ML20134A696

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Press Release Re Proposed Fine Against Util for Alleged Violations of QA Requirements in Electrical Const
ML20134A696
Person / Time
Site: 05000000, Clinton
Issue date: 10/08/1982
From:
NRC
To:
Shared Package
ML17198A269 List: ... further results
References
FOIA-84-293 PR-82-148, NUDOCS 8508150389
Download: ML20134A696 (3)


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{{#Wiki_filter:.- .f. ' "%.. UNITED STATES .i NUCLEAR REGULATORY COMMISSION Y. Office of Public Affairs '%..... s' VVashington, D.C. 20555 i No. 82-148 FOR DPfEDI ATE RELEASE Tel. 301/492-7715 (Friday, October 8, 1982) NRC STAFF PROPOSES $90,000 FINE AGAINST _ ILLINOIS-POWER COMPANY The. Nuclear Regulatory Commission's Region III Office (Glen Ellyn, IL) has proposed a $90,000 fine against Illinois Power Company for al'eged violations of the NRC's quality-assurance requirements in electrical construction at the Clinton (Illinois) Nuclear Power Station.. The fine has been proposed for two alleged violations: (1) A $50,000 fine for inadequate documentation and imple. mentation of the electrical quality sssurance program. (Under the NRC's Enforcement Policy, the fine for this violation would normally be $40,000. But, because of the large number of deficiencies found, the fine was raised to $50,000.) And (2), a $40,000 fine for several instances of alleged intimidation of electrical quality control inspectors by Baldwin Associates, the prime contractor at Clinton. James G. Keppler, NRC Regional Administrator, :w id 'an NRC investigation earlier this year revealed a " breakdown" in the electrical quality assurance program at Clinton. "The principal cause of the breakdown,'in our view," Keppler said, "was Illinois Power Company's failure to exercise adequate oversight and control over its principal contractor (Baldwin Associates), to whom the work of establishing and executing quality assurance programs had been delegated." Since these problems were found, Illinois Power Company has taken significant action to improve the cuality assurance program at Clinton. This has included an audit of project management and quality assurance by an independent outside contractor and implementation of many of the contractor's recommendations including filling new management positions, hiring and training of additional quality assurance personnel and taking steps to prevent harrassment of QC inspectors. The NRC is closely monitoring the licensee's corrective actions to assure that further work is properly controlled. 8500150309 050703 PDR FOIA LEIGHTOB4-293 PDR /

e 6 e s 82-148 The NRC's investigation of the electrical quality assurance program was. conducted between Januarv 5 and ?farch 3, 1982, as a result of allegations made to the NRC's senior resident inspector by several electrical auality control inspectors. While the investigation was in progress, Illinois power issued a stop-work order, halting ccnstruction on safetv-related electrical eauipment and systems. The NRC's Region III Office, on January 27, then issued a Confirmatory Action Letter addressing the stop-work order and describing the changes in the quality assurance progran that would be necessary before the work would be allowed to resume. That stop-work order is still in effect r-(Nine other step-work orders have since been issued by Illinois Power for other areas of construction at Clinton.) The NRC investigation documented multiple exanoles of faulty recordkeeping, inadequate written procedures, ineffective inspection efforts and inadequate. controls over sone materials, parts and compon,ents. O Investigators also cited examnles of alleged intimidation of quality control inspectors by Baldwin Associates' management ~ ~ personnel. At least two Baldwin Associates' inspectors claimed they were fired because they orovided too much 'information to NRC investigators. The two insdectors subsequently were reinstated. Illinois Power Company has un,til November 5, 1982, to either pay the fine or to protest it. If the fine is protested and it is then imposed formally by the NDC staff, the company may request a hearing. UNITED STATES siasi tt ats u a.t NUCLEAR REGULATORY COMMISSION postac ss es pa.o g WASHINGTON. D.C. 20565 masa o c es ewit n. nt OFFICIAL SUSINESS PENALTY FOm PaivATE USE. 8X10 120555078694 L CZ US NRC IE-0!V EhGRG E QUALITY ASSUR BRANCH CHIEF QUALITY ASSLRANCE BRANCH 305A EWS WASHINGTCN CC 20555

0FFICE OF PUBLIC AFFAIRS NEWS SU'91ARY OCTOBER 20, 1982 he Nuclear Regulatory Commission's Region 3 office has proposed a t90,000 fine against Illinois Power because of violations with electrical quality assurance at its Clinton nuclear power plant and because two safety inspectors for an electrical contractor were fired for "giving too much information to NRC investigators." The two employees were subsequently rehired. Washington Post, 10/20. ( i I e i, l. t l l' l l i ( F0 ' A -t 4 -2' 3 L,es 1

hgg gg >= UNITED STATES +g** % go NUCLEAR REGULATORY CO'AMISSION g 799 RooSE EL ROAD GLEN ELLYN, ILLINolS 60137 g, y [ gwM g, ( p /i%y4 RCL 2 9 882 3. .~ \\ % cWn Docket No. 50-329 Docket No. 50-330 MEMORANDUM FOR: D. G. Eisenhut, Director, Division of Licensing, NRR FROM: R. F. Warnick, Acting Director, Office of Special Cases

SUBJECT:

REPORT ON MIDLAND DESIGN AND CONSTRUCTION PROBLE19, THEIR DISPOSITION, AND OVERALL EFFECTIVENESS OF THE EFFORT TO ASSURE APPROPRIATE QUALITY In a letter to Chairman Palladino dated June 8, 1982, entitled, ACRS Interim Report on Midland Plant, Units 1 and 2, Dr. Paul S. Shew =an, Chairman of the Advisory Co=mittee on Reactor Safeguards, requested "a report which discusses design and construction problems, their disposition, and the overall effectiveness of the effort to assure appropriate quality." Supplement No. 1 to the Midland Safety Evaluation Report (SSER1) indicates Region III would prepare such a report for the period from the beginning of construction through June 30, 1982. The SSER 1 also indicates that a final report will be issued on the above subjects for the period from July 1, 1982 through the completion of construction. The enclosed report is submitted in response to the first part of above referenced request and com itments. We request it be forwarded to the ACRS. A final report will be submitted following completion of construction. It is our understanding that NRR has lead responsibility for the disposition ci some of the construction problems. This is noted in the report. (See item III, paragraphs H.10 and J.S.) Please contact me if you have any questions. 0: , \\ '.- l~ R. F. Warnick, Acting Director Office of Special Cases

Enclosure:

As stated cc w/ enc 1: w T. Novak, NRR m D. Hood, NRR @ //t -T(f

  • d 3 R. Hernan, NRR T. Harpster, IE d. Allison, IE b

I Q 9 C Midland Nuclear Power Plant, Units 1 and 2 Docket No. 50-329 Docket No. 50-330 REFORT ON DESIGN AND CONSTRUCTION PROBLEMS FOR PERIOD FROM START OF CONSTRUCTION THROUGH JUNE 30,1982 Report Requested by Advisory Committee on Reactor Safeguards

{ [ N I. Introduction The following report prepared by the NRC, through its Region III office, discusses Midland construction problems, their disposition, and the overall effectiveness of the Consumers Power Company's efforts to ensure appropriate quality. The report was prepared at the request of the Advisory Committee on Reactor Safeguards and in response to commitments made in Supplement No. 1 of the Safety Evaluation Report. The report covers the period starting with the beginning of construc-tion up to June -30, 1982. A final report will be issued on the above subjects for the period from July 1,1982 through the completion of construction discussing the overall quality of plant construction. e e

r 4 i 9 II. Summary and Conclusions of Overall Effectiveness Since the start of construction, Midland has experienced some signifi-cant problems resulting in enforcement action (enforcement statistics are summarized in Table 1). Following the identification of each of these problems, the licensee has taken action to correct the problems and to upgrade the QA program and QA/QC staff. The most prominent action has been an overview program which has been steadily expanded to cover safety related activities. In spite of the corrective actions taken, the licensee continues to experience problems in the implementation of quality in construction. Significant construction problems identified to date include: (1) 1973 - cadweld splicing deficiencies (Paragraph C.2); (2) 1976 - rebar omissions (Paragraph F.5); (3) 1977 - bulge in the Unit 2 Containment Liner Plate (Paragraph G.3); (4) 1977 - tendon sheath location errors (Paragraph G.4); (5) 1978 - Diesel Generator Building settlement (Para-graph H.10); (6) 1980 - allegations pertaining to Zack Company heating, ventilating, and air conditioning (HVAC) deficiencies (Paragraph J.7); (7) 1980 - reactor pressure vessel anchor stud failures (Paragraph J.8); (8) 1981 piping suspension system installation deficiencies (Paragraph K.4); and (9) 1982 - electrical cable misinstallations (Paragraph L.2). Consumers Power has on repeated occasions not rtviewed problems to the depth required for full and timely resolution. Examples,are: (1) rebar omissions (1976); (2) tendon sheath location errors (1977); (3) Diesel Generator Building settlement (1978); and (4) Zack Company HVAC deficiencies (1980). In each of these cases the NRC, in its investigation, has determined that the problem was of greater significance than first reported or that the problem was more generic than identified by Consumers Power Company. The Region III inspection staff believes problems have kept recurring at Midland for the following reasons: (1) Overreliance on the architect-engineer, (2) failure to recognize and correct root causes, (3) failure to recognize the significance of isolated events (4) failure to review isolated events for their generic application, and (5) lack of an aggressive quality assurance attitude. A history of the Midland design and construction problems and their disposition, as identified and described in NRC inspection reports, is contained in the following section (III). This history is for the period from the beginning of construction through June 30, 1982. 6 2

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r - III. Design and Construction Problems As Documented in NRC Inspection Reports A. 1970 Six inspection reports were issued in 1970. In July 1970, construction activities authorized by the Midland Construction Permit Exemption commenced. A total of four items of noncom-pliance were identified in 1970. These items are described below: Tour items of nonconformance were identified in Inspection Report Nos. 50-329/70-06 and 50-330/70-06 concerning the installation of concrete. The nonconformances regarded: (1) concrete placement activities violated ACI Code; (2) laboratory not performing tests per PSAR; (3) sampling not per ASTM; and (4) QA/QC personnel did not act on deviations when identified. Licensee corrective actions included: (1) Bechtel to provide a report ettesting to the Auxiliary Building base slab where lack of consolidation was apparent; (2) a commitment to perform tests at frequencies specified in the PSAR; and (3) a commitment to train workers and the inspection staff. This matter was discussed during the Construction Permit Hearings and is considered closed. . B. 1971-1972 Three inspections were conducted during this period. No items of noncompliance were identified. Midland construction activities were suspended pending the pre-construction permit hearings. On December 15, 1972, the Midland Construction Permit was issued. C. 1973 Eleven inspection reports were issued in 1973 of which two per-tained to special management meetings, two to vendor inspections, one to an audit of the architect engineer, and six to onsite inspections. A total of six items of noncompliance were identified during 1973. One significant construction problem was identified involving deficiencies in cadweld splicing of rebar (see Paragraph 2). These items / problems are described below: 1. Noncompliances involving two separate Appendix B criteria with five different examples were identified during a special audit of the architect engineer's Quality Assurance Program. The noncompliances were documented in Inspection Report Nos. 50-329/73-08 and 50-330/73-08. The items of noncompliance regarded: (1) inadequate requirements for quality record retention; (2) inadequate drawing control; (3) inadequate procedures; and (4) unapproved specifications used for vendor control. Licensee corrective actions included: (1) revision of Bechtel Nuclear Quality Assurance Manual; (2) revision of Midland Internal Procedures Manual; (3) personnel instructed to audit the status of the drawing stick files weekly: '(4) e oje.c adm:nistrator assigned the 3

i responsibility for maintenance of master stick file; and (5) project engineer and staff to perform monthly surveillance of project record file. Inspection Report Nos. 50-329/74-03 and 50-330/74-03 concluded that appropriate corrective actions had been taken by the licensee relative _to the identified violations. 2. One significant construction problem was identified during 1973. It involved cadweld splicing deficiencies and resulted in the. issuance of a Show Cause Order. Details are as follows: A routine inspection, conducted on November 6-8, 1973, identified eleven examples of four noncompliance items relative to rebar cadwelding operations. The noncompliances were documented in Inspection Report Nos. 50-329/73-10 and 50-330/73-10. These items were summarized as: (1) untrained cadweld inspectors; (2) rejectable cadwelds accepted by QC inspectors; (3) records inadequate to establish cadwelds met requirements; and (4) inadequate procedures. As a result, the licensee stopped work on cadweld operations on November 9, 1973, which in turn stopped rebar installation and concrete placement work. The licensee agreed not to resume work until the NRC reviewed and accepted their corrective action. A Show Cause Order was issued on December 3, 1973, formally suspending cad-welding operations. On December 6-7, 1973, Region III and Headquarters personnel conducted a special inspection and determined that construction activities could be resumed in a manner consistent with quality criteria. Licensee correc-tive actions included: (1) the revision of the Bechtel specification to reflect requalification requirements; (2) development of instructions requiring that work specifications be reviewed prior to Class I work; (3) the establishment of provisions for Consumers Power QA review of work procedures; and (4) the establishment of procedures for the audit of Class I work. The Show Cause Order was modified on December 17, 1973 allowing resumption of cadwelding operations based on inspection results. The licensee answered the Show Cause Order on December 29. 1973 committing to revise and improve the QA manuals and procedures and make QA/QC personnel changes. On September 25, 1974, the Hearing Board found that the licensee was implementing its QA program in compliance with regulations and that construction should not be stopped. D. 1974 Eleven inspection reports were issued in 1974 of which one pertained to a vendor inspection, one to an inspection at the licensee's corporate offices, and nine to ensite inspections. Three items of noncompliance were tintified during 1974 These items are described below: 4

I e 1. One noncompliance was identified in Inspectio'n Report No. 50-329/74-01 and 50-330/74-01 concerning the use of unapproved procedures during the preparation of containment building -liner plates for erection. Licensee corrective actions included: (1) intensive review of liner plate records for accuracy; (2) issuance of nonconformance report; (3) requirement imposed that unapproved copies of prccedures transmitted to the site be marked " advance copy;" and (4) identification of procedure approval status. The licensee's actions in regards to this matter were reviewed and the noncompliance closed by the NRC as documented in Inspection Report Nos. 50-329/74-01 and 50-330/74-01. 2. One noncompliance was identified in Inspection Report Nos. 50-329/74-04 and 50-330/74-04, concerning the use of a weld method which was not part of the applicable weld pro-cedure. Licensee corrective actions included: (1) issuance of a nonconformance report; (2) repair of subject welds; (3) reinstruction of welders; and (4) increased surveillance of containment liner plate field fabrications. The licensee's actions in regards to this matter were reviewed and the noncompliance closed by the NRC as documented in Inspection Report Nos. 50-329/74-04 and 50-330/74-04 3. One ncncompliance was identified in Inspection Report Nos. 50-329/74-11 and 50-330/74-11 concerning the, failure of QC inspections to identify nonconforming rebar spacing. This violation is discussed further in the 1976 section of this report, Paragraph F.5. E. 1975 Seven inspection reports were issued in 1975 of which one pertained to a meeting in Region III, one to e.n inspection at the licensee's corporate offices, and five to onsite inspection. No noncompliances were identified in 1975, however, the licensee in March and August of 1975 identified additional rebar deviations and omissions. This matter is further discussed in the 1976 section of this report, Paragraph F.5. F. 1976 Nine inspection reports were issued in 1976 pertaining to nine onsite inspections. A total of seventeen items of nonce:pliance were identified during 1976. One significant construction problem was identified involving rebar omissions / placement errors and the issuance of a Headquarters h'otice of violation (see Paragraph 5). These items / problems are described below: 5

F 1. Three items of noncompliance were identified in Inspection Report Nos. 50-329/76-01 and 50-330/76-01. These items regarded: (1) inadequate concrete oven temperature controls; (2) no measures to control nonconforming aggre-gate; and (3) failure to dispose of_ nonconforming aggregate as required. Licensee corrective actions included: (1) implementing a requirement for the reverification of oven temperature controls every three months; (2) removal of nonconforming aggregate from the batch plant area; (3) modification of subcontractor's QA manual; and (4) tra'ining of subcontractor's personnel to the revised QA manual. The corrective acticns icplemented by the licensee in regards to these noncompliances were subse-quently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/76-02 and 50-330/76-02. 2. Two items of noncompliance were identified in Inspection Report Nos. 50-329/76-02 and 50-330/76-02. These items regarded: (1) the Vice President of Engineering Inspection did not audit test reports as required; and (2) corrective actions required by audit findings had not been performed. Corrective actions taken by the licensee included revising the U.S. Testing QA manual. The licensee's corrective actions taken in regards to these matters were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/76-08 and 50-330/76-08. 3. Three items of noncompliance were identified in Inspection Report Nos. 50-329/76-08 and 50-330/76-08. These items regarded: (1) inadequate classification, review, and approval of field engineering procedures and instructions; (2) inadequate documentation of concrete form work deficiencies; and (3) inadequate control of site storage of post tension embedments. Licensee corrective actions included: (1) revision of the Bechtel Nuclear QA manual; (2) revision of Bechtel field procedure for " Initiating and Processing Field Procedures and Instructions;" (3) initiation of Bechtel Discrepancy Report; (4) training sessions for Bechtel QC; and (5) revision of storage inspection procedures. The licensee's corrective actions in reEards to these items were subsequently reviewed and the item > closed by the NRC as documented in Inspection heport Nos. 50-329/77-01 and 50-330/77-01. 4 Two items of noncompliance were identified in Inspection Report Nos. 50-329/76 09 and 50-330/76-09. These items regarded: (1) noncompliance report not written to identify l broken reinforcing steel; and (2) hold down studs for the reactor vessel skirt were not protected. Licensee corrective actions included: (1) inspection of c11 rebar dcwels; (2) initiation of new field procedure; and (3) initiation of new 6

i procedure for inspecting, reactor vessel and steam generator anchor bolts. The licensee's corrective actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/77-01 and 50-330/77-01. 5. One significant construction problem was identified during 1976. It involved rebar omissions / placement errors and the issuance of a Headquarters Notice of Violation. Details are as follows: During an NRC inspection conducted in Dece:ber 1974 the licensee informed the inspector that an audit had identified rebar spacing problems in the Unit 2 containment. The failure of QC inspectors to identify the nonconforming rebar spacing was identified in the 1974 NRC inspection report as an item of noncompliance. (See the 1974 section of this report, Paragraph D.3.) This matter was subsequently reported by the licensee as required by 10 CFR 50.55(e). Additional rebar deviations and omissions were identified in March and August 1975 and in April, May and June 1976. Five items of noncompliance regarding reinforcement steel deficiencies were identified in Inspection Report Nos. 50-329/76-04 and 50-330/76-04 These items zegarded: (1) no documented instructions for the drilling and place-ment of reinforcement steel dowels; (2) nonconformance reports concerning reinforcement steel deficiencies were not adequately evaluated; (3) inadequate inspections of reinforcement steel; (4) inadequate evaluations of a nonconformance report problem relative to 10 CFR 50.55(e) reportability requirements; and (5) results of reviews, interim inspections, and monitoring of reinforcement steel installations were not documented. The licensee's response, dated June 18, 1976, listed 21 l-separate items (commitments) for corrective actions. A l June 24, 1976 letter from the licensee provided a plan of action schedule for implementing the 21 items. The if censee suspended concrete placement work until the items addressed in the licensee's June 24 letter were resolved or implemented. This commitment was documented in a Region III Immediate Action Letter (IAL) to the licensee, dated June 25, I 1976. l l' Rebar installation and concrete placement activities were resumed in early July,,1976 following satisfactory completion of the corrective actions and verification by Region III as documented in Inspection Report Nos. 50-329/76-05 and 50-330/76-05. i I 7 e -.-.n-----,,,.-,-,,,n.,, ,,-,,-,,-.--,-..v,,n-,-n,-.-.,-we ,n--m--_ .-ew n-,--m,,-

A subsequent inspection to followup on reinforcing steel placement problems identified two noncompliances. These noncompliances are documented in Inspection Report Nos. 50-329/76-07 and 50-330/76-07. The noncompliances regarded: (1) failure to follow procedures; and (2) in-adequate Bechtel inspections of rebar installations. The inspection report documents licensee corrective actions which included: (1) removal of cognizant field engineer and lead Civil engineer from the project; (2) removal of lead Civil Quality Control engineer from the project; (3) reprimand of cognizant inspector; (4) additional training given to cognizant foremen, field engineers, superintendants and Quality Control inspectors; and (5) assignment of additional field engineers and Quality Control engineers. The licensee's actions in regard to these items were reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/76-07 and 50-330/76-07. As a result of the rebar omissions and placement errors, a Headquarters Notice of Violation was issued on August 13, 1976. Additional actions taken by the licensee included the establishment of an overview inspection program to provide 100*a reinspection of embedments by the licensee following acceptance by the contractor Quality Control personnel. Additional actions taken by the contractor included: (1) per-sonnel changes and retraining of personnel; (2) preparation of a technical evaluation for the acceptability of each identified construction deficiency; and (3) improvement in the QA/QC program coverage of civil work. G. 1977 . Twelve inspections pertaining to Unit I and fifteen inspections pertaining to Unit 2 were conducted in 1977. Ten items of non-compliance were identified during 1977. Two significant construction problems were identifed involving a bulge in the Unit 2 containment liner plate (see Paragraph 3) and errors in the placement of tendon sheathings (see paragraph 4). These items / problems are described below: 1. Five examples of noncompliance with Criterion V of 10 CTR 50, Appendix B, were identified in Inspection Report Nos. 50-329/77-05 cud 50-330/77-06. The examples of nonco=pliance regarded: (1) inadequate clearance between concrete wall and pipe, support plates; (2) assembly of pipe supports using handwritten drawing changes; (3) inadequate preparation and issue of audit reports; (4) inadequate review of nonconformance reports and audit findings for trends; and (5) inadequate tagging of defective measuring equipment. Licensee corrective actions included: (1) clarification of 6

1 design and acceptance criteria contained in pertinent specifications; (2) modification and review of Quality Control Instructions; (3) issuance of two field procedures relative to field modifications of piping hanger drawings; (4) staffing of additional QA personnel at the site; (5) closer management attention; and (6) additional training in the area of tagging. The licensee actions in regard to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/77-08, 50-330/77-11, 50-329/78-01, and 50-330/78-01. 2. Three items of noncompliance were identified in Inspection Report Nos. 50-329/77-09 and 50-330/77-12. The items re-garded: (1) failure to follow audit procedures; (2) failure to qualify stud welding procedures; and (3) inadequate welding inspection criteria. Licensee corrective actions included: (1) administrative instruction issued to require the audit manager to obtain a semi-monthly audit findings status report from the project manager; (2) administrative instruction issued for the close out and followup of internal corrective action requests; (3) revision of Quality Control Instruction; (4) special inspections and audit; and (5) prescribing specific acceptance criteria. The licensee's actions in regard to these items were sub-sequently reviewed and the items' closed by the NRC as documented in Inspection Report Nos. 50-329/78-01 3 50-330/78-01, 50-329/78-05, and 50-330/78-05. 3. A significant construction problem involving a bulge in the Unit 2 containment liner plate was identified in 1977. Details of the liner plate bulge follow: The initial identification by the licensee of a bulge in the Unit 2 liner plate occurred on February 26, 1977. The liner plate bulge occurred between column line azimuths 250 degrees and 270 degrees and between elevations 593 and 700. Inspection Report No. 50-330/77-02 documents a special inspection concerning the liner plate bulge. This report further identifies an item of noncompliance relative to the failure of the licensee to report the bulge deficiency pursuant to the requirements of 10 CTR 50.55(e). The licensee's corrective actions in regard to this item were reviewed and the item closed by the NRC as documented in Inspection Report No. 50-330/77-14. The cause of the liner plate bulge was determined to be due to a leaking 2 inch water line insta13ed in the con-tainment concrete as a: construction convenience. It was theorized that the water line froze, started to leak, allowing water to seep behind the liner. 2ne water line was supplied by a construction water pump that was set to cycle between 100 and 130 PSI. This pressure was considered to be sufficient to cause the liner plate bulge. 9

A meeting was held on April 4, 1977 at the Ann Arbor, Michigan Office of Bechtel to review the original design and construction concept of the containment liner, the procedures and actions taken during the removal of bulge affected zones, the investigation activities and results, and to ascertain the concepts involved in the licensee's proposed repair program. The containment liner bulge deficiency repair was started on August 1, 1977. Inspection Report No. 50-330/77-11 docu-ments the observed fit up and welding of the first four foot lift of replacement liner plate installed. The completion of repair and the repair records were subsequently reviewed as documented in Inspection Report No. 50-330/79-25. 4. A second significant construction problem involved tendon sheath placement errors and resulted in an Immediate Action Letter (IAL). Details are as follows: The licensee reported, on April 19, 1977, the discovery of an error in the Unit 1 containment building which resulted in two tendon sheathings (H32-036 and H13-036) being mis-placed, and two tendon sheathings (H32-037 and H13-037) being omitted. As shown on pertinent vendor drawings, these four tendons were to be deflected downward to clear the two main steam penetrations at center line elevation 707' Q". Concrete had been placed to a construction joint at elevation 703' 7" approximately one week before these tendon deficiencies were discovered. Corrective actions resulted in the rerouting of tendon sheathing H32-037, originally planned for below the penetration, to a new alignment above the penetration. Tendon sheathing H13-037 was installed below the penetration. Tendon sheathings H32-036 and H13-036 did not require modification. The tendon sheath placement errors and the past history of rebar placement errors indicated the need for further NRC evaluation of the licensee's QA/QC program. As a result, an IAL was issued to the licensee on April 29, 1977. Licensee commitments addressed by this IAL included: (1) NRC notificaric prior to repairs or modifications involving the placement of cencrete in the area of the misplaced and omitted tendon sheaths; (2) identification of the cause of the tendon sheath deficiencies and implementation of required corrective action; (3) expansion of the licensee's QC overview program; (4) NRC notification of all embedment placement errors identified after QC acceptance; (5) review and revision of QC inspection procedures; and (6) training of construction and inspection personnel. 10

A special QA program inspection was conducted in May 1977 as documented in Inspection Report Nos. 50-329/77-05 and 50-330/77-08. The inspection team was made up of personnel from Region I, Region III, and Headquarters. It was the con-sensus of opinion of the inspectors that the licensee's program was acceptable. The licensee issued the final 50.55(e) report on this matter on August 12, 1977. Final onsite review was conducted and documented in Inspection Report Nos. 50-329/77-08 and 50-329/79-15. H. 1978 r Twenty-tuc inspections and one investigation were conducted during 1978. A total of fourteen items of noncompliance were identified in 1978. One significant construction problem was identified involving excessive settlement of the Diesel Generator Building foundation (see' Paragraph 10). These items / problems are described below: 1. Three items of noncompliance were identified in Inspection Report Nos. 50-329/78-03 and 50-330/78-03. These items regarded: (1) inadequate inspections of welds on cable tray supports; (2) inadsquate control of welding voltage and amperage as required by AWS; and (3) inadequate documentation of repairs on purchased equipment. Licensee corrective actions included: (1) additional training given Quality Control, Engineers and craft welders; (2) revision et pertinent technical specifications and weld acceptance requiremcnts; (3) revision of welding procedures; (4) revisions of vendor QA manual; and (5) reinspections and engineering evaluations. The licensee actions in regard to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/78-15, 50-330/78-15, 50-329/79-25, 50-330/79-25, 50-329/81-12, 50-330/81-12, 50-329/79-22, and 50-330/79-22. 2. Two items of noncompliance were identified in Inspection Report Nos. 50-329/78-05 and 50-330/78-05. These items regarded: (1) inadequate control of welding filler material; and (2) inadequate protection of spool pieces. Licensee corrective actions included: (1) additional instructions given to welding personnel; (2) generation of nonconformance report to require Bechtel to perform a thorough inspection of the facility, correct and document discrepancies noted, and instruct craft personnel. The licensee actions in regard to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/78-05, 50-3.30/78-05, 50-329/79-22, and 50-330/79-22. 3. Two examples of noncompliance with one 10 CFR 50 Appendix B criterion were identified in Inspection Report Nos. 50-329/78-07 and 50-330/78-07. These exenples regarded: (1) inadequate 11

control of drawings; and (2) inadequate drawing control pro-cedures. Licensee corrective actions included: (1) Zack and Bechtel revised drawing control procedures; and (2) extensive audits of drawing controls. The licensee actions in regard to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/79-25 and 50-330/79-25. 4 One item of noncompliance was identified in Inspection Report No. 50-330/78-09 concerning inadequate backing gas flow rate during welding operations. Licensee corrective actions included: (1) revision of Bechtel welding pro-cedure specifications; (2) revision of Bechtel Quality Control Instruction; and (3) additional training for all welding Quality Control Engineers. The licensee's actions in regard to this item were subsequently reviewed and the item closed by the NRC as documented in Inspection Report No. 50-330/78-16. 5. Tuo items of noncompliance were identified in Inspection Report Nos. 50-329/78-13 and 50-330/78-13. The items regarded: (1) inadequate inspection of weld joints; and (2) inadequate storage of Class IE equipment. Licensee corrective actions included: (1) revision of welding specifications; (2) additional instructions to QC in-spectors; (3) additional overinspections; (4) upgpade of administrative procedures; and (5) actions to bring storage environment within controlled specifications. The licensee's actions in regard to these items were reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/78-13 and 50-330/78-13. 6. Two items of noncompliance were identified in Inspection Report Nos. 50-329/78-15 and 50-330/78-15. These items regarded: (1) nonconforming welds on Main Steam Isolation Valve support structures; and (2) inadequate corrective action taken to repair nonconforming Nelson Stud weld attachments. Licensee corrective actions included: (1) responsible welding Quality Control Engineer required to attend training course; (2) defective welds reworked; and (3) engineering evaluation. The licensee's actions in regard to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/79-22, 50-330/79-22, 50-329/79-25 and 50-330/79-25. 7. One deviation was identified in Inspection Report No. 50-330/78-16 concerning the failure to meet ASME code requirements for nuclear piping. Licensee corrective actions included the determination that the impact test values of the pipe material in question met the code requirements, and the UT _ thickness measurements made by ITT Grinnell were in error and 12

voided by measurements made by Bechtel. The licensee's actions in regard to this item were subsequently reviewed and the item closed by the NRC as documented in Inspection Report No. 50-330/79-24. 8. One item of noncompliance was identified in Inspection . Report Nos. 50-329/78-17 and 50-330/78-17 regarding the failure to follow weld procedures pertaining to the repair welding of cracked welds on the personnel air locks. The licensee's corrective actions included steps to revise affected drawings and to update the stress analysis report for the air locks. The corrective actions taken by the licensee will be reviewed during future NRC inspections. 9. One item of noncompliance was identified in Inspection Report Nos. 50-329/78-22 and 50-330/78-22 concerning the failure to perform specified maintenance and inspection activities on Auxiliary Feed Pumps. Licensee corrective actions included: (1) training of pertinent Quality Control engineers; (2) transition of personnel in QC department relative to storage and maintenance activities; and (3) inspections and evaluations of omitted maintenance. The licensee's actions in regard to this item were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/78-22 and 50-330/78-22. 10. One significant construction problem was identif'ied during 1978. It involved excessive settlement of the Diesel Generator Building foundation. Details are as follows: The licensee informed the Region III office on September 8, 1978, per requirements of 10 CFR 50.55(e), that settlement of the Diesel Generator foundations and structures was greater than expected. Fill material in this area was placed between 1975 and 1977, with construction starting on the diesel generator building in mid-1977. Review of the results of the Region III investiga-tion / inspection into the plant fill / Diesel Generator building settlement problem indicate many events occurred between late 1973 and early 1978 which should have alerted Bechtel and the licensee to the pending problem. These events included non-conformance reports, audit findings, field memos to engineering, and problems with the administration building fill which caused modification and replacement of the already poured footing and replacement of the fill material with lean concrete. Causes of the excessive settlement included: (1) inadequate placement method - unqualified compaction equipment and excessive lift thickness; (2) inadequate testing of the soil material; (3) inadequate QC inspection procedures; (4) unqualified Quality Control inspectors and field engineers; and (5) overreliance on inadequate test results. 13

Lead technical responsibility and program review for this issue was transferred to NRR from IE by memo, dated November 17, 1978. During 1978 the licensee conducted soil borings in the area of the Diesel Generator building and-in other plant fill areas. In addition, a team of consultants who specialize in soils was retained by the licensee to provide an independent evaluation and provide recommendations concerning the soil conditions existing under the Diesel Generator building. As previously stated, an investigation was initiated in December 1978 by the NRC to obtain inforcation relating to design and construction activities affecting the Diesel Generator Building foundation and the activities involved in the identification and reporting of unusual settlement of the building. The results of the investigation and additional developments in regard to this matter are discussed in the 1979 section of this report, Paragraph I.11. I. 1979 Thirty inspection reports were issued in 1979 of which one pertained to an onsite management meeting, two to investigations,'one to a vendor inspection, one to a meeting in Region III, and twenty-five to onsite inspections. A total of seventeen items of noncompliance were identified in 1979. These items are described below: 1. One item of noncompliance was identified in Inspection Report Nos. 50-329/79-10 and 50-330/79-10 concerning inadequate measures to assure that the design basis was included in drawings and specifications. Licensee corrective actions included: (1) revision to Micland FSAR; and (2) revision to pertinent specification. The licensee's actions in regard to this item were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/79-19 and 50-330/79-19. 2. Three items of noncompliance were identified in Inspection Report Nos. 50-329/79-12 and 50-330/79-12. The items were: (1) inadequate corrective action in regard to drawing i controls; (2) discrepancy in Zack Welding Procedure Specification; and (3) inadequate control of purchased l material. Licensee corrective actions included: (1) audit l of drawing control program; (2) revision to drawing control requirements; (3) revision of Zack Welding Procedure Speci-fication; (4) review of other Zack procedures; (5) missing data added to documentation packages; and (6) audits of other i documentation packages. The actions taken by the lictisee l j were subsequently reviewed and the items closed by the KRC as l documented in Inspection Report Nos. 50-329/81-01, 50-330/81-01, 50-329/80-15, 50-330/80-16, 50-329/79-22, and 50-330/79-22. 1 l l 14 i

3. One item of noncompliance was identified'in Inspection ~ Report No. 50-330/79-13 concerning the failure to inspect all joints and connections on the Incore Instrument Tank as prescribed in the hydrostatic test procedure. Licensee 954 corrective actions included a supplemental test of the Incore Instrument Tank and the initiation of a supplemental test report. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report No. 50-330/80-38. 4. One item of noncompliance was identified in Inspection Report No. 50-330/79-14 concerning the use of a wad of paper in making a purge dam during welding activities. Licensee corrective actions included: (1) revision of pertinent procedures; (2) revision of pertinent Quality Control inspection checklist; and (3) training sessions for welders and Quality Control inspectors. The licensee's actions in regards to this matter were subsequently reviewed - and the item closed by the NRC as documented in Inspection Report No. 50-330/80-16. 5. One item of noncompliance was identified in Inspection Report Nos. 50-329/79-18 and 50-330/79-18 concerning inadequate controls to protect materials and equipment from welding activities. Licensee corrective actions included training sessions for cognizant Field, Engineers, Superintendents, General Foremen and Foremen. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/80-15 and 50-330/80-16. 6. Two items of noncompliance were identified in Inspection Report Nos. 50-329/79-19 and 50-330/79-19. These items regarded: (1) failure to ensure that appropriate quality standards were in the specification for structural backfill; and (2) Quality Control inspection personnel performing con-tainment prestressing activities were not being qualified as required. Licensee corrective actions included: (1) revision of pertinent specification; (2) examination given to Level I and Level II inspector; and (3) reinspection of selected tendons. The licensee's actions in regards to these items were subsequently reviewed and the ite=s closed by the NRC as documented in Inspection Report Nos. 50-330/80-09, 50-329/80-04 and 50-330/80-04. 7. One item of noncompliance was identified in Inspection Report Nos. 50-329/79-20 and 50-330/79-20 concerning inadequate controls for welding activities pertaining to 4.16 KV switchgear. Licensee corrective actions included: (1) correction of relevant records; (2) additional training for Quality Control Engineers; and (3) additional training for the Quality Control Document Coordinator. The licensee's actions were subsequently reviewed and the item closed by the NRC as documentedrinf nspectica Report Nos. 50-329/80-15 I and 50-330/80-16. 15

I i I i 8. One item of noncompliance was identified in Inspection Report No. 50-330/79-22 concerning inadequate weld rod controls. Licensee corrective actions included a training session for cognizant welding personnel. The actions taken by the licensee in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report No. 50-330/80-01. 9. One item of noncompliance was identified in Inspection Report Nos. 50-329/79-26 and 50-330/79-26 concerning failure to follow procedures relative to the shipment of auxiliary feed water pumps to the site with nonconforming oil coolers. Licensee corrective actions included: (1) reinstruction given to cognizant engineer; and (2) Supplied Deviation Disposition Request (SDDR) generated by the vendor. The licensee's actions in regards to this matter were reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/79-26 and 50-330/79-26. 10. One item of noncompliance was identified in Inspection Report Nos. 50-329/79-27 and 50-330/79-27 concerning the violation of QC Hold Tags. Licensee corrective actions included: (1) a training session for Construction Super-visors and Field Engineers; and (2) a Field Instruction on Quality Control Hold Tags was issued. The licensee's actions in regards to this matter were subsequeptly reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/81-04 and 50-330/81-04. 11. As a followup to the significant construction problem identified in 1978 (see Paragraph H.10), an investigation was initiated in December, 1978 to obtain information relating to design and construction activities affecting the Diesel Generator Building foundations and the activities involved in the identification and reporting of unusual settlement of the building. The investigation findings were documented in Inspection Report Nos. 50-329/78-20 and 50-330/78-20, dated March 22, 1979. Information obtained during this investigation indicated: (1) a lack of control and supervision of plant fill activities contributed to the inadequate compaction of foundation material; (2) corrective action regarding nonconformances related to plant fill was insufficient or inadequate as evidenced by the repeated deviations from specification requirements; (3) certain design bases and construction specifications related to foundation type, material properties, and compaction requirements were not followed; (4) there was a lack of clear direction and support between the contractor's engineering office and construction site personnel; and (5) the FSAR contained inconsistent, incorrect and unsup-ported statements with respect to foundation type, soil properties, and settlement values. Nine examples of noncompliance involving four different 10 CFR 50, Appendix B Criteria were identified in the ub ct inspection report. 16

1. Meetings were held on F.ebruary 23, 1979 and March 5, 1979 at the NRC Region III office to discuss the circumstances associated with the settlement of the Diesel Generator Building at the Midland facility. The NRC staff stated that it's concerns were not limited to the narrow scope of the settlement on the Diesel Generator Building, but extended to various buildings, utilities and other structures located in and on the plant area fill. In addition, the staff expressed concern with the Consumers Power Co=pany Quality Assurance Program. Under the authority of Section 182 of the Atomic Energy Act of 1954, as amended, and Section 50.54(f) of 10 CFR Part 50, additional informatien was requested regarding the adequacy of the fill and the quality assurance program for the Midland site in order for the Commission to determine whether enforcement action such as license modifi-cation, suspension or revocation should be taken. Question 1 of the 50.54(f) letter dated March 21, 1979 requested information regarding the quality assurance program. On April 24, 1979, Consumers Power Company submitted the initial response to the 50.54(f) request, Questions 1 through 22. As a result of the NRC staff review of Question 1, the NRC concluded that the information provided was not sufficient for a complete review. Subsequently, on September 11, 1979, the NRC issued a request for additional quality assurance informa-tion (Question 23). On November 13, 1979, Consumers Power Company submitted Revision 4 to the 50.54(f) responses which included response to Question 23. As a result of the Region III investigation report and CPCo responses, thb NRC issued an Order modifying construction Permits No. CPPR-81 and No. CPPR-82, dated December 6, 1979. This order prohibited further soils related activities until the submission of an admendment to the application seeking approval of the Remedial Soils work with the provision that the order would not become effective in the event that the licensee requested a hearing. Due to the licensee's decision to request a hearing this order forms the basis for the ongoing ASLB Hearings. During 1979, the licensee continued soil boring operations in order to identify and develop the quality of material in the plant area fill and beneath safety related structures. The licensee completed a program regarding the application of a surcharge of sand material in and around the Diesel Generator Building. This surcharge was an attempt to accelerate any future settlement of the Diesel Generator Building by consolidating the foundation material. Additienal developments in this matter are discussed in the 1980 section of this report, Paragraph J.9. 17

J. 1980 Thirt-l-seven inspection reports were issued in 1980 of which two partained to meetings at the licensee's corporate of fice, one to a meeting in Glen Ellyn, two to investigations, and thirty-two to onsite inspections. A total of twenty-one items of noncompliance were identified during 1980. Two significant construction problems were identified involving quality assurance problems at the Zack Company (see Paragraph 7) and deficient reactor vessel anchor studs (see Paragraph 8). These items / problems are described below: 1. Two items of noncompliance and one deviation were identified in Inspection Report Nos. 50-329/80-01 and 50-330/80-01. These items regarded: (1) a welder welding on material of thickness which exceeded his qualified range; (2) failure to date and sign the cleanliness inspection of Unit 2 Service Water System valve; and (3) failure to implement a design change or prepare a Field Change Request. Licensee correc-tive actions in regards to the items of noncompliance included: (1) testing and qualification of the subject welder; (2) reinstruction of QC engineer; (3) review of the inspection records for additional valves; and (4) the revision of applicable turnover procedures. The licensee's actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/80-20, 50-330/80-21, 50-329/82-04 and 50-330/82-04. 2. One item of noncompliance was identified in Inspection Report No. 50-329/80-09 concerning the f ailure to maintain levelness requirements during core support assembly lifts. The licensee's corrective actions in response to the item of noncompliance included the issuance of a nonconformance report and the commitment to ensure compliance with Quality Control procedures. The licensee's corrective actions in regards to this matter will be reviewed during subsequent NRC inspections. 3. One item of noncompliance was identified in Inspection Report Nos. 50-329/80-20 and 50-330/80-21 concerning the f ailure of a Bechtel purchase order for E7018 welding rods to specify the applicable codes. Licensee commitments in reg:rds to corrective actions included an audit of the ordering and receiving records of weld filler material. The licensee's corrective actions in regards to this matter will be reviewed during subsequent NRC inspections. 4. One item of noncompliance was identified in Inspection Report Nos. 50-329/80-21 and 50-330/80-22 concerning the f ailure to, perform an audit of Photon Testing, Inc. for services to qualify Zack Company welders. Licensee correc-tive actions included an audit of Photon Testing, Inc. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/81-03 and 50-330/81-03. 18

.. o 5. One item of noncompliance was identified in Inspection Report Nos. 50-329/80-28 and 50-330/80-29 concerning the bypassing of a hold point on a Pressure Surge System weld. The inspection report further identifies that action had been taken to correct the identified noncompliance and to prevent recurrence. The item is closed. 6. One item of noncompliance was identified in Inspection Report Nos. 50-329/80-31 end 50-330/80-32 concerning substantial delays by the licensee in making 10 CFR Part 21 reportability determinations. Licensee corrective actions included training sessions for key personnel in recognizing 10 CFR 21 reporting obligations. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/81-07 and 50-330/81-07. 7. A significant construction problem involving quality assurance-problems at the Zack Company, the heating, ventilating, and air condition contractor was identified in 1980. Details of the Zack problem follow: During March and April, 1980 the NRC received numerous allegations pertaining to the Zack Company. The Zack Company is the heating, ventilation and air conditioning (HVAC) subcontractor at the Midland construction site. The allegations dealt with material traceability, violations of procedures, falsification of documents, and the training of quality control inspectors. As the result of the allegations, an investigation was initiated by the NRC. During the initial phases of the investigation, the NRC determined that Consumers Power Company had issued a Management Corrective Action Request (MCAR), dated January 8, 1980, pertaining to the Zack Company. The MCAR showed that Zack had failed to initiate corrective action in a timely manner on a large number of nonconformance reports and audit findings and had failed to address other requirements and commitments of the quality program. Consumers Power Company had issued seven nonconformance reports during the period of May 23 to October 2, 1979 all of which recommended 1007. reinspection of work as a corrective action. The investigation determined that as of March 19, 1980, corrective action had not been completed on any of the nonconformance reports. Based on preliminary findings during the investigation, which revealed some instances of continued nonconformance in the implementation of Zack's Quality Assurance Program, an Immediate Action Letter (IAL) was issued to the licensee on March 21, 1980. The IAL stated the NRC's understanding that a Stop Work Order had been issued to the Zack Corpora-tien for all its safety related construction activities. 19

e Seventeen examples of noncompliance involving eight different 10 CFR 50, Appendix B, criteria were identified during the investigation. The investigation findings are documented in Inspection Report Nos. 50-329/80-10 and 50-330/80-11. The licensee's actions in regards to the items of noncompliance were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/82-15 and 50-330/82-15. On June 30, 1980, the NRC received from the licensee a letter documenting a Program Plan for resumption of safety related work by the Zack Company. The licensee identified that corrective actions required prior to lifting the Stop Work included: (1) the review and approval of all Field Quality Control Procedures and specific Weld Procedure Specifications; (2) the review and approval of the revised Zack QA Manual; (3) the training and certification of the QC personnel; and (4) the training of site production personnel. Subsequent tv followup NRC inspections to determine the effectiveness of licensee corrective actions, it was determined by tne NRC, on August 14, 1980 that HVAC safety related work could resume. The Bechtel Power Corporation released the Zack Coppany from the Stop Work Order by letter dated August 14, 1980. As a result of the aforementioned investigation findings, the NRC imposed a Civil Penalty, on January 7, 1981, on Consumers Power Company for the amount of $38,000. 8. The second significant construction problem involved reactor pressure vessel anchor stud failures. Details are as follows: On September 14, 1979, Consumers Power Company personnel notified the NRC of the discovery of a broken reactor vessel anchor stud on the Midland Unit i reactor vessel. On October 12, 1979, this condition was reported under the requirements of 10 CFR 50.55(e). Two other studs were sub-sequently found to be broken. As this condition reflected a significant deficiency, an NRC investigation was initiated in February 1980 to review the materials, manufacturer, and installation of the studs. The investigation findings, as documented in Inspection Report Nos. 50-329/80-13 and 50-330/80-14, indicate several Quality Assurance deficiencies; (1) lack of licensee involvement; (2) failure to advise the heat treater of different heats of material; (3) inadequate document review; (4) failure to respond to indications that the studs were deficient; (5) failure to review materials previcusly purchased when the purchase specification was revised; and (6) miscalculation of 20 l l t

the stud stress area resulting in a slight over-specification stressing of the studs (this item was identified by the licensee). Three items of noncompliance were identified in the inspec-tion report. These items regarded: (1) failure to identify Subsection NF of the ASME Code as the applicable requirement for the reactor vessel anchor bolts; (2) failure to establish measures to assure that purchased material conforms to the procurement documents; and (3) failure to establish measures to assure that heat treating and nondestructive tests were controlled in accordance with applicable codes and specifi-cations. Licensee commitments in regards to corrective actions included: (1) a commitment to conduct a review ta confirm that safety related low alloy steel bolting and/or component support materials, which have been tempered and quenched and are 7/8" or greater in diameter, have been procured in accordance with proper codes and standards; (2) a commitment to obtain NRR approval of the acceptability of the Unit 2 reactor vessel anchor bolts and (3) a commit-ment that actual plant modifications to compensate for the defective bolts would not be started on Unit 1 until approval of the design concept was received from NRR. The stud failure mechanism was identified as stress corrosion cracking which propagated to the point that the, studs failed by cleavage fracture. Tests indicated that some studs utilized in Unit 2, although of different material and* heat treatment, have above specification surface hardness readings. The final report per 50.55(e) requirements was submitted by the licensee on December 1, 1961. NRR has the lead responsibility for evaluation and approval of the licensee's proposals for resolution of this matter. 9. A special inspection was conducted in December, 1980 at the Bechtel Power Company Ann Arbor, Michigan of fices to verify implementation of the specific commitments and action items reflected in Consumers Power Company response to 10 CFR 50.54(f) questions (regarding excessive settlement of the Diesel Generator Building foundations). The results of this inspection were documented in Inspection Report Nos. 50-329/80-32 and 50-330/80-33. Two items of noncompli-ance were identified regarding: (1) failure to provide adequate corrective actions with regard to identified audit results; and (2) inadequate design control. Licensee corrective actions included: (1) revision of procedures; (2) revision of specification; and (3) audit of TSAR sections. The licensee actions were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/81-12, 50-330/81-12, 50-329/81-19 and 50-330/61-19. 21

y Additional information regarding this matter is discussed in the 1981 section of this report, Paragraph K.6. K. 1981 ~ Twenty-three inspection reports were issued in 1981 of which one pertained to a management meeting and twenty-two to onsite inspections. A total of twenty-one items of noncompliance were identified during 1981. One significant construction problem was identified involving deficiencies in piping suspension system in-sta11ations (see Paragraph 4). These items / problems are described below: 1. Two items of noncompliance were identified is Inspection Report Nos. 50-329/81-04 and 50-330/81-04. Taese items regarded: (1) failure to account for all tools cad materials used in a controlled clean room area; ar;d (2) inadequate procedure for the installation et _he Unit 2 vent valves in the core support assembly. Licensee correc-tive actions included: (1) the upgrading of personnel and equipment logs; (2) the addition of new logs; (3) issuance of a formal Stop Work Order for further work on the instal-lation of vent valves; (4) the revision of installation procedures; (6) training and indoctrination of personnel performing vent valve installations; and (5) the revision of the overview inspection plan. The license,e's actions in regards to these items were reviewed and it was determined that action had been taken to correct the identified non-compliances and to prevent recurrence. This determination is documented in Inspection Report Nos. 50-329/81-04 and 50-330/81-04. 2. One item of noncompliance was identified in Inspection Report Nos. 50-329/81-08 and 50-330/81-08 regarding the failure to provide adequate storage conditions for Class 1E equipment. Licensee corrective actions included: (1) addi-tional training for Bechtel maintenance engineers; (2) an audit of maintenance activities; and (3) reinspections of affected equipment. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/81-23 and 50-330/81-23. 3. Four items of noncompliance were identified in Inspection Report Nos. 50-329/S1-11 and 50-330/81-11. These items regarded: (1) inadequate procedures for the temporary support of cables and for the routing of cables into equip-ment; (2) failure of QC inspectors to identify inadequate cable separation; (3) inadequate control of nonconforming raceway installations; and (4) failure to translate the FSAR requirements into instrumentation specifications. Licensee corrective actions in regards to (1) and (2) above, included: (1) the revision of cable pulling procedures; 22

t .. e (2) the repair of damaged cables; (3) training given to the termination personnel and the involved QC inspector; and (4) the revision cf the cable termination procedure. The licensee's actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/81-20, 50-330/81-20, 50-329/82-03 and 50-330/82-03. Licensee commitments in regards to corrective actions pertaining to items (3) and (4), above, included: (1) the addition of required barriers on pertinent raceway drawings; (2) the revision of Project Quality Control Instruction; (3) and the revision of the instrumentation specification. The licensee's actions in regards to these items will be reviewed during subsequent NRC inspections. 4. Eight items of noncompliance were identified during a special indepth team inspection to examine the implementa-tion status and effectiveness of the Quality Assurance Program. The results of the inspection are documented in Inspection Report Nos. 50-329/81-12 and 50-330/81-12. Three of the items of noncompliance regarded: (1) failure to take adequate corrective action concerning the trend analysis procedure; (2) failure of QC inspections to identify a nonconforming cable bend radius; and (3) failure to take adequate corrective action in regards to the lack of rework procedures. Licensee corrective actionq in regards to items (1) and (2) above, included: (1) the issuance of a new procedure for trending; (2) the revision of cable termination procedures; and (3) additional train-ing given to the responsible QC inspector. The licensee's actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/82-02, 50-330/82-02, 50-329/82-03 and 50-330/82-03. The licensee's commitments in regards to corrective actions pertaining to item (3) above, included: (1) the development of Administrt. ive Guidelines and Instructions for rework; and (2) the revision of field procedures. The licensee's actions in regards to this item l

  • will be reviewed during subsequent NRC inspections.

l The remaining five items of noncompliance identified in Inspection Report Nos. 50-329/81-12 and 50-330/81-12 are considered to be a significant construction problem. j Safety related pipe support and restraint installations i and QC inspection deficiencies in regard to those instal-lations were identified. The five items of noncompliance pertaining to this issue regarded: (1) failure to install large bore pipe restraints, supports and anchors in accordance with design drawings and specificatiens; (2) failure of QC inspectors to reject large bore pipe restraints, supports and anchors that were not installed in accordance with design drawings and specificatiens; (3) failure to prepare, 23

review and approve small bore pipe and piping suspension system designs performed onsite in accordance with design control procedures; (4) failure to adequately control documents used in site small bore piping design activities; 'and (5) failure of audits to include a detailed review of system stress analysis and to follow up on previously iden-tified hanger calculation problems. Licensee corrective actions in regards to items (3) through (5) included: (1) the review and upgrading of small bore piping calculations (2) audits of small bore piping activities; (3) revision of Engineering Directive; (4) additional training in QA pro-cedures; and (5) audits of document centrol. The licensee's actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/82-07 and 50-330/82-07. As a result of the adverse findings, an Immediate Action Letter (IAL) was issued by the NRC on May 22, 1981 acknow-1 edging the NRC's understanding that the licensee would not issue fabrication and construction drawings for the installation of the safety related small bore pipe and piping suspension systems until, requirements identified in the IAL had been completed and audited. The IAL requirements were subsequently reviewed and determined to have been satisfactorily addressed. JThis is documented in Inspection Report Nos. 50-329/81-14 and 50-330/81-14. The licensee's actions in regards to noncompliance items (1) and (2) above, are discussed in Paragraph 1 of the following report section for 1982(L). 5. One item of noncompliance was identified in Inspection Report Nes. 50-329/81-14 and 50-330/81-14 concerning inadequate design controls involving the Bechtel Resident Engineer's review of the field engineers redline drawings for small bore piping. Licensee corrective actions included: (1) a 100% review of all questionable systems; and (2) the revision of a Project Instruction. The licensee's actions in regards to this matter were subsequently reviewed and the item closed by the NRC as documented in Inspection Report Nos. 50-329/82-07 and 50-330/82-07. 6. In January,1981 an inspection was conducted by the NRC to verify whether adequate corrective actions had been imple-mented as described in the Consumers Power Company response to Questions 1 and 23 of 10 CFR 50.54(f) submittals (regarding excessive settlement of the Diesel Generator Building foundat, ion). The findings during this inspection, which include three items of noncompliance and one deviation, are documented in Inspection Report Nos. 50-329/81-01 and 24

e l 50-330/81-01. The items.of noncompliance and the deviation regarded: (1) failure to develop test procedures for soils work activities; (2) failure to have soils laboratory records under complete document control; (3) failure to have explicit instructions for the onsite Geotechnical Engineer's .g" review of test results; and (4) failure to have a qualified Geotechnical Engineer onsite. Licensee corrective actions included: (1) revision of Quality Control Procedures and Specification; (2) development of new Quality Control Procedures; and (3) the addition of a qualified Geotechnical Engineer. The licensee's actions in regards to these items were subsequently reviewed and the items closed by the NRC as documented in Inspection Report Nos. 50-329/81-12 and 50-330/81-12. 7. In March 1981, an inspection was initiated by the NRC to verify the licensee's Quality Assurance Program for the ongoing soil borings. The soil borings were performed by the licensee in response to a request from the Corps of Engineers for additional soil information for their review of the licensee's 10 CFR 50.54(f) answers. The findings of this inspection, which includes one item of noncompliance, are documented in Inspection Report Nos. 50-329/81-09 and 50-330/81-09. The noncompliance regards the lack of evaluation of Woodward-Clyde technical capabilities prior to the commencement of drilling opera-tions. Licensee commitments in regards to corrective actions included: (1) the review, for compliance, of Midland Project major procurements and contracts; and (2) the review and revision of pertinent procedures. The license'e's corrective actions in regards to these items will be reviewed during subsequent NRC inspections. L. 1982 Fourteen inspection reports have been issued during 1982 covering the period through June 30, 1982 of which two pertain to manage-ment meetings, one to an investigation, one to the SALP meeting, and ten to onsite inspections. During this period of time seven items of noncompliance were identified. One significant construction problem was identified involving electrical cable misinsta11ations (see Paragraph 2). Anese items / problems are discussed below: 1. The licensee conducted reinspections to determine the seriousness of the safety related support and restraint installation and QC inspection deficiencies identified in Inspection Report Nos.:50-329/81-12 and 50-330/81-12. The results of the reinspections are documented in Inspection Report Nos. 50-329/82-07 and 50-330/82-07. From a sample size of 123 safety related supports and restraints installed and inspected by Quality Control, approximately 45*. were identified by the licensee as rejectable. 25

o 1 .. 4 I On August 30, 1982, the licensee was informed of the NRC's position that the licensee shall reinspect all the supports and restraints installed prior to 1981 and perform sample reinspections of the components installed after 1981. The licensee has agreed to perform the reinspections. 2. One significant construction problem was identified during 1982. It involved electrical cable misinsta11ations. Details are as follows: During the special team inspection conducted in May 1981, the NRC identified concerns in regards to the adequacy of inspections performed by electrical Quality Control inspec-tors. These concerns were the result of the NRC's review of numerous Nonconformance Reports (NCR) issued by Midland Project Quality Assurance Department (MPQAD) personnel during reinspections of items previously inspected and i accepted by Bechtel QC inspectors. The NRC required the licensee to perform reinspections of the items previously inspected by the QC inspectors associated with the MPQAD NCRs. The licensee, in reports submitted to the NRC in May and June 1982, reported that of the 1084 electrical cables reinspected, 55 had been determined to be misrouted in one or more vias. This concern was upgraded t.o an item of non-compliance and is documented in Inspection Report Nos. 50-329/82-06 and 50-330/82-06. On September 2, 1982, the licensee was informed by the NRC that a 100% reinspection of class IE cables installed or partially installed before March 15, 1982 was required. In addition, the licensee was required to develop a sample reinspection program for those cables installed after March 15, 1982. The licensee has agreed to perform the reinspections. -3. Three examples of noncompliance to one 10 CFR 50 Appendix B Criterion were identified in Inspection Report Nos. 50-329/82-03 and 50-330/82-03. These examples regarded: (1) failure to follow procedures concerning drawing changes; (2) inadequate specification resulting in the undermining of Bk'ST No. 2 valve pit; and (3) inadequate control of changes to procedures. The licensee's response to the identified item of noncompliance is presently under review. Corrective actions taken by the licensee in regards to this item will be reviewed during future inspections. 4. Four examples of noncompliance to one 10 CFR 50 Appendix B Criterion and a deviation were identified in Inspection Report Nos. 50-329/82-05 and 50-330/82-05. The examples of noncompliance and the deviation regarded: (1) failure to review and approve a Mergentine (the soils contractor) field procedure prior to initiation of work; (2) inadequate control of specification changes; (3) inadequate acceptance 26

r ~ r e, a criteria for dewatering specification; (4) inadequate instruction to prepare or implement reinspection plans; and (5) inadequately qualified remedial soils staff. The correc-tive actions taken by the licensee in regards to this item will be reviewed during future inspections. 5. One item of noncompliance was identified in Inspection Report Sos. 50-329/82-06 and 50-330/82-06 concerning the licensee's failure to establish a QA program to provide controls over the installation of remedial soils instrumentation. This item resulted in the issuance of a letter by the licensee on March 31, 1982 confirming the licensee's suspension of all underpinning instrumentation installation activities until: (1) approved, controlled drawings and procedures or instructions were developed to prescribe underpinning instrumentation installation activities; (2) plans were established to inspect and audit instrumentation installation activities; and (3) Region III had concurred that (1) and (2), above, were acceptable. A followup inspection by Region III in April 1982 identified that the licensee had developed acceptable drawings, procedures, and instructions for underpinning instrumentation installations such that instrumentation installation activities could be resumed. An additional followup inspection on August 23, 1982 determined that the installation of underpinning instrumentation for the Auxiliary Building was complete and acceptqble. This item will remain open pending the licensee's development of drawings, procedures, and instructions for the future ins ~tallation of underpinning instrumentation for the Service Water Building. 6. One item of noncompliance and a deviation were identified in Inspection Report Nos. 50-329/82-11 and 50-330/82-11. The items regarded: (1) inadequate anchor bolt installation; and (2) the use of unapproved installation / coordination forms during remedial soils instrumentation installations. The licensee's responses to the identified items of noncompliance are presently under review. Corrective actions taken by the licensee in regards to these items will be reviewed during future inspections. The ASLB issued an order modifying Construction Permits No. CPPR-81 and No. CPPR-82, dated April 30, 1982. This order suspended all remedial soils activities on "Q" soils for which the licensee did not have prior explicit approval. The ASLB issued another order, dated May 7, 1982 clarifying the April 30, 1982 order. This order only includes those activities bounded by the limits identified on Drawing C-45. As a result of past Region 1II findings, the Region III Administrator created a special Midland Section staffed with individuals assigned solely to the Midland project. Since the formation of the Midland Section a work authorization procedure has been developed by Region III and the licensee to control work and ensure compliance to the ASLB Order. 27

r~ c 4 .,e Remedial Soils activities performed by the licensee thus far in 1982 involve: (1) the drilling of a number of wells which function as part of the temporary and permanent dewatering systems; (2) the installation of the freeze wall associated with the Auxiliary Building Underpinning activity; (3) the completion of the initial work on the access shaft; and (4) the completion of the Auxiliary Building instrumentation for remedial soils activities. m e 9 28

-2 o.n ), l e m s UNITED STATES ~,,,, 1 % NUCLEAR REGULATORY COMMISSION /[.gsf i Office of Public Affairs Q* * "* / Washington, D.C. 20555 FOR IhMEDIATE RELEASE No. 83-16 (Tuesday, February 8, 1983) Tel. 301/492-7715 NRC STAFF PROPOSES $120,000 FINE [ FOR QUALITY ASSURANCE VIOLATIONS AT MIDLAND s The Nuclear Regulatory Commission's Region III Office fine against Consumers Power Company has proposed a $120,000for an alleged breakdown in the quality assurance the Midland Nuclear Power' Station construction site in Midland, Michigan. An NRC inspection of equipment installation in the plant's diesel generator building between October 12 and1 November 25, with NRC quality assurance requirements. The proposed fine consists of two alleged violations, each carrying a $60,000 penalty. The first violation is for multiple examples of plant personnel failing to follow procedures, drawings and specifi-In one instance, cations in the installation of equipment. an inspection program was not established to ensure the segregation of electrical cables in accordance with designIn requirements.fications were made without proper authorization. The second violation was the result of the NRC's deter-mination that quality control supervisors instructed qu control (QC) numbers of deficiencies were observed. The construction being inspected was then turned back The intent of this i to the construction staff for rework. QC practice was to improve construction quality prior to the In some cases, however, the follow-up QC inspections focused only on the previously identified inspections. instead of conducting a full reinspection.theref d deficiencies, This practice, deficiencies were later identified or repaired. Reinspections will be required for those areas where this QC practice was utilized. F o t A -M -M 3 17rntoo m L 87 1

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  • This inspection practice also resulted in incorrect data being fed into the licensee's Trend Analysis Program, thereby inhibiting the utility's ability to determine the root causes of deficiencies and to prevent their recurrence.

' In a letter to Consumers announcing the proposed fine, Regi~onal Administrator James G. Keppler said the violations demonstrate the company's " failure to exercise adequate oversight and control" of its principal contractor (Bechtel Corporation), which had the responsibility for executing the QA program. Keppler added that the QA breakdown, in part, caused Consumers to halt some safety-related construction work at actions to provide assurance that safety-related,ficant the plant last December, and to take "other signi structures and systems are constructed as designed." As part of its corrective action, Consumers has proposed a " Construction Completion Program," outlining the steps it will take to complete the Midland plant. It includes a reinspection of safety-related systems, third-party reviews to monitor proj ect performance and QA/QC organizational changes, among other things. Consumers also will be required by the NRC to determine the extent to which QC supervisors instructed inspectors to limit their findings of deficiencies and to inform the NRC of what corrective action will be taken to prevent this from occurring in the future. The licensee has until March 10, 1983, to either pay the fine or to protest it. If the fine is protested and subsequently imposed formally by the NRC staff, Consumers Power may request a hearing. UNITED STATES ,,,p cuss una j NUCLEAR REGULATORY CoMMISStoN '05T ' j3jg" O 8 WASHINGTON. D.C. 20555 s : t OFFCAL EUSI".ESS PENALTY FOR PR:vATE USE, s300 120555078894 1 CZ US NRC IE-DIV ENGRG G QUALITY ASSUR BRANCH CHIEF QUALITY ASSURANCE BRANCH 305A EWS WASHINGTON CC 20555

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T0PICAL REPQRT STATUS AS OF 03/03 PAGE: Il-1 3,

== ___= -----_-_-__-------- ______==_-__=--- l INDUSTRY ORGANIZATION: WESTINGHOUSE l JMMcM=nCMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMMM RI SYM WCAP-07769 (HP) TITLE: OVERPRESSURE PROTECTION FOR WESTINGHOUSE PRESSURIZED WATER REACTORS REV.1 RQ REVIEW REV TAC SUBMIT REQ TARG EST COMP ADD INFO REV COMP G REQUESTER BRANCH REVIEWER INIT NUMBER DATE DATE DATE REQ DATE DATE

R1 J. CURRY SSPB BERGGREN JXB 00158 10-08-71 REMARKS
RSB HAS LEAD; AB R W COMPLETED 6/15/78.

,-------_-_-_------_---__-_ --- ----- ____===--_------------_------_------------_-------_------------__---___==_ _-__ ___==____= RI SYM: WCAP-07800 (HP) SUBMIT DATE: 12-00-77 CONCLUSION: ACCEPTED LETTER TO IND ORG: 09-10-5 TAC 3: 00779 TITLE: HUCLEAR FUEL DIVI IDH QUALITY ASSURANCE PROGRAM PLAN, REV. 5A REMARKS: ,----==__ __==______. _=__. _ _ = = - _ _ _____ =_ _


_-----------_---------_--___-_-e RI SYM WCAP-07817 (Hf')

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