ML20199C486

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Discusses Predecisional Enforcement Conference Conducted to Discuss Violations Noted in Insp Repts 50-313/97-14 & 50-368/97-14.Violations Noted:Failure to Comply w/10CFR50, App B,Criterion IX & Failure to Remove Unit 2 from Svc
ML20199C486
Person / Time
Site: Arkansas Nuclear  Entergy icon.png
Issue date: 11/18/1997
From: Merschoff E
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV)
To: Hutchinson C
ENTERGY OPERATIONS, INC.
Shared Package
ML20199C490 List:
References
50-313-97-14, 50-368-97-14, EA-97-382, NUDOCS 9711200032
Download: ML20199C486 (5)


See also: IR 05000313/1997014

Text

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November 18, 1997

EA 97-382

C. Randy Hutchinson, Vice President

Operations

Arkansas Nuclear One

Entergy Operations, Inc.

1448 S.R. 333

Russellville, Arkansas 72801-0967

SUBJECT: NOTICE OF VIOLATION

(NRC INSPECTION REPORT 50-313/97-14; 50-368/97-14)

Dear Mr. Hutchinson:

This is in reference to the predecisional enforcement conference held in the NRC's Arlington,

Texas office on September 26,1997. The conference was conducted to discuss three

apparent violations of NRC requirements related to inspections of steam generator tubes at

Arkansas Nuclear One, Units 1 and 2. The results of our inspection were discussed with

your staff during a telephonic exit briefing conducted on August 8,1997, and were

documented in the subject NRC Inspection Report, which was issued September 12,1997.

After the September 26 conference, ANO provided further information and clarification during

a telephone discussion held on October 2,1997.

The three apparent violations described in the inspection report involved: (1) a failure to

comply with 10 CFR Part 50 Appendix B Criterion IX in the use of data in bobbin coil sizing

qualification criteria that did not conform to the requirements of the selected qualification

method; (2) the failure to remove Unit 2 tubes from service which contained flaws that

exceeded the plugging limit of the Technical Specifications; and (3) the lac!; of prompt

corrective action in November 1995 prior to-retuming potentially defective sleeved tubes to

service.

During the September 26 conference, Enter'g y expressed disagreement with the first apparent

violation, contending that Entergy's sizing qualification for intergranular attack (IGA) met the

provisions of appropriate industry qualification processes (EPRI Appendix "H"), and therefore

Entergy was in compliance with 10 CFR Part 50 Appendix B. With regard to the second _

apparent violation, which involved Unit 2 steam generators, Entergy agreed that the violation

occurred but contended that the violation warranted treatment as a non-cited violation.

Entergy also disputed the third apparent violation, which is discussed below.

The NRC considered Entergy's arguments and has concluded that vic;dions of NRC

requirements occurred.

Based on the discussions The

at the violations

conference, weare cited

have in the

modified the enclosed

first violationNotice

to stateof Violation (No

that 7

Entergy's inservice inspections of Unit 1 steam generators were not appropriately controlled g

, and accumplished to identify tube defects that exceeded the technical specification plugging (f

9711200032 971118

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Entergy Operations, Inc. -2-

limit. The second violation involves Unit 2 steam generator tubes, with defects greater than

' the technical specification plugging limit, that were improperly considered operable.

Although these violations involve steam generators of different designs and different IGA flaw

sizing methodologies, the violations are similar in that your methods for sizing lGA and tubing

degradation in both Units 1 and 2 steam generators were shown to have been inadequate.

The actual safety consequence of these violations is low because no significant leakage

occurred as a re: ult of tube leaks. These issues are of regulatory significance because of

the programmatic nature of the problem; that is, you relied on methods which were incapable

of detecting flaws greater than the plugging limit, and as a result, operated Units 1 and 2 with

steam generators with tubes containing flaws that exceeded the technical specification

plugging limit of 40 percent through wall (TW). Therefore, these two violations have been

categorized in the aggregate in accordance with the " General Statement of Policy and

Procedure for WRC Enforcement Actions"(Enforcement Policy), NUREG-1600, as a Severity

Level lli problem.

In accordance with the Enforcement Policy, a base civil penalty in the amount of $55,000 is

considered for a Severity Level 111 problem. Because your facility has been the subject of

escalated enforcement actions within the last 2 years', the NRC considered whether credit

was warranted for Identification and Corrective Action in accordance with the civil penalty

assessment process in Section VI.B.2 of the Enforcement Policy. Since Entergy identified

both issues, the NRC has determined that Entergy is deserving of identification credit.

Further, the NRC has determined that Entergy is deserving of Corrective Action credit.

Entergy's corrective actions for the first violation included declaring the steam generators

inoperable, notifying the NRC, requesting (and being granted) a Notice of Enforcement

Discretion from the NRC, administratively precluding IGA sizing, and investigating the cause

of the problem. Entergy's corrective actions to the second violation included reviewing more

"no detectable degradation" determinations to verify the quality of the 2R12 analyses,

performing enhanced inservice inspectio".s of indications, repairing the eggerate cracks,

enhancing training, and providing additional oversight of the inservice inspections.

Therefore, to encourage prompt identification and comprehensive correction of violations, I

have been authorized not to propcse a civil penalty in this case. However, significant

violations in the future could result in a civi! penalty.

The third violation cited in the enclosed notice involves Entergy's failure to take prompt

corrective actions prior to retuming to service potentially defective sleeved tubes exhibiting

weld zone eddy current indications. At the conference, Entergy representatives expressed

disagreement with this violation, contending that sufficient technical basis existed (including

' A Severity Level 111 problem and a $50,000 civil penalty was issued on April 9,1997,

involving fire protection inadequacies and the plant staff's inadequate response to

ind:ations of a fire (EA 96-512).

. .. - . - -. .

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Entergy Operations, Inc. 3

ultrasonic testing and visual testing) to justify use of the sleeves as-is. Further, Entergy

representatives noted thet, after re-inspection, only one of 28 indications was identified for

repair based on new acceptance criteria and that all 28 indications met structural and

leakage requirements; Notwithstanding Entergy's argument that the structural integrity of the

sleeves was maintained, the NRC's position is that Entergy had an indication of a condition

adverse _to quality, and it took inadequate corrective actions. Specifically, your actions (in

October 1995, during 2R11) were not adequate to evaluate defects that existed at the time,

nor did you perform an operabrity assessment at the time. Therefore, in accordance with the

its Enforcement Policy, the NRC has classified this violation et Severity Leve,l IV.-

You are required to respond to this letter and should follow the instructions specified in the -

encksed Notice when preparing your response in your response, you should document the

specific actions taken and any additional actions you plan to prevent recurrence. The NRC

will use your response, in part, to deteimine whether further enforcement action is necessary

to ensure compliance with regulatory requirements,

in accordance with 10 CFR 2.790 of the NRC's " Rules of Practice," a copy of this letter, its

enclosure, arid your response will be placed in the NRC Public Document Room (POR).

Sincerely,

'f

99

Ellic W. Mers

Regional Adm'iistrator

Dockets: 50-313-

50-368

Licenses: DPR 51

NPF-6

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cc w/ Enclosure:

Executive Vice President

& Chief Operating Officer

,

Entergy Operations, Inc.

'

P.O. Box 31995

L Jackson, Mississippi 39286-1995

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Entergy Operations, Inc. -4-

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Vice President

Operations Support

Entergy Operations, Inc.

P.O. Box 31995

Jackson, Mississippl 39286-

Manager, Washington Nuclear Operations

ABB Combustion Engineering Nuclear

!

Power

12300 Twinbrook Parkway, Suite 330 <

Rockville, Maryland 20852

County Judge of Pope County

Pope County Courthouse

Russellville, Arkansas : 72801

Winston & Strawn -

1400 L Street, N.W.

WasNngton, D.C. 20005 3502

David D. Snellings, Jr., Director

Division of Radiation Control and

Emergency Management

Arkansas Department of Health

4815 West Markham Street, Mail Slot 30

Little Rock, Arkansas 72205-3867

Manager

Rockville Nuclear Licensing '

Framatome Technologies

1700 Rockville Pike, Suite 525

Rockville, Maryland 20852

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Entergy OperatPpW inc, . -5-

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bec w/ Enclosure (s): -

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CA PA (Os2G4)

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OGC (0-15818) OGC (015B18)

NRR (012G18) NRR/ADP (012G18)

NRR PROJECT MANAGER OC/DAF (T-9E10)

OC/LFDCS (T 9E10) AEOD (T-4D18)

RA Reading File GSanborn-EAFile

RWise (if app.) RWise-DOL File (if app.)

RIV Files MIS Coordinator

ECollins, RIV

E Mall DlHTRIBUTION:

OEMAIL: JDyer (JED2)

TPGwynn (TPG) WBrown (WLB)

GSanborn (GFS) GMVasquez (GMV)

BHenderson (BWH) MHammond (MFH2)

CHackney (CAH) DKunihiro (DMK1)

Art Howell (ATH) DChamberlain (DDC)

KPerkins (KEP) ECollins (EEC)

SENIOR RESIDENT- KBrockman (KEB)

EMerschoff (EWM)

DOCUMENT NAME: G:\EA\ DRAFT \EA97382.DFT

To receive, copy opument, Indicats in box: "C" = Copy wthout oncesures "E" = Copy with enclosures *N" = No copy

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