Intervenor Exhibit I-MFP-F1A,consisting of Re Ler 1-91-020-00 Re Failure to Perform TS 3.7.9.4,Action a on Time Due to Llack of Available Design InfoML20059M669 |
Person / Time |
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Site: |
Diablo Canyon |
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Issue date: |
08/20/1993 |
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From: |
Rueger G PACIFIC GAS & ELECTRIC CO. |
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To: |
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References |
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CON-#493-14435 I-MFP-F1A, OLA-2-I-MFP-F1A, NUDOCS 9311190227 |
Download: ML20059M669 (7) |
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Category:EXHIBITS (DOCKETING AND SERVICES BRANCH INFORMATION
MONTHYEARML20059D2431994-01-0707 January 1994 Package of Intervenor Exhibits Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence ML20059M5291993-11-19019 November 1993 Applicant Exhibits A-21,A-22,A-24,A-25,A-26,A-29 & A-F1, Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence IR 05000275/19910041993-08-24024 August 1993 Intervenor Exhibit I-MFP-70,consisting of Insp Rept,Re Rept Numbers 50-275/91-04 & 50-323/91-04,dtd 910304 IR 05000275/19930111993-08-24024 August 1993 Intervenor Exhibit I-MFP-26,consisting of Re Insp Repts 50-275/93-11 & 50-323/93-11 ML20059M7491993-08-24024 August 1993 Intervenor Exhibit I-MFP-T-2,consisting of 920422 Rev 4 to Procedure MP E-57.8 Temp Monitoring ML20059M7521993-08-24024 August 1993 Intervenor Exhibit I-MFP-T-3,consisting of 900227 Rept, Effects of Localized High Temps Upon EQ Components ML20059M7581993-08-24024 August 1993 Intervenor Exhibit I-MFP-T-3A,consisting of 900225 Table Re EQ Devices Affected by Localized High Temperatures ML20059M7601993-08-24024 August 1993 Intervenor Exhibit I-MFP-T-4,consisting of Rev O to MP E-57.8A, Temp Monitoring ML20059C7361993-08-24024 August 1993 Intervenor Exhibit I-MFP-88,consisting of NRC Insp of Diablo Canyon Units 1 & 2 ML20059D0841993-08-24024 August 1993 Intervenor Exhibit I-MFP-139,consisting of Insp Rept Re Dockets 50-275 & 50-323,dtd 920417 IR 05000275/19920131993-08-24024 August 1993 Intervenor Exhibit I-MFP-140,consisting of 920416,mgt Meeting Repts 50-275/92-13 & 50-323/92-13 ML20059D2241993-08-24024 August 1993 Intervenor Exhibit I-MFP-220,consisting of Protest of Util IR 05000275/19910061993-08-24024 August 1993 Intervenor Exhibit I-MFP-71,consisting of Rept of EC W/Util Mgt,Re Rept Numbers 50-275/91-06 & 50-323/91-06,dtd 910411 ML20059D2071993-08-24024 August 1993 Intervenor Exhibit I-MFP-193,consisting of Review of LER 1-90-015-00,re Docket 50-275,dtd 910118 ML20059M8621993-08-24024 August 1993 Intervenor Exhibit I-MFP-35,consisting of Rept, Self- Evaluation of Diablo Canyon Power Plant, Dtd Jul 1993 IR 05000275/19920161993-08-24024 August 1993 Intervenor Exhibit I-MFP-137,consisting of Insp Rept Re Dockets 50-275/92-16 & 50-323/92-16,dtd 920707 ML20059M5041993-08-24024 August 1993 Staff Exhibit S-2,consisting of Re Notice of Violation IR 05000275/19900291993-08-24024 August 1993 Intervenor Exhibit I-MFP-69,consisting of Insp Rept,Re Rept Numbers 50-275/90-29 & 50-323/90-29,dtd 910207 IR 05000275/19920171993-08-24024 August 1993 Intervenor Exhibit I-MFP-102,consisting of Insp Rept Re Dockets 50-275/92-17 & 50-323/92-17,dtd 920508 ML20059M1381993-08-24024 August 1993 Staff Exhibit S-1,consisting of Re 920519 Enforcement Conference IR 05000275/19920261993-08-24024 August 1993 Intervenor Exhibit I-MFP-118,consisting of Notice of Violation & Insp Rept Re Docket 50-275/92-26 & 50-323/93-26,dtd 921113 ML20059D2101993-08-23023 August 1993 Intervenor Exhibit I-MFP-196,consisting of Mgt Summary, DCO-91-MM-N067 D6, Asw Pump Vault Drain Check Valves, 910115 ML20059D1721993-08-23023 August 1993 Intervenor Exhibit I-MFP-168,consisting of Mgt Summary, Ncr DCO-91-EM-N009, FCV 495/496 Corrosion, ML20059D1841993-08-23023 August 1993 Intervenor Exhibit I-MFP-178,consisting of Mgt Summary, Ncr DCO-91-TR-N044, Maintenance Personnel Qualifications, ML20059D2031993-08-23023 August 1993 Intervenor Exhibit I-MFP-192,consisting of LER 1-90-015-01, Re Docket 50-275,dtd 910125 ML20059D1961993-08-23023 August 1993 Intervenor Exhibit I-MFP-191,consisting of Nonconformance Rept & Mgt summary,DCI-90-OP-N083, P-14 ESF Actuation Due to Valve Leakage, ML20059M5251993-08-23023 August 1993 Applicant Exhibit A-23,consisting of Rept DCO-93-TN-N006, DCM Maint & Testing Requirements ML20059M6071993-08-23023 August 1993 Applicant Exhibit A-28,consisting of Re LER 1-92-009-01 Involving Dose Limits Potentially Exceeded from Chemical & Vol Control Sys Valve Diaphragm Leakage Due to Thermally Induced Degradation ML20059D2181993-08-23023 August 1993 Intervenor Exhibit I-MFP-216,consisting of Nonconformance Rept & Mgt Summary DCO-90-SE N080,dtd 920128 ML20059D1871993-08-23023 August 1993 Intervenor Exhibit I-MFP-190,consisting of Mgt Summary, Ncr DC1-91-TN-N002, Backleakage Through Check Valve FW-1-531, ML20059D1821993-08-23023 August 1993 Intervenor Exhibit I-MFP-172,consisting of Mgt Summary, Rev 00,NCR DCO-91-MM-N049, Deg 1-3 Test Cock Valve, 911002 ML20059D2121993-08-23023 August 1993 Intervenor Exhibit I-MFP-210,consisting of Rept, SI-1-8805A, Failed to Cycle on Actuation Signal, ML20059C9651993-08-21021 August 1993 Intervenor Exhibit I-MFP-122,consisting of LER 2-91-007-00, Re Docket 50-323,dtd 911101 ML20059C9431993-08-21021 August 1993 Intervenor Exhibit I-MFP-117,consisting of LER 1-92-022-00, Re Docket 50-275,dtd 921030 ML20059C9571993-08-21021 August 1993 Intervenor Exhibit I-MFP-120,consisting of LER 1-92-013-00, ML20059D0701993-08-21021 August 1993 Intervenor Exhibit I-MFP-138,consisting of Nonconformance Rept, & Rev 00,NCR DC1-92-EM-N010,dtd 920729 ML20059C9871993-08-21021 August 1993 Intervenor Exhibit I-MFP-124,consisting of Technical Review Group Meeting Minutes Distribution, & 920124 DCI-91-TI-N047, Reactor Trip Due to Personnel Error & Safety Injection Due to Leaking Steam Dump Valves ML20059M5191993-08-21021 August 1993 Applicant Exhibit A-22,consisting of Responding to Violations Noted in Insp Repts 50-275/92-26 & 50-323/92-26 ML20059C9981993-08-21021 August 1993 Intervenor Exhibit I-MFP-127,consisting of LER 2-91-007-00, Re Docket 50-323,dtd 911101 ML20059C9901993-08-21021 August 1993 Intervenor Exhibit I-MFP-126,consisting of 911030, DC2-91-TI-N088 D2, Inadvertent SI Due to Personnel Error ML20059C9631993-08-21021 August 1993 Intervenor Exhibit I-MFP-121,consisting of 910503, Ncr DC1-OP-N038, Diesel Generator Start & Valve Actuation Due to Personnel Error, Mgt Summary ML20059C9841993-08-21021 August 1993 Intervenor Exhibit I-MFP-123,consisting of LER 1-91-009-00, Re Docket 50-275,dtd 910617 ML20059M5941993-08-21021 August 1993 Applicant Exhibit A-27,consisting of Responding to Violations Noted in Insp Repts 50-275/92-16 & 50-323/92-16 ML20059D0531993-08-21021 August 1993 Intervenor Exhibit I-MFP-136,consisting of Ncr DC1-MM-N028, Unit 1 Loss of Offsite Power - 910307, ML20059D1591993-08-21021 August 1993 Intervenor Exhibit I-MFP-154,consisting of LER 1-92-004-00, Re Docket 50-275,dtd 920520 ML20059D1301993-08-21021 August 1993 Intervenor Exhibit I-MFP-149,consisting of LER 1-91-006-00, Re Docket 50-275,dtd 910425 ML20059D0081993-08-21021 August 1993 Intervenor Exhibit I-MFP-129,consisting of LER 1-92-010-00, Re Dockets 50-275 & 50-323,dtd 921015 ML20059D1671993-08-21021 August 1993 Intervenor Exhibit I-MFP-155,consisting of LER 1-91-002-01, Re Docket 50-275,dtd 910517 ML20059D1461993-08-21021 August 1993 Intervenor Exhibit I-MFP-150A,consisting of Mgt Summary, Ncr DC1-90-WP-N093, Inadvertent Ground Causes CVI, ML20059D1421993-08-21021 August 1993 Intervenor Exhibit I-MFP-150,consisting of LER 1-90-019-00, Re Docket 50-275,dtd 910128 1994-01-07
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARDCL-99-123, Comment on Prs 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Event Reporting Guidelines. Util Areas of Concern Includes ESF Actuations, Significantly Degraded Components & Historical Limitations1999-09-20020 September 1999 Comment on Prs 10CFR50 & 72 Re Reporting Requirements for Nuclear Power Reactors & Draft NUREG-1022, Event Reporting Guidelines. Util Areas of Concern Includes ESF Actuations, Significantly Degraded Components & Historical Limitations ML20205N4081999-04-14014 April 1999 Comments Opposing Proposed Rules 10CFR2,19 & 20 Re Proposed Repository at Yucca Mountain.Requests Information on How Much Radiation Being Released Now at Diablo & Hanford NPPs ML20205N4601999-03-21021 March 1999 Introduces K Schumann as Representative of Nuclear Waste Committee (Nuwic) of San Lius Obispo County.Informs That Nuwic & Nuclear Waste Management Committee Concerned with Transportation of Spent Nuclear Fuel Rods from Dcnpp ML20195E8841998-11-24024 November 1998 Petition for Mod to OLs to Require Plant Owner to Have Independent Contractor Evaluate Plant Safety Culture ML20236T3011998-07-24024 July 1998 Order Prohibiting Involvement in NRC Licensed Avtivities (Effective Immediately).Lh Brooks Prohibited for 5 Yrs from Date of Order from Engaging in NRC Licensed Activities ML20248C2261998-05-22022 May 1998 Comment Opposing Revised Proposed Rule 10CFR50 Re Protection & Safety Sys ML20129J4191996-10-18018 October 1996 Order Approving Application Re Corporate Restructuring of Pacific Gas & Electric Company by Establishment of Holding Company DCL-95-206, Comment Supporting Petition for Rulemaking PRM-50-61 Re Improving Fire Protection Regulations1995-10-0606 October 1995 Comment Supporting Petition for Rulemaking PRM-50-61 Re Improving Fire Protection Regulations ML20091P8721995-08-23023 August 1995 Comment Opposing Petition for Rulemaking PRM-50-61 Re Nuclear Energy Institute Proposed Amends on Fire Safety for All NPPs DCL-95-001, Comment on Proposed Changes to Reactor Pressure Vessel Integrity Rule 10CFR50.Endorses NEI Comments1995-01-0303 January 1995 Comment on Proposed Changes to Reactor Pressure Vessel Integrity Rule 10CFR50.Endorses NEI Comments ML20077M7521994-12-30030 December 1994 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Low Power Operation for Nuclear Power Reactors DCL-94-270, Comment on Proposed Rules 10CFR2,51 & 54 Re Rulemaking for NPP License Renewal.Endorses Comments & Changes Proposed by NEI 941208 Submittal1994-12-0808 December 1994 Comment on Proposed Rules 10CFR2,51 & 54 Re Rulemaking for NPP License Renewal.Endorses Comments & Changes Proposed by NEI 941208 Submittal ML20149H0851994-11-0404 November 1994 Initial Decision (Construction Period Recovery/Recapture).* Renewed Motion to Reopen Record 940808,denied.Served on 941104.W/Certificate of Svc ML20072L2651994-08-23023 August 1994 PG&E Opposition to San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record.* Util Opposes San Luis Obispo for Peace Motion Based on Affidavit Stating No Evidence Found in Motion Re Flaw in Program.W/Certificate of Svc ML20072F0291994-08-12012 August 1994 Erratum to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Intervenors Corrects Error in Renewed Motion to Reopen Record Re Application for License Amend to Extend Term of Operating License for Plant.W/Certificate of Svc ML20072B2651994-08-0909 August 1994 Comment Supporting Proposed Rule 10CFR26 Re FFD Requirements Concerning Random Drug Testing ML20072A5821994-08-0808 August 1994 San Luis Obispo Mothers for Peace Renewed Motion to Reopen Record Re PG&E Application for Amend to Extend Term of OL for Plant.* Motion to Reopen Record to Introduce Insp Rept Identifying Alleged Problems W/Plant.W/Certificate of Svc ML20071L2061994-07-26026 July 1994 Comment Supporting Proposed Rule 10CFR26 Re Changing Current Drug Testing Policies to Exclude All Personnel in nonsafety-related Positions ML20072B8481994-07-26026 July 1994 Comment Opposing Proposed Rule 10CFR26 Re Changes to FFD Requirements Concerning Random Drug Testing ML20071L1901994-07-20020 July 1994 Comments on Proposed Rule 10CFR26 Re Relaxing Rule on Drug Testing of Employees Working at NPP DCL-94-134, Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Each Licensee Conducts Independent Reviews of Emergency Preparedness Program1994-06-27027 June 1994 Comment Supporting Petition for Rulemaking PRM-50-60 Re Amend to 10CFR50.54 by Changing Frequency W/Which Each Licensee Conducts Independent Reviews of Emergency Preparedness Program DCL-94-135, Comment Supporting Petition for Rulemaking PRM-50-59 Re Proposed Amend to 10CFR50.54(p) Concerning Frequency W/Which Licensee Conducts Independent Reviews of Security Programs1994-06-27027 June 1994 Comment Supporting Petition for Rulemaking PRM-50-59 Re Proposed Amend to 10CFR50.54(p) Concerning Frequency W/Which Licensee Conducts Independent Reviews of Security Programs ML20064D1791994-03-0707 March 1994 Pacific Gas and Electric Co Reply in Opposition to San Luis Obispo Mothers for Peace Motion to Reopen Record.* Motion to Reopen Record Denied.W/Certificate of Svc ML20064D1961994-03-0404 March 1994 Affidavit of Mj Angus Re Motion to Reopen Record ML20063L5721994-02-25025 February 1994 San Luis Obispo Mothers for Peace Re Util Application for License Amend to Extend Term of Operating License for Plant.* Advises That Record of Proceeding Should Be Reopened to Consider Insp 93-36 Re Util Surveillance of Asw Sys DCL-94-021, Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication Facilitation1994-01-26026 January 1994 Comment Supporting Petition for Rulemaking PRM-21-2 Re Commercial Grade Item Dedication Facilitation ML20059D2431994-01-0707 January 1994 Package of Intervenor Exhibits Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence ML20062N0001993-12-30030 December 1993 PG&E Reply Findings of Fact & Conclusions of Law.* Mothers for Peace Proposed Findings & Conclusions Do Not Provide Any Supportable Rationale to Change Findings & Conclusions Previously Proposed by Pg&E.W/Certificate of Svc ML20058P3931993-12-22022 December 1993 NRC Staff Findings of Fact & Conclusions of Law in Form of Initial Decision.* Certificate of Svc ML20058K7491993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Board Has Extended Filing Time for Util Until 931230.W/Certificate of Svc. Served on 931206.Granted for Board on 931203 ML20058K8771993-12-0202 December 1993 NRC Staff Motion for Extension of Time.* Requests That Board Extend Date for Staff to File Findings Until 931222. W/Certificate of Svc ML20059M5291993-11-19019 November 1993 Applicant Exhibits A-21,A-22,A-24,A-25,A-26,A-29 & A-F1, Consisting of Related Correspondence Not Admitted Into Evidence.Related Correspondence ML20058E0741993-11-19019 November 1993 San Luis Obispo Mothers for Peace Proposed Findings of Fact & Conclusions of Law Re Licensee Application for License Amend to Extend Term of Operating License for Plant.* W/ Certificate of Svc ML20059E8931993-10-28028 October 1993 Memorandum & Order (Motion for Extension of Time).* San Luis Obispo Mothers for Peace 931018 Request for two-wk Extension of Time to File Proposed Findings of Fact & Conclusions of Law Granted.W/Certificate of Svc.Served on 931029 ML20059E8531993-10-27027 October 1993 NRC Staff Response to Board Memorandum & Order Re Extension of Time.* Staff Believes That San Luis Obispo Mothers for Peace Has Shown No Good Cause for Requesting Extension to File Proposed Findings of Fact.W/Certificate of Svc ML20059E8631993-10-25025 October 1993 Pacific Gas & Electric Co Response to Motion for Extension of Time.* Util Does Not Agree W/Board Assessment That Mothers for Peace Request Appears to Be Reasonable But Will Not Oppose Request.W/Certificate of Svc ML20059B2191993-10-19019 October 1993 Memorandum & Order (Responses to Motion for Extension of Time).* Board Believes Intervenor Request for Extension of Time to File Proposed Findings of Fact Appears Reasonable. W/Certificate of Svc.Served on 931019 ML20059B1071993-10-18018 October 1993 San Luis Obispo Mothers for Peace Motion for Extension of Time for Filing Proposing Findings of Fact & Conclusions of Law.* Requests Extension of Two Wks or Until 931119 to File Proposed Findings of Fact.W/Certificate of Svc ML20057D0531993-09-23023 September 1993 Notice of Appearance.* Notice Given That Undersigned Attorney Enters Appearance in Listed Matter & Listed Info Provided.W/Certificate of Svc ML20057B0401993-09-14014 September 1993 NRC Staff Reply to PG&E Response to Staff Motion to Amend Protective Order.* NRC Staff Moves Board to Adopt Language Requested in 930817 Motion as Stated.W/Certificate of Svc ML20056G4891993-08-30030 August 1993 Pacific Gas & Electric Co Response to Motion to Amend Protective Order.* Staff Asks That Protective Order Be Clarified by Adding New Footnote to Paragraph 3 of Order. W/Certificate of Svc ML20059M1381993-08-24024 August 1993 Staff Exhibit S-1,consisting of Re 920519 Enforcement Conference ML20059D2071993-08-24024 August 1993 Intervenor Exhibit I-MFP-193,consisting of Review of LER 1-90-015-00,re Docket 50-275,dtd 910118 ML20059D2241993-08-24024 August 1993 Intervenor Exhibit I-MFP-220,consisting of Protest of Util ML20059M8621993-08-24024 August 1993 Intervenor Exhibit I-MFP-35,consisting of Rept, Self- Evaluation of Diablo Canyon Power Plant, Dtd Jul 1993 IR 05000275/19920261993-08-24024 August 1993 Intervenor Exhibit I-MFP-118,consisting of Notice of Violation & Insp Rept Re Docket 50-275/92-26 & 50-323/93-26,dtd 921113 ML20059D0841993-08-24024 August 1993 Intervenor Exhibit I-MFP-139,consisting of Insp Rept Re Dockets 50-275 & 50-323,dtd 920417 IR 05000275/19920131993-08-24024 August 1993 Intervenor Exhibit I-MFP-140,consisting of 920416,mgt Meeting Repts 50-275/92-13 & 50-323/92-13 IR 05000275/19910061993-08-24024 August 1993 Intervenor Exhibit I-MFP-71,consisting of Rept of EC W/Util Mgt,Re Rept Numbers 50-275/91-06 & 50-323/91-06,dtd 910411 IR 05000275/19930111993-08-24024 August 1993 Intervenor Exhibit I-MFP-26,consisting of Re Insp Repts 50-275/93-11 & 50-323/93-11 1999-09-20
[Table view] |
Text
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s )4955 32 ot A - z- 1-Wp- HA V 4 6 17#/
h ~ 2 'f Pacific Gas and Electric Company
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March 31, 1992 '93 GCT 28 P 6 :27 %q< $t)(
PG&E Letter No. DCL-92-074 -
U.S. Nuclear Regulatory Commission. g/2gh3 DOW 48Ek i
ATTN: Document Control Desk
. Washington, D.C. 20555 J =
5 Re: Docket No. 50-275, OL-DPR-80 l
l Diablo Canyon Unit 1 l
Licensee Event Report 1-91-020-00 l
Technical Specification 3.7.9.4, Action a. Not Performed on Time l
Due to Lack of Available Design Information
! Gentlemen:
Pursuant to'10 CFR 50.73(a)(2)(1)(B), PG&E is submitting the enclosed Licensee Event Report (LER) concerning a Technical Specification 3.7.9.4 violation resulting from failure to establish a compensatory. continuous fire watch with backup fire suppression equipment within one hour of
< discovering a condition.that rendered the solid state protection system room Halon system inoperable.
l This event has in no way affected the health and safety of the public.
Sincerely, ,
As/ l Y'f/llf1i (
Gregory M. Rueger cc: Ann P. Hodgdon lecton arcuinony convissicN ip J o rill W h 9 0'I)' OLS 0**" *7pp - F/4 Harry Rood '" the "'at'" cf AMOAAb# 86"#IO E Howard J. Wong w em m /
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DIABLO CANYON UNIT 1 mu TECHNICAL SPECIFICATION 3.7.9.4, ACTION A. NOT PERFORMED ON TIME DUE TO LACK 0F AVAILABLE DESIGN INFORMATION
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su=traostat maroas txpect D o EXPECTED SUSMISSION DATE W YES (if yes, complete EXPECTED SUBu!5510N DATE) X WO ag5'ss; 16 On November 30, 1991, with Unit 1 in Mode 1 (Power Operation) at 100 percent power, Technical Specification (TS) 3.7.9.4 was not met when a continuous fire I watch with backup fire suppression equipment was not established in the Unit I solid state protection system (SSPS) room within one hour of discovering a damaged ceiling tile in that room. ;
1 The damaged tile was temporarily reinstalled on November 30, 1991, and on '
December 13, 1991, thedamagedtilewasreplacedwithanewtile,whichmadetheceilingf functional. j l
On March 3, 1992, the results of PG&E engineering evaluations concluded that the Unit I l SSPS room Halon system was inoperable from November 30 to December 13, 1991 because the l damaged ceiling tile had not been replaced and the ceiling was not functional.
The root cause of this event was lack of available design information. The TS-required action was not implemented because available documents did not specify the gas barrier function that the SSPS room ceiling performs in maintaining Halon concentration for fire suppression. Since the 1978 design change that specified the design of the SSPS room ceiling, the PG&E design process has undergone significant changes to ensure design documents and procedures supporting design changes are also changed to include required revised design information. To prevent recurrence, an Operations Night Order has been issued to describe SSPS room ceiling integrity and its effect on SSPS room Halon system operability. j 1
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LICENSEE EVENT REPORT (LER) TEXT CONTINUATION igej44g
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-- m DIABLO CANYON UNIT 1 0l5l0l0l0l2l7l5 91 -
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- 1. Plant Conditions Unit I was in Mode 1 (Power Operation) at 100 percent power.
II. Description of Event A. Summary:
On November 30, 1991, Technical Specification (TS) 3.7.9.4 was not met when a continuous fire watch with backup fire suppression equipment was not established for the Unit I solid state protection system (SSPS) (JC) room within one hour of discovering a damaged ceiling tile in that room. The damaged tile was later determined to have caused the SSPS room Halon fire suppression system to be inoperable.
B. Backgrouna TS 3.7.9.4 requires the Halon system to be operable any time the equipment protected by the Halon system is operable (Mode 1 through Mode 4 (Hot Shutdown)]. With the Halon system inoperable, the TS action requires that, within one hour, a continuous firewatch be established with backup fire suppression equipment.
Surveillance Test Procedure (STP) M-19B, "Halon Fire Suppression System Functional Test," verifies on an 18-month frequency that fusible links function as intended for damper deployment to maintain required Halon concentration in the SSPS room for the required duration. STP M-19B assumes that SSPS room in-leakage and out-leakage are the same as when the acceptance test was initially performed. STP M-19B includes no criteria for room ceiling integrity.
o.
An investigation was conducted to determine if there have been previous occurrences of damaged SSPS room ceiling tiles that could have adversely affected SSPS room Halon system operability. The investigation determined that there have been instances when the integrity of an SSPS room ceiling has been challenged or considered as part of other events which could have affected operability of the SSPS room Halon systems. There is insufficient information in the documentation to determine if TS 3.7.9.4 violations resulted from these past events.
C. Event
Description:
On November 30, 1991, during a walkdown of the Unit 1 SSPS room, a damaged ceiling tile was observed on top of a cabinet in the room. An Action Request (AR) was written to document this condition.
The damaged tile was temporarily reinstalled on November 30, 1991; however, the tile was not reinstalled in a manner which restored the 5702S/85K
UCEN9EE EVENT REPORT (LER) TEXT CONTINUATICN ig744g FACILIT' NAME (3) 00 cati seuMeta (2) Lie asuses t a 6) DMet (3?
.= ,3, DIABLO CANYON UNIT 1 0l5l0l0l0l2l7l5 91 -
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us- un functionality of the ceiling. It was not determined at that time that SSPS room ceiling integrity could affect Halon system operability, thus Action a. of TS 3.7.9.4 was not performed and no compensatory actions were taken.
On December 3, 1991, the Work Planning Center (WPC) noted on.the AR that the SSPS room volume for Halon concentration retention could be adversely affected by a damaged ceiling.
On December 13, 1991, a new tile was permanently. installed to replace the damaged tile and the functionality of the ceiling was res~tored.
The fire protection system engineer questioned the impact'of a damaged ceiling tile on the operability of the SSPS room Halon' system and
! contacted the fire protection design engineer for his evaluation of l
the d' sign information readily available at the plant.
l l On December 18, 1991, the fire protection design engineer reviewed the available design information for the SSPS room ceiling and determined i
that there was insufficient readily available design information l available. However, the lack of information in.the FSAR did not constitute a nonconformance since a design document existed specifying tile installation requirements.
l On January 3,1992, Quality Control questioned the fire protection i design engineer's determination and requested additional evaluation from the design engineering group.
On February 11, 1992, based on further evaluation by the design engineering group, the operability of the SSPS room Halon system was established as indeterminate betw;.. November 30, 1991 and December j 13,~1991. A nonconformance report was issued.
! On March 3,1992, a Technical Review Group (TRG) determined, based on j design engineering evaluations, that the SSPS room Halon system became l inoperable on November 30, 1991 and that Action a. of TS 3.7.9.4 l should have been entered.
D. Inoperable Structures, Components, or Systems that Contributed to the Event:
None.
E. Dates and Approximate Times for Major Occurrences:
- 1. November 30, 1991: Event date. A damaged ceiling tile was discovered on top of a cabinet in the Unit 1 SSPS room. The damaged ceiling tile was immediately reinstalled.
57025/85K
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LICENSEE EVENT REPORT (LER) TEXT CONTINUATION. 187446
- DOCl[1 N M CG (2) Lf A truMet9 it) p a r.( (3)
FACIL.!TV NAME (1) " i
[
DIABLO CANYON UNIT 1 015 l 0 l 0 l 0 l 2 l 7 l 5 91 -
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- 2. December 13, 1991: The damaged ceiling tile was replaced, ,
restoring the functionality of the ceiling.
- 3. March 3, 1992: Discovery date. Engineering evaluations concluded that the SSPS room Halon system was not operable with the damaged ceiling tile in place.
F. Other Systems or Secondary Functions Affected:
None.
G. Method of Discovery:
Personnel in the TRG reviewing design engineering evaluations of the Unit 1 SSPS room Halon system performance with a degraded ceiling determined that the system was inoperable between November 30, 1991 and December 13, 1991, due to a damaged ceiling tile.
H. Operator Actions:
None required.
I. Safety System Responses:
None required.
111. Cause of the Event A. Immediate Cause:
I Personnel did not realize that the integrity of the SSPS room ceiling affected the operability of the Halon system.
B. Root Cause: l The root cause of this event was lack of available design information.
No readily available document specified that the integrity of the SSPS room ceiling must be maintained for SSPS room Halon system operability. The TS-required action was not implemented due to design documents not specifying the gas barrier function that the SSPS room ceiling performs in maintaining Halon concentration for fire suppression.
The reportability of this event was also not immediately determined due to the lack of available design information.
! 57025/85K 1
LICENSEE EVENT REPORT (LER) TEXT CONTINUATION 197446 Lf B NUMSf G 16) paGE 13))
FACILITV NAMC (3) DDC E R T enMBE R (2) vun et en as DIABLO CANYON UNIT 1 0l5l 0 l0l 0l 2 l 7 l 5 91 -
0l2l0 -
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flat (17)
C. Contributory Cause(s):
- 1. There is no description of the design or function of the SSPS room ceiling in the FSAR.
- 2. There is no mention of inspection of the condition of the SSPS room ceiling in STP M-198.
- 3. There is no specific direction provided in any procedure for the repair of SSPS room ceiling tiles.
IV. Analysis of the Event The nominal volume of an SSPS room is approximately 2240 cubic feet (ft')
(14'x16'x10'). The cominal volume above the suspended ceiling is also approximately 2240 ft'. A conservative engineering evaluation has been performed assuming the suspended ceiling does not restrict Halon diffusion, i.e., damaged or missing tiles. This evaluation determined the maximum Halon concentration achieved in the SSPS room would be less than that required to suppress a fire. The actual amount of diffusion and the resultant Halon concentration in the SSPS room would be a function of the size of the opening in the ceiling.
Although the Halon system was conservatively considered to be inoperable when the damaged tile was temporarily reinstalled, smoke detectors in the SSPS room were operational that provide annunciation in the mtrol room.
Manual fire suppression equipment was available in close proximity to the SSPS room for fire brigade use. The SSPS room is immediately adjacent to the control room and operators are qualified fire brigade members, thus, I operators would have expeditiously responded to an SSPS room fire. In the event of an SSPS room fire that could impact control room habitability, an orderly and safe reactor shutdown could have been performed from the remote shutdown panel, if required.
The health and safety of the public were not adversely affected by this event.
V. Corrective Actions l A. Immediate Corrective Actions:
- 1. The damaged tile was temporarily reinstalled on November 30, 1991.
- 2. A new tile was installed to replace the damaged tile on
! December 13, 1991 and the functionality of the ceiling was l restored.
l 57025/85K 1
LICENSEE EVENT REPORT (LER) TEXT CONTINUATION gg
, . ,uim, - m mu, -i. m u . - c. .> -m DIABLO CANYON UNIT 1 0l5l0l0l0l2l7l5 91 -
0l2l0 -
0l0 6 l 'l 6 f(RT (37)
- 3. Engineering inspected the Units 1 and 2 SSPS room ceilings on ,
March 2, 1992, and determined they were acceptable.
B. Corrective Actions to Prevent Recurrence:
- 1. An Operations Night Order has been issued to describe SSPS room ceiling integrity and its effect on SSPS room Halon system operability.
- 2. A Plant Staff Review Committee (PSRC) interpretation of TS 3.7.9.4 will be issued, which will include a description of the SSPS room ceiling functioning as a barrier to contain Halon within the SSPS room in the event of a Halon system actuation.
With any condition that degrades this ceiling function beyond criteria described in revised design documents, an entry into Actio . a. of TS 3.7.9.4 will be required.
- 3. Design documents will be revised to specify the significance of ,
the functionality of the SSPS room suspended ceiling affecting ;
the operability of the SSPS room Halon fire suppression system.
l
- 4. SSPS room ceiling installation and repair instructions will also ,
be revised appropriately to address design requirements.
l
- 5. STP M-19B will be revised to include visual inspection of' the SSPS room ceiling integrity. j
- 6. A cautionary sign wil) be installed at the hatch in the SSPS room suspended ceiling that provides access to the overhead space.
- 7. STP M-70, " Inspection of Fire Barrier Penetrations," will be revised to include visual inspection criteria for the SSPS room l ceiling integrity following inspection of the space above that ceiling.
VI. Additional Information A. Failed Components:
None.
B. Previous Similar LERs:
None, i
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