ML20151E836
| ML20151E836 | |
| Person / Time | |
|---|---|
| Site: | Cooper |
| Issue date: | 04/11/1988 |
| From: | NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
| To: | |
| Shared Package | |
| ML20151E783 | List: |
| References | |
| 50-298-88-01, 50-298-88-1, NUDOCS 8804150399 | |
| Download: ML20151E836 (42) | |
See also: IR 05000298/1988001
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SALP BOARD REPORT
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U.S. NUCLEAR REGULATORY COMMISSION
REGION IV
SYSTEMATIC ASSESSMENT OF LICENSEE PERFORMANCE
NRC Inspection Report 50-298/88-01
Nebraska Public Power District
Cooper Nuclear Station
August 1, 1986, through January 31, 1988
8804150399 86:0411
ADOCK 05000298
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I.
INTRODUCTION
The Systematic Assessment of Licensee Performance (SALP) program is an
integrated Nuclear Regulatory Commission (NRC) staff effort to collect
available observations and data on a periodic basis and to evaluate
licensee performance based upon this information.
SALP is supplemental to
normal regulatory processes used to ensure compliance with NRC rules and
regulations,
SALP is intended to be sufficiently diagnostic to provide a
rational basis for allocating NRC resources and to provide meaningful
guidance to the licensee's management to promote quality and safety of
plant operation.
An NRC SALP Board, composed of the staff members listed below, met on
March 9, 1988, to review the collection of performance observations and
data, and to assess licensee performance in accordance with the guidance
in NRC Manual Chapter 0516, "Systematic Assessment of Licensee
Performance." A summary of the guidance and evaluation criteria is
provided in Section II of this report.
This report is the SALP Board's assessment of the licensee's safety
performance at Cooper Nuclear Station for the period August 1, 1986,
through January 31, 1988.
SALP Board for Cooper Nuclear Station:
L. J. Callan, Director, Division of Reactor Projects, RIV
J. P. Jaudon, Deputy Director, Division of Reactor Safety, RIV
R. E. iall, Deputy Director, Division of Radiation Safety and Safeguards,
RIV
W. O. Long, Project Manager, NRR
E. J. Holler, Chief, Reactor Projects Section C, RIV
W. R. Bennett, Senior Resident Inspector, RIV
Other personnel who participated in all or part of the SALP Board were:
W. C. Seidle, Chief, Test Programs Section, RIV
W. L. Fisher, Chief, Nuclear Materials and Emergency Preparedness Branch,
RIV
D. R. Hunter, Chief, Technical Support Staff, RIV
L. A. Yandell, Chief, Radiological Protection and Safeguards Branch, RIV
B. Murray, Chief, Facilities Radiological Protection Section, RIV
R. J. Everett, Chief, Physical Security Section, RIV
E. A. Plettner, Resident Inspector, RIV
A. B. Earnest, Security Inspector, RIV
G. L. Madsen, Project Engineer, RIV
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II.
CRITERIA
Licensee performance was assessed in 11 selected functional areas.
Functional aress normally represent areas significant to nuclear safety
and the environment.
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One or more of the following evaluation criteria were used to assess each
functional area:
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A.
Management involvement and control in assuring quality
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B.
Approach to the resolution of technir.al issues from a safety
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standpoint
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C.
Responsiveness to NRC initiatives
D.
Enforcement history
E.
Operational events (including response to, analysis of, and correc-
tive actions for)
F.
Staffing (including management)
However, the SALP Board is not limited to these criteria, and others may
have been used where appropriate.
Based upon the SALP Board assessment each functional area evaluated is
classified into one of three performance categories.
The definitions of
these performance categories are:
Category 1:
Reduced NRC attention may be appropriate.
Licensee
management attention and involvement are aggressive and oriented toward
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nuclear safety; licensee resources are ample and effectively used so that
a high level of performance with respect to operational safety is being
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achieved.
Category 2:
NRC attention should be maintained at normal levels.
Licensee management attention and involvement are evident and are
concerned with nuclear safety; licensee resources are adequate and are
reasonably effective so that satisfactory performance with respect to
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operational safety is being achieved.
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Category 3:
Both NRC and licensee attention should be increased.
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Dcensee management attention or involvement is acceptabla and considers
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nuclear safety, but weaknesses are evident; licensee resources appear to
be strained or not effectively used so that minimally satisfactory
performance with respect to operational safety is being achieved.
III. SUMMARY OF RESULTS
The SALP board concluded that overall site operations were well managed.
Plant operations, radiological controls, fire protection, and licensing
activities were significant strengths.
Individual performance continues
to be the major contributing factor to these strengths, overcoming
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programs that are generally weaker than the observed performance.
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Performance in radiological controls warranted moving the evaluation from
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Category 2 to Category 1; however, the board noted some matters regarding
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radiological control training which still need attention.
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Some improvement has been noted in programs, especially in the area of
procedure rewrite.
As noted in the previous SALP, the loss of a few key
individuals could still result in a significant reversal of performance.
Emergency preparedness training and security continue to need management
attention.
Notwithstanding_the continued need for management attention,
the board did note a positive upward trend in the security area.
Emergency preparedness training deficiencies, however, have the potential
for causing declining performance in the future.
Improvement in commun'ications between the general office and the site also
needs mamgement attention as does engineering backlog.
The board also
concluded, based principally on the Safety System Functional
Inspection (SSFI) findings, that control of modifications needed
improva.nent.
This reduced perfonnance in engineering technical support
for outages caused the outage area to be evaluated at Category 2.
The licensee's performance is summarized in the table below, along with
the performance categories from the previous SALP evaluation period.
Previous
Present
Performance Category
Performance Category
Functional
(2/1/85 to 7/31/86
(8/1/86 to 1/31/88)
A.
Plant Operations
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8.
Radiolog: cal Controls
2
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C.
Maintenance
2
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D.
Surveillance
2
2
E.
Fire Protection
2
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F.
2
2
G.
Security
3
3*
H.
Outages
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2
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Quality Programs and
2
2
Administrative Controls
Affecting Quality
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Licensing Activities
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K.
Training and Qualification
2
2
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Effectiveness
- Positive trend noted by SALP Board
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Forty-six NRC inspections were conducted during this SALP evaluation
period, involving a total of 5928 direct inspection man-hours of which
1320 hours0.0153 days <br />0.367 hours <br />0.00218 weeks <br />5.0226e-4 months <br /> were attributed to the SSFI led by NRC Headquarters.
The
objective of the SSFI was to assess the operational readiness of selected
safety systems.
IV.
PERFORMANCE ANALYSIS
A.
Plant Operations
1.
Analysis
The assessment of this area consists chiefly of the activities
of the licensee's operational staff (e.g., licensed operators,
shift technical advisors, and auxiliary operators).
It is
intended to be limited to operating activities such as:
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startup, power operation, plant shutdown, and system lineups.
Thus, it includes activities such as reading and logging plant
conditions, responding to off-normal conditions, manipulating
the reactor and auxiliary controls, plant-wide housekeeping, and
control room professionalism.
This area has been inspected on a continuing basis by the NRC
resident inspectors and on several occasions by NRC regional
inspectors.
Specific areas inspected included operational
safety verifications, safety system walkdowns, followup on
significant events / problems, and review of licensee event
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reports (LERs).
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Management involvement in assuring quality was evident in this
functional area.
Five violations were identified in this
functional area.
Licensee management demonstrated a clear
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understanding of issues raised by the violations and corrective
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action was effective as indicated by lack of repetition.
The
minor violations identified were not repetitive and were not
indicative of a programmatic breakdown.
Several LERs were
issued by the licensee in this functional area.
The majority of
events and violations were attributable to inadequate procedures
and personnel error.
The licensee has instituted a procedure
rewrite program to improve the procedures and to provide mare
complete guidance to the operators.
This program has
contributed to the reduction in procedure related events at the
end of the evaluation period.
In addition, the licensee has
continued a program to label all plant equipment and has
continued the human factors upgrade of panels in the control
room.
Both programs i. ave aided the performance of plant
operators.
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Operational staffing positions and responsibilities are well
defined.
Staffing has remained relatively constant in this
period, and management is aggressively supporting continued
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license upgrades.
Experience levels continue to increase, and
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operational support has been improved with the assignment of
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senior reactor operators (SR0s) to the operations support group
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which provided senior operating personnel, other than those on
shift, for resolving operational problems.
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The conduct of operations was observed ~ to be well coordinated
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and efficient.
Professionalism was evident in the control room
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during this evaluation period.
Restriction lines were installed
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in the control room which improved operator access to control
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room panels during plant evolutions.
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Management has aggressively pursued plant cleanliness.
Plant
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wide housekeeping has been observed to be consistently good and
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improving.
While management involvement in this functional area was strong,
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three specific areas are deemed to require continued aggressive
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management oversight. These areas are:
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Continued emphasis to updato piping and instrument
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diagrams (P&lDs) and other operator aids to ensure their
adequacy for use in assisting operating personnel.
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Continued emphasis to ensure that operating experience is
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adequately reflected in the procedure rewrite program.
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More startup evolutions during simulator training.
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2.
Conclusions
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The overall assessment of this area indicated a strong and
continually improving operations program at Cooper Nuclear
Station. The licensee's approach to the resolution of technical
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issues from a safety standpoint' demonstrated a clear
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understanding of issues, routine conservatism, and technically
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sound and timely resolutions.
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The licensee is considered to be in Performance Category 1 in
this functional area.
3.
Board Recommendations
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a.
Recommended NRC Actions
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The NRC inspection effort in this functional area can be
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limited to the minimum program.
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b.
Recommended Licensee Actions
The licensee should maintain strong management attention in
this area to ensure a continued high level of performance.
Management involvement should continue in areas which
could aid the operator (e.g., update of P& ids, procedure
rewrite program, and simulator training for plant
startups).
B.
Radiological Controls
1.
Analysis
Eight inspections involving radiological controls were conducted
during the assessment period by region-based radiation
specialist inspectors.
These eight inspections covered the
following functional areas:
occupational radiation safety,
radioactive waste management, radiological effluent control and
monitoring, transportation of radioactive materials, and water
chemistry.
The radiological controls area was also inspected on
a continuing basis by the resident inspectors.
No violations or
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deviations were identified.
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a.
The licensee's program for occupational radiation
protection, radioactive materials and contamination
controls, radiological surveys and monitoring, and ALARA
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programs was inspected four times during the assessment
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period.
Three inspections were conducted during normal
plant operations and one inspection was perforned during a
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scheduled refueling outage.
The licensee's exposure for 1986 was 330 person-rem
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compared to the national BWR average of 693 person-rem.
During 1987, the licensee's person-rem exposure was
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98 conpared to a BWR national average of about
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300 person-rem.
Much of the licensee success in
maintaining low person-rem exposure is the result of:
(1) a good fuel maintenance program to control the release
of fission products. (2) the pipe preconditioning program
implemented during '.he 1985 recirculation pipe replacement
outage, and (3) maintaining an excellent reactor water
chemistry program.
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The radiation protection program has demonstrated the
licensee's aggressive management and leadership
capabilities.
The radiation protection department has
established a good working relationship with other plant
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departments; this helps to implement an effective radiation
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protection program.
Plant management has also provided
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strong support to the Radiation Protection Department.
Eleven new positions were approved and filled in the
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Radiation Protection Department during the assessment
period.
The licensee has purchased and installed several
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state-of-the-art instruments to improve radiological'
monitoring capabilities.
During the assessment period, the
licensee implemented a comprehensive ALARA program.
A
stable program was evident in that the personnel turnover
rate among the radiation protection-staff-was less than
10 percent during the assessment period.
The licensee'has demonstrated the ability to manage and to
implement an effective program for' routine', day-to-day
radiation protection activities.
However, the following
concerns were identified-and should be considered as
program improvement items:
(1) the protection staff does
not include an individual with a strong academic background
in health physics to_ provide technical support for the
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evaluation of complicated radiation protection issues,
(2) a formal training program cn plant systems had not been
implemented for radiation protection personnel, (3) an
organized training program had not been established for
radiation protection supervisors and professionals, (4) a
formal testing and evaluation program had not been
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established for prospective contractor radiation protection
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technicians, (5) a procedure that specifies the specific
training and experience requirements had not been issued
for backshift radiation protection technicians, and
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(6) quality assurance (QA) audits in the radiological area
have not included a team member with technical expertise in
the areas being reviewed.
b.
Radioactive Waste Management
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The licensee's program involving the processing and onsite
storage of gaseous, liquid, and solid radioactive waste was
inspected once during the assessment period.
No
significant problems were identified concerning radioactive
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waste activities.
A well defined training program had not
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been developed for operations personnel responsible for
operating the gaseous, liquid, and solid radwaste systems.
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c.
Radiological Effluent Control and Monitoring
This area includes gaseous and liquid effluent controls and
monitoring, offsite dose calculations and dose limits,
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radiological environmental monitoring, radiochemistry
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program, and radiochemistry confirmatory measurement
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results.
The activity in these program areas were
inspected once during the assessment period.
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The licensee has established a well defined program
concerning the control and release of gaseous and liquid
effluents.
Liquid and gaseous effluent release permit
. procedures have been developed to assure that planned
releases receive _ proper review and approval prior to
release.
A review of gaseous and liquid releases indicate
that offsite doses were well below Technical Specification
limits.
A review of the radiological environmental monitoring
program identified the following concerns:
(1)-the sample
and analysis data in the radiological environmental reports
were not presented in a format which made it readily
obvious that the licensee was in compliance with Technical
Specification requirements, (2) training and qualification
records for personnel responsible for collecting
environmental samples had not been completed, and (3) the
meteorological monitoring equipment and environmental
thermoluminescent dosimeter programs had not been included
in the licensee's QA audit program.
The inspection of the radiochemistry area included
confirmatory measurements with the Region IV mobile
laboratory.
The radiological confirmatory measurement
results indicated 100 percent agreement between the NRC and
the licensee,
d.
Transportation of Radioactive Materials
This area was inspected once during the assessment period.
No particular proble:rs were identified concerning
processing, packaging, storage, and shipment of radioactive
materials.
The licensee has established detailed
procedures and an adequate quality assurance / quality
control program for low-level radioactive waste and spent
fuel shipments,
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Water Chemistry Controls
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This area was inspected once during the assessment period.
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The inspection involved the initial use of prepared water
chemistry standards for confirmatory measurement
evaluations.
The results of the water chemistry
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confirmatory measurements indicated 85 percent agreement
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between the licensee and the NRC's reference laboratory.
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These results are considered within expected industry
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performance levels.
The inspection also identified several
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concerns involving calibration standards, quality control
charts, and instrument calibrations.
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2.
Conclusions
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The licensee's overall performance indicated significant
improvement over the previous assessment period.
No violaticnt
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or deviations were identified during this assessment, as
compared to seven violations identified during the previous
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assessment period.
Improvements were noted regarding the
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implementation of a comprehensive ALARA program, additional
positions in the radiation protection department, low person-rem
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exposures, and purchase of new state-of-the-art health physics
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instrumentation.
Comprehensive training and the evaluation of training
effectiveness programs had not been fully implemented in the
radiation protection, water chemistry and radiochemistry,
radiological environmental monitoring, and radwaste areas.
Audit teams have not always included a team member with
technical expertise in the areas being audited.
The radiation
protection staff does not include a member with a strong
background in technical health physics.
No problems were identified concerning management support for
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radiological control activities, responsiveness to NRC
initiatives, or staffing.
The licensee is considered to be in Performance Category 1 in
this area.
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3.
Board Recommendations
a.
Recommended NRC Actions
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The NRC inspection effort should be reduced.
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b.
Recommended Licensee Actions
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Licensee management action is needed to ensure proper
training programs are implemented in this area.
Consideration should be given to hiring an individual with
a strong academic background in technical health physics.
C.
Maintenance
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Analysis
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The assessment of this area includes all licensee and contractor
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activities associated with preventive or corrective maintenance
of instrumentation and control, mechanical, and electrical
systems.
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This area was inspected on a continuing basis by the NRC
resident inspectors and periodically by NRC regional inspectors.
Specific areas inspected included preventive and corrective
maintenance activities in the mechanical, electrical, and
instrument and control disciplines; minor plant modifications;
program plans and procedures; corrective action reporting; and
work item tracking.
There were four violations identified in
this functional area during this assessment period.
The
enforcement history in this functional area indicated that the
two major causes of violations were:
maintenance personnel not
following procedural requirements and requirements not being
identified in the maintenance procedures.
This was most evident
in the areas of prerequisites and precautions.
The violations
identified indicated minor programmatic inadequacies.
Several
LERs were issued by the licensee in this area.
The LERs
indicated the need to preplan corrective maintenance activities
and develop written courses of action as necessary to direct the
process.
Management involvement in this functional area was evident by
aggressive identification, repair, and restoration of plant
equipment that required repair or routine preventive upkeep.
Maintenance personnel utilized appropriate plans and procedures
to correct known equipment deficiencies.
Quality checks and
postmaintenance testing were routinely performed prior to
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returning systems or components to an operable status.
Corrective actions including responses to NRC initiatives were
generally timely, comprehensive, and technically sound.
The two previous SALP reports identified weaknesses in the areas
of a training program for maintenance personnel, lack of
procedures for performing safety-related work activities and
equipment calibrations, procedure adherence, and control of
vendor documents and shop guides.
Improvements have ouurred
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during this assessment period in all the listed areas with the
exception of procedure adherence.
Requirements for previously
nonexistent procedures are being identified.
New pro:edures are
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being developed and approved for use in the performance of
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preventive and corrective maintenance activities.
During this
assessment period, the licensee developed and approved
procedures to address in detail postmaintenance testing
requirements.
The licensee has continued to categorize and
update safety-related equipment vendor manuals and applicable
procedures.
Completion has been delayed because of vendors' low
priority in producing the needed documents for the licensee.
Key positions in the maintenance area are identified and
responsibilities are defined.
Three new positions in
Maintenance Planning were created and filled during this period.
The staffing increase was needed to better control the backlog
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of Maintenance Work Request (HWR) items, which was previously
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identified as excessive.
2.
Conclusion
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Management involvement in the area of maintenance has continued
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to improve during the assessment period.
Majorimprovement
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projects are continuing in the areas of procedure development
and procedure updating.
Procedural adharence continues to be a
problem.
Formalized classroom training requirements were developed and
implemented in accordance with Institute of Nuclear Power
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Operations (INPO) accreditation standards for use during the
maintenance training scheduled for May 1988.
The number of
backlog RdRs has been decreasing in this assessment period.
The licensee is considered to be in Performance Categnry 2 in
this functional area.
3.
Board Recommendation
a.
Recommended NRC Actions
The NRC inspection effort in this functional area should be
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consistent with the routine inspection program with special
emphasis on the maintenance procedure development and
implementation effort,
b.
Recommended Licensee Action
Licensee management should continue a high level of
attention to this functional area to assure adequate
training of maintenance personnel and the completion of the
procedural development and rewrite project.
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D.
Surveillance
1.
Analysis
The assessment of this area includes all surveillance testing
activities as well as all inservice inspection and testing
activities.
Examples of activities included are:
instrument
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calibrations, equipment operability tes+.s, special tests,
inservice inspection and performance tests of pumps and valves,
and all other inservice inspection activities.
T51s area was inspected on a routine basis by the NRC resident
inspectors and periodically by NRC regional inspectors.
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The eaforcement history in this functional area identified three
violations during this assessment period; however, one violation
was for actions which occurred outside of the assessment period.
Several LERs were issued by the licensee in this area.
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Personnel errors were the predominant cause of the violations
and events in this assessment period, but inadequate procedures
were also an important contributor.
Managemont involvement in this functional area was evident.
Planning and scheduling were well coordinated, and all required
surveillances were performed on schedule.
However, this result
appeared to be because of efforts of personnel rather than
because of a well defined program.
The two previous SALP reports indicated unsatisfactory local
leak rate test results.
Excessive primary containment local
leakage was also discovered during this assessment period.
The
primary contributor to the leak rate in this reporting period
was due to the leakage of all feedwater check valves.
The
licensee appears to be making progress toward eliminating the
leakage problem; however, trending was not effectively utilized
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in predicting potential problem areas concerning the leak rate
test.
In addition, the SSFI identified that the trending
program for the service water inservice test data was
inadequate.
Instances were identified wherein service water
pumps were operating in the alert range without the increased
monitoring or corrective actions being accomplished as required.
2.
C_enclusions
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The overall assessment of this functional area indicates a
program for scheduling and tracking surveillance test
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requ;rements that works primarily because of the individuals
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responsible for implementing the program.
Records of
surveillances are generally complete and well maintained.
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Procedures and policies were adequately stated and were rarely
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violated.
Trending is not effectively used.
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The licensee is considered to be in Performance Category 2 in
this functional area.
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3.
Board Recommendations
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a.
Recommended NRC Actions
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The NRC inspection effort in this functional area should be
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consistent with the routine inspection program.
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b.
Recommended Licensee Actions
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The licensee is encouraged to improve the programmatic
aspects of surveillance scheduling and tracking whiie'
ensuring that the past strong performance is maintained.
Management involvement is encouraged to ensure that the
primary containment leak reduction program remains
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effective and that trending is effectively used to define
declining performance.
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E.
Fire Protection
1.
Analysis
The assessment of this area includes routine housekeeping
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(combustibles, etc.) and fire protection / prevention program
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activities.
Thus, it includes the storage of combustible
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material, fire brigade staffing and training, fire suppression
system maintenance and operation, and those fire protection
features provided for structures, systems, and components
important to safe shutdown.
This area was inspected on a continuing basis by the NRC
resident inspectors and on two occasions by NRC regional
inspectors.
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No violations were identified in this functional area.
NoLEf
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were issued by the licensee in this functional area.
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Hanagement involvement in assuring quality was evident in this
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Policies were well stated and disseminated.
The procram
area.
forfirebrigadetraininganddrillswasfoundtobeeffective.r
Records were well maintained, complete, and available.
The
licensee commenced sending fire brigade members to the City'of
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Omaha fire fighting school during this assessment period,
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brigade equipment, including emergency breathing apparatus, was
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properly stored and maintained.
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The licensee completed the upgrading of fire protection systras
to meet Appendix R requirements during this assessment perioo.
Fire protection systems and equipment were functionally tested
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in accordance with applicable requirements.
Procedures and
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policies were strictly followed.
Staffing was adequate
throughout the assessment period.
Positions are identified, af.d
authorities and responsibilities are well defined.
A full tirw
fire chief was hired during this assessment period.
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Management has stressed the importance of reducing transient
combustittles in the plant, and the results have been excellent.
Housekeeping practices have continued to improve throughout the
assessment period.
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2.
Conclusions
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The overall assessment of this functional area shows a strong
Management involvement in this
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functional area was evident by the excellent housekeeping
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prectices, cempletion of Appendix R requirements, and improved
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1rainingoffirebrigademembers.
,The licensee is considered to be in Performance Category 1 in
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,jthisfunctionalarea.
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>< Board Recommendations
3.
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'Recommegitt_MEActions
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a.
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a (<TheNRCinspectioneffortinthisfunctional. area.canbe
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limited to the minimum program.
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b.
Recommended Licensee Action
The licensee should maintain strong canagement attention in
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this area to ensure continued good performance.
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1.
Analysis
~
i
e
!
The assessment of this area' included the licensee's preparation
i
1
for radiological emergencies and response to simulated
!
,
emergencies (exercises).
Thus, it encompassed:
and implementing procedures; emergency facilities, equipment,
-
instrumentation, and supplies; organization and management
control; training; independent reviews / audit; and the licensee's
l
ability to implement the emergency plan,
j
During the assessment period, five emergency. preparedness
1
inspections were conducted by region-based NRC and contractor
,
i
inspectors. Two of these inspections were the observation and
j
evaluation of annual emergency response exercises by a team of
NRC and contractor inspectors.
During the first exercise, one
deficiency from a previous ex?rcise was closed and three new
,
deficiencies were identified.
During the following exercise,
two deficiencies from a previous exercise were clw ed and six
>
,
new deficiencies were identified.
t
3
1
{
Three inspections resulted in closure of seven open items, and
identification of four violations and one deviation from a
'
commitment, which is considered in this report under Section I,
"Quality Programs and Administrative Controls Affecting
'
Quality." Two of the four violations, one of which was a repeat
i
violation, ir,volved failure to perform required emergency
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15
'l
preparedness training.
Training weaknesses continued to be an
area deserving more licensee management attention.
The other
two, both violations of 10 CFR Part 50.54, also suggested
inadequate management attention to emergency preparedness.
The
nine deficiencies identified during the 1986 and 1987 exercises
further reinforced the view that emergency preparedness had not
reached the desired level of proficiency.
Specifically, there
'
did not appear to be adequate management involvement in ensuring
such proficiency.
The 1986 SALP report stated, "During the assessment period the
licensee had made a positive corrective effort.
The licensee
initiated an upgrade to the emergency res onse training program;
however, the program did not materialize.p' During the current
SALP period, the licensee has worked to upgrade the emergency
preparedness training program.
For example, training records
are being computerized, lesson plans have been developed for
several functional emergency response areas, emergeray resporise
1
personnel have received training to become certified
instructors, and one emergency response instructor now has
previous emergency preparedness experience and training.
.
I
l
Following the 1987 Quality Assurance evaluation / audit, licensee
management was apprised of 21 emergency response team members
who had not received required annual emergency response
,
refresher training.
Seven months later an NRC inspector's
random review of 13 personnel training records determined that
9 of the 13 emergency response team members had not received
required annual emergency preparedness refresher training.
The
4
training program lacks depth in defining specific training
requirements for emergency response personnel and in ensuring
that those requirements have been met.
Another problem that suggests a need for greater management
attention is the offsite dose projection program.
The licensee
l
'
had not completed procurement of software required for the
offsite dose assessment capability.
An acceptable interim
capability exists, however, this item has been tracked since the
Emergency Preparedness Appraisal conducted in June 1981.
2.
Conclusions
The number of deficiencies observed during the exercises and
violations issued in training indicate that training methods and
procedures require additional improvement.
Special management
attention should be devoted to training pregram develepment,
implementation, and training record management to preclude a -
decline in future performance.
Management attention also should
be directed to timely correction of other problems, such as
management of the offsite dose assessment program.
/
r-
.
,
.
-16-
,The ins'pection findings for this evaluation period indicate,
overall, that the licensee's emergency preparadness program is
adequate to: protect the health and safety of the public.
The licensee 's considered to be in Performance Category 2 in-
this area.
3.
Board Recommendation
a.
Recommended NRC Action
NRC inspection effort should remain at the present level.
Particular attention should be paid to training program
progress and to management involvement in expediting and
ensuring corrective action.
b.
Recommended Licensee Action
The level of managenient attention to the implementation of
the emergency preparedness program should be increased to
ensure timely response to NRC identified items.
The
1.icensee should complete and implement the emergency
preparedness training and retraining program as outlined by
training management.
The training program should include
training for both station and general office emergency
response team members.
G.
Security
1.
Analysis
The assessment of this area inc'itdes all activities whose -
purpose is to ensure the security of the plant.
Specifically,
it includes all aspects of the licensee's security program
(e.g., access control, security checks, safeguards).
This area
was inspected on a continuing basis by.the NRC resident
inspectors and periodically by NRC regional inspectors.
Five
inspections were conducted by NRC inspectors during the
assessment period.
Eleven violations were identified oy
regional and resident inspectors during the assessment period.
Three of the violations were repeatLviolations.
Two inadequate
access control - vital area violations, two compensatory
measures violations, and two access control - vehicle violations
were written during the SALP period.
One of the access
control - vehicle violations allowed live ammunition to be
brought onsite.
This resulted in an escalated enforcement
action.
One violation, concerning the failure to submit an NRC
required security plan change by the required date, indicated
that licensee management (particularly licensing) has instituted
a program that appeared to be so restrictive that CNS was late
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1
submitting the required change.
Three of the violations were
licensee-identified including the escalated enforce: tent
violation.
The licensee appears'to be resolving many of the previous SALP
-period noncompliance issues.
An effort is currently underway to
improve protected area' security systems._ Additionally,'CNS
security was. successful during contingency drills conducted
during the assessment period.
This is a reflection of improved
security management.
Management oversight also appears to have
resulted in improved security functions.
.
2.
Conclusions
.
Some problem areas identified during the previous SALP period
should be resolved by the ongoing security systems upgrade.
.
Increased support by plant management appears to-be having a
.
positive effect on the security organization.
However, the
security systems upgrade effort has been conducted slowly. LThe
licensee has been implementing the upgrade for a year and a
half, but not all equipment has been installed.
The numbers of
'
violations during the SALP period indicate that problem areas
are t till evident.
The repe=' violations indicate the need to
,
be more responsive to NRC '
.atives.
,t
The licensee is considered to be in Performance Category 3 but
with a positive upward trend in this functional area.
,
3.
Board Recommendations
a.
Recommended NRC Actions
The NRC regional-based inspection effort should be
continued on an increased basis in this functional area.
b.
Recommended Licensee Actions
The licensee should continue its current security systems
upgrade effort and place additional emphasis on those
problem areas identified in NRC reports during this SALP
period.
H.
Outage
,
1.
Analysis
,
The assessment of this area includes all licensee and contractor
activities associated with major outages.
It includes
refueling, outage management, major plant modifications, repairs
or restoration to major components and all postoutage startup
testing of systems prior'to-return to service.
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In order to more clearly define the specific strengths and
weaknesses noted in this functional area, the analysis is
divided into two areas, as discussed below:
1
a.
Outage Performance
This area was inspected on a continuing basis during the
outage by the NRC resident inspectors, and periodically.by
NRC regional inspectors. .The inspections included
j
refueling activities, outage management, planning and
<
scheduling, staffing, major components and systems repairs
and modification, and'preoperational startup testing.
There was one major outage during this assessment period
which began on October 6, 1986, and ended on January 3,
1987.
Management involvement in assuring quality was
evident throughout the outage.
There was consistent
evidence of. prior planning in that priorities were properly
assigned and policies were well stated and disseminated.
Outage activities included inspections of the main turbine
i
and generator, annual inspection of the diesel generators,
a
detailed control room design review, control room panel
modifications, 10 CFR Part 50, Appendix R alternate safe
1
shut down modifications, Regulatory Guide 1.97
l
instrumentation changes, primary containment purge valve
debris strainer installation, standby gas treatment . system
'
hanger recertification, control. room ventilation duct
I
changes, emergency diesel generator control power isolation
switch installation, equipment qualification upgrade, motor
control center structural supports modifications, residual
i
heat removal pumps wear ring upgrade,.and replacement of
the high pressure coolant injection system gland seal
exhaust condenser.
Few significant operational events
H
which were attributed to causes under the licensce's
control have occurred regarding-this. functional area.
l
Vacant key positions were filled on a priority basis.
A
dedicated full time Outage and Modification Manager was
appointed subsequent to the outage and should have an
impact on future outages.
b.
Engineering Technical Support for Outages
.
This area was inspected on a continuing basis by the NRC
resident inspectors and in depth by the SSFI team.
The
1
inspections included major components and system repairs
and modifications, preoperational startup testing, and the
design change program.
No violations or deviations were
identified in this area; however, the design and design
change program were a contributing factor in two violations
4
and five LERs during this assessment period.
These two
violations are identified in the functional area of quality
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'19
programs and administrative controls affecting quality.
In
addition,.the SSFI identified several potential design.
deficiencies which occurred outside this. assessment period.
There were two LERs in this functional area which indicated
a need to provide better' controls when-performing
postmodification testing.
Events were properly identified,
analysed, and promptly reported.
Implementation of.the: design change program was weak,.in
some instances, in that training and drawing modifications
were not identified-or' performed in a timely manner.
In
addition, the SSFI identified similar problems'.in updating
drawings, and had. concerns about the design change process
,
and procedures.
Onsite engineering staffing has increased
from 40 to 46 during this assessment period. The licensee
also transferred responsibility for all design changes to
the engineering staff in the general office <during the
assessment period.
Despite these changes, a large
engineering backlog still exists; this limits the
licensee's ability to respond in a timely manner to some
i
issues.
2.
Conclusions
,
The licensee has consistently displayed a strong management
commitment to a well organized and functional outage program.
Staffing and training needs were established commensurate with
the quantity and depth of activities that were planned.
The
licensee's Technical Support was not at the same standard as was
outage performance.
'
i
'
The licensee is considered to be in Performance Category 2 in
this functional area.
i
3.
Board Recommendations
a.
Recommenced NRC Actions
The NRC inspection effort in this functional area should be
i
consistent with the routine inspection program, except
,
increased attention should be directed toward design
control and change.
b.
Recommended Licensee Actions
Licensee management attention should be concentrated on
providing improved technical support and reduction of
'
engineering backlog.
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I.
Quality' Programs and Administrative-Controls Affecting Quality
1.
Analysis
The assessment of this area includes all management control,
verification and oversight activities which affect or assure
the quality of plant activities, structures, systems, and
components. This area may be viewed as a comprehensive
management system for controlling the quality of verification
activities which confirm that the work was performed correctly.
The evaluation'of the effectiveness of the QA system is based on
the results of management actions to ensure that necessary
people, procedures, facilities, and materials are provided and
used during the operation of the nuclear power plant.
Principal
emphasis is given to evaluating the effectiveness and
involvement of management in establishing and assuring the
effective implementation of the QA program along with evaluating
the history of licensee performance in the key areas of:
committee activities, design and procurement control, control of
design change processes, inspections, audits, corrective action
systems, and records.
This area was inspected on a continuing basis by the NRC
resident inspectors and, on several occasions, by regional
inspectors. Specific areas inspected included audit program,
audit implementation, procurement, Bulletin followup,
Information Notice followup, corrective action system, design
changes and modification, equipment qualification, and inservice
inspection.
In addition, a safety system functional
inspection (SSFI) was conducted by Region IV and headquarters
inspectors.
During this assessment period, five violations were identified
in this functional area.
Included was one violation fcr which
escalated enforcement action was taken. However, the Level III
violation was for actions which occurred outside of this
assessment period. One deviation regarding emergency
preparedness was identified. The licensee reported neveral LERs
>
attributable to this functional area during the assessment
period.
While management involvement in assuring quality was evident,
some problems with management involvement were identified as
root causes to events in this assessment period. Additional
contributing factors were design errors and the design change
process. Violations indicated minor programmatic inadequacies.
4
Corrective action was timely and effective in most cases.
Permanent plant staffing has increased from approximately 300 to
greater than 350 during this assessment period. Quality Assurance
staffing has increased from 9 to 12. Management is visible on
,
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21
site and corporate management is usually involved in site
activities. However, comunication problems continue to exist
between the r,ite and the General Office, which is located
approximately 160 miles from the site.
Although the QA staff is relatively small, it is aggressive and
effective in identifying quality problems. However, management
has'not always been supportive in ensuring that prompt
corrective action is taken when problems are idc.itified. The
size of the QA staff limits its. flexibility in responding to
site and industry problems.
The licensee has formalized its quality control program during
this assessment period. A dedicated quality control supervisor
is in place.
Formalized quality control training hac been
implemented and _is being conducted in preparation for the 1988
refueling outage. Additionally, the licensee has begun a
configuration management program.
2.
Conclusions
The overall assessment of this area indicates a QA program that
is growing and improving at Cooper Nuclear Station. Additional
management involvement is required to ensure that communications
problems are reduced and that QA findings are resolved in a
timely manner. Resolutions of technical issues are generally
conservative and timely. Management involvement is also
required to reduce engineering backlog and improve the design
control program.
The licensee is considered to be in Performance Category 2 in
this area.
3.
Board Recommendations
a.
Recommended NRC Actions
The NRC inspection effort should be consistent with the
routine inspection program with emphasis placed on the
design change program.
b.
Recommended Licensee Actions
The licensee should provide increased management oversight
to improve communications between onsite organizations and
general office.
The licensee should continue emphasis on
its configuration management program,
i
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22
J.
Licensing Activities
1.
Analysis
.This assessment represents the integrated inputs of the
Operating Reactor Project Manager (PM) and those technical
reviewers who expended significant amounts of effort on Cooper
Nuclear Station licensing actions during the. rating period.
The
reviewers included this information as part of each Safety
Evaluation transmitted to the Project Directorate.
The PM,
af ter reviewing the inputs of the technical reviewers, combined
this information with his own assessment of licensee performance
and, using appropriate weighting factors, arrived at.a composite
rating for the licensee's performance in the functional area of
Licensing Activities.
This rating also reflects the comments of
the NRR Senior Executive assigned to the SALP assessment.
A
written evaluation was then prepared by the PM and circulated to
NRR management for comments, which were incorporated in this
-assessment.
The basis for this assessmenti.1s the licensee's
performance in support of significant licensing actions that
were either completed or had a substantial level of activity
j
during the rating period.
These actions are identified in
J
Section V.G. of this report.
,
'
a.
Management Involvement and Control in Assuring Quality
During the rating period, licensee management increased its
level of involvement and attention to quality in issues of
,
major safety significance above the previous level which
was also rated Category 1.
In particular, increased
participation by senior management, was evident by
increased presence at meetings with the NRC.
Increased
participation by General Office (Columbus, NE) management
at on-site inspection exit meetings was also noted.
The
General Office is approximately 160 mi.les from the site.
Both locations lack convenient airline service, however the
licensee's use of private aircraft capable.of landing at a
small airfield near the facility enables General Office
personnel to visit the site frequently thereby facilitating
their overview of site activities and participation in
onsite meetings.
During the rating period licensee
management greatly increased its focus on security
concerns.
A program was initiated to develop a new
document which would consolidate the facility design base
.
documentation.
The licensee's success in implementing a fitness for duty
and drug testing program, in the face of an employee group
legal challenge is considered a noteworthy accomplishment
in this functional area.
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23
b.
Approach to Resolution of Technical Issues from a Safety
Standpoint
During the rating period several complex technical
situations arose which required expedited action on the
part of the licensee.
These were (1) reduction in main
steam bypass capacity because of a bypass valve hydraulic
control system problem, (2) failure of the position
indicator on a testable check valve, (3) discovery of
seismic qualification problems in certain piping systems,
and (4) discovery.ofidiesel generator cylinder head cracks.
The licensee's approach to resolution of these issues was
immediate and effective and demonstrated appropriate
priority of safety concerns.
During the rating period, a comprehensive Safety Systems
Functional Inspection (SSFI) was conducted by NRR with RIV
and contractor assistance.
A number of safety issues were
generated by this inspection.
The licensee's approach to
resolution of these issues demonstrated appropriate
attention to safety.
The licensee committed to conduct
considerable tests and analyses, and to implement major
programmatic improvements,
c.
Responsiveness to NRC Initiatives
During the rating period considerable progress was made on
several long-standing safety issues.
The containment vent
and purge issues are rapidly being resolved, and the issue
of combustible gas control is being resolved.
Greater
progress would have been made had it not been for the
effort spent in responding to SSFI findings.
However, the
,
major problems have been resolved and final resolution is
'
forthcoming.
As stated above, the licensee's initial
response to the SSFI issues is considered noteworthy.
The
'
administrative and the technical support the licensee
provided to the inspectors during the course of the
inspection was also noteworthy.
d.
Reporting and Analysis of Reportable Events
i
During the rating period, the licensee received a Notice of
Violation for failure to report a reportable event.
Also,
the licensee submitted an LER in which it reported a
considerable number of older ESF actuations which had
i
previously been considered not reportable.
Discussiens
between the Project Manager and plant staff indicate that
the licensee has considerable difficulty in determining
reportability.
The licensee initiated corrective action to
provide its personnel with special training in 10 CFR
.-
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24
Part 50.72 and 10 CFR Part 50.73.
(This training is being
conducted in the succeeding assessment period.)
In LER 87-023 the licensee submitted a voluntary item of
~
generic interest regarding a study of setpoint seasonal
drift in bourdon tube pressure switches.
The licensee's
voluntary efforts in presenting its findings to the
industry are commendable.
The licensee's LERs are comprehensive and well
documented.
e.
Staffing
The rating period was one of intensive licensing activity.
The intense workload was due to the effects of responding
to the SSFI.
This resulted in rescheduling of other lower
priority licensing activities.
However, the licensee
performed exceptionally well under the unusual
circumstances.
The licensing organization is well
qualified and adequately staffed to handle normal
workloads.
During periods of increased unplanned licensing
activity, lower priority work slips.- A highly experienced,
senior licensing engineer has been relocated from the
General Office to the site.
This action-should help
expedite resolution of licensing issues.
2.
Conclusion
The licensee's-performance.in the area of licensing activities
during the rating period had been above average.
Only one
notable circumstance arose during the period which could be
criticized.
In December 1987, the licensee applied for an
expedited Technical Specifications (TS) amendment to revise
certain surveillance intervals from 6 to 18 months.
The
surveillance test for'which relief was requested is a secondary
containment isolation logic functional test.
Cooper's TS
require the test at 6 month intervals whereas standard practice,
per Standard TS, is at 18-month intervals during refueling
outages.
The application explained that the licenses was
concerned about the likelihood of a scram during the test,.
because of a loss of cooling air to.the Recirculation Pump MG
sets.
The application stated that the test had only once before
been performed (in 1979) while at power and that "unplanned
shutdowns" have historically provided the necessary
opportunities to conduct the test.
It is the opinion of the
staff that the licensee should have anticipated the need for an
amendment in time to permit routine amendment processing.
The
emergency amendment would not have been issued had not the
licensee otherwise had an excellent performance record in the
,
i
,
25
licensing area.
The licensee has agreed to perform a review of
its TS to identify any other similar potential situations.
An overall performance rating of Category 1 has been assigned
for the functional area of Licensing Activities.
3.
Board Recommendations
a.
Recommanded NRC Actions
The staff should visit the licensee's General Office more
frequently for increased communications and familiarization
with the licensee's offsite QA, engineering and committee
activities.
b.
Recommended Licensee Actions
The licensee should accelerate its efforts in documentation
of design bases.
TS should be reviewed for consistency
with current practice and upgraded to reduce the likelihood
of need for emergency amendments and interpretations.
K.
Training and Qualification Effectiveness
1.
Analysis
This functional area includes all activities relating to the
effectiveness of the training, retraining, and qualifications
program conducted by the licensee's staff and contractors for
the 10 categories of facility training.
These categories are
non-licensed operators, control room operators, senior control
room operators / shift supervisors, shift technical advisors,
instrument and control technicians, electrical maintenance
personnel, mechanical maintenance personnel, radiological
protection technicians, chemistry technicians, and onsite
technical staff and managers.
This area was inspected on a continuing basis by the NRC
resident inspectors and once by NRC regional inspectors.
The
inspections included plans and procedures, licensed operator
training, operator requalification training, and training of
non-licensed personnel including shift technical advisors,
contracted personnel, administrative, maintenance, engineering,
site and corporate personnel.
No violations or LERs were
identificd in this functional area.
However inadequate training
and training records could occasionally be traced as a root
cause for problems identified in other SALP areas during this
assessment period.
Several potential violations in the area of
training were noted during training inspections.
However, in
accordance with the Commission Policy statement on Training and
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26
Qualification of Nuclear Power Plant Personnel (50 FR 11147
dated March 30,1987), these potential violations were not cited
but were documented as unresolved items.
During this assessment period, the licensee has continued to
expend considerable effort to upgrade its training and
qualification effectiveness.
Improvements included the
completion of the new training facility. The contract for the
purchase of a plant specific simulator was completed and the
simulator is scheduled to be installed in 1991. The licensee
received final accreditation by the INPO for the nonlicensed -
operator, control room operator, and senior control room
operator training programs during this assessment period. The
licensee is scheduled for final accreditation by INP0'in the
other seven areas of training in May 1988.
Implementation of
many of these programs is still forthcoming.
Inadequate
training was identified as a contributing cause of both major
and minor events that occurred during the last SALP rating
period and continued to be a problem in this assessment period.
Operator licensing examinations were administered in February
and September 1987.
Seven SR0 upgrade examinations were
administered during this assessment period with all seven
candidates being issued SR0 licenses.
Five Reactor
Operator (RO) candidates were examined during this assessment
period with all five candidates being issued R0 licenses.
The
high pass rates in SR0 and R0 candidate performances can be
attributed to the training and qualification program for
licensed operators.
The NRC did not perform a requalification
program evaluation during this assessment period.
Key positions in training are identified and responsibilities
are defined. The licensee filled all key positions in its
training department organization during this assessment period.
In addition contract personnel in operator licensing training
were replaced with experienced SR0's from onshift operations
personnel.
2.
Conclusions
The licensee has a well defined and implemented licensed
operator training program. The licensee has many training
programs which require implementation after INP0 accreditation.
Several key positions in the training organization were filled.
Weaknesses in this area were identified in the two previous SALP
reports.
Progrannatic deficiencies in training and training
records continues to be a problem.
The licensee has expended
considerable effort to prepare for INP0 accreditation but with
long delays.
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The licensee is considered to be in Performance Category 2 in
this functional area.
3.
Board Recommendations
a.
Recommended NRC' Actions
The NRC inspection effort in this functional area should be
consistent with the routine program.
Particular emphasis
should be placed on training program development and
,
implementation.
b.
Recommended Licensee Action
Management attention should continue in the area of-
training program development and implementation for
nonlicensed site and' corporate personnel.. Management-
attention should remain. strong to ensure timely:
installation and readiness of the plant specific simulator.
V.
Supporting Data and Summaries
A.
Licensee Activities
There was one major outage during this assessment period.
The outage
began on October 6, 1986, and ended on-January 3, 1987.
Outage
activities included inspection of the main turbine and generator,
annual inspection of the diesel generators, detailed control room
design review, control room panel modifications, 10 CFR Part 50,
Append;x R alternate safe shutdown modifications, Regulatory
Guide 1.97 instrumentation changes, primary containment purge valve
'
debris strainers installation, standby gas treatment system hanger
recertification, control room ventilation duct changes, emergency
diesel generator control power isolation switch installation,
equipment qualification upgrade, motor control center structural
supports modifications, residual heat removal pumps wear r'ig
upgrade, and replacement of the high pressure coolant inje tion
'
system gland seal exhaust condenser.
B.
Inspection Activities
NRC inspection activity during the this SALP evaluation period
)
included 46 NRC inspections performed with 5928 direct inspection
hours expended.
These inspections included a first round team
inspection of environmental qualification of electrical equipment and
a safety system functional inspection (SSFI) by Region IV and
'
headquarters inspectors.
Table 1 provides a tabulation of NRC enforcement activities for each
functional area evaluated.
Table 2 provides a listing of inspection
findings in each SALP category.
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y
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28
C.
Investigations and Allegations Review
No major investigation activities were conducted during this
assessment period.
D.
Escalated Enforcement Actions
1.
Civil Penalties
A Notice of Violation and Proposed Imposition of Civil Penalty
was issued on March 16, 1988 for a violation which occurred
during this assessment period.
A $25,000 civil penalty was
proposed for a Severity Level III violation regarding the
inadequate search of a contractor vehicle that entered the
protected area with undetected ammunition in the vehicle.
2.
Enforcement Orders
An Order Imposing Civil Monetary Penalty was issued October 10,
1986.
The Order regarded security violations which occurred in
the previous rating period.
E.
Management Meetims Held During Assessment Period
1.
Conferences
An enforcement conference was held at the Region IV office
during on January 28, 1988 to discuss apparent violations
i
regarding security matters and the design review of a plant
change.
2.
Confirmation of Action Letters
Noa
F.
Review of Licensee Event Reports and 10 CFR Part 21 Reports
Submitted by the Licensee
1.
Licensee Event Reports (LERs)
J
Ine NRC resident inspectors and project inspector reviewed:LERs
submitted by the licensee throughout the assessment period and
noted corrective actions. A SALP review panel was convened in
the Region IV office on February 4, 1988, to review inspection
findings and LERs for proximate causes and trends. The review
panel inputs were factored into the analysis of the SALP areas.
2.
Part 21 Reports
There were no 10 CFR Part 21 reports submitted by the licensee
during thic SALP assessment period.
l
.
.
.
.
29
i
G.
Licensing Activities
1.
NRR/ Licensing Meetings (Names Refer to NRR Participants)
November 28, 1986, meeting in Arlington, TX, regarding
miscellaneous security amendments.
Meeting summary dated
April 4,1987 (W. Long)
January 20, 1987, meeting in Bethesda with selected utilities on
combustible gas control in Mark I containments (J. Zwolinski,
J. Donohue, J. Kudrick).
Meeting summary dated March 19, 1987
April 30, 1987, meeting in Bethesda with licensee and licensee's
contractor to discuss security plan changes.
Meeting summary
dated June 4,1987 (R. Dube, B. Manili, W. Long)
May 12-13, 1987, SSFI entrance meeting at General Office
(W. Long, J. Dyer, SSFI Team)
May 22, 1987, meeting at Arlington, TX, regarding security
system upgrade modifications (W. Long) meeting summary dated
June 11, 1987
.
'
June 30, 1987, meeting in Arlington, TX, regarding findings of
SSFI (W. Long)
November 13, 1987, meeting in Arlington, TX, regarding security
system upgrade (W. Long)
2.
Commission Meetings
None
3.
NRC Site Visits (Names Refer to NRR Participants)
September 8-9, routine site visit and management meeting
(W. Long)
November 5-7, 1986, EQ audit / inspection (W. Long, inspection
'
team)
November 4, 1986, site visit and management by L. Zech,
R. Martin, D. Humenansky
December 16-17, 1986, routine site visit and management
(W. Long)
January 7-9, 1987, routine site visit and management meeting
(W. Long)
~.. ..
.
. . .
.
-
- .
-
-
. .
-
.
.
.
,
-.
30
March 11-13, 1987, Regulatory Effectiveness Review (W. Long,
l
D. Orrick, D. Pickett,_R. Dube)
May 18-19, 1987, site visit ano utility management meeting with-
F. Bernthal (see W. Long meeting summary dated June 1, 1987)
June 18-19,~1987, routine site visit and' utility management
meeting (W. Long)
)
July 16-17, 1987, routine site visit and utility management =
naetir.g (W. Long)
August 31 through September 1, 1987, routine ~ site visit and
utility management meeting (W. Long)
September 28-29, 1987, meeting to discuss containment vent and
purge and combustible gas control issues (W. Long, J. Kudrick)
October 6-8, 1987, annual emergency exercise (W. Long)
l
November 17-19, 1987, to observe control room and shift
activities and attend SORC meeting (W. Long, R. Wright)
December 1-2, 1987, site visit and utility management meeting
(D. Crutchfield, W. Long, R. Dudley) Meeting surmaary dated
December 11, 1987
i
4.
Schedular Exemptions Granted
Schedular exemption for relief from property insurance
,
requirements of 10 CFR Part 50.54(w)(1) dated December 2, 1987.
l
5.
Relief Granted
Implementation schedule for ATWS modifications.
Staff letter
dated September 10, 1986.
Extension to GL 87-02 requirement to provide a schedule for
verification of equipment seismic adequacy.
Letter from Long to
Trevors dated May 5,.1987.
Relief from commitment to replace mechanical water level
i
transmitters with analog trip units.
Letter from Long to
i
Trevors dated August 28,'1987
6.
Exemptions Granted
See 4 above
'
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31
7.
Emergency Actions Granted
Amendment 114 extending surveillance interval for testing of
secondary containment isolation logic from 6 months to
18 months.
8.
License Amendments Issued
Amendment 101, Technical Specification (TS) changes relating to
administrative control of procedures.
Amendment 102, TS changes relating to Standby Gas Treatment Sys
.
and Control Room Vent. System, sample line isolation setpoint,
and refueling interlocks
,
Amendment 103, TS changes related to removal of reactor vessel
head spray piping and associated conte.inment isolation valves
-
Amendment 104, TS changes to battery surveillance requirements
Amendment 105, TS changes relating to access control of high
radiation areas
Amendment 106, TS changes relating to the Cycle 11 reload
analysis
Amendment 107, TS changes defining the normal position of
certain containment isolation valves
Amendment 108, TS changes relating to scram and rod block
instrumentation
Amendment 109, TS changes relating to reactor water chemistry
Amendment 110, TS changes relating to testing of primary
containment airlock doors
Amendment 111, License modification relating to Physical
Security Plan
Amendment 112, TS changes reflecting modifications to prim 6ry
containment monitoring instruments
Amendment 113, TS changes related to fuel storage facilities
Amendment 114, Emergency authorization (see above)
-
- -
-
.
.
'
g
' S
32
9.
Orders Issued
Order Imposing Civil Monetary Penalty based on security
violations dated October 10, 1986.
(Applies to violations of
the previous rating period.)
10.
NRR/ Licensee Management Conferences
See 1 and 3 above
i
)
.
- b
g _
S
Table 1
Enforcement. Activity.
FUNCTIONAL AREAS
NUMBER OF VIOLATIONS IN EACH LEVEL
DEFICIENCIES / DEVIATIONS
V
IV
III
A.
Plant Operations
5
B.
Radiological Controls
C.
Maintenance
1
3
0.
Surveillance
3
'
E.
Fire Protection
F.
9/0
4
G.
Security
10
1
H.
Outages
I.
Quality Programs and
Administrative Controls
Affecting Quality
0/1
4
1
J.
Licensing Activities
K.
Training and Qualification
Effectiveness
Total
9/1
1
29
2
i
.
'
,
o
.. .
,
TABLE 2
ENFORCEMENT ACTIVITY
TABULATION OF VIOLATIONS, DEVIATIONS, AND EMERGENCY PREPAREDNESS DEFICIENCIES
BY
PERFORMANCE CATEGORY
_
A.
Plant Operations
Violations
Failure to follow procedure concerning High Pressure Coolant
Injection system valve positioning (Severity Level IV, 8626-02)
l
l
Inadequate review of surveillance test results (Severity Level IV,
(8626-03)
j
Failure to have adequate refueling procedure (Severity Level IV,
8627-02)
Service water valve out of position (Severity Level IV, 8728-01)
Failure to maintain secondary containment (Severity Level IV,
8728-02)
Deviations
None
B.
Radiological Controls
Violations
None
Deviations
None
C.
Maintenance
Violation
Inadequate cleanliness controls (Severity Level IV, 8627-05)
Failure to provide adequate controls (Severity Level IV, 8627-06)
Failure to have maintenance procedure (Severity Level IV, 8627-07)
Failure to perform required NDT examinations (Severity Level V,
8720-03)
Deviations
None
,
'
.. .
,
-2-
D.
Surveillance
Violations
Failure to quantify leakage per Appendix J (Severity Leval IV,
8630-01)
Failure to document procedure review (Severity Level IV, 8636-02)
Missing data in calibration records (Severity Level IV, 8706-04)
Deviations
None
E.
Fire Protection
Violations
None
Deviations
None
F.
Violations
Failure to perform training (Severity Level IV, 8702-01)
Failure to notify NRC of plan change (Severity Level IV, 8702-02)
Failure to perform training (Severity Level IV, 8802-01)
Failure to make available 50.54(t) evaluations to states (Severity
Level IV, 8802-02)
Deviations
None
Deficiencies
Dose assessment error (8625-01)
Inadequate staffing at general office emergency center (8625-02)
No recovery plan procedures issued (8625-03)
Delayed notifications (8725-01)
Deficient information flow (8725-02)
Deficient performance of shift supervisor (8725-03)
Inadequate emergency action level (8625-04)
_
_
'
-
0
4e O
o
-3-
Deficiencies in technical support center (8625-05)
Inadequate medical team performance (8625-06)
G.
Security
Violations
Inadequate physical barrier to vital area (Severity Level IV,
8629-01)
Failure to report security degradation (Severity Level IV, 8629-02)
Inadequate compensatory measures (Severity Level IV, 8629-03)
Keys in unattended vehicles it, protected area (Severity Level IV,
8629-04)
Inadequate access control - tailgating (Severity Level IV, 8701-01)
j
Inadequate security organization screening (Severity Level IV,
8701-02)
Inadequate compensatory measures procedure (Severity Level IV,
'
8701-03)
Failure to file security plan changes (Severity Level IV, 8708-01)
Inadequate access control - issued wrong badge (Severity Level IV,
8727-01)
Lock and key control (Severity Level IV, 8727-02)
Shotgun shells in protected area - inadequate search (Severity
Level III, 8732-01)
Deviations
None
H.
Outages
Violations
None
Deviations
None
_ _ _ _ _ _ _ _
_
. ,
,
o
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,
-4-
I.
Quality Programs
Violations
Failure to have latest revision to a refueling procedura (Severity
Level IV, 8C36-03)
Failure to provide adequate procedures following a design change
(Severity Level IV, 8703-01)
Failure to follow SRAB procedure (Severity Level IV, 8712-02)
Failure to make required 50.73 report (Severity Level IV, 8718-01)
Inadequate 50.59 review (Severity Level III, 8731-01)
Deviations
Failure to test mobile sirens (8802-03)
J.
Licensing Activities
Violations
o
None
Deviations
o
None
K.
Training and Qualification Effectiveness
Violations
o
None
Deviations
o
Hone
1
._ _
_ _ _ _ .
.
_
.
._
_
__
_
.
..
'
,
- , . . .
-t
TABLE'3
OPERATIONAL EVENTS
TABULATION OF LICENSEE EVENT REPORTS
BY
PERFORMANCE CATEGORY
'
- A.
Plant Operations
- Failure to Monitor Reactor Water Conductivity (86-018)
'
Reactor Water Cleanup (RWCU) Group III Isolation (86-019)
i
Group Isolations and Reactor Protective. System (RPS) Trip During
"
Reactor Shutdown.(86-022)
RWCU Group III Isolation (86-024)
Reactor Scram During Startup (87-002)
)
Low Reactor Vessel Water Level Scram & Group Isolation (87-006)
Unanticipated Reactor Scram and Group Isolations Due to Low Reactor
j
Vessel Water Level Caused by Inadvertent Manual Trip of the Operating
Reactor Feedwater Pump (87-009)
Unplanned Group I Isolation and Reactor Scram While Shut Down Due to
Overtravel of the Reactor Mode Switch When Operated (87-015)
Unplanned Diesel Generator Actuation While Verifying Electrical
Schematic Drawings (88-001).
B.
Radiological Controls
None
C.
Maintenance
Reactor Scram During HFA Relay Replacement (86-016)
Closure of High Pressure Coolant Injection (HPCI) Steam Supply Valve-
.
(86-017)
,
4
]
Inadvertent Auto-Start of Diesel Generator No. 2 (86-025)
Inadvertent Bumping of Relay Causes Auto-Start of Emergency Diesel
'
Generator (86-030)
,
Unplanned Actuation of Group II and VI Containment Isolation
Circuitry as a Result of'Short Circuit During Design Change
Modification Activities (86-031)
,
'
Unplanned Challenge to the RWCU System Due to Personnel Error While
Troubleshooting (86-035)
3
1
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_ _ _ _ _ _ _ _ _ _ _ - _ _
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D.
Surveillance
Inadvertent Isolation of RWCU (86-Ow )
Main Steam Safety Relief Valve Setpoint Drift and Stuck Pilot Valve
Inoperability Discovered During Scheduled Valve Testing and
Refurbishment (86-032)
Residual Heat Removal and Core Spra)
,,ap Motor Deficiencies Believed
to be Caused by High Cycle Fatigue Loading which were Discovered
During Inspection (86-033 and Supplement 1)
Primary Containment Leakage During Local Leak Rate Testing (87-004)
Unplanned Actuation of Group VI Isolation Due to Personnel Error
While Calibrating Area Radiation Monitors (87-008)
,
Unplanned Actuation of the RPS and Containment Isolation Valve
?
Groups II, III, and VI Initiated During and Subsequent to Turbine
Valve Testing Due to Operator Error (87-011)
Unplanned Actuation of Group I Isolation Valves During Surveillance
Testing Due to Operator Error (87-012)
Initiation of Plant Shutdown Due to Malfunctioning Pressure
Suppression Chamber Reactor Building Vacuum Breaker Valves (87-01',,
Unplanned Closure of RWCU System Isolation Valve Due O Personnel
Error During Surveillance Testing (87-022)
Setpoint Drift of Barksdale Bourdon Tube Pressure Switches, Model 82T
(87-?3)
Failure of HPCI Turbine Overspeed Trip Mechanism to Automatically
Reset During Surveillance Testing Due to Binding of the Tappet
Assembly (87-24)
E.
Fire Protect 1o_n
None
F.
Emergency Protection
None
G.
Security
<
Improper Personnel Access (87-501)
Improper Vehicle Search (87-502)
_ _ _ - _ _ _
'9
.
_ - _ . _ . . _ _ _
. .. .
.
- . _ _
_.
..
._
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_
. . .__
.,
- , ,._ . . . .
-3-
.
H.
Outages
Reactor Coolant System In-Service Leak Test ~ Causes-Reactor Scram
(87-001)
'
Reactor Scram & Group Isolations Due to Troubleshooting (87-003).
I.
Quality Programs and Administrative Controls Affecting Quality
loss of Emergency Transformer Supply (86-021)
Apparent Unnecessary Operation of an Auto-Start On Both Diesel
Generators (86-023)
Emergency Diesel Generator cylinder Head Cracking (86-026)
Safety Related Instrument Rack Seismic Deficiencies (86-027)
Standby Gas Treatment System Seismic Design Deficiencies (86-028)
Storage of Fuel in the Spent Fuel Storage Pool with U-235 Loading in
Excess of Technical Specification Limits due to Pellet Design Changes
-
and Manufacturer Variances (86-034)
.
Reactor Scram Due to Main Steamline Isolation Valve Closure During
Containment Inerting (87-005)
.
Deficiency in a Design Engineering Effort Performed in Response to a
TMI-2 Lessons Learned NRC Concern (87-025)
,
'
J.
Licensing Activities
'
None
K.
Training and Qualification Effectiveness
,
4
None
l
L.
Not Applicable
t
Loss of Emergency Transformer Supply Due to Lightning (86-015)
Loss of Emergency Transformer Supply Due to Lightning (86-020)
'
Loss of Emergency Transformer Supply Causing Emergency Diesel
'
Generator Auto-Start (86-029)
'
Isolation of RWCU System Due to High Flow When Restoring System to
Operation (87-007)
,
1
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Automatic Starting of Diesel Generators Upon Loss-of the Emergengy;. ( ,v'
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Transformer. Supply Due to Inclement Weather (87-010)
,A
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Unplanned Actuation of> Diesel Generator #2 Due to Loss of-V'citage on
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i
4160V IG Sus During Transfer of Power from:its Startup to Normal
a
'
. Source (87-013)'
'
Unplanned Reactor Shutdown as.a Result of High Reactor Water
o
,
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Conductivity Due to Condenser Tube Leakage (87-014)
4.,,
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'
.
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Unplanned Automatic Startup of Both Diesel Generators Due to a
'
',
Suspected Lightning-Strike on the Offsite 69KV Emergency Power Supply.
Transmission System (87-016)
f
Unplanned Automatic Startup of.Both Diesel Generators Due tola
4
Lightning Strike on the Offsite 69KV Emergency Power Supply
Transmission System (87-017)
'
Unplanned Automatic Startup of Both Diesel Generators Due to a
Lightning Strike on the Offsite 69KV Emergency Power Supply A
Transmission System (87-018)
. , ,
i
j
Apparent Noncompliance with Surveillance Testing Frequency
Requirements (87-020)
,, . e
Unplanned Automatic Start Actuations of Both Diesel Generators
(87-021)
Withdrawal of 1-hour Security Report (87-503)-
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