IR 05000277/2023010
ML23258A049 | |
Person / Time | |
---|---|
Site: | Peach Bottom |
Issue date: | 09/15/2023 |
From: | Sarah Elkhiamy NRC/RGN-I/DORS |
To: | Rhoades D Constellation Energy Generation, Constellation Nuclear |
References | |
IR 2023010 | |
Download: ML23258A049 (1) | |
Text
September 15, 2023
SUBJECT:
PEACH BOTTOM ATOMIC POWER STATION, UNITS 2 AND 3 - BIENNIAL PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000277/2023010 AND 05000278/2023010 AND NOTICE OF VIOLATION
Dear David Rhoades:
On August 3, 2023, the U.S. Nuclear Regulatory Commission (NRC) completed a p roblem identification and resolution inspection at your Peach Bottom Atomic Power Station, Units 2 and 3, and discussed the results of this inspection with David Henry, Site Vice President, and other members of your staff. The results of this inspection are documented in the enclosed report.
The NRC inspection team reviewed the stations problem identification and resolution program and the stations implementation of the program to evaluate its effectiveness in identifying, prioritizing, evaluating, and correcting problems, and to confirm that the station was complying with NRC regulations and licensee standards for problem identification and resolution programs.
Based on the samples reviewed, the team determined that your staffs performance in each of these areas adequately supported nuclear safety.
The team also evaluated the stations processes for use of industry and NRC operating experience information and the effectiveness of the stations audits and self-assessments.
Based on the samples reviewed, the team determined that your staffs performance in each of these areas adequately supported nuclear safety.
Finally, the team reviewed the stations programs to establish and maintain a safety-conscious work environment, and interviewed station personnel to evaluate the effectiveness of these programs. Based on the teams observations and the results of these interviews, the team found no evidence of challenges to your organizations safety-conscious work environment. Your employees appeared willing to raise nuclear safety concerns through at least one of the several means available. The enclosed report discusses a violation associated with a finding of very low safety significance (Green). The NRC evaluated this violation in accordance Section 2.3.2 of the NRC Enforcement Policy, which can be found at http://www.nrc.gov/about -
nrc/regulatory/enforcement/enforce-pol.html. We determined that this violation did not meet the criteria to be treated as a non-cited violation because Peach Bottom Atomic Power Station did not restore compliance or demonstrate objective evidence of plans to restore compliance in a reasonable period of time following identification of the previous violation. Specifically, the inspectors considered it was reasonable, within the last two years, to troubleshoot the drainage systems located in the pipe trench or otherwise divert water run-off from the area. You are required to respond to this letter and should follow the instructions specified in the enclosed Notice when preparing your response. The NRCs review of your response will also determine whether further enforcement action is necessary to ensure your compliance with regulatory requirements.
If you contest the violation or the significance or severity of the violation documented in this inspection report, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN:
Document Control Desk, Washington, DC 20555- 0001; with copies to the Regional Administrator, Region I; the Director, Office of Enforcement; and the NRC Resident Inspector at Peach Bottom Atomic Power Station, Units 2 and 3,.
If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC 20555 -0001; with copies to the Regional Administrator, Region I; and the NRC Resident Inspector at Peach Bottom Atomic Power Station, Units 2 and 3.
This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public Inspections, Exemptions, Requests for Withholding.
Sincerely, Sarah H. Elkhiamy, Acting Chief Projects Branch 4 Division of Operating Reactor Safety
Docket Nos. 05000277 and 05000278 License Nos. DPR-44 and DPR-56
Enclosures:
1. Inspection Report 05000277/2023010 and 05000278/2023010 2. Notice of Violation
Inspection Report
Docket Numbers: 05000277 and 05000278
License Numbers: DPR-44 and DPR-56
Report Numbers: 05000277/2023010 and 05000278/2023010
Enterprise Identifier: I-2023-010- 0013
Licensee: Constellation Energy Generation, LLC
Facility: Peach Bottom Atomic Power Station, Units 2 and 3
Location: Delta, PA 17314
Inspection Dates: July 17, 2023 to August 3, 2023
Inspectors: T. Daun, Senior Resident Inspector C. Dukehart, Resident Inspector N. Floyd, Senior Reactor Inspector A. Turilin, Reactor Inspector
Approved By: Sarah H. Elkhiamy, Acting Chief Projects Branch 4 Division of Operating Reactor Safety
Enclosure 1
SUMMARY
The U.S. NRC continued monitoring the licensees performance by conducting a biennial problem identification and resolution inspection at Peach Bottom Atomic Power Station, Units 2 and 3 ( PBAPS) in accordance with the Reactor Oversight Process. The Reactor Oversight Process is the NRCs program for overseeing the safe operation of commercial nuclear power reactors. Refer to https://www.nrc.gov/reactors/operating/oversight.html for more information.
List of Findings and Violations
Failure to Establish Corrective Action for Erosion of Structural Backfill Material in the Pipe Trench Cornerstone Significance Cross-Cutting Report Aspect Section Mitigating Green [H.1] - 71152B Systems NOV 05000277,05000278/2023010- 01 Resources Open The inspectors identified a Green finding and associated notice of violation (NOV) of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for PBAPS's failure to establish a corrective action for a condition adverse to quality associated with the erosion of structural backfill material in the pipe trench on the west side of the site.
Additional Tracking Items
None.
INSPECTION SCOPES
Inspections were conducted using the appropriate portions of the inspection procedures in effect at the beginning of the inspection unless otherwise noted. Currently approved inspection procedures with their attached revision histories are located on the public website at http://www.nrc.gov/reading-rm/doc-collections/insp-manual/inspection-procedure/index.html.
Samples were declared complete when the IP requirements most appropriate to the inspection activity were met consistent with Inspection Manual Chapter (IMC) 2515, Light-Water Reactor Inspection Program - Operations Phase. The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel to assess licensee performance and compliance with Commission rules and regulations, license conditions, site procedures, and standards.
OTHER ACTIVITIES - BASELINE
71152B - Problem Identification and Resolution Biennial Team Inspection (IP Section 03.04)
- (1) The inspectors performed a biennial assessment of the effectiveness of the licensees Problem Identification and Resolution program, use of operating experience, self-assessments and audits, and safety-conscious work environment.
- Problem Identification and Resolution Effectiveness: The inspectors assessed the effectiveness of the licensees Problem Identification and Resolution program in identifying, prioritizing, evaluating, and correcting problems. The inspectors also conducted a five-year review of the service water and high-pressure service water systems.
- Operating Experience: The inspectors assessed the effectiveness of the licensees processes for use of operating experience.
- Self-Assessments and Audits: The inspectors assessed the effectiveness of the licensees identification and correction of problems identified through audits and self-assessments.
- Safety-Conscious Work Environment: The inspectors assessed the effectiveness of the stations programs to establish and maintain a safety -
conscious work environment.
INSPECTION RESULTS
Assessment 71152B Corrective Action Program Effectiveness
Problem Identification: The inspectors determined that, in general, PBAPS identified issues and entered them into the corrective action program accurately, timely, and at an appropriately low threshold.
Problem Prioritization and Evaluation: Based on the samples reviewed, the inspectors determined that PBAPS appropriately prioritized and evaluated issues commensurate with the safety significance of the identified problem. PBAPS appropriately screened condition reports for operability and reportability, categorizedcondition reports by significance, and assigned actions to the appropriate department for evaluation and resolution.
Corrective Actions: The inspectors determined the overall corrective action program performance related to resolving problems was effective. In most cases, PBAPS implemented corrective actions to resolve problems in a timely manner. However, the inspectors noted several examples where PBAPS did not document corrective actions for conditions adverse to quality as required by their procedures. A corresponding minor performance deficiency is documented in this report. Additionally, inspectors identified one instance where corrective actions had not been planned or completed for an NRC-identified non-cited violation (NCV). A corresponding NOV is documented in this report.
Assessment 71152B Operating Experience, Self-Assessments and Audits
Use of Operating Experience: The team determined that PBAPS appropriately evaluated industry operating experience for its relevance to the facility. PBAPS appropriately incorporated both internal and external operating experience into plant procedures and processes, as well as lessons learned for training and pre-job briefs.
Self-Assessments and Audits: The team reviewed a sample of self -assessments and audits performed by both Nuclear Oversight a nd individual departments to assess whether the licensee was identifying and addressing performance trends. The team concluded that PBAPS had an effective self-assessment and audit process.
Assessment 71152B Safety-Conscious Work Environment
The team interviewed 24 individuals across various organizations including Operations, Engineering, Maintenance, Emergency Planning, Radiation Protection, and Security. The purpose of these interviews was to evaluate the willingness of the licensee staff t o raise nuclear safety issues; to evaluate the perceived effectiveness of the corrective action program at resolving identified problems; and to evaluate the licensee's safety-conscious work environment. The team interviewed the Employee Concerns Program ( ECP)representative to assess their perception of the site employees' willingness to raise nuclear safety concerns. The team also reviewed the ECP case log and select case files.
All individuals interviewed indicated that they would raise safety concerns. All individuals felt that their management was receptive to receiving safety concerns and generally addressed them promptly, commensurate with the significance of the concern. Most interviewees indicated they were adequately trained and proficient on initiating condition reports. All interviewees were aware of the licensee's ECP, stated they would use the program if necessary, and expressed confidence that their confidentiality would be maintained if they brought issues to the ECP. When asked whether there have been any instances where individuals experienced retaliation or other negative reaction for raising safety concerns, all individuals interviewed stated that they had neither experienced nor heard of an instance of retaliation at the site. The team determined that the processes in place to mitigate potential safety-conscious work environment issues were adequately implemented.
Failure to Establish Corrective Action for Erosion of Structural Backfill Material in the Pipe Trench Cornerstone Significance Cross-Cutting Report Aspect Section Mitigating Green [H.1] - 71152B Systems NOV 05000277,05000278/2023010- Resources Open The inspectors identified a Green finding and associated NOV of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for PBAPS's failure to establish a corrective actionfor a condition adverse to quality associated with the erosion of structural backfill material in the pipe trench on the west side of t he site.
Description:
In August 2021, the NRC documented a finding and associated NCV for PBAPSs failure to correct a condition adverse to quality associated with the erosion of structural backfill material in the pipe trench on the west side of the site. The NCV was documented in NRC inspection report 05000277/2021012 and 05000278/2021012 (ML21265A334). PBAPS staff entered the NCV into their corrective action program as AR 04448889 and credited the actions completed under AR 04443058 to address the human performance issues that resulted in the NCV, and the actions tracked under AR 04424065 to address the technical issues. During follow-up review, the inspectors found that actions were limited to troubleshooting the causes of erosion, but no actions to stop and correct the erosion of structural backfill material had been identified.
PBAPS was constructed with a common pipe trench on the west side of the site that houses portions of piping for both Units 2 and 3, including the safety-related high-pressure service water and the emergency service water systems. These two systems were designed as seismic class I and were supported on structural backfill material prior to being buried in the trench. The structural backfill provides for drainage and support of the buried components such as piping and electrical ducts. The high -pressure service water system is designed to provide a reliable supply of cooling water for the residual heat removal system. The emergency service water system is designed to provide a reliable supply of cooling water to safety-related equipment. The pipe trench also contains a storm drainpipe to collect rain water run-off from the roadway and the reactor and turbine building roofs, and a porous trench drainpipe to provide overall drainage for the common pipe trench.
The August 2021 finding and NCV documented that PBAPS failed to correct a condition adverse to quality associated with the erosion of the structural backfill material in the pipe trench on the west side of site. Specifically, PBAPS had been aware of the erosion of the backfill as far back as 2009 but had not developed or planned corrective actions to address it.
PBAPS entered the issue into their corrective action program under AR 04443058.
The inspectors reviewed PBAPSs completed and planned actions taken since the documentation of the previous NCV to resolve the erosion of structural backfill material in the pipe trench. The inspectors also performed walkdowns of the roadway above the pipe trench to assess the general condition of the roadway and improvements completed to address the inspection finding from August 2021. The inspectors observed that PBAPS had repaved the dewatering building truck bay entrance and installed plastic shims inside the degraded vertical sections of the storm drain basins. However, the inspectors observed a new sunken gravel area with an exposed pipe adjacent to the Unit 3 reactor building. PBAPS documented this sunken area as a sink hole in AR 04502620, dated May 29, 2022, and determined the cause was from a degraded roof drain that connected to the storm drain buried in the pipe trench.
The inspectors reviewed AR 04424065 for additional actions to address the soil erosion issue. PBAPS staff had generated the following actions and due dates:
- Determine benefit of repaving (Assignment 9 - action item (ACIT) - Extended to December 30, 2023)
- Develop preventive maintenance to inspect area to determine if repairs required to avoid intrusion of groundwater (Assignment 10 - ACIT - Extended to June 30, 2024)
- Evaluate max settlement of buried piping (Assignment 11 - ACIT - Extended to August 31, 2023)
- Increase the inspection frequency of the pipe supports (Assignment 13 - CA -
Completed)
- Determine work scope to improve drainage (Assignment 14 - ACIT - Extended to December 30, 2023)
- Inspect buried porous concrete pipe used to drainpipe trench (Assignment 18 - SPC -
Extended to September 30,2023)
- Inspect storm drain system (Assignment 19 - ACIT - Completed)
PBAPS staff performed visual examinations inside the buried storm drain piping located in the pipe trench from August 2022 to November 2022. They found a significant amount of debris in the southern section of storm drain piping which required multiple cleaning evolutions to remove. They subsequently discovered a complete blockage inside the pipe from a flowable concrete fill material, likely from a previous repair, which has not yet been removed. The inspectors noted that these blockages would prevent proper storm drain flow and contribute to additional water accumulation and erosion in the pipe trench. PBAPS staff attempted to visually examine inside the buried porous concrete pipe which functions as the trench drain, but the inspection could not be performed due to poor visibility. The staff extended the assignment to September 2023 until the north yard sump pump could be reactivated to support pumping down the trench drainpipe. The inspectors noted that PBAPS staff have not completed the examinations necessary to finish troubleshooting of the overall soil erosion issue.
PBAPS staff planned to evaluate the maximum pipe settlement that the high-pressure service water and emergency service water systems could accommodate. The assignment due date was extended to August 31, 2023 to obtain vendor assistance with the piping stress analysis and associated modeling. Based on discussions with PBAPS staff, the inspectors understood that a draft evaluation of one train of the high-pressure service water system would be completed by the due date.
In condition report AR 04424065, the inspectors noted that PBAPS staff generated one corrective action under assignment 13 to increase the inspection frequency looking for gaps on the impacted pipe supports in the reactor buildings from annually to every six months. This pipe settlement data would provide an indirect method of monitoring the ongoing erosion. The inspectors reviewed the pipe support inspection data from October 2021 to July 2023 and noted multiple instances of identified gaps mostly located at Unit 2, which indicated that erosion and settlement are ongoing.
PI-AA-125, CAP Procedure, Revision 8, step 4.5.2 states, in part, to create a corrective action for any planned action necessary to restore a condition adverse to quality. The inspectors determined that PBAPS had not created a corrective action to address the ongoing erosion of the structural backfill in the pipe trench. PBAPS staff had generated several assignments characterized as ACITs which, per PI-AA-125 are to be used to improve performance or correct minor problems that do not represent conditions adverse to quality.
PBAPS staff also established a special plant condition assignment type for the porous trench drain examination, but this action was not completed. PBAPS identified several deficiencies involving the storm drain system that were likely contributing to the adverse condition, but they had not finished troubleshooting and had not taken actions to prevent further erosion, for instance by diverting water run-off from the area.
The inspectors considered it was reasonable to expect PBAPS to have made further progress within the last two years toward troubleshooting the cause of the erosion, evaluating the impact of pipe settlement, and establishing a plan for resolution. The inspectors determined that PBAPS did not restore compliance or demonstrate objective evidence of plans to restore compliance in a reasonable period of time following identification of the previous violation because PBAPS had no actions identified, planned, or performed that would address the erosion of structural backfill material in the pipe trench on the west side of the site.
Corrective Actions: PBAPS staff entered the issue into their corrective action program under AR 04696817. PBAPS staff also discussed their ongoing plans to address the issue with the inspectors.
Corrective Action References: ARs 04424065, 04443058, 04448889, and 04696817
Performance Assessment:
Performance Deficiency: The inspectors determined PBAPSs failure to establish corrective actions to restore a condition adverse to quality as required by procedure PI-AA-125 was a performance deficiency. Specifically, while PBAPS planned actions to troubleshoot the causes of the erosion of structural backfill in the pipe trench, these actions had not been completed, and there was no objective evidence of plans to stop and correct the erosion of the structural backfill material.
Screening: The inspectors determined the performance deficiency was more than minor because if left uncorrected, it would have the potential to lead to a more significant safety concern. Specifically, continued erosion of backfill material and settlement of the buried piping can lead to increased pipe loading beyond what it is analyzed for and increased degradation of pipe exterior corrosion protective coatings due to the wet environment.
Significance: The inspectors assessed the significance of the finding using IMC 0609 Appendix A, The Significance Determination Process for Findings At-Power. The inspectors determined the finding was of very low safety significance (Green) because the impacted piping and connected components have been currently demonstrated to maintain their operability and/or probable risk assessment functionality. Inspectors observed that PBAPS continues to monitor the settlement of safety -related piping and have been able to evaluate that the structural integrity of the piping remains within acceptable stress limits during the current monitoring cycle.
Cross-Cutting Aspect: H.1 - Resources: Leaders ensure that personnel, equipment, procedures, and other resources are available and adequate to support nuclear safety.
Specifically, appropriate resources were not devoted to the investigation under the special plant condition to promptly identify and develop timely corrective actions for the issue. PBAPS extended the special plant condition on multiple occasions because of foreseeable restrains on available resources such as developing temporary change configurations and procuring necessary equipment to support planned investigations.
Enforcement:
Violation: 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that measures shall be established to assure that conditions adverse to quality, such as deficiencies, defective material, and non-conformances are promptly identified and corrected.
PI-AA-125, CAP Procedure, Revision 7, step 4.5.2 states, in part, to create a corrective action for any planned actions necessary to restore a condition adverse to quality.
Contrary to the above, from at least May 10, 2021 to present, PBAPS did not establish measures to correct the condition adverse to quality associated with the erosion of structural backfill material in the pipe trench.
Enforcement Action: This violation is being cited because the licensee failed to restore compliance within a reasonable period of time after the violation was identified, consistent with Section 2.3.2 of the Enforcement Policy.
Minor Performance Deficiency 71152B Failure to Document and Accurately Label Corrective Actions for Multiple Conditions Adverse to Quality Contrary to Procedural Requirements
Minor Performance Deficiency: During a review of PBAPSs evaluations of various plant issues, the inspectors observed a negative trend where corrective actions were not assigned and/or documented in the condition report and associated workgroup evaluations. This is contrary to the requirements in Constellation procedure PI-AA-125 "CAP Procedure." Step 4.3.5 provides the requirements for performing a workgroup evaluations and states to clearly identify the corrective action credited for restoring the condition adverse to quality, and if not completed, ensure a corrective action-type action clearly provides details on closing a corrective action-type action using the model corrective action template.
Step 4.5.2 states to create a corrective action for any planned action necessary to restore a condition adverse to quality.
The following condition reports are examples of this trend:
- AR 04495954, workgroup evaluations for NRC graded exercise objective E.3 DEP failure
- AR 04564416, workgroup evaluations for use of non-calibrated measuring and test equipment
- AR 04533688, workgroup evaluations for NCV in response to not adequately performing IST on check valves
Screening: The inspectors determined the performance deficiency was minor. While this trend represents a performance deficiency for PBAPS not following procedure PI-AA-125, the inspectors determined the issue is minor because the issue was administrative in nature and did not result in any uncorrected conditions adverse to quality.
Significance: The inspectors assessed the significance of the finding using IMC 0609 Appendix A, The Significance Determination Process for Findings At-Power.
EXIT MEETINGS AND DEBRIEFS
The inspectors verified no proprietary information was retained or documented in this report.
- On August 3, 2023, the inspectors presented the biennial problem identification and resolution inspection results to David Henry, Site Vice President, and other members of the licensee staff.
DOCUMENTS REVIEWED
Inspection Type Designation Description or Title Revision or
Procedure Date
71152B Calculations EQ-PB-019A Environmental Qualification/Automatic Valve Corp. (AVCO)
Pilot Solenoid Valve for Srv Actuators
Corrective Action 01450181-3
Documents 01991702
2365711
2465711
2472724
2634705
03946213
04094227
04162789
04165867
04186043
04196417
219738
227281
289582
04304443
04314314
04333925
04339313
04342483
04388560-59
04389412
04398032
04399671 SBM Switch Failures Review for Part 21
04400698
04401994
04403989
04408545
04408549
Inspection Type Designation Description or Title Revision or
Procedure Date
04411414
04424065
04424264
04436966
04438840
04441079
04442380
04443036
04443058 CAPE - PI&R NRC ID-Long-Term Concerns for Soil Erosion
and Effects
04443996
04445286
04447104
04448889 Failure to Correct Erosion in Pipe Trench
04449648
04454298
04454914
04459665
04460251
04460430 Part 21 (Potential) Curtiss Wright/NOVA Machined Threaded
Rod Used to Install 2AE001 Feedwater Heater Head/Manway
in P2R23 Post EC 04460767 Unit 2 Manual Scram Due to Degrading Main Condenser
Vacuum (Root Cause)
04463899
04464578
04467265
04469658
04474683 OPEX Review of IRIS 493328 Unplanned Inoperability of
ECCS Pumps Caused by Improper Engagement of the Male
and Female Stabs on Fuse Blocks Installed in Breaker
Compartments
04475870
Inspection Type Designation Description or Title Revision or
Procedure Date
04476417 WGE - 3AP145 Coupling and Bearing Showing Heavy
Degradation
04479986
04481917
04482016 WGE - NRC ID: 480V Breaker Hoist Seismic Restraint not
Engaged
04482699
04485805
04487126
04487128
04489142
04490075
04495946
04495954 WGE - PB NRC Graded Exercise Failed Obj E.3 DEP Failure
04496102
04497937
04500178 RCR - U2 Scram Following Grid Disturbance
04500347
04501017
04501210
04501211
04501530
04501538
04501812
04502015
04507306
04511151
04511152
04511262
04514157 480V Breaker Hoist Seismic Restraint Disengaged Due to
Design Vulnerability (NCV 2022002-01)
04514164
04515278 Lowering Condenser Vacuum / C Condenser Performance
Inspection Type Designation Description or Title Revision or
Procedure Date
(CAPE)
04515394
04516351
04516895
04518180
04518191
04519848
04522170
04529976
04530683
04531804
04533058
04533261 Unit 2 HPCI Steam Leak at LE-2-23-090 Flange Connection
(WGE)
04533554 Leaks on EHC Supply/Drain Piping Identified During P2R24
(CAPE)
04533663 Unit 2 Manual Scram for Degrading Condenser Vacuum
(Green Finding, WGE)
04533688 HSPW Discharge Check Valve Manually Closed During IST
(NCV, WGE)
04534311
04535201
04536815
04537050
04538450
04540155 Loss of Reactor Protection System Power and Unit Scram
Due to Operator Error
04542021
04545648
04547694
04547717
04550779 Unit 2 EOC Install Grounding Ring on 2D Backup Air
Compressor
Inspection Type Designation Description or Title Revision or
Procedure Date
04553266
04553779
04554494
04560404 Unit 2 Service Water 2AP004-DR CT Wiring Inspections
04560996
04563423 2A RHR Minimum Flow Valve Failure due to Agastat Relay
Failure (NCV)
04564181
04564416 M&TE Used Past the Calibration Date (WGE)
04666606
04673616
04679126
04682247 Hardened Containment Vent System Battery Test Not
Performed
04683544
04685389
Corrective Action 04694224
Documents 04694366
Resulting from 04694390
Inspection 04694433
Engineering EC 635851 E3 EDG Low Voltage Cables Replacement Revision 002
Changes ECR 06-00277 Unit 2 Yard Drain Sump and Oil Filtration Skid Revision 2
Procedures CC-AA-101 Engineering Change Requests (ER) Revision 7
CC-AA-112 Temporary Configuration Changes Revision 32
CC-AA-309-101 Engineering Technical Evaluations Revision 16
CC-AA-309-1012 10 CFR Part 21 Technical Evaluations Revision 6
EP-AA-1000 Standardized Radiological Emergency Plan Revision 33
EP-AA-1007 Radiological Emergency Plan Annex for Peach Bottom Revision 35
Atomic Power Station
OP-AA-108-115 Operability Determinations (CM-1) Revision 26
PI-AA-115 Operating Experience Program Revision 5
PI-AA-115-1001 Processing of Level 1 and 2 OPEX Evaluations Revision 4
PI-AA-115-1003 Processing of Level 3 OPEX Evaluations Revision 7
Inspection Type Designation Description or Title Revision or
Procedure Date
PI-AA-116 Nuclear Safety Review Board Revision 4
PI-AA-120 Issue Identification and Screening Process Revision 13
PI-AA-125 Corrective Action Program (CAP) Procedure Revision 8
PI-AA-125-1001 Root Cause Analysis Manual Revision 7
PI-AA-125-1003 Corrective Action Program Evaluation Manual Revision 7
PI-AA-125-1004 Effectiveness Review Manual Revision 2
PI-AA-126-1001 Self-Assessments Revision 5
WC-AA-106 Work Screening and Processing Revision 20
Self-Assessments 04435736 Peach Bottom Corrective Action Program Audit (NOSA-PEA-
21-05)
04439785 Biennial Safety Culture Self-Assessment
04470209 Peach Bottom Maintenance Audit (NOSA-PEA-22-01)
04475218 Temporary Configuration Change 2022 (NOSA-PEA-22-10)
04475218 Emergency Preparedness 2022 (NOSA-PEA-22-02)
04486815 Preparation for NRC Problem Identification and Resolution
(PI&R) Inspection
04507993 Peach Bottom Operations Audit (NOSA-PEA-22-04)
04526768 Peach Bottom Cyber Security Audit (NOSA-PEA-22-06)
04546411 Peach Bottom Security Programs Audit (NOSA-PEA-23-01)
Work Orders 01264153
293306
NOTICE OF VIOLATION
Constellation Energy Generation, LLC Docket Nos.: 05000277 and
05000278
Peach Bottom Atomic Power Station, Units 2 and 3 License Nos.: DPR-44 and DPR-56
Consistent with the Nuclear Regulatory Commission Enforcement Policy and Title 10 of the
Code of Federal Regulations (10 CFR) Part 2.201, the following violation identified in inspection
report 2023010 is being cited:
CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that
measures shall be established to assure that conditions adverse to quality, such as
deficiencies, defective material, and non-conformances are promptly identified and
corrected.
PI-AA-125, Corrective Act ion Program Procedure, Revision 7, step 4.5.2 states, in part,
to create a corrective action for any planned actions necessary to restore a condition
adverse to quality.
Contrary to the above, from at least May 10, 2021 to present, Peach Bottom staff did not
establish measures to correct the condition adverse to quality associated with the
erosion of structural backfill material in the pipe trench.
This violation is associated with a Green Significance Determination Process finding.
Pursuant to the provisions of 10 CFR 2.201, Constellation Nuclear is required to submit a
written explanation or statement to the
- U.S. Nuclear Regulatory Commission, ATTN: Document
Control Desk, Washington, DC 20555-0001 with a copy to the Regional Administrator, Region 1,
and a copy to the NRC Resident Inspector at Peach Bottom, within 30 days of the date of the
issuance of this Notice of Violation. Please mark your reply "Reply to a Notice of Violation" and
include the following for each violation:
(1) The reason for the violation, or, if contested, the basis for disputing the violation
(2) The corrective steps that have been taken and the results achieved
(3) The corrective steps that will be taken
(4) The date when full compliance will be achieved
Your written explanation or statement may reference or include previous docketed
correspondence, if the correspondence adequately addressed the required response. If an
adequate reply is not received within 30 days, an order or a Demand for Information may be
issued as to why the license should not be modified, suspended, or revoked, or why other
appropriate action should not be taken. Where good cause is shown, consideration will be given
to extending the required 30 day response time.
If you contest this enforcement action, please provide an additional copy of your response, with
your basis for denial, to the Director, Office of Enforcement, U.S. Nuclear Regulatory
Commission, Washington, DC 20555-0001.
Because your response will be made available electronically for public inspection in the NRC
Public Document Room or from the NRCs document system (ADAMS), accessible from the
NRC Web site at http://www.nrc.gov/reading-rm/adams.html, to the extent possible, it should not
include any personal privacy, proprietary, or safeguards information so that it can be made
available to the public without redaction. If personal privacy or proprietary information is
necessary to provide an acceptable response, then please provide a bracketed copy of your
response that identifies the information that should be protected and a redacted copy of your
response that deletes such information. If you request withholding of such material, you must
specifically identify the portions of your response that you seek to have withheld and provide in
detail the bases for your claim of withholding (e.g., explain why the disclosure of information will
create an unwarranted invasion of personal privacy or provide the information required by
CFR 2.390(b) to support a request for withholding confidential commercial or financial
information). If safeguards information is necessary to provide an acceptable response, please
provide the level of protection described in 10 CFR 73.21.
In accordance with 10 CFR 19.11, you may be required to post this Notice within two working
days of receipt.
Dated this September 15, 2023
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