah & Portsmouth Gdps.Rept Covers Period Ending 990528.Proprietary Info Withheld,Per 10CFR2.790(d) ML20210G0391999-07-26026 July 1999 Forwards Compliance Evaluation Rept & Fr Notice for Revised Qaps,Per 990212 Application ML20210H6001999-07-26026 July 1999 Forwards NRC Form 790 Classification Record Documents for Paducah & Portsmouth Gaseous Diffusion Plants That Were Generated During Month of June 1999.Without Encl 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 ML20210E4291999-07-23023 July 1999 Forwards Required 30-day Written Event Rept Re Unplanned Actuation of C-333-A Autoclave 1 North Autoclave Steam Pressure Control Sys (Aspcs) on 990623.Investigation Ongoing for Root Cause 1999-09-09
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20217G1731999-10-14014 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 ML20217G1811999-10-14014 October 1999 Forwards Reissued Amend to Coc for Usec Paducah Gdp.Coc Corrects Coc Issued on 991006.Amend Number & Effective Date Were Inadvertently Incorporated as 3 & 991026,instead of 4 & 991105 ML20217B2801999-10-0606 October 1999 Forwards Insp Rept 70-7001/99-203 on 990921-23.No Violations Noted ML20217B3521999-10-0606 October 1999 Forwards Amend 3 to Certificate of Compliance GDP-1 to Revise Six Technical Safety Requirements Sections.Sections Are 2.1.4.17,2.1.4.8,2.3.4.1,2.3.4.4,2.3.4.16 & 3.10.4.b. Compliance Evaluation Rept Also Encl ML20212K8941999-10-0404 October 1999 Forwards Insp Rept 70-7001/99-10 on 990720-0907 & Forwards NOV Indicating That Some Personnel Were Incorrectly Granted Unescorted Access to Controlled Access Areas Without Having Necessary Specific Training ML20212F0981999-09-22022 September 1999 Forwards Insp Rept 70-7001/99-12 on 990830-0902.Purpose of Insp Was to Determine If Security Requirements Adequately Implemented & Included Review of Approved Plant Security Plan.No Violations Identified ML20212B6611999-09-15015 September 1999 Forwards Insp Rept 70-7001/99-202 on 990816-20.No Violations Noted ML20212A5441999-09-14014 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7001/99-07 ML20212A5531999-09-14014 September 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7001/99-08 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 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 ML20211L6441999-09-0202 September 1999 Forwards Insp Rept 70-7001/99-11 on 990802-06.No Violations Noted.Insp Consisted of Selective Exam of Procedures & Representative Records,Interviews with Personnel & Observations of Activities in Progress ML20211B5021999-08-20020 August 1999 Forwards Amend 2 to Certificate of Compliances GDP-1, Revising Paducah GDP Technical Safety Requirements Re Audibility Requirements for Criticality Accident Alarm Sys at Facility & Related Sections of SAR 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 ML20210P7421999-08-10010 August 1999 Forwards Insp Rept 70-7001/99-08 on 990529-0719 & Nov. Violations of Concern Because Late Reporting of Problems with safety-related Equipment Could Negatively Impact Continued Availability of Equipment ML20210L6571999-08-0404 August 1999 Informs That Staff Completed Initial Review of 990720 Application to Amend Coc GDP-1.Staff Anticipates Completing Review by 990930 ML20211A7901999-08-0404 August 1999 Forwards Info Requested During Briefing by NRC Staff on 990726 Re NRC Interactions with Usec ML20210F9761999-07-28028 July 1999 Forwards Compliance Evaluation Rept Prepared to Support Amend of Coc GDP-1 Re Criticality Accident Alarm Sys Audibility.Notice of Amend Forwarded to Ofc of Fr Also Encl 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 ML20209F0611999-07-0909 July 1999 Forwards Insp Rept 70-7001/99-09 on 990621-25.No Violations Noted ML20196K0981999-07-0101 July 1999 Forwards Insp Rept 70-7001/99-07 on 990413-0528 & Nov. Violations Re Failure to Fully Evaluate Situation in Which Safety Sys Relied Upon to Mitigate Consequences of Accident Was Inappropriately Returned to Svc ML20196A1571999-06-17017 June 1999 Confirms Discussions Between K O'Brien & L Jackson to Conduct Meeting on 990630 to Discuss Apparent Violation ML20207F1311999-06-0404 June 1999 Responds to Requesting Copy of OI Rept 3-1998-033 Re Docket Potential Violation of 10CFR76.7 Concerning Employee Protection at Plant.Request Denied for Listed Reasons 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 ML20207E8201999-05-18018 May 1999 Refers to Investigation Case 3-1998-033 Re Apparent Violation Involving Usec & Lockheed-Martin Utility Service, Inc Mgt Discriminating Against Employee at Paducah Gaseous Diffusion Plant.Synopsis Encl.Without Encl 2 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 ML20206H5161999-05-0606 May 1999 Informs That NRC Will Not Be Able to Complete Review of Paducah Certificate Amend Request on Criticality Accident Alarm Sys Audibility Upgrade by 990507,as Indicated in NRC .Review Should Be Completed by 990630 ML20206E6481999-04-29029 April 1999 Forwards Insp Rept 70-7001/99-04 on 990224-0412.No Violations Noted ML20205R8041999-04-20020 April 1999 Forwards Partially Withheld Insp Rept 70-7001/99-201 Conducted on 990322-26.Scope & Results of Insp Summarized in Rept 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 ML20205K4481999-04-0707 April 1999 Forwards Addl Info Needed for Staff to Complete Review of 990112 Application for Amend Re Seismic Upgrades for Bldgs C-331 & C-335 at Paducah Gaseous Diffusion Plant ML20205J3021999-04-0202 April 1999 Forwards Insp Rept 70-7001/99-05 on 990322-25.No Violations Noted.Insp Included Review of Approved Paducah Physical Security Plan ML20204H9611999-03-18018 March 1999 Forwards RAI Re 990212 Applications Requesting Amends to Coc for Paducah & Portsmouth Gaseous Diffusion Plants for Revised QAPs ML20204C2721999-03-17017 March 1999 Ack Receipt of Application to Amend Coc GDP-1,re Criticality Sys Audibility Upgrades,Transmitted by Ltr . NMSS Anticipates Completing Technical Review by 990301 ML20204F2511999-03-17017 March 1999 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 70-7001/98-18.Actions Will Be Examined During Future Insp ML20207M1081999-03-11011 March 1999 Discusses Us Enrichment Corp Participation in Round Robin Sample Exchange Program Administered by Nbl for Verfying Quality of Licensee U Destructive Measurement Sys.Invoices FL0237-99 & FL0238-99 for Amount Listed Encl ML20207K3011999-03-11011 March 1999 Forwards Insp Rept 70-7001/99-01 on 990113-0223.No Violation Noted.Continuing Problems with Some Plant Staff Understanding & Adherence to long-standing Plant Policies & Procedures Were Found ML20207J7641999-03-11011 March 1999 Requests Addl Info,Specified in Encl,Re 980918 Paducah Gaseous Diffusion Plant Seismic Hazard Analysis,Rev 2,for Staff Review ML20207G2231999-03-0505 March 1999 Discusses Insp Rept 70-7001/98-18 on 981201-990112 & Forwards Notice of Violation Re Failure to Maintain Control of Classified Matter at Paducah Facility 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 ML20203G4011999-02-0909 February 1999 Forwards Insp Rept 70-7001/99-02 on 990125-29.No Violations Noted.Insp Consisted of Selective Exam of Procedures & Representative Records,Interviews with Personnel & Observations of Activities in Progress ML20202G2501999-01-29029 January 1999 Discusses 990125 Meeting with Us Enrichment Corp in Lisle,Il Re Implementation Status of C/A Plans for Nuclear Criticality Safety Program & Basis for Proposed Changes to Completion Dates for Some C/A.List of Attendees Encl ML20202F0531999-01-29029 January 1999 Forwards Renewed Cocs for Paducah & Portsmouth Gaseous Diffusion Plants Located in Paducah,Ky & Piketon,Oh. Compliance Evaluation Rept Encl Also ML20202F5731999-01-26026 January 1999 Informs That Chairman Has Sent Rept to Congress on Gaseous Diffusion Plants,As Required by Aec.Rept Discusses Status of Health,Safety & Environ Conditions at Plants Located Near Paducah,Ky & Portsmouth,Oh for Period from 971001-980930 ML20202F0461999-01-26026 January 1999 Expresses Appreciation for 981104,comments on Draft Rept to Congress.Changes Were Made to Rept to Address All of Comments Except for One.Event Notification Summary Was Not Revised to Addl Info Requested ML20202F5591999-01-26026 January 1999 Expresses Appreciation for 981104,comments on Draft Rept to Congress.Future Repts Will Be Prepared in Conjunction with Recertification Reviews ML20199H1011999-01-15015 January 1999 Forwards Second NRC Rept to Congress,Covering Period from 971001-980930.Rept Discusses Status of Health,Safety & Environ Conditions at Gaseous Diffusion Plants Near Paducah,Ky & Portsmouth,Oh ML20199G2161999-01-14014 January 1999 Forwards Amend 23 to Coc GDP-1,revising TS Requirement 2.3.4.7 on Product & Tails Withdrawal Facilities Criticality Accident Alarm Sys 1999-09-09
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[ .. f l p-March 17, 1999 EA 99-016 l Mr. J. N. Adkir,a Vice President - Production United States Enrichment Corporation Two Democracy Center 1 6903 Rockleoge Drive Bethesda, MD 20817-
SUBJECT:
RESPONSE TO PADUCAH INSPECTION REPORT 070-7001/98018(DNMS)
Dear Mr. Adkins:
This refers to your March 1,1999, response to the Notice of Violsilon (NOV) transmitted to you by our letter dated January 28,1999, with inspection Report 070-7001/98018(DNMS). 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) 829-9603.
Sincerely, l
/s/ P.L. Hiland i Patrick L. Hiland, Chief Fuel Cycle Branch Docket No. 070-7001 Certificate No. GDP-1 l cc: H. Pulley, Paducah General Manager L. L. Jackson, Paducah Regulatory Affairs Manager J. M. Brown, Portsmouth General Manager S. A. Toelle, Manager, Nuclear Regulatory Assurance and Policy, USEC Paducah Resident inspector Office Portsmouth Resident inspector Office R. M. DeVault, Regulatory Oversight Manager, DOE J. C. Hodges, Paducah Site Manager, DOE DOCUMENT NAME: G:\SEC\ PAD 98018.RES To receive a copy of this document, ind;cate in the box:"C" = Copy without enclosure "E"= Copy with enclosure"N"= No copy OFFICE Rill lA)IRlli lF l l NAME Krsek:ib [-Er Hiland PA\&
DATE 03/lf/99 " 03/n/99 OFFICIAL RECORD COPY 9903250248 990317 PDR ADOCK 07007001 -
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l JAMES N. ADKiNs,JR. DIR: (301) 564-3417 VicE PRESIDENT, PRODUCTION fax: (301)571-8279 March 1,1999 )
GDP 99-0046 U. S. Nuclear Regulatory Commission Attention: Document Control Desk Washington, D.C. 20555-0001 Paducah Gaseous Diffusion Plant (PGDP)
Docket No. 70-7001 Response to Inspection Report (IR) 70-7001/98018 Notice of Violation (NOV) 98018-01 and Response to an Apparent Violation in Inspection Report 70-7001/98018(DNMS)
The subject IR contained one NOV conceming the failure to correct in a timely manner conditions adverse to quality identified in a 1997 nonconformance report (PR-QA-97-2600, dated May 16, 1997) associated with the application of 10 CFR 21 requirements to augmented quality class components. USEC's response to the violation is provided in Enclosure 1. The corrective actions specified in the enclosures apply solely to PGDP except for UE2 level procedures which are applicable to both sites.
In addition to the cited violation, the IR also identified one apparent violation regarding the failure to control classified matter in an area outside the Contrciled Access Area. USEC's response to the apparent violation is provided in Enclosure 2.
A list of commitments made in this letter is provWd in 3nclosure 3.
Any questions regarding this matter should be ' directed to Larry Jackson at (502) 441-6796.
Sincerely, a
S. W. I h James N. Adkins, Jr.
T Vice President, Production
Enclosures:
As Stated cc: NRC Region III Office NRC Resident Inspector - PGDP 6903 Rocidedge Drive. Bethesda. MD 20817-1818 Telephone 301-564 3200 Fax 301-564 3201 http://www.usec.com OfIices in Livermore. CA Paducah. KY Portsmouth. OH Washington, DC AMR 0 4 tipp' k()3vkD%l f fp
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OATH AND AFFIRMATION I, Steven A. Toelle, swear and affirm that I am the Nuclear Regulatory Assurance and Policy Manager of the United States Enrichment Corporation (USEC), that I am authorized by USEC to sign and file with the Nuclear Regulatory Commission this Response to an Apparent Violation in Inspection Report 70-7001/98018(DNMS), Enclosure 2 to letter GDP 99-0046, that I am familiar I with the contents thereof, and that the statements made and matters set forth therein are true and correct to the best of my knowledge, information, and belief.
/1
- 5. A. Il Steven A. Toelle i
On this 1st day of March,1999, the person signing above personally appeared before me, is known by me to be the person whose name is subscribed to within the instrument, and acknowledged that he executed the same for the purposes therein contained.
In witness hereof I hereunto set my hand and official seal.
4k Robin D. Johnson, N Public State of Maryland, ontgomery County My commission expires June 1,2002
7 _ . . . ,i Enclosure 1 ODP 99-0046 Page 1 of 3 UNITED STATES ENRICHMENT CORPORATION (USEC)
REPLY TO NOTICE OF VIOLATION (NOV) 70/7001/98018-01 Restatement of Violation-' i Title 10 of the Code of Federal Regulations, Part 76.93, " Quality Assurance," requires, in part, that .)
the Corporation shall establish and implement a Quality Assurance Program. !
Section 2.16, " Corrective Action," of the Quality Assurance Program, required, in part, that conditions adverse to quality shall be identified and corrected as soon as practical.
Contrary to the above, as of January 12,1999, the certificatee failed to correct conditions adverse to quality identified in a 1997 nonconformance report (PR-QA-97-2600, dated May 16, 1997),
associated with the application of 10 CFR 21 requirements to augmented quality class components, for in excess of 18 months.
USEC Response I. Reasons for the Violation The reason for this violation was that insufficient management attention was given to resolution of the issue. The available performance indicator information was not used to alert management on the lack of timeliness of this corrective action.
I A problem report identifying concerns with the Part 21 evaluation and reporting procedure and its application to AQ basic components was written in May 1997 and was not adequately addressed by the'date of the subject inspection report.
In respouse to the original problem report, engineering management established an action plan scheduled to be completed by November 21,1997. Difficulty was encountered in understanding and resolving the issues. Because the plan involved complex, multi-site issues, the schedule was extended three times. These extensions are well documented.
The Corrective Action Program classifies issues according to their significance. They may
- be classified as Significant Conditions Adverse to Quality (SCAQ), Conditions Adverse to Quality (CAQ) or Not Quality Related (NQR). In the case of PR-QA-97-2600, it was designated 'a CAQ. The issue owner recognized the issue as an important issue but he believed the 10 CFR 21 reportability program was in compliance with regulatory requirements. This, in conjunction with the low safety significance of tb issue, resulted in a decreased sense of urgency in correcting the problems identified in the problem report
' compared to other safety significant plant priorities.
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o Enclosure 1 j GDP 99-0046 i
!' Page 2 of 3 ;
1 l l . The 10 CFR Part 21 reporting requirements were being implemented, but management agrees that the problem report identified issues could have been improved in a more timely l manner. USEC has not found this to be a generic problem but has taken actions, and plans ,
to continue, to provide more management oversight of timeliness on addressing CAQ and !
SCAQ levelissues.
II. Corrective Actions Taken and Results Achieved i i
- 1. The Commitment Management organization has begun to include and continues to refine its monthly Corrective Actions Program Report which provides performance indicators associated with the corrective action process. These improvements p rovide data and analyses for CAQ and SCAQ action extensions on an overall site and functional organization level. Engineering management has begun using this and their own analyses of the conective action system data to assess their action backlog.
- 2. Training was provided on October 28, and 29,1998, to design engineers at PGDP, l who perform Part 21 report evaluations as part of their Responsible Dispositioning I Authority (RDA) responsibilities in the site's Corrective Action Process. This j training clarified the applicability of Part 21 requirements to AQ basic components.
This training reviewed the applicability, requirements, and responsibilities for 10 CFR 21 evaluations and the required documentation. Design Engineering Standing Order,98-004, "10 CFR 21 Evaluation and Reporting Guidance," which was issued November 11, 1998, to supplement / clarify the requirements of the 10 CFR 21 evaluation and reporting procedure, UE2-EG-GE1039, incorporated the guidance provided by this tmining pending completion of the necessary procedure revisions.
- 3. On November 4,1998, the Manager of Nuclear Regulatory Assurance and Policy issued policy guidance for applying the requirements of Part 21 to both Gaseous Diffusion Plants. This guidance clarified fundamental issues of Part 21 such as the definition of a substantial safety hazard and basic components as addressed in PR-QA-97-2600.
- 4. Beginning in November 1998, RDA reviews of potential 10 CFR 21 nonconformances for reportability used the guidance of standing order 98-004 in conjunction with the 10 CFR 21 reporting procedure. A rereview was initiated for all 10 CFR 21 reportability reviews made for AQ SSC nonconformances since October 1,1997 (i.e., the date AQ boundaries were fully defined). This review, completed on February 26, 1999, determined that no incorrect 10 CFR 21 reportability decisions had been made.
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III. Corrective Actions to be Taken
- 1. UE2-EG-GE1039,"10 CFR 21 Evaluation and Reporting," will be revised by May 30,1999, to resolve the issues addressed by PR-QA-97-2600 and incorporate the required elements of the interim guidance noted in this response.
- 2. Padecah's procurement and component dedication process procedures, CP3-EG-EG1076 aad UE2-BM-PC1038, will be revised by May 30,1999, to incorporate the USEC guidance concerning application of Part 21 to AQ basic components.
The requirements of 10 CFR 21 that apply to the GDPs do not include the identification of critical characteristics as 10 CFR 21 does not impose procurement requirements on the GDPs, only reporting requirements. The QAP defines the requirements for the procurement of AQ items and states that the procurement method will be based on the selected critical characteristics and other pertinent criteria.
- 3. PGDP will develop a performance indicator that will show action extensions per <
month compared to the number of actions open by organization and action extensions '
per month compared to percent extensions for inclusion in the performance indicator report by April 1,1999.
IV. Date of Full Compliance l
Full compliance will be achieved on May 30,1999, following the revision of procedures UE2-EG-GE1039, CP3-EG-EG1076 and UE2-BM-PC1038.
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UNITED STATES ENRICHMENT CORPORATION (USEC)
RESPONSETO AN APPARENTVIOLATIONIN j INSPECTION REPORT 70-7001/98018(DNMS) (EEI 70-7001/98018-03)
Restatement of Apparent Violation The regulations in 10 CFR 76.60(i) require, in part, that the Corporation (certificatee) shall comply !
- with the provisions of 10 CFR 95. The regulations in 10 CFR 95.35(a) require, in part, that no person subject to the regulations in this part may receive or may permit an individual to have access to ;
matter revealing Confidential Restricted Data unless the individual has a "Q" or "L" access authorization. The failure to properly control classified matter, that is, permitting individuals to have i access.to a document revealing Confidential Restricted Data without having a "Q" or "L" access ;
authorization when the classified document was left unsecured in a desk in the Building C-720 !
materials management area is an apparent violation of 10 CFR 76.60(i) and 10 CFR 95.35(a). ;
1 An apparent violation was identified associated with a plant staff member's discovery of an improperly controlled, classified document in an unmarked envelope whbh had been located in a desk in the materials management area of Building C-720 for a number of years, rather than in an ,
approved classified repository. The desk was located outside of the controlled access area for the site and was accessible to individuals not possessing a proper clearance for classified matter. {
USEC Response L Reasons for Violation The reason for the violation was personnel error. On December 2,1998, a plant employee reported to his management that he had a classified document in his possession in an unmarked mail envelope which had been in his desk for a number of years. The employee originally found the document approximately 12 to 14 years ago when assigned an office desk that belonged to a retiring employee. At that time the desk was in the Controlled Access Area in Building C-100. The employee indicated that at the time he originally found ,
the document he felt it was not classified since it was in a desk and not a classified safe. The markings on the document were the words " Confidential Security _ Information" and ;
" Restricted Data," the latter citing a basis in the Atomic Energy Act. 'Ihe employee had not reopened the envelope containing the classified document until two days prior to tundng the document in to his management. Because the classified document was in an umnarked envelope which had not been opened, it was not identified by the employee or other facility personnel performing spot checks during the site-wide sweep. The site-wide sweep was completed in June 1990 to identify and secure classified documents not properly controlled as a re'sult of previous poor practices. The employee's work area was located in the materials
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- l. Enclosure 2 L GDP 99-0046 l
Page 2 of 3 l- management area in Building C-720 which is outside the CAA. This area is routinely accessible to individuals who do not have either a "Q" or "L" access authorization. As a i result, there was the potential for compromise of the classified information, although there l were no indications that an actual compromise had occurred.
The employee, who had attended a number of security briefings prior to his most recent i discovery of the classified document, did not immediately notify management or the security )
staff upon its discovery, which occurred approximately two days before he actually reported the discovery. After attending a December 2,1998, security briefing on recent security events at Paducah, he recognized that the document he had may be classified and not I properly controlled. i l
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This event was caused by: (1) the improper handling of the document by an employee who i retired some 14 years ago; (2) a current employee who did not realize he was in possession of classified material for a number of yeurs; and (3) the same current employee not immediately following the requirements for properly securing classified matter once he realized he had classified matter in his possession.
II. Corrective Actions Taken and Results Achieved I
- 1. The plant staff properly secured the classified document and the employee performed a sweep for other classified matter in his office area and none was found.
This was completed on December 2,1998.
2; A security representative in conjunction with another member of the materials management staff reswept the contents of the office cubicle where the classified document had been found. No other classified documents or matter were found.
This was completed oa December 3,1998.
- 3. The plant staffinitiated a sweep of other materials management office areas outside the CAA for similar classified matter concerns. The plant staff did not identify any additional classified documents. This was completed on December 18,1998.
- 4. Disciplinary action was taken for the individual involved in accordance with "The .
l Employee Discipline Handbook." This was completed on December 8,1998.
S. The individual involved was required to attend remedial training on security issues, which entailed a video tape of the initial security briefing training module 1200.01.01, "htitial Security Briefing." This training was monitored by the l individual's supervisor. This was completed on February 10,1999.
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5 Enclosure 2 GDP 99-0046 Page 3 of 3 l
l 6. A job aide for security tasks was published in the plant newspaper on December 8, 1998. Subjects included were escorting requirements, classified document handling, and classification review requirements for documents.
- 7. The plant staff developed additional corrective actions including:
- a. A plant wide self-assessment of the security process and recent security even+3 at Paducah, Self Assessment C51-SA-98-01, was completed on ;
Deumber 18,1998. This self assessment identified several findings and -l observations. I
- b. A separate team was established to perform a root cause analysis of the self assessment results and develop corrective actions. The assessment findings j have been evaluated, root cause determined and corrective actions are being developed. - A final action plan will be complete by March 31,1999.
- c. Development of a revised training module to cover the responsibilities of l plant staffin the security arena is planned. l III. Corrective Steps to be Taken No additional actions are required for this NOV.
IV. Date of Full Compliance Full compliance was achieved for the specifics of this apparent violation on December 2, 1998, when the classified document was properly secured.
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! GDP 99-0046 Page1of1 List of Commitments
- 1. UE2-EG-GE1039, "10 CFR 21 Evaluation and Reporting," will be revised by May 30,1999, l to resolve the issues addressed by PR-QA-97-2600 and incorporate the required elements ;
of the interim guidance noted in this response. .
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- 2. Paducah's procurement and component dedication process procedures, CP3-EG-EG1076 and I UE2-BM-PC1038, will be revised by May 30,1999, to incorporate the USEC guidance I concerning application of Part 21 to AQ basic components.
- 3. PGDP will develop a performance indicator that will show action extensions per month l compared to the number of actions open by organization and action extensions per month compared to percent extensions for inclusion in the performance indicator report by April 1,1999.
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- Regulatory commitments contained in this document are listed here. Other corrective actions lis ed 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.