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See also: [[see also::IR 05000255/1989007]]


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{{#Wiki_filter:;. "' * G11neral 1946 West Parn11ll Road, Jackson, Ml 49201 * (6171 788-1638 ** -----August 10, 1989 Nuclear Regulatory  
{{#Wiki_filter:;. "'
Commission  
* G11neral 1946 West Parn11ll Road, Jackson, Ml 49201 * (6171 788-1638 ** -----August 10, 1989 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES PLANT -RESPONSE TO INSPECTION REPORT 89007 NOTICE OF VIOLATION Kenneth W Berry Director Nuclear Licensing Nuclear Regulatory Commission Inspection Report 255/89007, dated June 28, 1989, identified strengths in inservice testing programs and weaknesses relative to design control. These weaknesses resulted in three violations supported by numerous examples.
Document Control Desk Washington, DC 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES  
None of these examples were safety cant, but collectively they indicated a need for programmatic refinements and additional communication of management's expectations.
PLANT -RESPONSE TO INSPECTION  
The NRC required a written response to be provided within 30 days, however, discussion between respective members of our staffs extended the due date to August 10, 1989. This letter. summarizes the actions to be taken. Details pertaining to the specific items are provided in the Attachments.
REPORT 89007 NOTICE OF VIOLATION  
Since 1986 significant efforts have been undertaken by Consumers Power Company to provide for effective control of Plant design change activities.
Kenneth W Berry Director Nuclear Licensing  
These efforts have resulted from evaluation of performance by Plant Engineering and Corporate Engineering personnel, Quality Assurance personnel, NRC and the Institute of Nuclear Power Operations.
Nuclear Regulatory  
In achieving an effective design control process; procedures governing modification control activities have been revised, a single design authority has been established, changes to the facility are. being effected through a single unified approach and expectations and standards have been communicated to Design Engineering personnel.
Commission  
Procedural upgrades have focused on translation of design input to the desired output, controlling and implementing the design change in the field and providing close coordination of the design with the needs of the Plant. In the past, the design authority for "minor" modifications has resided at the Plant while offsite engineering organizations retained the design for "major" modifications.
Inspection  
Establishing the Plant as the design authority for all changes to the facility has been effected by Plant sponsorship of all design control procedures, Plant approval for assignment of design individuals and Plant review of all work completed by non-Plant organizations.
Report 255/89007, dated June 28, 1989, identified  
Further, OC0889-0167-NL04 8908180078 890810 PDR ADOCK 05000255 G PNU .*.-.*-. :; .--.* , .. -,,.. ** _,. "':;. '* *.;*;,***"'  
strengths  
in inservice  
testing programs and weaknesses  
relative to design control. These weaknesses  
resulted in three violations  
supported  
by numerous examples.  
None of these examples were safety cant, but collectively  
they indicated  
a need for programmatic  
refinements  
and additional  
communication  
of management's  
expectations.  
The NRC required a written response to be provided within 30 days, however, discussion  
between respective  
members of our staffs extended the due date to August 10, 1989. This letter. summarizes  
the actions to be taken. Details pertaining  
to the specific items are provided in the Attachments.  
Since 1986 significant  
efforts have been undertaken  
by Consumers  
Power Company to provide for effective  
control of Plant design change activities.  
These efforts have resulted from evaluation  
of performance  
by Plant Engineering  
and Corporate  
Engineering  
personnel, Quality Assurance  
personnel, NRC and the Institute  
of Nuclear Power Operations.  
In achieving  
an effective  
design control process; procedures  
governing  
modification  
control activities  
have been revised, a single design authority  
has been established, changes to the facility are. being effected through a single unified approach and expectations  
and standards  
have been communicated  
to Design Engineering  
personnel.  
Procedural  
upgrades have focused on translation  
of design input to the desired output, controlling  
and implementing  
the design change in the field and providing  
close coordination  
of the design with the needs of the Plant. In the past, the design authority  
for "minor" modifications  
has resided at the Plant while offsite engineering  
organizations  
retained the design  
for "major" modifications.  
Establishing  
the Plant as the design authority  
for all changes to the facility has been effected by Plant sponsorship  
of all design control procedures, Plant approval for assignment  
of design individuals  
and Plant review of all work completed  
by non-Plant  
organizations.  
Further, OC0889-0167-NL04  
8908180078  
890810 PDR ADOCK 05000255 G PNU .*.-.*-. :; .--.* , .. -,,.. ** _,. "':;. '* *.;*;,***"'  
*.*  
*.*  
...... :,=o-*r-<*  
...... :,=o-*r-<*  
'''*** *., ** , ... _ *--  
'''*** *., ** , ... _ *--  
* * * Nuclear Regulatory  
* *
Commission  
* Nuclear Regulatory Commission Palisades Plant Response to IR 89007 August 10, 1989 semi-annual design seminars and monthly design supervisor meetings which include Engineering, Construction and Testing and Quality Assurance personnel are being conducted to facilitate communication of procedural changes, standards and expectations.
Palisades  
2 Consumers Power Company believes, and as recognized within the Inspection Report, these efforts have resulted in programmatic strengths.such as; good design procedures, improved equipment performance and competent, knowledgeable personnel.
Plant Response to IR 89007 August 10, 1989 semi-annual  
However, Consumers Power Company also recognizes that as industry performance standards are increased, weaknesses in established programs may develop which require additional effort. NRC violation 255/89007-01 presented 19 examples of inadequate design control related to design changes implemented at the Plant. The first seven of these examples were related to the failure to correctly translate design bases into drawings, procedures and instructions.
design seminars and monthly design supervisor  
Five of the examples are acknowledged as presented and are attributed to the failure to; 1) follow established procedures, 2) provide adequate justification and documentation within cation packages or 3) provide for adequate technical reviews of installation efforts. Also, certain areas were identified where procedural enhancements and improved design guidance would preclude recurrences. er, the remaining two examples, 255/89007-0ld and Olg, are not acknowledged as* presented within the Inspection Report. For these two* examples we believe the design intent of the modification was preserved and verified by testing and that record drawings utilized reflect the as-built condition of the Plant. The nine examples were related to the failure to adequately verify and check design. Eight of the examples are attributed to the failure to; 1) follow established procedures, 2) document engineering decisions or 3) provide for adequate technical reviews. Also, certain areas were fied where procedural enhancements would preclude recurrence.
meetings which include Engineering, Construction  
However, Consumers Power Company does not acknowledge the remaining example 255/89007-011.
and Testing and Quality Assurance  
For this example, the Inspection Report noted that a setpoint change was implemented without assuring the design intent of the system had not been compromised.
personnel  
In review of the documentation supporting the design change, it was verified that design intent of the system was considered and documented within the modification package and had not been compromised.
are being conducted  
The remaining three examples were identified as non-compliances for the to adequately delineate acceptance criteria.
to facilitate  
Two of these examples are attributed to a lack of procedural guidance within modification procedures.
communication  
Consumers Power Company does not believe example 255/89007-0lq is valid as presented in that appropriate equipment selection criterion were applied during design and documented within the modification package
of procedural  
* OC0889-0167-NL04  
changes, standards  
and expectations.  
2 Consumers  
Power Company believes, and as recognized  
within the Inspection  
Report, these efforts have resulted in programmatic  
strengths.such  
as; good design procedures, improved equipment  
performance  
and competent, knowledgeable  
personnel.  
However, Consumers  
Power Company also recognizes  
that as industry performance  
standards  
are increased, weaknesses  
in established  
programs may develop which require additional  
effort. NRC violation  
255/89007-01  
presented  
19 examples of inadequate  
design control related to design changes implemented  
at the Plant. The first seven of these examples were related to the failure to correctly  
translate  
design bases into drawings, procedures  
and instructions.  
Five of the examples are acknowledged  
as presented  
and are attributed  
to the failure to; 1) follow established  
procedures, 2) provide adequate justification  
and documentation  
within cation packages or 3) provide for adequate technical  
reviews of installation  
efforts. Also, certain areas were identified  
where procedural  
enhancements  
and improved design guidance would preclude recurrences. er, the remaining  
two examples, 255/89007-0ld  
and Olg, are not acknowledged  
as* presented  
within the Inspection  
Report. For these two* examples we believe the design intent of the modification  
was preserved  
and verified by testing and that record drawings utilized reflect the as-built condition  
of the Plant. The  
nine examples were related to the failure to adequately  
verify and check design. Eight of the examples are attributed  
to the failure to; 1) follow established  
procedures, 2) document engineering  
decisions  
or 3) provide for adequate technical  
reviews. Also, certain areas were fied where procedural  
enhancements  
would preclude recurrence.  
However, Consumers  
Power Company does not acknowledge  
the remaining  
example 255/89007-011.  
For this example, the Inspection  
Report noted that a setpoint change was implemented  
without assuring the design intent of the system had not been compromised.  
In review of the documentation  
supporting  
the design change, it was verified that design intent of the system was considered  
and documented  
within the modification  
package and had not been compromised.  
The remaining  
three examples were identified  
as non-compliances  
for the  
to adequately  
delineate  
acceptance  
criteria.  
Two of these examples are attributed  
to a lack of procedural  
guidance within modification  
procedures.  
Consumers  
Power Company does not believe example 255/89007-0lq  
is valid as presented  
in that appropriate  
equipment  
selection  
criterion  
were applied during design and documented  
within the modification  
package * OC0889-0167-NL04  
... *****-*' .... -.***.*****:*  
... *****-*' .... -.***.*****:*  
.,--._., .. _ ....  
.,--._., .. _ ....  
...... *.*-****-***._*-.**.*.,,,,_._._,_  
...... *.*-****-***._*-.**.*.,,,,_._._,_  
.. _,., ... **-*....-*******.-
.. _,., ... **-*....-*******.-
..
..
* Nuclear Regulatory  
* Nuclear Regulatory Commission
Commission  
* Palisades Plant Response to IR 89007 August 10, 1989 3 In an effort to ensure the accuracy of the existing plant design basis is maintained, discrepancies identified within analyses supporting the cited design changes have been or will be dispositioned and documented.
* Palisades  
As an effort to collectively utilize auditing agencies appraisals of our past performances, the identified deficiencies were presented to Design Change Engineers with emphasis placed on strict adherence to established procedures and the concept of Plant based modification engineering.
Plant Response to IR 89007 August 10, 1989 3 In an effort to ensure the accuracy of the existing plant design basis is maintained, discrepancies  
Enhancements being made to design change procedures regarding documentation of engineering judgement, substantiating input assumptions and* thorough technical reviews will be presented to design change engineers via personal letters, performance seminars and continuing training programs.
identified  
Enhanced design guidance is being developed for weld engineering.
within analyses supporting  
Specifically, code training for weld neers is being conducted as well as design change procedure revision to "prompt" the use of existing weld engineering guidelines for proper code selection and specification.
the cited design changes have been or will be dispositioned  
In addition, as part of the Configuration Control Project, additional engineering guidance regarding cable sizing and raceway fill, designing fire barriers and fire stops, evaluating station and emergency power* system.component loads and cable routing including the effects of cable submergence, is being developed.
and documented.  
Additionally, more engineering guidance in the form of an engineering specification will be developed for the civil/structural discipline.
As an effort to collectively  
This specification will be developed by July 1990. . NRC violation 255/89007-02 presented two examples where socket fillet welds were not-verified to be in conformance with weld size requirements provided in welding specifications.
utilize auditing agencies appraisals  
These examples are attributed to a failure to meet current expectations for the control of design change implementation.
of our past performances, the identified  
To . avoid further non-compliance, design change procedures are being revised to present welding specifications input checklists and implementation drawings, and to provide for technical reviews of weld requirement inputs by Maintenance Planners.
deficiencies  
Additionally, Design, Engineers and Quality Assurance personnel are.being provided with training on structural and welding codes and their application to weld installation and examination.
were presented  
NRC violation 255/89007-03 was issued for a failure to implement and maintain Technical Specification low temperature overpressure (LTOP) setpoints which were changed through the specification change process. The violation is attributed to poor within the Technical Specification Change Request development process. When the LTOP setpoints were derived, Plant personnel failed to identify that the value included in the Technical cation did not account for calibration tolerance.
to Design Change Engineers  
A letter of interpretation has been submitted to the NRR which documents ou"' '1-'osition and commits to revising the setpoints in a forthcoming Technical Specification Change quest. In the interim, surveillance procedures which provide for setting and verifying the LTOP setpoints.have been revised to remove the positive tion tolerance.
with emphasis placed on strict adherence  
An evaluation will be conducted to determine where ments in the Technical Specification Change Request process can be made to preclude recurrence.
to established  
procedures  
and the concept of Plant based modification  
engineering.  
Enhancements  
being made to design change procedures  
regarding  
documentation  
of engineering  
judgement, substantiating  
input assumptions  
and* thorough technical  
reviews will be presented  
to design change engineers  
via personal letters, performance  
seminars and continuing  
training programs.  
Enhanced design guidance is being developed  
for weld engineering.  
Specifically, code training for weld neers is being conducted  
as well as design change procedure  
revision to "prompt" the use of existing weld engineering  
guidelines  
for proper code selection  
and specification.  
In addition, as part of the Configuration  
Control Project, additional  
engineering  
guidance regarding  
cable sizing and raceway fill, designing  
fire barriers and fire stops, evaluating  
station and emergency  
power* system.component  
loads and cable routing including  
the effects of cable submergence, is being developed.  
Additionally, more engineering  
guidance in the form of an engineering  
specification  
will be developed  
for the civil/structural  
discipline.  
This specification  
will be developed  
by July 1990. . NRC violation  
255/89007-02  
presented  
two examples where socket fillet welds were not-verified  
to be in conformance  
with weld size requirements  
provided in welding specifications.  
These examples are attributed  
to a failure to meet current expectations  
for the control of design change implementation.  
To . avoid further non-compliance, design change procedures  
are being revised to present welding specifications  
input checklists  
and implementation  
drawings, and to provide for technical  
reviews of weld requirement  
inputs by Maintenance  
Planners.  
Additionally, Design, Engineers  
and Quality Assurance  
personnel  
are.being  
provided with training on structural  
and welding codes and their application  
to weld installation  
and examination.  
NRC violation  
255/89007-03  
was issued for a failure to implement  
and maintain Technical  
Specification  
low temperature  
overpressure (LTOP) setpoints  
which were changed through the specification  
change process. The violation  
is attributed  
to poor  
within the Technical  
Specification  
Change Request development  
process. When the LTOP setpoints  
were derived, Plant personnel  
failed to identify that the value included in the Technical cation did not account for calibration  
tolerance.  
A letter of interpretation  
has been submitted  
to the NRR which documents  
ou"' '1-'osition  
and commits to revising the setpoints  
in a forthcoming  
Technical  
Specification  
Change quest. In the interim, surveillance  
procedures  
which provide for setting and verifying  
the LTOP setpoints.have  
been revised to remove the positive tion tolerance.  
An evaluation  
will be conducted  
to determine  
where ments in the Technical  
Specification  
Change Request process can be made to preclude recurrence.  
OC0889-0167-NL04 . t -. * ..... :*. : . *:: ... '*, ,;**.*:.r  
OC0889-0167-NL04 . t -. * ..... :*. : . *:: ... '*, ,;**.*:.r  
., *. . .. * *. -. . . . ,: ::' .. ** , l *.. .. ....... :*'.'* *. -:.::. **-.:--..  
., *. . .. * *. -. . . . ,: ::' .. ** , l *.. .. ....... :*'.'* *. -:.::. **-.:--..  
.. ;.,;:**: ... *. -.. --. -.... . *.:*.:'.-.**: .. ':;:"'::::-*-:-*.*.   
.. ;.,;:**: ... *. -.. --. -.... . *.:*.:'.-.**: .. ':;:"'::::-*-:-*.*.   
* * Nuclear Regulatory  
*
Commission  
* Nuclear Regulatory Commission Pal:isades Plant Response to IR 89007 August 10, 1989 4 The Inspection Report additionally requested a written response be provided for certain, specific examples of programmatic weaknesses.
Pal:isades  
The first weakness cited involved the addition of zener diodes in the safety injection tank pressure transmitter power supply without analyzing potential failure modes and without checking diode input voltage after installation.
Plant Response to IR 89007 August 10, 1989 4 The Inspection  
The failure to fully analyze potential failure modes is attributed to personnel error. Administrative Procedures currently require that .a failure modes and effects analysis (FMEAs) be performed as part of the safety evaluation process. The periodic*
Report additionally  
refresher training program for design engineers will include emphasis on FMEAs. The next weakness cited pertained to the backup nitrogen supply modification.
requested  
Specifically, an unauthorized design change was implemented when field nel implemented their own weld requirements after identifying that an priate weld was specified by the design engineer.
a written response be provided for certain, specific examples of programmatic  
The condition is attributable to the fact that welding maintenance procedures are not. ly integrated with design control procedures, thus assuring that changes. in the field will be approved by engineering before they are undertaken.
weaknesses.  
The welding maintenance procedures will be better integrated with the design control procedures.
The first weakness cited involved the addition of zener diodes in the safety injection  
The third weakness pertained to utilization of different editions of the ASME Code relative to stress intensification factors utilized in analyses.
tank pressure transmitter  
In summary, usage of the later addition of the ASME Code, as currently described in the Palisades.
power supply without analyzing  
Final Safety Analysis Report (FSAR), was discussed in an April 1980 meeting between Consumers Power Company and the NRC and found to be acceptable.
potential  
Our interpretation of the results of this meeting was submitted to the NRC in the draft form, revised FSAR pages in our Final Response to IE Bulletin 79-14 dated September 26, 1980. As indicated in our submittal to the NRC dated October 24, 1980, the use of different code editions was found to be acceptable, reviewed in accordance with 10CFR50.59 and placed in the Palisades FSAR. Therefore, usage of different code editions as presented in the FSAR currently represents our position and is believed to be acceptable.
failure modes and without checking diode input voltage after installation.  
The last weakness cited pertains specifically to the Engineering Design Change (EDC) form utilized to revise facility changes not listing calculations which may be affected by the particular EDC. Therefore, it was unclear whether technical reviewers had considered the effects of the EDC on the original analyses.
The failure to fully analyze potential  
Consumers Power Company believes that existing procedural ments direct the EDC initiator to "reflect" the change in all affected tailed design documents; the engineering analysis was clearly identified in the procedure as being a detailed design document.
failure modes is attributed  
However, "engineering analyses" will be specifically added to the EDC form to ensure that technical reviewers consider effects on engineering analyses and provide documentation of this consideration
to personnel  
* OC0889-0167-NL04 I   
error. Administrative  
*
Procedures  
* Nuclear Regulatory Commission  
currently  
** **Palisades Plant Response to IR 89007 August 10,
require that .a failure modes and effects analysis (FMEAs) be performed  
* 1989 5 The Inspection Report also requested that specific discussion be provided regarding unresolved items pertaining to welding. This discussion is ed on page 41 of Attachment
as part of the safety evaluation  
: 1. In summary, we acknowledge that no corrective actions have yet been directed towards reviewing previously made socket fillet welds for compliance with code requirements.
process. The periodic*  
Consumers Power Company plans, however, to select an appropriate sample.of as-built welds and inspect the
refresher  
* welds during the 1989 maintenance outage. The sample will be chosen to include a range of weld types. The purpose of the inspection will.be to verify that the weld characteristics (type and size) conform to requirements set forth in the repair inspection checklist and/or applicable welding code. Kenneth W Berry Director, . Nuclear Licensing-CC Administrator, Region III, USNRC NRC Resident Inspector  
training program for design engineers  
-Palisades Attachments OC0889-0167-NL04  
will include emphasis on FMEAs. The next weakness cited pertained  
'" *'.*. -* * ** *. '.<. ; *.** -, .. ' ** *-::. _. '.   
to the backup nitrogen supply modification.  
* * * .*_.* *; ATT0889-0167-NL04 ATTACHMENT 1 Consumers Power Company Palisades Plant Docket 50-255 DETAILED RESPONSES TO INSPECTION REPORT 89007 August 10, 1989 45 Pages . ' . * ,. . ..* *. , .. *** .. * *. ** ** .. *---"""--'---'----'-'-'""'"--=...;.......*  
Specifically, an unauthorized  
design change was implemented  
when field nel implemented  
their own weld requirements  
after identifying  
that an priate weld was specified  
by the design engineer.  
The condition  
is attributable  
to the fact that welding maintenance  
procedures  
are not. ly integrated  
with design control procedures, thus assuring that changes. in the field will be approved by engineering  
before they are undertaken.  
The welding maintenance  
procedures  
will be better integrated  
with the design control procedures.  
The third weakness pertained  
to utilization  
of different  
editions of the ASME Code relative to stress intensification  
factors utilized in analyses.  
In summary, usage of the later addition of the ASME Code, as currently  
described  
in the Palisades.  
Final Safety Analysis Report (FSAR), was discussed  
in an April 1980 meeting between Consumers  
Power Company and the NRC and found to be acceptable.  
Our interpretation  
of the results of this meeting was submitted  
to the NRC in the draft form, revised FSAR pages in our Final Response to IE Bulletin 79-14 dated September  
26, 1980. As indicated  
in our submittal  
to the NRC dated October 24, 1980, the use of different  
code editions was found to be acceptable, reviewed in accordance  
with 10CFR50.59  
and placed in the Palisades  
FSAR. Therefore, usage of different  
code editions as presented  
in the FSAR currently  
represents  
our position and is believed to be acceptable.  
The last weakness cited pertains specifically  
to the Engineering  
Design Change (EDC) form utilized to revise facility changes not listing calculations  
which may be affected by the particular  
EDC. Therefore, it was unclear whether technical  
reviewers  
had considered  
the effects of the EDC on the original analyses.  
Consumers  
Power Company believes that existing procedural ments direct the EDC initiator  
to "reflect" the change in all affected tailed design documents;  
the engineering  
analysis was clearly identified  
in the procedure  
as being a detailed design document.  
However, "engineering  
analyses" will be specifically  
added to the EDC form to ensure that technical  
reviewers  
consider effects on engineering  
analyses and provide documentation  
of this consideration  
* OC0889-0167-NL04  
I   
* * Nuclear Regulatory  
Commission  
** **Palisades  
Plant Response to IR 89007 August 10, * 1989 5 The Inspection  
Report also requested  
that specific discussion  
be provided regarding  
unresolved  
items pertaining  
to welding. This discussion  
is ed on page 41 of Attachment  
1. In summary, we acknowledge  
that no corrective  
actions have yet been directed towards reviewing  
previously  
made socket fillet welds for compliance  
with code requirements.  
Consumers  
Power Company plans, however, to select an appropriate  
sample.of  
as-built welds and inspect the * welds during the 1989 maintenance  
outage. The sample will be chosen to include a range of weld types. The purpose of the inspection  
will.be to verify that the weld characteristics (type and size) conform to requirements  
set forth in the repair inspection  
checklist  
and/or applicable  
welding code. Kenneth W Berry Director, . Nuclear Licensing-
CC Administrator, Region III, USNRC NRC Resident Inspector  
-Palisades  
Attachments  
OC0889-0167-NL04  
'" *'.*. -1 --* * ** *. '.<. ; *.** -, .. ' ** *-::. _. '.   
* * * .*_.* *; ATT0889-0167-NL04  
ATTACHMENT  
1 Consumers  
Power Company Palisades  
Plant Docket 50-255 DETAILED RESPONSES  
TO INSPECTION  
REPORT 89007 August 10, 1989 45 Pages . ' . * ,. . ..* *. , .. *** .. * *. ** ** .. *---"""--'---'----'-'-'""'"--=...;.......*  
....._ . .._. ;...;,* .;....;...;.;.-""*--*  
....._ . .._. ;...;,* .;....;...;.;.-""*--*  
..:...* *.;_* _...;,_..;__:-......;.----.;_*  
..:...* *.;_* _...;,_..;__:-......;.----.;_*  
* . .;...' *..:...* .._c*..:...*  
* . .;...' *..:...* .._c*..:...*  
*....;.....;.,.;.;.,___;__.___.;.;.,....;,.;,...;...___;_,;__.....;.._.;..:.;.;.;..;.;._
*....;.....;.,.;.;.,___;__.___.;.;.,....;,.;,...;...___;_,;__.....;.._.;..:.;.;.;..;.;._
* Violation  
* Violation (255/89007-0!A-S)
(255/89007-0!A-S)  
: 1. lOCFRSO, Appendix B, Criterion III, as implemented by the Palisades Operations Quality Assurance Program requires, in part, that the design bases be correctly translated into drawings, procedures, and instructions; that the design control measures provide for verifying or checking.the adequacy of the design; and that design control measures be applied to the delineation of acceptance criteria for inspections and tests. Contrary to the above, the following instances of inadequate design control were identified:
1. lOCFRSO, Appendix B, Criterion  
This is a Severity Level IV Violation.
III, as implemented  
This violation is sustained by 19 examples.
by the Palisades  
Though Consumers Power Company believes four of these are not supportive examples.
Operations  
We do acknowledge the violation.
Quality Assurance  
Our detailed response to each example follows: MI0789-1683A-TC01-NL02 1 ... . -::* -* .. ........ * -....... ,. .. *. .... *... ,.,_  
Program requires, in part, that the design bases be correctly  
translated  
into  
drawings, procedures, and instructions;  
that the design control measures provide for verifying  
or checking.the  
adequacy of the design; and that design control measures be applied to the delineation  
of acceptance  
criteria for inspections  
and tests. Contrary to the above, the following  
instances  
of inadequate  
design control were identified:  
This is a Severity Level IV Violation.  
This violation  
is sustained  
by 19 examples.  
Though Consumers  
Power Company believes four of these are not supportive  
examples.  
We do acknowledge  
the violation.  
Our detailed response to each example follows: MI0789-1683A-TC01-NL02  
1 ... . -::* -* .. ........ * -....... ,. .. *. .... *... ,.,_  
"'":"."' .. * .. :_*:.-
"'":"."' .. * .. :_*:.-
_ ___:__*__'._._  
_ ___:__*__'._._  
.. _.* _-.. : *-* .
.. _.* _-.. : *-* .
NRG Violation  
NRG Violation 255/89007-0la:
255/89007-0la:  
EA-FC-789-07, "Seismic Analysis of Auxiliary Feedw'ater Control ESSR 88714, 11 Revision l, August 24, 1988. [Refer to page 9 of NRG Report 50-255/89007 (DRS).] Example FC-789 contained multiple dimensional differences between the analysis model and the installation drawings.
EA-FC-789-07, "Seismic Analysis of Auxiliary  
The following examples are provided:  
Feedw'ater  
-The location of new support 8224 was analyzed at 6 11 from the 45&deg; elbow. The piping drawing (M-101 Sheet 5113) *used to install the support specified a dimension of l'-7 1/2" from the elbow. This difference was not noted in the calculation.  
Control ESSR 88714, 11 Revision l, August 24, 1988. [Refer to page 9 of NRG Report 50-255/89007 (DRS).] Example FC-789 contained  
-The length of pipe between Model Nodes 6276 and 6282 was analyzed as 5'-10" long. The installation drawing specifies S'-6" long. This difference was not noted in-the calculation.
multiple dimensional  
Several additional -dimensional .discrepancies on the. new. bypass piping were . also noted between the analysis and installation drawing. These discrepancies ranged from 1 11 to 2-1/4" and were considered minor by the inspector.
differences  
none of these discrepancies were noted in the calculation.
between the analysis model and the installation  
Reason for Violation During the evaluation*
drawings.  
of the design of the bypass piping system numerous changes in design dimensions were encountered due--to pipe, support and valve operator-interferences.
The following  
At a certain point in the analysis process, it was decided to build* the design *to. the drawing and* effect the final analysis reconciliation*when the as-built data were recorded on a marked-up drawing. The analysis reconciliation with the as-built was never made. This violation was due' to inadequate documentation of the* justification for analytical input and failure to follow established procedures.
examples are provided:  
Corrective Action Taken, and** Results Achieved-All engineering groups have been briefed as to the results of this inspection.
-The location of new support 8224 was analyzed at 6 11 from the 45&deg; elbow. The piping drawing (M-101 Sheet 5113) *used to install the support specified  
These briefings were completed on August 2, 1989. The above noted cies have been satisfactorily dispositioned and the finite element piping analysis model has been updated. Corrective Actions to be Taken to Avoid Further Non Compliance Interim All design change engineers will be briefed as to the reported violations by personal letter. These letters will require that all engineers involved in design changes scheduled for installation in 1989 review existing design ages for similar problems and correct any identified problems.
a dimension  
MI0789-1683A-TC01-NL02 2  
of l'-7 1/2" from the elbow. This difference  
... * ... *. -*. : .r;. : ...
was not noted in the calculation.  
-The length of pipe between Model Nodes 6276 and 6282 was analyzed as 5'-10" long. The installation  
drawing specifies  
S'-6" long. This difference  
was not noted in-the calculation.  
Several additional -dimensional .discrepancies  
on the. new. bypass piping were . also noted between the analysis and installation  
drawing. These discrepancies  
ranged from 1 11 to 2-1/4" and were considered  
minor by the inspector.  
none of these discrepancies  
were noted in the calculation.  
Reason for Violation  
During the evaluation*  
of the design of the bypass piping system numerous changes in design dimensions  
were encountered  
due--to pipe, support and valve operator-interferences.  
At a certain point in the analysis process, it was decided to build* the design *to. the drawing and* effect the final analysis reconciliation*when  
the as-built data were recorded on a marked-up  
drawing. The analysis reconciliation  
with the as-built was never made. This violation  
was due' to inadequate  
documentation  
of the* justification  
for analytical  
input and failure to follow established  
procedures.  
Corrective  
Action Taken, and** Results Achieved-All engineering  
groups have been briefed as to the results of this inspection.  
These briefings  
were completed  
on August 2, 1989. The above noted  
cies have been satisfactorily  
dispositioned  
and the finite element piping analysis model has been updated. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim All design change engineers  
will be briefed as to the reported violations  
by personal letter. These letters will require that all engineers  
involved in design changes scheduled  
for installation  
in 1989 review existing design ages for similar problems and correct any identified  
problems.  
MI0789-1683A-TC01-NL02  
2  
... * ... *. -*. : .r;. : ...  
I   
I   
.-:*** , .. ,,. .. Long-Term  
.-:*** , .. ,,. .. Long-Term Enhancements will be made to plant administrative design control procedures to further clarify the requirements that strict alignment between engineering analyses, associated/accompanying drawings, and as-built condition must be verified and documented prior to declaring modified systems/equipment operable.
Enhancements  
In additionf a program will be developed to provide periodic refresher training to all design change engineers on design change-related administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. dural enhancements will be completed by January 1 1 1990. The program for periodic training will be in place by March 1, 1990. NRC Violation 255/89007-0lb:
will be made to plant administrative  
EA-FC-789-07, "Seismic Analysis of Auxiliary Feedwater Control ESSR 88714" Example b.l -For the south bypass loop, the Young's Modulus was specified as 27.4 E6 psi instead of 27.9 E6 psi. This is equivalent to analyzing this portion of pipe with properties at 300&deg; instead of 70&deg;. This discrepancy was not noted in the analysis.
design control procedures  
Reason for Violation The use of the.27.4 E6 psi value for the Young's Modulus represents a 1.8 cent error with *regard* to the correct value of 27 .9 E6* psi value. The impact of such an error is expected to be an underprediction of thermal expansion stress of no more than 1.8 percent. This resulted from inadequate tion of technical review and failure to follow existing procedures.
to further clarify the requirements  
Corrective Action Taken. and. Results= Achieved*
that strict alignment  
All engineering groups have been* briefed as to the results of the inspection.
between engineering  
These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim All design change engineers will be briefed as to the reported violations by personal letter. These letters will require that all engineers involved in design changes scheduled for installation in 1989 review existing design ages for similar problems and correct the problems.
analyses, associated/accompanying  
MI0789-1683A-TC01-NL02 3 .-.. ... ,. * ... * .. ** ... -  
drawings, and as-built condition  
* ** Long-Term to plant administrative design control procedures will be made tog -Provide the technical reviewer a review checklist with a "prompt" to justify the numerical values of all constants and variables utilized as inputs to the analysis (the checklist will provide a comprehensive set of "prompts" to ensure an overall accurate, thorough and auditable analysis). -A mechanism for the reviewer to note minor errors which would not necessitate a reanalysis.
must be verified and documented  
In addition, a program will be developed to provide periodic refresher training to all design change engineers on design change-related administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989e The procedural enhancements and training on the enhancements will be completed by January 1, 1990. The program for periodic training will be in place by March 1990. Example b.2 The location of the center of gravity (CG) for the new bypass valves was analyzed at 19 11 from the pipe centerline.
prior to declaring  
The location specified on the vendor-drawing was 22 11* This represents a 15% increase in the moment arm which was not noted in the calculationo Reason for Violation The piping analysis was set up from preliminary data. The valve assembly weight was included in the model. However, the weight placement was not sistent with-*the final drawing received.from the vendor. The existing mentation does not indicate whether or not the analyst reviewed the center of gravity data from the vendor drawing. The analysis certainly was not run to accommodate This violation occurred due to failure to account for vendor information as analytical input and failure to follow established procedures.
modified systems/equipment  
Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of the inspection.
operable.  
These briefings were completed on.August 2, 1989. The calculation was revised to incorporate the correct vendor data and was found to be acceptable.
In additionf  
Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation l.a. MI0789-1683A-TC01-NL02 4 ...... ... \*::..:***** . . . . *,_ . . .*. . . . .:::*-  
a program will be developed  
. .
to provide periodic refresher  
* Long-Term Enhancements to plant procedures will be made Ensure that vendor information/recolillllendations are accounted for ical input and that justification be provided for departure from information/recommendations, as such Provide the technical reviewer a review checklist with a 11 prompt" to assure that vendor information/recommendations are appropriately accounted for. A program will be developed to provide periodic refresher training to all design engineers on design change-related plant administrative procedures.
training to all design change engineers  
A 11 punch 11 list or equivalent will be developed to track items requiring verification when data becomes available.
on design change-related  
Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. These procedural enhancements will be in-place by January 1, 1990 as will required training on these enhancements.
administrative dures. Date When Full Compliance  
The program to provide refresher training will be in place by March 1, 1990. Example b.3 In addition to the above noted discrepancies for modeling the bypass piping, other dis.crepancies were noted in the model of the original auxiliary feedwater piping. The inspector could not determine whether these discrepancies were inherent in the original data or whether they occurred during the transcription of the original model into the current piping analysis.
Will be Achieved The personal briefings  
However, notes in the piping model stated the following: "Bechtel analysis is a bit off from ISO here." -"Bechtel has modeled elbows only with SIFs. Elbows are used here." -"Review ISO for pipe schedule change." These notes led the inspector to question the validity of the assumption made in the calculation concerning the correctness of the original input data. CPCo Response The three notes recorded by the inspector do not necessarily imply errors in the original input analysis.
by letter will be issued by September  
The notes reflect free text written into the ADLPIPE computer model by the translator of the ME101 Bechtel model for the review by the piping analyst. The specific analysis model/ISO discrepancy was small. However, the note advised the analyst that a choice needed to be made for analysis record runs. MI0789-1683A-TC01-NL02 5 . :.'.-.** -
1, 1989. dural enhancements  
* There is nothing wrong with modeling elbows with SIFs and flexibility characteristics.
will be completed  
However, the note merely advises the analyst that comparing ADLPIPE elbows and ME101 elbows for counting of elbows for model benchmarking will not yield consistent results and that the MElOl model will require more review to ensure model consistency.
by January 1 1 1990. The program for periodic training will be in place by March 1, 1990. NRC Violation  
The note with respect to pipe schedule change is again for the benefit of the analyst. No error is implied. No corrective action is required.
255/89007-0lb:  
Example b.4 The additional discrepancies in the mod*el of the auxiliary feedwater piping were as follows: -For flow element FE-0736, the weight of 192 lbs was modeled at node 211 instead of node 205 *. Although this was only a 4-1/2" error on a 6 11 pipe, the flange pair was analytically modeled with the weight concentrated at one edge instead of at the middle of the flanges. For Valve M0-0754, the 460 lb weight was modeled at the centerline of the pipe at node 267. The weight should have been specified at the valve CG at node 268, 18" out from the pipe centerline.
EA-FC-789-07, "Seismic Analysis of Auxiliary  
The horizontal response spectra used in the analysis was inconsistent with the spectra given in Specification C-175. The spectra used was lower and not as broad as those given in the Specification.  
Feedwater  
-Piping .between the nodes 252 and 253 was modeled as 4", schedule 40, instead of 6 11 , schedule 80. The above discrepancies are further examples of violation of 10 CFR 50, Appendix B, Criterion III in that the licensee failed to correctly translate the design into the drawing (255/89007-0lb).
Control ESSR 88714" Example b.l -For the south bypass loop, the Young's Modulus was specified  
Reason for Violation The placement of the flow element weight, the placement of the valve operator weight and the pipe schedule discrepancy constitute discrepancies which should be picked up in the review process. The reason for the violation has been attributed to an inadequate technical review and failure to follow established procedures.
as 27.4 E6 psi instead of 27.9 E6 psi. This is equivalent  
The horizontal response spectra employed in the original IE Bulletin 79-14 analysis of the Palisades piping systems were based upon the Taft 1952 record. The digit,ized data and a straight-edged set of plots from those data were  
to analyzing  
.. to Consumers Power Company by Bechtel in 1976. The horizontal response spectra used in the piping analysis were derived from these digitized data. The straight-edged plots were used for building and equipment tion seismic work
this portion of pipe with properties  
* MI0789-1683A-TC01-NL02 6  
at 300&deg; instead of 70&deg;. This discrepancy  
was not noted in the analysis.  
Reason for Violation  
The use of the.27.4 E6 psi value for the Young's Modulus represents  
a 1.8 cent error with *regard* to the correct value of 27 .9 E6* psi value. The impact of such an error is expected to be an underprediction  
of thermal expansion  
stress of no more than 1.8 percent. This resulted from inadequate  
tion of technical  
review and failure to follow existing procedures.  
Corrective  
Action Taken. and. Results= Achieved*  
All engineering  
groups have been* briefed as to the results of the inspection.  
These briefings  
were completed  
on August 2, 1989. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim All design change engineers  
will be briefed as to the reported violations  
by personal letter. These letters will require that all engineers  
involved in design changes scheduled  
for installation  
in 1989 review existing design ages for similar problems and correct the problems.  
MI0789-1683A-TC01-NL02  
3 .-.. ... ,. * ... * .. ** ... -  
* ** Long-Term  
to plant administrative  
design control procedures  
will be made tog -Provide the technical  
reviewer a review checklist  
with a "prompt" to justify the numerical  
values of all constants  
and variables  
utilized as inputs to the analysis (the checklist  
will provide a comprehensive  
set of "prompts" to ensure an overall accurate, thorough and auditable  
analysis). -A mechanism  
for the reviewer to note minor errors which would not necessitate  
a reanalysis.  
In addition, a program will be developed  
to provide periodic refresher  
training to all design change engineers  
on design change-related  
administrative dures. Date When Full Compliance  
Will be Achieved The personal briefings  
by letter will be issued by September  
1, 1989e The procedural  
enhancements  
and training on the enhancements  
will be completed  
by January 1, 1990. The program for periodic training will be in place by March 1990. Example b.2 The location of the center of gravity (CG) for the new bypass valves was analyzed at 19 11 from the pipe centerline.  
The location specified  
on the vendor-drawing  
was 22 11* This represents  
a 15% increase in the moment arm which was not noted in the calculationo  
Reason for Violation  
The piping analysis was set up from preliminary  
data. The valve assembly weight was included in the model. However, the weight placement  
was not sistent with-*the  
final drawing received.from  
the vendor. The existing mentation  
does not indicate whether or not the analyst reviewed the center of gravity data from the vendor drawing. The analysis certainly  
was not run to accommodate This violation  
occurred due to failure to account for vendor information  
as analytical  
input and failure to follow established  
procedures.  
Corrective  
Action Taken and Results Achieved All engineering  
groups have been briefed as to the results of the inspection.  
These briefings  
were completed  
on.August  
2, 1989. The calculation  
was revised to incorporate  
the correct vendor data and was found to be acceptable.  
Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim Same as that required for Violation  
l.a. MI0789-1683A-TC01-NL02  
4 ...... ... \*::..:***** . . . . *,_ . . .*. . . . .:::*-  
. . * Long-Term  
Enhancements  
to plant procedures  
will be made Ensure that vendor information/recolillllendations  
are accounted  
for ical input and that justification  
be provided for departure  
from information/recommendations, as such Provide the technical  
reviewer a review checklist  
with a 11 prompt" to assure that vendor information/recommendations  
are appropriately  
accounted  
for. A program will be developed  
to provide periodic refresher  
training to all design engineers  
on design change-related  
plant administrative  
procedures.  
A 11 punch 11 list or equivalent  
will be developed  
to track items requiring  
verification  
when data becomes available.  
Date When Full Compliance  
Will be Achieved The personal briefings  
by letter will be issued by September  
1, 1989. These procedural  
enhancements  
will be in-place by January 1, 1990 as will required training on these enhancements.  
The program to provide refresher  
training will be in place by March 1, 1990. Example b.3 In addition to the above noted discrepancies  
for modeling the bypass piping, other dis.crepancies  
were noted in the model of the original auxiliary  
feedwater  
piping. The inspector  
could not determine  
whether these discrepancies  
were inherent in the original data or whether they occurred during the transcription  
of the original model into the current piping analysis.  
However, notes in the piping model stated the following: "Bechtel analysis is a bit off from ISO here." -"Bechtel has modeled elbows only with SIFs. Elbows are used here." -"Review ISO for pipe schedule change." These notes led the inspector  
to question the validity of the assumption  
made in the calculation  
concerning  
the correctness  
of the original input data. CPCo Response The three notes recorded by the inspector  
do not necessarily  
imply errors in the original input analysis.  
The notes reflect free text written into the ADLPIPE computer model by the translator  
of the ME101 Bechtel model for the review by the piping analyst. The specific analysis model/ISO  
discrepancy  
was small. However, the note advised the analyst that a choice needed to be made for analysis record runs. MI0789-1683A-TC01-NL02  
5 . :.'.-.** -  
* There is nothing wrong with modeling elbows with SIFs and flexibility  
characteristics.  
However, the note merely advises the analyst that comparing  
ADLPIPE elbows and ME101 elbows for counting of elbows for model benchmarking  
will not yield consistent  
results and that the MElOl model will require more review to ensure model consistency.  
The note with respect to pipe schedule change is again for the benefit of the analyst. No error is implied. No corrective  
action is required.  
Example b.4 The additional  
discrepancies  
in the mod*el of the auxiliary  
feedwater  
piping were as follows: -For flow element FE-0736, the weight of 192 lbs was modeled at node 211 instead of node 205 *. Although this was only a 4-1/2" error on a 6 11 pipe, the flange pair was analytically  
modeled with the weight concentrated  
at one edge instead of at the middle of the flanges. For Valve M0-0754, the 460 lb weight was modeled at the centerline  
of the pipe at node 267. The weight should have been specified  
at the valve CG at node 268, 18" out from the pipe centerline.  
The horizontal  
response spectra used in the analysis was inconsistent  
with the spectra given in Specification  
C-175. The spectra used was lower and not as broad as those given in the Specification.  
-Piping .between the nodes 252 and 253 was modeled as 4", schedule 40, instead of 6 11 , schedule 80. The above discrepancies  
are further examples of violation  
of 10 CFR 50, Appendix B, Criterion  
III in that the licensee failed to correctly  
translate  
the design into the drawing (255/89007-0lb).  
Reason for Violation  
The placement  
of the flow element weight, the placement  
of the valve operator weight and the pipe schedule discrepancy  
constitute  
discrepancies  
which should be picked up in the review process. The reason for the violation  
has been attributed  
to an inadequate  
technical  
review and failure to follow established  
procedures.  
The horizontal  
response spectra employed in the original IE Bulletin 79-14 analysis of the Palisades  
piping systems were based upon the Taft 1952 record. The digit,ized  
data and a straight-edged  
set of plots from those data were  
.. to Consumers  
Power Company by Bechtel in 1976. The horizontal  
response spectra used in the piping analysis were derived from these digitized  
data. The straight-edged  
plots were used for building and equipment  
tion seismic work * MI0789-1683A-TC01-NL02  
6  
..... .* ,.*   
..... .* ,.*   
.. . . , *. **:. -------------------
.. . . , *. **:. -------------------
---------------
---------------
Because the straight-edged  
Because the straight-edged plots were very difficult to read and because it was desired to incorporate building and equipment spectra in a single seismic ification specification, the straight-edged plots were redrawn and incorporated into Specification C-175. It is expected that the horizontal spectra of C-175 could be slightly higher and broader than the straight-edged spectra. However, that was not the purpose for drawing them. Although the C-175 horizontal tra should be very similar to the straight-edged horizontal they should be used for building analysis and equipment qualification only. They should not be used for piping analysis.
plots were very difficult  
The correct horizontal response spectra for safety related piping systems at Palisades which use the initial plant seismic design basis are those included in the stress packages as developed from the digitized spectra._
to read and because it was desired to incorporate  
New piping systems or modifications involving substantial changes to existing systems will employ the spectra and procedures in Specification M-195. Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of the inspection.
building and equipment  
These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as for Violation Item l.a. Long-Term Enhancements to plant procedures will be made to: -Provid*e the technical reviewer a checklist with a comprehensive set of "prompts" to ensure an overall accurate, thorough and auditable analysis.
spectra in a single seismic ification  
These "prompts" will specifically require that the reviewer check the validity of all analytical input and assumptions.  
specification, the straight-edged  
-Provide. the basis for the selection of design as governing, and -Provide a technical review checklist with.a prompt to concur that governing design criteria (input) have been justifiably selected.  
plots were redrawn and incorporated  
-Identify applications in which C-175 or M-195 would be used. Furthermore, a program witl be developed to provide periodic refresher training to engineering personnel on design change related plant administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. dural enhancements will be made by January 1, 1990 as will all required training on the enhancements.
into Specification  
MI0789-1683A-TC01-NL02 7 ::*:-";**  
C-175. It is expected that the horizontal  
spectra of C-175 could be slightly higher and broader than the straight-edged  
spectra. However, that was not the purpose for drawing them. Although the C-175 horizontal tra should be very similar to the straight-edged  
horizontal  
they should be used for building analysis and equipment  
qualification  
only. They should not be used for piping analysis.  
The correct horizontal  
response spectra for safety related piping systems at Palisades  
which use the initial plant seismic design basis are those included in the stress packages as developed  
from the digitized  
spectra._  
New piping systems or modifications  
involving  
substantial  
changes to existing systems will employ the spectra and procedures  
in Specification  
M-195. Corrective  
Action Taken and Results Achieved All engineering  
groups have been briefed as to the results of the inspection.  
These briefings  
were completed  
on August 2, 1989. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim Same as for Violation  
Item l.a. Long-Term  
Enhancements  
to plant procedures  
will be made to: -Provid*e the technical  
reviewer a checklist  
with a comprehensive  
set of "prompts" to ensure an overall accurate, thorough and auditable  
analysis.  
These "prompts" will specifically  
require that the reviewer check the validity of all analytical  
input and assumptions.  
-Provide. the basis for the selection  
of design  
as governing, and -Provide a technical  
review checklist  
with.a prompt to concur that governing  
design criteria (input) have been justifiably  
selected.  
-Identify applications  
in which C-175 or M-195 would be used. Furthermore, a program witl be developed  
to provide periodic refresher  
training to engineering  
personnel  
on design change related plant administrative dures. Date When Full Compliance  
Will be Achieved The personal briefings  
by letter will be issued by September  
1, 1989. dural enhancements  
will be made by January 1, 1990 as will all required training on the enhancements.  
MI0789-1683A-TC01-NL02  
7 ::*:-";**  
..... *\ .. * ::* r* '.*.   
..... *\ .. * ::* r* '.*.   
.! * NRC Violation  
.!
255/89007.0lc:  
* NRC Violation 255/89007.0lc:
Consumers  
Consumers Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to page 12 of NRC Report 50-255/89007 (DRS)o] Example -The size of the fillet weld was determined by the requirements of Welding Specification WPS-11.21, Revision 2; however, for the socket welded fittings, the size of the fillet weld was not specified on this drawingo In reviewing the Repair Inspection Checklist (RIC) for the welds in question, the weld size specified is 1 1/2 11* This is misleading in that this is the size of the pipe and not the size of the fillet weld. In order for the welder to determine the size of the fillet weld, the pipe wall thickness must be obtained and a calculation of 1.09 times the wall thickness must be per-. formed. Although this is a relatively simple calculation, it is a design function and* as such must be controlled.
Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary  
There is no documentation to demonstrate that this design activity was performed.
Feedwater  
In addition, there are *no controls in place to check and verify this design activity.
Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to page 12 of NRC Report 50-255/89007 (DRS)o] Example -The size of the fillet weld was determined  
Reason for Violation Specifying welding requirements (such as applicable code, weld material, weld type and weld size) is an engineering function.
by the requirements  
If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding details* for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/-0r structural analysis engineering sketches.
of Welding Specification  
which have lacked size dimensions for the welds *. As a result, the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementation.
WPS-11.21, Revision 2; however, for the socket welded fittings, the size of the fillet weld was not specified  
The plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference 3). These procedures have not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning, installation, and post-installation The following actions have been/will be taken to ensure the administrative dures relating to weld specifications are properly integrated with the Maintenance Department.
on this drawingo In reviewing  
Prior to actions taken as a of recent self-identified failures to verify weld size (Reference 7), no specific requirements existed to verify characteristics (weld, type, size contour) of installed welds. Although Nuclear Operations Department Standards suggest inspection hold points for weld installation verification, working level administrative procedures did not specify a hold point requirement except for fit up. MI0789-1683A-TC01-NL02 8 .. '. **. _.\**.**.*.:  
the Repair Inspection  
Checklist (RIC) for the welds in question, the weld size specified  
is 1 1/2 11* This is misleading  
in that this is the size of the pipe and not the size of the fillet weld. In order for the welder to determine  
the size of the fillet weld, the pipe wall thickness  
must be obtained and a calculation  
of 1.09 times the wall thickness  
must be per-. formed. Although this is a relatively  
simple calculation, it is a design function and* as such must be controlled.  
There is no documentation  
to demonstrate  
that this design activity was performed.  
In addition, there are *no controls in place to check and verify this design activity.  
Reason for Violation  
Specifying  
welding requirements (such as applicable  
code, weld material, weld type and weld size) is an engineering  
function.  
If properly administered  
by procedure, the maintenance  
planner can (and has) effectively  
prescribe  
welding details* for the field provided that adequate input from engineering  
exists as a basis. In the past, engineering  
input has been limited to welding  
tion and/-0r structural  
analysis engineering  
sketches.  
which have lacked size dimensions  
for the welds *. As a result, the planner has failed to provide the proper size on the Repair Inspection  
Checklist (RIC) thereby requiring  
the field welder to determine  
and install the proper weld size. This practice fails to meet current expectations  
for control of design change implementation.  
The plant administrative  
design control procedures  
required and currently  
require that the design change project engineer determine  
code requirements  
for assigned projects (Reference  
4), and plant maintenance  
procedures  
required and currently  
require that the maintenance  
planner specify applicable  
code and weld parameters  
after consultation  
with the Engineering  
Department (Reference  
3). These procedures  
have not been effectively  
integrated  
to support one another to ensure that weld specifications  
from engineering  
were accurately  
translated  
into installation  
planning, installation, and post-installation  
The following  
actions have been/will  
be taken to ensure the administrative dures relating to weld specifications  
are properly integrated  
with the Maintenance  
Department.  
Prior to actions taken as a  
of recent self-identified  
failures to verify weld size (Reference  
7), no specific requirements  
existed to verify characteristics (weld, type, size contour) of installed  
welds. Although Nuclear Operations  
Department  
Standards  
suggest inspection  
hold points for weld installation  
verification, working level administrative  
procedures  
did not specify a hold point requirement  
except for fit up. MI0789-1683A-TC01-NL02  
8 .. '. **. _.\**.**.*.:  
* ... . *.* ... _;**-::* .  
* ... . *.* ... _;**-::* .  
*.* -.,:* * .*.... -*. *;.-* .   
*.* -.,:* * .*.... -*. *;.-* .   
* * ---------Corrective  
* * ---------Corrective Action Taken and Results Achieved -All engineering groups have been briefed as to the results of this inspectiono The briefings were completed on August 2, 1989. The Inservice Inspection (ISI) Section of the Plant Projects Engineering Department has effected the role of Design Authority for weld engineering by revising the RIC to identify critical weld parameters and require ISI cal review of the maintenance planner's specifications.
Action Taken and Results Achieved -All engineering  
The purpose of the review is to ensure that appropriate welding codes are complied with in the areas of weld installation and post-installation examination.
groups have been briefed as to the results of this inspectiono  
Revision to the RIC was completed as part of the revision to the plant administrative procedure for control of special processes (Reference 3). -The ISI Section (as well as planners, welders and welding supervisors) has received specific training with respect to welding codes and technology to augment their existing collective knowledge.  
The briefings  
-In addition, the RIC .. was revised to issue. the. weld minimum leg length to the field. This will eliminate the need for the field welder to calculate the length. The aforemenqoned ISI review will assure that this specification is provided.  
were completed  
-Finally, the RIC has been revised to require verification of weld size * (RIC now requires that weld is inspected for size, porosity, undercut,-etc.)
on August 2, 1989. The Inservice  
Training materials for the welder tra1n1ng progression course have been revised-to emphasize fillet weld terminology and conformance of the completed weld to the.design specification.
Inspection (ISI) Section of the Plant Projects Engineering  
Corrective Actions to be Taken to Avoid Further Non Compliance Interim -* Same as that required for Violation Item l.a. Long-Term  
Department  
-Enhancements to plant design control and maintenance procedures will be made to more effectively integrate engineering into weld specification and mately into weld planning and verification:
has effected the role of Design Authority  
Appropriate welding codes will be included in the Design Input Checklist (Reference
for weld engineering  
: 2) to "prompt" the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.
by revising the RIC to identify critical weld parameters  
In addition, a generic guideline will be developed to support the design engineer throughout the weld design process. MI0789-1683A-TC01-NL02 9 . :*.-...  
and require ISI cal review of the maintenance  
planner's  
specifications.  
The purpose of the review is to ensure that appropriate  
welding codes are complied with in the areas of weld installation  
and post-installation  
examination.  
Revision to the RIC was completed  
as part of the revision to the plant administrative  
procedure  
for control of special processes (Reference  
3). -The ISI Section (as well as planners, welders and welding supervisors)  
has received specific training with respect to welding codes and technology  
to augment their existing collective  
knowledge.  
-In addition, the RIC .. was revised to issue. the. weld minimum leg length to the field. This will eliminate  
the need for the field welder to calculate  
the length. The aforemenqoned  
ISI review will assure that this specification  
is provided.  
-Finally, the RIC has been revised to require verification  
of weld size * (RIC now requires that weld is inspected  
for size, porosity, undercut,-etc.)  
Training materials  
for the welder tra1n1ng progression  
course have been revised-to emphasize  
fillet weld terminology  
and conformance  
of the completed  
weld to the.design  
specification.  
Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim -* Same as that required for Violation  
Item l.a. Long-Term  
-Enhancements  
to plant design control and maintenance  
procedures  
will be made to more effectively  
integrate  
engineering  
into weld specification  
and mately into weld planning and verification:  
Appropriate  
welding codes will be included in the Design Input Checklist (Reference  
2) to "prompt" the design engineer to specify appropriate  
weld requirements (for installation  
and examination)  
in the facility change package as part of both conceptual  
and detailed engineering.  
In addition, a generic guideline  
will be developed  
to support the design engineer throughout  
the weld design process. MI0789-1683A-TC01-NL02  
9 . :*.-...  
....... :. .\ :*_ .. *** '!: *-..... : .: . ' ,\ .. ,.' **::.**.*:-:  
....... :. .\ :*_ .. *** '!: *-..... : .: . ' ,\ .. ,.' **::.**.*:-:  
...   
...   
* * Design control procedures  
*
related to engineering  
* Design control procedures related to engineering analyses (Reference
analyses (Reference  
: 1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. The procedures will also require that sizing calculations be* performed as part of the analysis.
1) will explicitly  
Finally, a technical review checklist will be provided to require that the reviewer ensures that weld information be accurately represented on the analysis drawings.  
require that all drawings accompanying  
-Plant maintenance procedures (Reference
structural/seismic  
: 3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.
analyses provide detailed weld information (type, size, material)  
Relative to weld verification, the design control program and related welding program will be evaluated and enhancements developed as necessary to ensure that administrative and quality verification controls exist to consistently verify that field installation satisfies design requirements (ie, input vs output). Interim actions related to changes to the RIC and !SI group review of the RIC (as described above) will remain in effect
for input to the planner. The procedures  
* Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes and their application to weld installation and examination.
will also require that sizing calculations  
The engineers will also be trained on the above procedural enhancements.
be* performed  
Finally, a program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the weld-related design control and maintenance procedures.
as part of the analysis.  
In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified by engineering, planned by maintenance (with a check on planning by engineering), and in turn, verified by quality control. Date When Full Compliance Will be Achieved The engineering group briefing has been The personal briefings by letter will be issued by September 1, 1989. Procedure enhancements and required training on the enhancements will be completed by January 1, 1990. The program for periodic refresher training will be developed by March 1, 1990. NRC Violation 255/89007-0ld:
Finally, a technical  
EA-T-FC-722-501-01 "Calculation of Acceptance Criteria for Modification Test Procedure T-FC-722-501," January 13, 1987. [Refer to page 16 of NRC Report 50-255/89007(DRS).]
review checklist  
MI0789-1683A-TC01-NL02 10 *:**.  
will be provided to require that the reviewer ensures that weld information  
be accurately  
represented  
on the analysis drawings.  
-Plant maintenance  
procedures (Reference  
3) will require that the maintenance  
planner utilize the contents of the facility change package to complete the RIC in specifying  
for the field weld installation  
and examination ments. The procedure  
will require that the planner consult the Design Input Checklist  
and structural/seismic  
engineering  
analyses.  
Relative to weld verification, the design control program and related welding program will be evaluated  
and enhancements  
developed  
as necessary  
to ensure that administrative  
and quality verification  
controls exist to consistently  
verify that field installation  
satisfies  
design requirements (ie, input vs output). Interim actions related to changes to the RIC and !SI group review of the RIC (as described  
above) will remain in effect * Design and quality assurance  
engineers  
will be trained on the appropriate  
structural  
and piping weld codes and their application  
to weld installation  
and examination.  
The engineers  
will also be trained on the above procedural  
enhancements.  
Finally, a program will be developed  
to periodically  
train design and quality assurance  
engineers  
on the aforementioned  
codes and their application, and on the weld-related  
design control and maintenance  
procedures.  
In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified  
by engineering, planned by maintenance (with a check on planning by engineering), and in turn, verified by quality control. Date When Full Compliance  
Will be Achieved The engineering  
group briefing has been  
The personal briefings  
by letter will be issued by September  
1, 1989. Procedure  
enhancements  
and required training on the enhancements  
will be completed  
by January 1, 1990. The program for periodic refresher  
training will be developed  
by March 1, 1990. NRC Violation  
255/89007-0ld:  
EA-T-FC-722-501-01 "Calculation  
of Acceptance  
Criteria for Modification  
Test Procedure  
T-FC-722-501," January 13, 1987. [Refer to page 16 of NRC Report 50-255/89007(DRS).]  
MI0789-1683A-TC01-NL02  
10 *:**.  
.* ..  
.* ..  
.*. .. . ; . .   
.*. .. . ; . .   
* * Example The calc.ulation  
*
on page 2 of the engineering  
* Example The calc.ulation on page 2 of the engineering analysis states that the total volume of gas contained in the nitrogen bottles at 2000 psig is 209 scf. This value is incorrect in that it is the usable cylinder volume as given in lation EA-FC-722-02.
analysis states that the total volume of gas contained  
The actual volume is approximately 228 scf. By using the incorrect value, the calculated acceptance criteria for pressure drops were higher and, therefore, were nonconservative.
in the nitrogen bottles at 2000 psig is 209 scf. This value is incorrect  
CPCo Response CPCo does not acknowledge this example as a of violation of 10CFR50, Appendix B, Criterion III for the following reasons. 1. As indicated by EA-FC-722-02, the design intent of this modification is to supply a nitr.ogen header pressure from an initial minimum bottle pressure of 2,000 psig down to 150 psig to ensure that the associated control valves would be brought to their safety-related position and maintained in that position for the -required time period.
in that it is the usable cylinder volume as given in lation EA-FC-722-02.  
* 2. In accordance with the design intent of this modification, the usable volume of nitrogen is that volume contained in the bottle from 2,000 psig to 150 psig or 209 scf as calculated by EA-FC-722-02, Sheet 10 of 13. The usable volume of 209 scf is utilized as a conservative value to establish the number of nitrogen bottles required for each station to meet system design requirement.
The actual volume is approximately  
: 3. Although not specifically stated in *the body of EA-T-FC-722-501-01, the value of the "usable" volume of nitrogen (209 scf) was utilized in lishing test acceptance criteria rather than the "total" volume of nitrogen (228 scf) to confirm the design intent, verify estimated leakage rates, and confirm system margins. The test procedure clearly tests the design intent of this modification.
228 scf. By using the incorrect  
Based up_on the above, we feel that this example does not support a violation of lOCFRSO, Appendix B, Criterion III has occurred.
value, the calculated  
However, certain actions will be undertaken to remedy this minor deficiency and prevent its recurrence:
acceptance  
Interim -All design change engineers will be briefed as to the reported violation by personal letter and by engineering group presentation.
criteria for pressure drops were higher and, therefore, were nonconservative.  
The letter briefings will be completed by September 1, 1989. The group presentations were pleted on August 2, 1989. -EA-T-FC-722-Ji will be revised to clearly indicate that "useable" volume has been utilized to calculate the acceptance criteria rather than "total" volume. MI0789-1683A-TC01-NL02 11 . **-.*****:*:  
CPCo Response CPCo does not acknowledge  
--:*;*-: ... :**:*,'. ... . . .. :-. ... ;-: . .;. :: ;*.* .. ...... _ ...... . ':. :*;*.-**
this example as a of violation  
Long-Term The actions identified as being taken in the interim are considered complete and effective in responding to this identified condition; no further action is required.
of 10CFR50, Appendix B, Criterion  
Date When Full Compliance Will be Achieved The engineering analysis will be revised by September 1, 1989. NRC Violation 255/89007-0le:
III for the following  
reasons. 1. As indicated  
by EA-FC-722-02, the design intent of this modification  
is to supply a nitr.ogen  
header pressure from an initial minimum bottle pressure of 2,000 psig down to 150 psig to ensure that the associated  
control valves would be brought to their safety-related  
position and maintained  
in that position for the -required  
time period. * 2. In accordance  
with the design intent of this modification, the usable volume of nitrogen is that volume contained  
in the bottle from 2,000 psig to 150 psig or 209 scf as calculated  
by EA-FC-722-02, Sheet 10 of 13. The usable volume of 209 scf is utilized as a conservative  
value to establish  
the number of nitrogen bottles required for each station to meet system design requirement.  
3. Although not specifically  
stated in *the body of EA-T-FC-722-501-01, the value of the "usable" volume of nitrogen (209 scf) was utilized in lishing test acceptance  
criteria rather than the "total" volume of nitrogen (228 scf) to confirm the design intent, verify estimated  
leakage rates, and confirm system margins. The test procedure  
clearly tests the design intent of this modification.  
Based up_on the above, we feel that this example does not support a violation  
of lOCFRSO, Appendix B, Criterion  
III has occurred.  
However, certain actions will be undertaken  
to remedy this minor deficiency  
and prevent its recurrence:  
Interim -All design change engineers  
will be briefed as to the reported violation  
by personal letter and by engineering  
group presentation.  
The letter briefings  
will be completed  
by September  
1, 1989. The group presentations  
were pleted on August 2, 1989. -EA-T-FC-722-Ji  
will be revised to clearly indicate that "useable" volume has been utilized to calculate  
the acceptance  
criteria rather than "total" volume. MI0789-1683A-TC01-NL02  
11 . **-.*****:*:  
--:*;*-: ... :**:*,'. ... . . .. :-. ... ;-: . .;. :: ;*.* .. ...... _ ...... . ':. :*;*.-**
Long-Term  
The actions identified  
as being taken in the interim are considered  
complete and effective  
in responding  
to this identified  
condition;  
no further action is required.  
Date When Full Compliance  
Will be Achieved The engineering  
analysis will be revised by September  
1, 1989. NRC Violation  
255/89007-0le:  
FC-756 11 HPSI Pump Miniflow Bypass Modification.
FC-756 11 HPSI Pump Miniflow Bypass Modification.
19 [Refer to page 18 of NRC Report 50-255/89007 (DRS).] Example Input into the AOLPIPE, Inc (AOL) piping stress analysis, contained  
19 [Refer to page 18 of NRC Report 50-255/89007 (DRS).] Example Input into the AOLPIPE, Inc (AOL) piping stress analysis, contained in FC-756, contained multiple dimensional differences from the as-built dimensions.
in FC-756, contained  
Bechtel's stress.isolmetric drawing 03378, sheet 4 of 5, Revision 1, and drawing Revision 4, showed a dimension of 29 7/8 inches between pump 66A and the elbow. The as-built dimension is 13 1/2 inches. Both (ADLPIPE, Inc.) AOL's and B.echtel's stress analyses used 27 7/B inches. This dimensional discrepancy was not documented during the NRC IEB 79-14 program, nor was it corrected in Bechtel's and AOL's stress analyses.
multiple dimensional  
Further, this discrepancy is in conflict with the assumptions contained in analysis No CS-ESSR 87-144 that purportedly demonstrated that the Bechtel drawings are correct. The inspector also noted that the input data used in the modification portion of the piping system was inconsistent with as-built drawing No 03378, Sheet 4 of 5, Revision 2. The licensee reviewer was not aware of the above dimensional discrepancies.
differences  
Failure to correctly translate the design into the drawings is considered an example of violation of 10CFR50, Criterion III. Reason for Violation The dimensional discrepancy associated with the 27 7/8 versus 13-1/2 inch lengths was a result of the analyst relying on data being transmitted from the field and not checking the installation personally.
from the as-built dimensions.  
The smaller discrepancies between the ADL and as-built drawing records were recognized by the analyst when he was provided a marked-up drawing of the as-built configuration.
Bechtel's  
The analyst acknowledged receipt of the as-builts via memo and stated that the as-built configuration was acceptable and no reanalysis was required.
stress.isolmetric  
The reason for the violation was inadequate analytical assumption resulting from a failure to perform a system walkdown and failure to follow established dures. Corrective Action Taken and Results Achieved All engineering groups were briefed on the results of this inspection.
drawing 03378, sheet 4 of 5, Revision 1, and drawing  
The briefings were completed on August 2, 1989. The dimensional discrepancies noted have been satisfactoril*y dispositioned and documented.
Revision 4, showed a dimension  
MI0789-1683A-TC01-NL02 12 *::**. -.* ...... .  
of 29 7/8 inches between pump 66A and the elbow. The as-built dimension  
... :* ..... **', ..
is 13 1/2 inches. Both (ADLPIPE, Inc.) AOL's and B.echtel's  
* Corrective Actions to be Taken to Avoid Further Non Compliance The following corrective actions will be taken to prevent Interim Same as that required for Violation Item 1.a. Long Term Procedural enhancements will be made to ensure  
stress analyses used 27 7/B inches. This dimensional  
-The analyst "walks down" the area of interest *to confirm all as-built (or intended as-built) data is utilized in the analysis.
discrepancy  
This confirmation must be made prior to declaring modified structures or equipment operable.  
was not documented  
-By approval of the facility change "Responsible Engineer, 11 the above bility for as-built data confirmation may be delegated to field construction by controlled procedure or work order instruction.  
during the NRC IEB 79-14 program, nor was it corrected  
-In the event the analyst concludes that no further "analysis" is necessary, the reconciliation of such shall be documented as part of a controlled analysis revision which ensures technical review. A program will be developed  
in Bechtel's  
*to provide refresher training on design change related prQcedures.
and AOL's stress analyses.  
This training will be directed towards all design change engineers.
Further, this discrepancy  
_ Finally, a portion of the Configuration Control Projec.t involves the walkdown and field verification of piping as-built dimensions to confirm the accuracy of our stress isometric drawings.
is in conflict with the assumptions  
Verification of the stress isometric ings for a sample system is planned for 1990 to assess theneed and extent of further verification activities.
contained  
CPCo will perform any required walkdowns by no later than the 1990 refueling outage. Date When Full Compliance Will be Achieved Personal briefings by letter will be issued* by September 1, 1989. Procedural enhancements and required training on the enhancements will be completed by January 1, 1990. The periodic training program will be in place by March 1, 1990. Walkdown and field verification of stress isometric drawings requiring verification will be completed by the 1990 refueling outage. ' NRC Vio*lation 255/89007-0lf:
in analysis No CS-ESSR 87-144 that purportedly  
FC-756 "HPSI Pump Miniflow Bypass Modification." [Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example The as-built sketch used in the analysis for FC-756 contained a nine inch dimensional error. MI0789-1683A-TC01-NL02.
demonstrated  
13 *:.:*:: ** . *' ... . i.: .*
that the Bechtel drawings are correct. The inspector  
_ .. * . ,, .. *-* :-*._:: ... ; . . ' . : :: ... :. ' ........
also noted that the input data used in the modification  
The as-built sketch for the modification near pump 66A was sent from the site to the engineering office for review. The inspector noted that this sketch contained.a dimensional error. the 2 1-6 1/2" dimension was incorrectly marked on the sketch. This dimension was off by nine inches. Failure to correctly translate the design into the drawing is considered an example of violation of lOCFRSOP Appendix B, Criterion III. Reason for Violation As a result of required piping changes for this modification, a seismic analysis and Stress Package 03378 update were requested by the site. Included with the request were M-107 Sh 2247/2248 which indicated the existing configuration, and proposed modification.
portion of the piping system was inconsistent  
Using the drawings as input 1 the system was modeled on ADLPIPE to generate the system stresses after the modification.
with as-built drawing No 03378, Sheet 4 of 5, Revision 2. The licensee reviewer was not aware of the above dimensional  
The existing drawings (sent as part of the request) were marked "Issued As-Built per NRC IE Bulletin 79-14.11 After the analysis was performed, a pre-installation walkdown was performed.
discrepancies.  
During the walkdown the referenced dimensional discrepancy was noted. The seismic analyst was contacted to evaluate the change. As a resultp the analyst issued a letter stating *that since stresses in the area were low, based on his judgement, the change was acceptable.
Failure to correctly  
When the construction was complete, the seismic analyst compared the as-built to the dimensions used in the preliminary analysis.
translate  
It was determined the analysis was acceptable with the dimensional variance .... Stress Package 03378 was annotated to reflect this information.
the design into the drawings is considered  
The above-information describes*
an example of violation  
the circumstances surrounding.the modification however does not indicate a root cause. The discrepancy is not directly related to the modification except that the modification brought a previous error to light. That is, the drawings used were certified as being dimensionally correct per Bulletin 79-14, when in reality there was an error. Corrective Action Taken and Results Achieved The engineering groups were briefed as to the inspection results. These ings were completed on August 2, 1989. The above noted discrepancy has been satisfactorily  
of 10CFR50, Criterion  
*dispositioned by analysis.
III. Reason for Violation  
Corrective Actions to be Taken to Avoid Further Non Compliance The. following corrective actions will be taken to prevent recurrence:
The dimensional  
Interim Same as that required for Violation Icem l.a. Long-Term  
discrepancy  
*The "long-term" actions prescribed for Violation Item l .e will prevent rence. MI0789-1683A-TC01-NL02 14 .  
associated  
with the 27 7/8 versus 13-1/2 inch lengths was a result of the analyst relying on data being transmitted  
from the field and not checking the installation  
personally.  
The smaller discrepancies  
between the ADL and as-built drawing records were recognized  
by the analyst when he was provided a marked-up  
drawing of the as-built configuration.  
The analyst acknowledged  
receipt of the as-builts  
via memo and stated that the as-built configuration  
was acceptable  
and no reanalysis  
was required.  
The reason for the violation  
was inadequate  
analytical  
assumption  
resulting  
from a failure to perform a system walkdown and failure to follow established dures. Corrective  
Action Taken and Results Achieved All engineering  
groups were briefed on the results of this inspection.  
The briefings  
were completed  
on August 2, 1989. The dimensional  
discrepancies  
noted have been satisfactoril*y  
dispositioned  
and documented.  
MI0789-1683A-TC01-NL02  
12 *::**. -.* ...... .  
... :* ..... **', ..
* Corrective  
Actions to be Taken to Avoid Further Non Compliance  
The following  
corrective  
actions will be taken to prevent  
Interim Same as that required for Violation  
Item 1.a. Long Term Procedural  
enhancements  
will be made to ensure  
-The analyst "walks down" the area of interest *to confirm all as-built (or intended as-built)  
data is utilized in the analysis.  
This confirmation  
must be made prior to declaring  
modified structures  
or equipment  
operable.  
-By approval of the facility change "Responsible  
Engineer, 11 the above bility for as-built data confirmation  
may be delegated  
to field construction  
by controlled  
procedure  
or work order instruction.  
-In the event the analyst concludes  
that no further "analysis" is necessary, the reconciliation  
of such shall be documented  
as part of a controlled  
analysis revision which ensures technical  
review. A program will be developed  
*to provide refresher  
training on design change related prQcedures.  
This training will be directed towards all design change engineers.  
_ Finally, a portion of the Configuration  
Control Projec.t involves the walkdown and field verification  
of piping as-built dimensions  
to confirm the accuracy of our stress isometric  
drawings.  
Verification  
of the stress isometric ings for a sample system is planned for 1990 to assess theneed and extent of further verification  
activities.  
CPCo will perform any required walkdowns  
by no later than the 1990 refueling  
outage. Date When Full Compliance  
Will be Achieved Personal briefings  
by letter will be issued* by September  
1, 1989. Procedural  
enhancements  
and required training on the enhancements  
will be completed  
by January 1, 1990. The periodic training program will be in place by March 1, 1990. Walkdown and field verification  
of stress isometric  
drawings requiring  
verification  
will be completed  
by the 1990 refueling  
outage. ' NRC Vio*lation  
255/89007-0lf:  
FC-756 "HPSI Pump Miniflow Bypass Modification." [Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example The as-built sketch used in the analysis for FC-756 contained  
a nine inch dimensional  
error. MI0789-1683A-TC01-NL02.  
13 *:.:*:: ** . *' ... . i.: .*  
_ .. * . ,, .. *-* :-*._:: ... ; . . ' . : :: ... :. ' ........
The as-built sketch for the modification  
near pump 66A was sent from the site to the engineering  
office for review. The inspector  
noted that this sketch contained.a  
dimensional  
error. the 2 1-6 1/2" dimension  
was incorrectly  
marked on the sketch. This dimension  
was off by nine inches. Failure to correctly  
translate  
the design into the drawing is considered  
an example of violation  
of lOCFRSOP Appendix B, Criterion  
III. Reason for Violation  
As a result of required piping changes for this modification, a seismic analysis and Stress Package 03378 update were requested  
by the site. Included with the request were M-107 Sh 2247/2248  
which indicated  
the existing configuration, and proposed modification.  
Using the drawings as input 1 the system was modeled on ADLPIPE to generate the system stresses after the modification.  
The existing drawings (sent as part of the request) were marked "Issued As-Built per NRC IE Bulletin 79-14.11 After the analysis was performed, a pre-installation  
walkdown was performed.  
During the walkdown the referenced  
dimensional  
discrepancy  
was noted. The seismic analyst was contacted  
to evaluate the change. As a resultp the analyst issued a letter stating *that since stresses in the area were low, based on his judgement, the change was acceptable.  
When the construction  
was complete, the seismic analyst compared the as-built to the dimensions  
used in the preliminary  
analysis.  
It was determined  
the analysis was acceptable  
with the dimensional  
variance .... Stress Package 03378 was annotated  
to reflect this information.  
The above-information  
describes*  
the circumstances  
surrounding.the  
modification  
however does not indicate a root cause. The discrepancy  
is not directly related to the modification  
except that the modification  
brought a previous error to light. That is, the drawings used were certified  
as being dimensionally  
correct per Bulletin 79-14, when in reality there was an error. Corrective  
Action Taken and Results Achieved The engineering  
groups were briefed as to the inspection  
results. These ings were completed  
on August 2, 1989. The above noted discrepancy  
has been satisfactorily  
*dispositioned  
by analysis.  
Corrective  
Actions to be Taken to Avoid Further Non Compliance  
The. following  
corrective  
actions will be taken to prevent recurrence:  
Interim Same as that required for Violation  
Icem l.a. Long-Term  
*The "long-term" actions prescribed  
for Violation  
Item l .e will prevent rence. MI0789-1683A-TC01-NL02  
14 .  
..... ,, --.  
..... ,, --.  
*:. -  
*:. -
* Date When Full Compliance  
* Date When Full Compliance Will be Achieved The dates established for.actions related to Violation Item l.e apply here as well. NRC Violation 255/89007-0lg:
Will be Achieved The dates established  
FC-756 "HPSI Pump Miniflow Bypass Modification.eu
for.actions  
[Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example Pipe support drawings in p1p1ng support Calculation No 03378 of FC-756 did not adequately describe the required weld sizes. Pipe support drawings DCl-8198.1 and DC1-Hl96.2 contained in support tion No 03378 were reviewed.
related to Violation  
The inspector found that one drawing showed fillet welds at the structural joints but no weld sizes were specified.
Item l.e apply here as well. NRC Violation  
The other drawing showed a 3/16 inch fillet weld with a note "assumed." As a result, the design bases of the welds were not adequately translated into the drawings.
255/89007-0lg:  
CPCo Response As part of the evaluation of this example, M-107 Sh 2254/2255 were reviewed which are detail drawings for the subject hangers. The two ports *cited were not modified or installed as part of FC-756. The supports were only evalua.ted regarding stresses in relation to the modification.
FC-756 "HPSI Pump Miniflow Bypass Modification.eu  
In both cases, the_drawings are Rev 0 and are issued as-built per IE Bulletin 79-14. It appear-s that this is a situation where documentation from the 79-14 effort may not be completely However, when past discrepancies were identified, there was no signficant impact on analytical conclusion.
[Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example Pipe support drawings in p1p1ng support Calculation  
Neither drawing DC1-H198.l nor DC2-Hl96.2 were utilized as design input to FC-756. After further discussion on this issue with NRC Region III via telecon on July 26, 1989 and review of the drawings referenced by the inspector, it was determined that these drawings were initial IEB 79-14 calculation file ings of preliminary status. These drawings do not represent the final hanger detail drawings referenced above. Since these calculation file drawings are not "record" drawings reflecting as-built condition, and are not referenced (by intent) in our Facility Change Design Document Checklist, they are not input to our facility change process. No further action is required since neither a design change control deficiency nor inaccurate record (as-built) document exists. Therefore, CPCo does not acknowledge this example. However, reference example e. for actions to be taken to ensure accurate dimensions are utilized as* analysis inputs. NRC Violation 255/87007-0lh:
No 03378 of FC-756 did not adequately  
FC-731 "Regulatory Guide 1.97 Transmitter Replacement." [Refer to pages 19 and 20 of NRC Report 50-255/89007 (DRS).] Example The seismic stress calculation assumed an incorrect center of gravity which was not identified during the checking process.
describe the required weld sizes. Pipe support drawings DCl-8198.1  
and DC1-Hl96.2  
contained  
in support tion No 03378 were reviewed.  
The inspector  
found that one drawing showed fillet welds at the structural  
joints but no weld sizes were specified.  
The other drawing showed a 3/16 inch fillet weld with a note "assumed." As a result, the design bases of the welds were not adequately  
translated  
into the drawings.  
CPCo Response As part of the evaluation  
of this example, M-107 Sh 2254/2255  
were reviewed which are detail drawings for the subject hangers. The two ports *cited were not modified or installed  
as part of FC-756. The supports were only evalua.ted  
regarding  
stresses in relation to the modification.  
In both cases, the_drawings  
are Rev 0 and are issued as-built per IE Bulletin 79-14. It appear-s that this is a situation  
where documentation  
from the 79-14 effort may not be completely  
However, when past discrepancies  
were identified, there was no signficant  
impact on analytical  
conclusion.  
Neither drawing DC1-H198.l  
nor DC2-Hl96.2  
were utilized as design input to FC-756. After further discussion  
on this issue with NRC Region III via telecon on July 26, 1989 and review of the drawings referenced  
by the inspector, it was determined  
that these drawings were initial IEB 79-14 calculation  
file ings of preliminary  
status. These drawings do not represent  
the final hanger detail drawings referenced  
above. Since these calculation  
file drawings are not "record" drawings reflecting  
as-built condition, and are not referenced (by intent) in our Facility Change Design Document Checklist, they are not input to our facility change process. No further action is required since neither a design change control deficiency  
nor inaccurate  
record (as-built)  
document exists. Therefore, CPCo does not acknowledge  
this example. However, reference  
example e. for actions to be taken to ensure accurate dimensions  
are utilized as* analysis inputs. NRC Violation  
255/87007-0lh:  
FC-731 "Regulatory  
Guide 1.97 Transmitter  
Replacement." [Refer to pages 19 and 20 of NRC Report 50-255/89007 (DRS).] Example The seismic stress calculation  
assumed an incorrect  
center of gravity which was not identified  
during the checking process.  
15 . *.*:.,*-*  
15 . *.*:.,*-*  
-.-.:*-**  
-.-.:*-**  
*.** '* .:: *:_.: '! ... ,' . _..,,-. '* .* .*.,** .:*::.'.-  
*.** '* .:: *:_.: '! ... ,' . _..,,-. '* .* .*.,** .:*::.'.-
* The analysis criteria shown on page 3 required the center of gravity (CG) of the instruments/equipment  
* The analysis criteria shown on page 3 required the center of gravity (CG) of the instruments/equipment to be considered in the seismic stress calculationso A review of the rack support bent plate on page 27 found that the CG of the instruments was not considered in the seismic stress calculations.
to be considered  
As a the forces and moments at the rack support attachment were inadequately lated. Reason for Violation The analysis addresses the adequacy of instrument racks inside the containment building.
in the seismic stress calculationso  
For the GWO 7906, FC-731 job, the work involved modifying all four instrument racks. Three of the racks are tied together while the fourth one is by itself. The racks are made out of Unistrut attaching to the containment liner plate using bent plates. The instruments are mounted on the mounting plate which in turn is* bolted to the Unistrut.
A review of the rack support bent plate on page 27 found that the CG of the instruments  
Analytical error based on the failure to consider the center of gravity is acknowledged.
was not considered  
The reason for this is an error made by the analyst, inadequate technical review and.failure to follow established procedures.
in the seismic stress calculations.  
Corrective Action Taken and Results Achieved and the The analysis has been revised to include the center of gravity analytical results represent an acceptable as-built condition.
As a  
groups have been briefed as to the results of this* inspection.
the forces and moments at the rack support attachment  
were completed on August 2, 1989. All engineering These briefings Corrective,Actions to be Taken to Avoid.Further Non Compliance To prevent recurrence of this or similar discrepancies, the following corrective actions will be taken: Interim Same* as* that required for Violation Item* La. Long-Term The Plant Administrative Procedure will be enhanced by the incorporation of a technical review checklist consisting of a comprehensive set of review "prompts." One of the "prompts" will require that the reviewer ensure that all analysis objectives be carried through to completion.  
were inadequately lated. Reason for Violation  
' In addition, a program will be developed to provide periodic refresher training to all design engineers on design change-related administrative procedures.
The analysis addresses  
Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. Procedural enhancements, as well as required training on the enhancements, will be pleted by January 1, 1990. The program for periodic refresher training will be in place by March 1, 1990. MI0789-1683A-TC01-NL02 16 *.:.
the adequacy of instrument  
* NRC Violation 255 /89007-0li:
racks inside the containment  
FC-731 "Regulatory Guide 1. 97 Transmitter Replacement." [Refer to page 20 of NRC Report 50-255/89007 (DRS).] Example The calculated bending stress "fbx" shown on page 27 of the analysis was in error. The 5,645 psi should be 5,976 psi. The checker did not identify this calculational error. Reason for Violation Analytical error based on the inaccurate bending stress is acknowledged.
building.  
The analysis has been revised to incorporate the accurate "fbx" value and the analytical results represent an acceptable as-built condition.
For the GWO 7906, FC-731 job, the work involved modifying  
Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of this inspection.
all four instrument  
These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance To prevent recurrence of this or similar discrepancies, the following corrective actions will be taken: Interim Same as that required for Violation Item La. Long-Term*
racks. Three of the racks are tied together while the fourth one is by itself. The racks are made out of Unistrut attaching  
Same as that required for Violation Item l.h with the exception that a "prompt" will be included on the technical review checklist to require that the reviewer verify the accuracy of all analysis calculations.
to the containment  
Date When Full Compliance Will be Achieved The dates specified for Violation Item l.h apply to this item also. NRC Violation 255/89007-0lj:
liner plate using bent plates. The instruments  
FC-567 "Core Cooling Instrumentation Modification." [Refer to page 22 of NRC Report 50-255/89007 (DRS).] Example FC-567 did not address the impact of the increased load on the inverters, bypass regulators on the battery chargers.
are mounted on the mounting plate which in turn is* bolted to the Unistrut.  
The inspector observed that the licensee performed calculations to analyze the impact of the increased loading on the preferred AC bus supply breakers, cabling to the preferred busses from their respective inverters and on the DC batteries.
Analytical  
However, no calculations or analyses were evident which addressed MI0789-1683A-TC01-NL02 17 . . :_ . =** *; ..... ... : . . .. **. ::: :.   
error based on the failure to consider the center of gravity is acknowledged.  
. :.' ..... -. the impact on the inverters, bypass regulator or the DC system battery chargers.
The reason for this  
This resulted in a concern for the capability and capacity of these Class lE systems to perform their safety-related functions.
is an error made by the analyst, inadequate  
The inspector concluded that the licensee had failed to employ adequate design controls during the design stage of the facility change in that the full impact of the increased loading was not analyzed.
technical  
In response to the inspector's cern, the licensee verified the present loading on the respective inverters and battery chargers which includes the increase resulting from the instrumentation additions.
review and.failure  
The inspector concurs that based on the licensee's reported inverter and battery charger outputs, plus the anticipated emergency loading, per the Design Basis document, the inverters, bypass regulator and battery chargers will not be overloaded.
to follow established  
However, the licensee failed to employ adequate design controls which would have included analyses of all impacted components.
procedures.  
Reason for Violation Facility Change FC-567 (Core Cooling Instrumentation) added a Reactor Vessel Level Monitoring System (RVLMS) to the plant design. Addition of this system resulted in an increased load of 600VA on each of preferred busses, YlO and Y20, the associated DC to AC inverters, bypass regulator and DC system. In reviewing this design change, the inspector identified that, although the effect of the increased load on the batteries was determined, the facility change did .not. address the impact of the increased load on the inverters, bypass regulator or the battery chargers * . * . The apparent failure to adequately verify and check design resulted from inadequate documentation of assumptions and engineering judgement utilized to determine the impact of the load additions to the preferred busses. The effect of the load increase on the batteries was determined based on the undocumented assumption that the batteries were the limiting component.
Corrective  
In order to mine the effect of the increased load on the batteries, the new loading on each of the preferred buses and thus the loading on each of the inverters was determined.
Action Taken and Results Achieved and the The analysis has been revised to include the center of gravity analytical  
No documentation was provided, however, comparing the revised load on the invertors against their design. rating. A similar situation existed for the battery chargers.
results represent  
The new battery load profile was determined based on the increased loads, however, no documentation of the effect of the new load profile on the battery charges was provided.
an acceptable  
Subsequent evaluations have been performed to document that the load additions to the preferred buses performed by FC-567 did not result in overloading inverter, battery charger or bypass regulator.
as-built condition.  
The results of these evaluations are summarized below: 1. The maximum loadings on the YlO and Y20 buses during emergency conditions are 4378VA and 5456VA respectively.
groups have been briefed as to the results of this* inspection.  
This includes the loads added by FC-567. The design rating of the invertors is 6000VA and thus the tors are not overloaded.
were completed  
MI0789-1683A-TC01-NL02 18 ., .... .._: .*  
on August 2, 1989. All engineering  
These briefings  
Corrective,Actions  
to be Taken to Avoid.Further  
Non Compliance  
To prevent recurrence  
of this or similar discrepancies, the following  
corrective  
actions will be taken: Interim Same* as* that required for Violation  
Item* La. Long-Term  
The Plant Administrative  
Procedure  
will be enhanced by the incorporation  
of a technical  
review checklist  
consisting  
of a comprehensive  
set of review "prompts." One of the "prompts" will require that the reviewer ensure that all analysis objectives  
be carried through to completion.  
' In addition, a program will be developed  
to provide periodic refresher  
training to all design engineers  
on design change-related  
administrative  
procedures.  
Date When Full Compliance  
Will be Achieved The personal briefings  
letter will be issued by September  
1, 1989. Procedural  
enhancements, as well as required training on the enhancements, will be pleted by January 1, 1990. The program for periodic refresher  
training will be in place by March 1, 1990. MI0789-1683A-TC01-NL02  
16 *.:.
* NRC Violation  
255 /89007-0li:  
FC-731 "Regulatory  
Guide 1. 97 Transmitter  
Replacement." [Refer to page 20 of NRC Report 50-255/89007 (DRS).] Example The calculated  
bending stress "fbx" shown on page 27 of the analysis was in error. The 5,645 psi should be 5,976 psi. The checker did not identify this calculational  
error. Reason for Violation  
Analytical  
error based on the inaccurate  
bending stress is acknowledged.  
The analysis has been revised to incorporate  
the accurate "fbx" value and the analytical  
results represent  
an acceptable  
as-built condition.  
Corrective  
Action Taken and Results Achieved All engineering  
groups have been briefed as to the results of this inspection.  
These briefings  
were completed  
on August 2, 1989. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
To prevent recurrence  
of this or similar discrepancies, the following  
corrective  
actions will be taken: Interim Same as that required for Violation  
Item La. Long-Term*  
Same as that required for Violation  
Item l.h with the exception  
that a "prompt" will be included on the technical  
review checklist  
to require that the reviewer verify the accuracy of all analysis calculations.  
Date When Full Compliance  
Will be Achieved The dates specified  
for Violation  
Item l.h apply to this item also. NRC Violation  
255/89007-0lj:  
FC-567 "Core Cooling Instrumentation  
Modification." [Refer to page 22 of NRC Report 50-255/89007 (DRS).] Example FC-567 did not address the impact of the increased  
load on the inverters, bypass regulators  
on the battery chargers.  
The inspector  
observed that the licensee performed  
calculations  
to analyze the impact of the increased  
loading on the preferred  
AC bus supply breakers, cabling to the preferred  
busses from their respective  
inverters  
and on the DC batteries.  
However, no calculations  
or analyses were evident which addressed  
MI0789-1683A-TC01-NL02  
17 . . :_ . =** *; ..... ... : . . .. **. ::: :.   
. :.' ..... -. the impact on the inverters, bypass regulator  
or the DC system battery chargers.  
This resulted in a concern for the capability  
and capacity of these Class lE systems to perform their safety-related  
functions.  
The inspector  
concluded  
that the licensee had failed to employ adequate design controls during the design stage of the facility change in that the full impact of the increased  
loading was not analyzed.  
In response to the inspector's cern, the licensee verified the present loading on the respective  
inverters  
and battery chargers which includes the increase resulting  
from the instrumentation  
additions.  
The inspector  
concurs that based on the licensee's  
reported inverter and battery charger outputs, plus the anticipated  
emergency  
loading, per the Design Basis document, the inverters, bypass regulator  
and battery chargers will not be overloaded.  
However, the licensee failed to employ adequate design controls which would have included analyses of all impacted components.  
Reason for Violation  
Facility Change FC-567 (Core Cooling Instrumentation)  
added a Reactor Vessel Level Monitoring  
System (RVLMS) to the plant design. Addition of this system resulted in an increased  
load of 600VA on each of preferred  
busses, YlO and Y20, the associated  
DC to AC inverters, bypass regulator  
and DC system. In reviewing  
this design change, the inspector  
identified  
that, although the effect of the increased  
load on the batteries  
was determined, the facility change did .not. address the impact of the increased  
load on the inverters, bypass regulator  
or the battery chargers * . * . The apparent failure to adequately  
verify and check design resulted from inadequate  
documentation  
of assumptions  
and engineering  
judgement  
utilized to determine  
the impact of the load additions  
to the preferred  
busses. The effect of the load increase on the batteries  
was determined  
based on the undocumented  
assumption  
that the batteries  
were the limiting component.  
In order to mine the effect of the increased  
load on the batteries, the new loading on each of the preferred  
buses and thus the loading on each of the inverters  
was determined.  
No documentation  
was provided, however, comparing  
the revised load on the invertors  
against their design. rating. A similar situation  
existed for the battery chargers.  
The new battery load profile was determined  
based on the increased  
loads, however, no documentation  
of the effect of the new load profile on the battery charges was provided.  
Subsequent  
evaluations  
have been performed  
to document that the load additions  
to the preferred  
buses performed  
by FC-567 did not result in overloading inverter, battery charger or bypass regulator.  
The results of these evaluations  
are summarized  
below: 1. The maximum loadings on the YlO and Y20 buses during emergency  
conditions  
are 4378VA and 5456VA respectively.  
This includes the loads added by FC-567. The design rating of the invertors  
is 6000VA and thus the tors are not overloaded.  
MI0789-1683A-TC01-NL02  
18 ., .... .._: .*  
*: *. * .....  
*: *. * .....  
.. *.-.,: .. *;-*: **.***.***  
.. *.-.,: .. *;-*: **.***.***  
.. ** .. *. *.".: '*':.':-__ ._ .. _* . ....... *\ '.: .. ;.*-o*.** . ,, . : .... **_ cl I .!   
.. ** .. *. *.".: '*':.':-__ ._ .. _* . ....... *\ '.: .. ;.*-o*.** . ,, . : .... **_ cl I .!   
. ' * -* _._ .. _. . ... ..... * ... 2. The steady state constant DC current requirements  
. ' * -* _._ .. _. . ... ..... * ... 2. The steady state constant DC current requirements during emergency tions is 253 amps for the most heavily loaded battery (Battery No 2) after approximately ten minutes. This is less than the 400 amp combined rating of the two battery chargers connected to each DC bus. The battery chargers thus have sufficient capacity to provide the DC steady state load with capacity remaining for restoration of the batteries following the discharge during the first ten minutes. 3. The bypass regulator is utilized to provide temporary power to a preferred bus from a non-class lE source to allow maintenance to be performed on an inverter.
during emergency tions is 253 amps for the most heavily loaded battery (Battery No 2) after approximately  
The initial response made to the inspector regarding operation of the bypass regulator was incorrect.
ten minutes. This is less than the 400 amp combined rating of the two battery chargers connected  
The bypass regulator is not shed during accident conditions and could be subject to the emergency load. Operation with the bypass regulator energizing the preferred buses is, however, restricted by Administrative Procedures to less than 24 hours (eight hours for some buses). This restriction minimizes the amount of time that the bypass regulator would be subject to providing power to a preferred bus during accident conditions.
to each DC bus. The battery chargers thus have sufficient  
The limiting component of the bypass regulator is the isolation transformer*
capacity to provide the DC steady state load with capacity remaining  
This transformer is rated at 5000VA. As discussed earlier, the maximum loading on bus Y20 is 5456VA. Thus the load on the bypass regulator could be exceeded if it were connected to bus Y20 during an emergency condition.
for restoration  
This discrepancy had been previously identified by the Configuration Control Project and Discrepancy Report F-CG-88-002 was initiated.
of the batteries  
This discrepancy was quently closed out by assuring that the output voltage of the bypass regulator will be maintained at acceptable levels at up to 150% of the nameplate rating of the tr...an*sformer.
following  
Corrective Action Taken and Results Achieved All engineering groups havebeen briefed on the results of this inspection.
the discharge  
These briefings were completed on August 2, 1989. -An engineering analysis was per.formed documenting that the inverter and
during the first ten minutes. 3. The bypass regulator  
* battery charger were not overloaded as a result of this modification.  
is utilized to provide temporary  
-The Configuration Control Project had.previously identified the concern with the bypass regulator and has subseq'uently resolved and closed out the crepancy.
power to a preferred  
Corrective Actions to be Taken to Avoid Further Non Compliance To prevent recurrence of this or similar discrepancies, *the following corrective actions have or will be taken: Interim Same as that required for Violation Item l.a
bus from a non-class  
* MI0789-1683A-TC01-NL02 19 *.*:-: * .. " .-* *,::: >*'. -:-,,. .. ........ **. *'* ----  
lE source to allow maintenance  
*
to be performed  
* Long Term Upgrades have been initiated to our station load analysis program to account for full aystem impact of load additions.
on an inverter.  
In the the load carry1ng ability of load carrying components will be assessed in addition to assessing power supplies.
The initial response made to the inspector  
Specifically, the load carrying capability of the battery chargers and preferred power inverters will be assessed, along with battery capacity whenever load is added to the 120V preferred AC system. Periodic training as proposed for Violation Item l.a will feature the ities of modifications support groups such as: Power Resources and Systems Planning (for load addition and -Systems Protection and Planning (for breaker and -Energy Supply Services Civil Section (for structural analyses).
regarding  
It is expected that this training wil-1 maintain the design engineer's awareness as to what must be taken into account when adding electrical or mechanical load to plant systems. Date When Full Compliance Will be Achieved Personal briefings letter will be issued by September 1, 1989. The station load analysis program upgrades will be completed by September 1, 1989. A gram for the periodic training on the capabilities of support groups will be in place by -March 1, 1990. NRC Violation 25S/89007-0lk:
operation  
FC-760-02 "Control Room Emergency Lighting." [Refer to pages 23.and 24 of NRC Report 50-255/89007 (DRS).] Example This FCcontained an unverified assumption in that the assumption that emergency lighting fixtures were rigit was never proven. Engineering Analysis EA-FC-760-2-001 was performed to analyze the mounting of the lighting fixtures to be installed.
of the bypass regulator  
Section V of this document, referring to the DC lighting fixtures, states in part "Assume the lighting fixture is rigid **** " This assumption is not justified in the analysis document and, in fact, the fixture (McMasters-Carr Lampholder, Catalog No 1700Kl2) employs a swivel joint. The lighting fixtures are not safety-related, but mounting is considered critical since they are in the control room and failure could endanger personnel or safety-related devices
was incorrect.  
* MI0789-1683A-TC01-NL02 20 : * .. *:-. -**-. . .. .  
The bypass regulator  
-*. ' **:*:.-:***
is not shed during accident conditions  
Reason for Violation The McMasters-Carr Lampholder, Catalog No 1700Kl2 fixture has been used for the control room emergency lighting design associated with The fixture employs a swivel joint for adjusting only. The adjustment is made in one plane only. The mechanism used is a bolted connection and the lamp tion is fixed in place by the friction from tightening the bolt. Tightening the bolt keeps the joint tight in service and keeps it from swiveling.
and could be subject to the emergency  
The assumption of rigidity of the fixture service was based upon the analyst's interpretation of catalog data. That assumption is considered appropriate.
load. Operation  
Plant administrative design control procedures required, and currently that all analytical assumptions be documented, acknowledged in terms of icance and technically reviewed (Reference 1). The identified discrepancy results from failure to implement this procedural requirement.
with the bypass regulator  
Corrective Action Taken and Results Achieved All e.ngineering groups have .. been briefed as to the results of this inspection.
energizing  
The briefings were completed on August 2, 1989. Corrective-Actions to be Taken to Avoid Further Non Compliance Interim
the preferred  
* Same* as that required for Violation Item 1.a.
buses is, however, restricted  
* Long-Terni-
by Administrative  
-Develop a program to provide periodic refresher training on "the requirements of plant administrative design change procedures related to engineering analyses.
Procedures  
Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. The program for periodic refresher training will be in place by March 1, 1990. NRC Violation 255/89007-011:
to less than 24 hours (eight hours for some buses). This restriction  
SC-87-090 Water Leak Detection Set Point.'' [Refer to page 27 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-090 changed the Service Water (SW) leak detection set point from 75 gpm to 300 gpm verifying what size of SW piping break in the containment air coolers would result in a 300 gpm delta-flow alarm
minimizes  
* MI0789-1683A-TC01-NL02 21 -.... * *** *i,.. :. * .. *:. -... . -.
the amount of time that the bypass regulator  
* CPCo Response The containment SW leak detection system monitors SW flow into and out of the reactor building and provides an alarm in the control room when a preset differential flow is exceeded.
would be subject to providing  
SC-87-090 changed the differential flow alarm set point from 75 gpm to 300 gpm. The instrumentation loops for the leak detection system consist of flow elements 1 differential pressure transmitters with square root output and a differential flow switch with a time delay output. A time delay of approximately 15 seconds is incorporated to eliminate nuisance alarms due to flow noise spikes and still allow timely indication of leakage. The SW leak detection system is utilized as a post accident monitor. During accident conditions, without all control rods water leaking inside the containment building can dilute the containment building sump water to a boron concentration low enough to allow the reactor to return to a power state. As noted in Engineering Analysis EA-SC-87-090-1, the basis for the original alarm set point of 75 gpm was engineering judgement.
power to a preferred  
Further, the new 300 gpm set.point.was selected based on the total inaccuracies of the instrumentation loop, times the full scale flow of the transmitters.
bus during accident conditions.  
Use of instrument acies within the engineering analysis provides a conservative determination based on instrument capabilities.
The limiting component  
As noted in the inspection report, the engineering analysis did not provide justification that the set point meets the design intent of the SW leak tion systeqi..
of the bypass regulator  
However, the adequacy of the set point with respect to the tion system.design intent was presented and evaluated as part of the written l0CFR50.5-9  
is the isolation  
.. (Safety Evaluation) analysis for the SC. The safety evaluation is part of the SC package and was reviewed with other supporting documentation comprising the SC package by the Plant Review Committee (PRC) on March 2, 1987. Therefore, Consumers Power Company does not acknowledge this example as a lation of 10CFR50, Appendix B, Criterion III. NRC Violation 255/89007-0lm:
transformer*  
SC-87-163 "Upgrade Feedwater Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-163 added a series voltage zener diode to the feedwater flow transmitter instrument loop for Transmitter Nos FT-0701 and FT-0703 without specifying the required zener diode design parameters.
This transformer  
Reason for Violation upgraded FW flow transmitters FT-0701 and FT-0703 to Rosemount units. The supply voltage requirements for an 1151 DP transmitter is 12 Vdc to 45 Vdc (4 mA to 20 mA current loop). The transmitter will operate within this voltage range as a function of load resistance.
is rated at 5000VA. As discussed  
The load resistance for the FW flow transmitters is approximately 300 ohms. The nominal supply voltage requirements for the transmitter as determined from the Rosemount functional specifications was approximately 19 Vdc. MI0789-1683A-TC01-NL02 22 *__:_-.*-:-
earlier, the maximum loading on  
bus Y20 is 5456VA. Thus the load on the bypass regulator  
could be exceeded if it were connected  
to bus Y20 during an emergency  
condition.  
This discrepancy  
had been previously  
identified  
by the Configuration  
Control Project and Discrepancy  
Report F-CG-88-002  
was initiated.  
This discrepancy  
was quently closed out by assuring that the output voltage of the bypass regulator  
will be maintained  
at acceptable  
levels at up to 150% of the nameplate  
rating of the tr...an*sformer.  
Corrective  
Action Taken and Results Achieved All engineering  
groups havebeen briefed on the results of this inspection.  
These briefings  
were completed  
on August 2, 1989. -An engineering  
analysis was per.formed  
documenting  
that the inverter and * battery charger were not overloaded  
as a result of this modification.  
-The Configuration  
Control Project had.previously  
identified  
the concern with the bypass regulator  
and has subseq'uently  
resolved and closed out the crepancy.  
Corrective  
Actions to be Taken to Avoid Further Non Compliance  
To prevent recurrence  
of this or similar discrepancies, *the following  
corrective  
actions have or will be taken: Interim Same as that required for Violation  
Item l.a * MI0789-1683A-TC01-NL02  
19 *.*:-: * .. " .-* *,::: >*'. -:-,,. .. ........ **. *'* ----  
* * Long Term Upgrades have been initiated  
to our station load analysis program to account for full aystem impact of load additions.  
In the  
the load carry1ng  
ability of load carrying components  
will be assessed in addition to assessing  
power supplies.  
Specifically, the load carrying capability  
of the battery chargers and preferred  
power inverters  
will be assessed, along with battery capacity whenever load is added to the 120V preferred  
AC system. Periodic training as proposed for Violation  
Item l.a will feature the ities of modifications  
support groups such as: Power Resources  
and Systems Planning (for load addition  
and -Systems Protection  
and Planning (for breaker  
and -Energy Supply Services Civil Section (for structural  
analyses).  
It is expected that this training wil-1 maintain the design engineer's  
awareness  
as to what must be taken into account when adding electrical  
or mechanical  
load to plant systems. Date When Full Compliance  
Will be Achieved Personal briefings  
letter will be issued by September  
1, 1989. The station load analysis program upgrades will be completed  
by September  
1, 1989. A gram for the periodic training on the capabilities  
of support groups will be in place by -March 1, 1990. NRC Violation  
25S/89007-0lk:  
FC-760-02 "Control Room Emergency  
Lighting." [Refer to pages 23.and 24 of NRC Report 50-255/89007 (DRS).] Example This FCcontained  
an unverified  
assumption  
in that the assumption  
that emergency  
lighting fixtures were rigit was never proven. Engineering  
Analysis EA-FC-760-2-001  
was performed  
to analyze the mounting of the lighting fixtures to be installed.  
Section V of this document, referring  
to the DC lighting fixtures, states in part "Assume the lighting fixture is rigid **** " This assumption  
is not justified  
in the analysis document and, in fact, the fixture (McMasters-Carr  
Lampholder, Catalog No 1700Kl2) employs a swivel joint. The lighting fixtures are not safety-related, but mounting is considered  
critical since they are in the control room and failure could endanger personnel  
or safety-related  
devices * MI0789-1683A-TC01-NL02  
20 : * .. *:-. -**-. . .. .  
-*. ' **:*:.-:***
Reason for Violation  
The McMasters-Carr  
Lampholder, Catalog No 1700Kl2 fixture has been used for the control room emergency  
lighting design associated  
with  
The fixture employs a swivel joint for adjusting  
only. The adjustment  
is made in one plane only. The mechanism  
used is a bolted connection  
and the lamp tion is fixed in place by the friction from tightening  
the bolt. Tightening  
the bolt keeps the joint tight in service and keeps it from swiveling.  
The assumption  
of rigidity of the fixture service was based upon the analyst's  
interpretation  
of catalog data. That assumption  
is considered  
appropriate.  
Plant administrative  
design control procedures  
required, and currently  
that all analytical  
assumptions  
be documented, acknowledged  
in terms of icance and technically  
reviewed (Reference  
1). The identified  
discrepancy  
results from failure to implement  
this procedural  
requirement.  
Corrective  
Action Taken and Results Achieved All e.ngineering  
groups have .. been briefed as to the results of this inspection.  
The briefings  
were completed  
on August 2, 1989. Corrective-Actions  
to be Taken to Avoid Further Non Compliance  
Interim * Same* as that required for Violation  
Item 1.a. * Long-Terni-
-Develop a program to provide periodic refresher  
training on "the requirements  
of plant administrative  
design change procedures  
related to engineering  
analyses.  
Date When Full Compliance  
Will be Achieved The personal briefings  
letter will be issued by September  
1, 1989. The program for periodic refresher  
training will be in place by March 1, 1990. NRC Violation  
255/89007-011:  
SC-87-090  
Water Leak Detection  
Set Point.'' [Refer to page 27 of NRC Report 50-255/89007 (DRS).] Example Specification  
Change No 87-090 changed the Service Water (SW) leak detection  
set point from 75 gpm to 300 gpm  
verifying  
what size of SW piping break in the containment  
air coolers would result in a 300 gpm delta-flow  
alarm * MI0789-1683A-TC01-NL02  
21 -.... * *** *i,.. :. * .. *:. -... . -.
* CPCo Response The containment  
SW leak detection  
system monitors SW flow into and out of the reactor building and provides an alarm in the control room when a preset differential  
flow is exceeded.  
SC-87-090  
changed the differential  
flow alarm set point from 75 gpm to 300 gpm. The instrumentation  
loops for the leak detection  
system consist of flow elements 1 differential  
pressure transmitters  
with square root output and a differential  
flow switch with a time delay output. A time delay of approximately  
15 seconds is incorporated  
to eliminate  
nuisance alarms due to flow noise spikes and still allow timely indication  
of leakage. The SW leak detection  
system is utilized as a post accident monitor. During accident conditions, without all control rods  
water leaking inside the containment  
building can dilute the containment  
building sump water to a boron concentration  
low enough to allow the reactor to return to a power state. As noted in Engineering  
Analysis EA-SC-87-090-1, the basis for the original alarm set point of 75 gpm was engineering  
judgement.  
Further, the new 300 gpm set.point.was  
selected based on the total inaccuracies  
of the instrumentation  
loop, times the full scale flow of the transmitters.  
Use of instrument acies within the engineering  
analysis provides a conservative  
determination  
based on instrument  
capabilities.  
As noted in the inspection  
report, the engineering  
analysis did not provide justification  
that the set point meets the design intent of the SW leak tion systeqi..  
However, the adequacy of the set point with respect to the tion system.design  
intent was presented  
and evaluated  
as part of the written l0CFR50.5-9  
.. (Safety Evaluation)  
analysis for the SC. The safety evaluation  
is part of the SC package and was reviewed with other supporting  
documentation  
comprising  
the SC package by the Plant Review Committee (PRC) on March 2, 1987. Therefore, Consumers  
Power Company does not acknowledge  
this example as a lation of 10CFR50, Appendix B, Criterion  
III. NRC Violation  
255/89007-0lm:  
SC-87-163 "Upgrade Feedwater  
Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification  
Change No 87-163 added a series voltage  
zener diode to the feedwater  
flow transmitter  
instrument  
loop for Transmitter  
Nos FT-0701 and FT-0703 without specifying  
the required zener diode design parameters.  
Reason for Violation  
upgraded FW flow transmitters  
FT-0701 and FT-0703 to Rosemount  
units. The supply voltage requirements  
for an 1151 DP transmitter  
is 12 Vdc to 45 Vdc (4 mA to 20 mA current loop). The transmitter  
will operate within this voltage range as a function of load resistance.  
The load resistance  
for the FW flow transmitters  
is approximately  
300 ohms. The nominal supply voltage requirements  
for the transmitter  
as determined  
from the Rosemount  
functional  
specifications  
was approximately  
19 Vdc. MI0789-1683A-TC01-NL02  
22 *__:_-.*-:-
** .. ,._ *. ,. : o:. *..*.. * .. **:  
** .. ,._ *. ,. : o:. *..*.. * .. **:  
*.* , ..... *. :, .. ,._ *,*  
*.* , ..... *. :, .. ,._ *,*
c* * ., .-.   
c* * ., .-.   
* * As part of the SC, a zener diode was installed -in the series current loop to lower the power supply output voltage to the operating  
*
voltage of the Rosemount  
* As part of the SC, a zener diode was installed -in the series current loop to lower the power supply output voltage to the operating voltage of the Rosemount flow transmitter.
flow transmitter.  
During development of the SC, the design criteria for the zener diode, that is the required voltage was determined to be 11 Vdc. This design criteria is shown on Drawing F-69 Sh 1, Rev 22 of SC-87-163.
During development  
As a result of this criterion being stated within the SC package, the proper zener diode was installed and as stat-ed in the inspection "the zeners were performing their function." Therefore, Consumers Power Company does not specifically acknowledge-this example as stated. While the design criterion was detailed sufficiently within the SC to provide for installation of the proper zener diode, Consumers Power Company acknowledges the need for design packages to contain documentation which provides the bases for engineered changes. The failure to include the required enigneering analysis which served as the basis for the design criterion presented within SC-87-163 has been attributed to a weakness within the SC process regarding documentation of engineered decisions.
of the SC, the design criteria for the zener diode, that is the required voltage was determined  
Corrective Actions Taken and Results Achieved In that the proper zener diode was prescribed and installed, and resulted in the equipment affected by the modification being capable of performing their design function, no immediate corrective actions have been undertaken.
to be 11 Vdc. This design criteria is shown on Drawing F-69 Sh 1, Rev 22 of SC-87-163.  
All engineering groups were briefed on the results of this inspection.
As a result of this criterion  
The briefings were completed on August 2, 1989. Correctiv.e .Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation Item 1.a. Long-Term To ensure that adequate bases are developed to justify the change and that these bases are technically reviewed and documented within the specification change package, plant *administrative procedures (Reference
being stated within the SC package, the proper zener diode was installed  
: 5) will be revised either to require that a formal engineering analysis (per Reference
and as stat-ed in the inspection "the zeners were performing  
: 1) or a new SC change justification form be utilized for the following:
their function." Therefore, Consumers  
To provide a reason for the change (in part by describing why the existing condition is less than desired and why the change will improve as-built dition), ., *:ra describe the design basis function of the system within which this change is being made and justification that this function will be maintained, -To identify the full impact change will have on the system within which this change is being made and on potential interfacing systems, MI0789-1683A-TC01-NL02 23 ;---* . *:..:.::--.**  
Power Company does not specifically  
acknowledge-this  
example as stated. While the design criterion  
was detailed sufficiently  
within the SC to provide for installation  
of the proper zener diode, Consumers  
Power Company acknowledges  
the need for design packages to contain documentation  
which provides the bases for engineered  
changes. The failure to include the required enigneering  
analysis which served as the basis for the design criterion  
presented  
within SC-87-163  
has been attributed  
to a weakness within the SC process regarding  
documentation  
of engineered  
decisions.  
Corrective  
Actions Taken and Results Achieved In that the proper zener diode was prescribed  
and installed, and resulted in the equipment  
affected by the modification  
being capable of performing  
their design function, no immediate  
corrective  
actions have been undertaken.  
All engineering  
groups were briefed on the results of this inspection.  
The briefings  
were completed  
on August 2, 1989. Correctiv.e .Actions to be Taken to Avoid Further Non Compliance  
Interim Same as that required for Violation  
Item 1.a. Long-Term  
To ensure that adequate bases are developed  
to justify the change and that these bases are technically  
reviewed and documented  
within the specification  
change package, plant *administrative  
procedures (Reference  
5) will be revised either to require that a formal engineering  
analysis (per Reference  
1) or a new SC change justification  
form be utilized for the following:  
To provide a reason for the change (in part by describing  
why the existing condition  
is less than desired and why the change will improve as-built dition), ., *:ra describe the design basis function of the system within which this change is being made and justification  
that this function will be maintained, -To identify the full impact  
change will have on the system within which this change is being made and on potential  
interfacing  
systems, MI0789-1683A-TC01-NL02  
23 ;---* . *:..:.::--.**  
.*--... :. .. :.  
.*--... :. .. :.  
,, .. ,, .. -....... ;:., :*. * .. **.:::;1-'* . :"'.*   
,, .. ,, .. -....... ;:., :*. * .. **.:::;1-'* . :"'.*   
* .. * *.*. .... :. -To identify critical functional  
* .. * *.*. .... :. -To identify critical functional or physical features that must be met by the change to achieve the desired as-built condition (this may require formal engineering analysis per Administrative Procedure 9.11), and -To describe how these critical features will be verified (eg, inspection or test). Date When Full Compliance Will Be Achieved The personal briefings letter will be issued by September 1, 1989. The revision to administrative procedures will be completed by January 1, 1990. In addition, a program will be developed by March 1, 1990 to provide engineers with periodic refresher training on SC-related administrative procedures.
or physical features that must be met by the change to achieve the desired as-built condition (this may require formal engineering  
NRC Violation 255/89007-0ln:
analysis per Administrative  
SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRC).] Example Specification Change No 88-069 added a series voltage regulating zener diode to the safety injection tank. pressure transmitter instrument loops for Transmitter Nos PT-0361, 0367 , 0369, and 0371 without specifying the required zener diode design parameters.
Procedure  
Reason for_Violation SC-88-069 safety injection (SI) tank pressure transmitters, PT-0363, PT-0367, ..PT-0369 and PT-0371 to Rosemount units. This modification, like SC-87-163, introduces a zener diode in series current loop to lower the power supply output voltage to the operating voltage of the Rosemount pressure mitter. During development of the SC package for this modification, engineering analyses.
9.11), and -To describe how these critical features will be verified (eg, inspection  
were performed to* determine the design criterion for the zener diode. However, as evidenced by the transmitter voltage measurements taken during the inspection, an error was made .in the analysis.
or test). Date When Full Compliance  
This error was not identified during design reviews of the modification package due to the lack of a mented engineering analysis within the SC package. Further, after modification installation, no preoperational testing specific to transmitter operating age was conducted.
Will Be Achieved The personal briefings  
Therefore, the failure to attain a completed modification with all equipment operating within manufacturer prescribed operating ranges has been attributed to weaknesses within the Specification Change process regarding documentation of engineered options and adequate preoperational testing. Corrective Action Taken and Results Achieved The power supply output voltage, zener diode vuic:age and transmitter voltage for all the upgraded Rosemount transmitters associated with SC-88-069 were measured.
letter will be issued by September  
As indicated within the inspection report, the transmitters were found to be operating outside their nominal operating of 14 Vdc to 45 Vdc by.up MI0789-1683A-TC01-NL02 24 .. * '* .,. **:*   
1, 1989. The revision to administrative  
** to 12.62 Vdc. As a result of this finding, all other installed transmitters having zener diodes in their circuit had power supply, zener diode and mitter voltages measured.
procedures  
From these measurements, two additional non-safety related transmitters (PT-5117 and PT-0927) were identified to be operating outside their prescribed nominal* operating range. Due to these findings, SC-89-162 was generated to replace the improper zener diodes. As part of this modification package, an engineering analysis was completed and technically reviewed to assure proper zener diode selection and to provide documentation of design criterion.
will be completed  
The analysis was completed on August 1, 1989. Additionally, work orders were generated on June 5, 1989 to inspect the transmitters that were operating outside their nominal operating range. Presentations to all engineering groups have been conducted to. brief engineers as to the NRC engineering team inspection results. These presentations were completed on August 2, 1989. Corrective Actions to be*Taken to Avoid Further Non*Compliance Interim Personal letters will be sent to all engineers by September 1, 1989 describing the NRC observed weaknesses and requiring that the engineer look at SC's rently being engineered for similar problems.
by January 1, 1990. In addition, a program will be developed  
Long Term -The plant administraive procedure (Reference
by March 1, 1990 to provide engineers  
: 5) revisions described for tion l.m apply as do the following:  
with periodic refresher  
-Revise plant administrative procedures (Reference
training on SC-related  
: 1) to provide the technical reviewer of an engineering analysis a checklist to assure a thorough, accurate and auditable analysis.
administrative  
The checklist would feature a set of "prompts" in part to verifyall analytical input, assumptions and calculation.  
procedures.  
-Revise administrative procedures (Reference
NRC Violation  
: 5) to require that pre-operational testing be specified as part of SC engineering either in a work request or test procedure prior to technical review of the SC engineering package. In addition, require that the test specification align with the critical features identified as part of the documented change basis (see procedure changes identified for Violation Item l.m). Date When Full Compliance Will be Achieved Administrative procedures will be revised by January 1, 1990. Training on the procedure revisions will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher training on SC-rela.ted procedures.
255/89007-0ln:  
SC-89-162 will be performed by November 15, 1989. The work orders to inspect the affected transmitters will be completed by December 1, 1989. MI0789-1683A-TC01-NL02 25 ; .....
SC-88-069 "Upgrade Safety Injection  
NRC Violation 255/89007-0lo:
Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRC).] Example Specification  
SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 88-069 did not consider the effect of instrument loop loading on the power supply; as a result, the load adjustment resistor setting which matches impedance for maximum power transfer was not specified or adjusted.
Change No 88-069 added a series voltage regulating  
Reason for Violation SC-88-069 upgraded safety inJection (SI) tank pressure transmitters, PT-0363, PT-0367, PT-0369 and PT-0371 to Rosemount units. This modification, like SC-87-163, introduces a zener diode in series current loop to lower the power supply output voltage to the operating voltage of the Rosemount pressure mitter. While reviewing this SC the inspector reviewed the SI tank pressure loop power supply manual. As-stated intheinspectionreport; "the Foxboro Model 610A power supply is designed to furnish power to a single electronic transmitter.
zener diode to the safety injection  
The nominal DC output voltage is 80 volts. The manual also states that the output load resistance must be 600 ohms +10; -20 percent. The SC package did not determine the load resistance.
tank. pressure transmitter  
The manual provided detailed instructions to sum the input resistances of all the receivers in the loop (excluding the and to adjust the load adjustment dial on the power supply to the difference,,between the loop resistance and 600 ohms. Subsequentcto the inspection on July 25, 1989, plant engineering personnel contacted the power supply vendor to discuss the inspector's concern regarding the affects of increased load resistance on the power supply. During this conversation the vendor noted that the specific requirement for a load tance of 600 ohms applies only to Foxboro transmitters connected to Foxboro power supplies and that applied power supply load resistance is based on the voltage requirements of the associated transmitter.
instrument  
The voltage requirements of the Rosemount transmitters installed under SC-88-069 are addressed in the modification package, however, documentation was not provided regarding resultant.
loops for Transmitter  
power supply l6ad resistance.
Nos PT-0361, 0367 , 0369, and 0371 without specifying  
Failure to include applicable documentation within the modification package has been attributed to a lack of guidance being provided within Administrative Procedure 9.04, fication Changes." Corrective Action Taken and Results Achieved Presentations of the inspection results were made to all affected engineering groups. These presentatioris were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Personal letters will be sent to all engineers describing the NRC engineering inspection results by September 1, 1989. The letters will require that neers review SC packages currently being engineered for similar problems.
the required zener diode design parameters.  
MI0789-1683A-TC01-NL02 26 -:* : .. \_._ .:: ;*'.. ,. -** :=. * .. : ** _.-:-: .*  
Reason for_Violation  
SC-88-069  
safety injection (SI) tank pressure transmitters, PT-0363, PT-0367, ..PT-0369  
and PT-0371 to Rosemount  
units. This modification, like SC-87-163, introduces  
a zener diode in series current loop to lower the power supply output voltage to the operating  
voltage of the Rosemount  
pressure mitter. During development  
of the SC package for this modification, engineering  
analyses.  
were performed  
to* determine  
the design criterion  
for the zener diode. However, as evidenced  
by the transmitter  
voltage measurements  
taken during the inspection, an error was made .in the analysis.  
This error was not identified  
during design reviews of the modification  
package due to the lack of a mented engineering  
analysis within the SC package. Further, after modification  
installation, no preoperational  
testing specific to transmitter  
operating age was conducted.  
Therefore, the failure to attain a completed  
modification  
with all equipment  
operating  
within manufacturer  
prescribed  
operating  
ranges has been attributed  
to weaknesses  
within the Specification  
Change process regarding  
documentation  
of engineered  
options and adequate preoperational  
testing. Corrective  
Action Taken and Results Achieved The power supply output voltage, zener diode vuic:age and transmitter  
voltage for all the upgraded Rosemount  
transmitters  
associated  
with SC-88-069  
were measured.  
As indicated  
within the inspection  
report, the transmitters  
were found to be operating  
outside their nominal operating  
of 14 Vdc to 45 Vdc by.up MI0789-1683A-TC01-NL02  
24 .. * '* .,. **:*   
** to 12.62 Vdc. As a result of this finding, all other installed  
transmitters  
having zener diodes in their circuit had power supply, zener diode and mitter voltages measured.  
From these measurements, two additional  
non-safety  
related transmitters (PT-5117 and PT-0927) were identified  
to be operating  
outside their prescribed  
nominal* operating  
range. Due to these findings, SC-89-162  
was generated  
to replace the improper zener diodes. As part of this modification  
package, an engineering  
analysis was completed  
and technically  
reviewed to assure proper zener diode selection  
and to provide documentation  
of design criterion.  
The analysis was completed  
on August 1, 1989. Additionally, work orders were generated  
on June 5, 1989 to inspect the transmitters  
that were operating  
outside their nominal operating  
range. Presentations  
to all engineering  
groups have been conducted  
to. brief engineers  
as to the NRC engineering  
team inspection  
results. These presentations  
were completed  
on August 2, 1989. Corrective  
Actions to be*Taken to Avoid Further Non*Compliance  
Interim Personal letters will be sent to all engineers  
by September  
1, 1989 describing  
the NRC observed weaknesses  
and requiring  
that the engineer look at SC's rently being engineered  
for similar problems.  
Long Term -The plant administraive  
procedure (Reference  
5) revisions  
described  
for tion l.m apply as do the following:  
-Revise plant administrative  
procedures (Reference  
1) to provide the technical  
reviewer of an engineering  
analysis a checklist  
to assure a thorough, accurate and auditable  
analysis.  
The checklist  
would feature a set of "prompts" in part to verifyall  
analytical  
input, assumptions  
and calculation.  
-Revise administrative  
procedures (Reference  
5) to require that pre-operational  
testing be specified  
as part of SC engineering  
either in a work request or test procedure  
prior to technical  
review of the SC engineering  
package. In addition, require that the test specification  
align with the critical features identified  
as part of the documented  
change basis (see procedure  
changes identified  
for Violation  
Item l.m). Date When Full Compliance  
Will be Achieved Administrative  
procedures  
will be revised by January 1, 1990. Training on the procedure  
revisions  
will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher  
training on SC-rela.ted  
procedures.  
SC-89-162  
will be performed  
by November 15, 1989. The work orders to inspect the affected transmitters  
will be completed  
by December 1, 1989. MI0789-1683A-TC01-NL02  
25 ; .....
NRC Violation  
255/89007-0lo:  
SC-88-069 "Upgrade Safety Injection  
Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] Example Specification  
Change No 88-069 did not consider the effect of instrument  
loop loading on the power supply; as a result, the load adjustment  
resistor setting which matches impedance  
for maximum power transfer was not specified  
or adjusted.  
Reason for Violation  
SC-88-069  
upgraded safety inJection (SI) tank pressure transmitters, PT-0363, PT-0367, PT-0369 and PT-0371 to Rosemount  
units. This modification, like SC-87-163, introduces  
a zener diode in series current loop to lower the power supply output voltage to the operating  
voltage of the Rosemount  
pressure mitter. While reviewing  
this SC the inspector  
reviewed the SI tank pressure loop power supply manual. As-stated  
intheinspectionreport; "the Foxboro Model 610A power supply is designed to furnish power to a single electronic  
transmitter.  
The nominal DC output voltage is 80 volts. The manual also states that the output load resistance  
must be 600 ohms +10; -20 percent. The SC package did not determine  
the load resistance.  
The manual provided detailed instructions  
to sum the input resistances  
of all the receivers  
in the loop (excluding  
the  
and to adjust the load adjustment  
dial on the power supply to the difference,,between  
the loop resistance  
and 600 ohms. Subsequentcto  
the inspection  
on July 25, 1989, plant engineering  
personnel  
contacted  
the power supply vendor to discuss the inspector's  
concern regarding  
the affects of increased  
load resistance  
on the power supply. During this conversation  
the vendor noted that the specific requirement  
for a load tance of 600 ohms applies only to Foxboro transmitters  
connected  
to Foxboro power supplies and that applied power supply load resistance  
is based on the voltage requirements  
of the associated  
transmitter.  
The voltage requirements  
of the Rosemount  
transmitters  
installed  
under SC-88-069  
are addressed  
in the modification  
package, however, documentation  
was not provided regarding  
resultant.  
power supply l6ad resistance.  
Failure to include applicable  
documentation  
within the modification  
package has been attributed  
to a lack of guidance being provided within Administrative  
Procedure  
9.04, fication Changes." Corrective  
Action Taken and Results Achieved Presentations  
of the inspection  
results were made to all affected engineering  
groups. These presentatioris  
were completed  
on August 2, 1989. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Personal letters will be sent to all engineers  
describing  
the NRC engineering  
inspection  
results by September  
1, 1989. The letters will require that neers review SC packages currently  
being engineered  
for similar problems.  
MI0789-1683A-TC01-NL02  
26 -:* : .. \_._ .:: ;*'.. ,. -** :=. * .. : ** _.-:-: .*  
*. '. *--.*. -* ''.""; . . *.* .. '<' * .* , *' . ** ...  
*. '. *--.*. -* ''.""; . . *.* .. '<' * .* , *' . ** ...  
.. *. . '*   
.. *. . '*   
*-The plant administrative  
*-The plant administrative procedure revisions (and training) described for lation Items l.m and l.n effectively respond to this item also. Date When Full Compliance Will be Achieved Administrative procedures will be revised by January 1990. Training in the procedure revisions will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher ing on SC-related procedures.
procedure  
NRC Violation 255/89007.0lp:
revisions (and training)  
SC-88-102 "Upgrade Containment Pressure Transmitter PT-1812." [Refer-to pages 31 and 32 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 88-102 installed a different model containment pressure transmitter for Transmitter No PT-1812 without performing a seismic analysis to determine the acceptability of installing the new transmitter on the old mounting.
described  
Reason for-Violation SC-88-102 upgraded containment building pressure transmitter, PT-1812 to a Rosemount pressure transmitter.
for lation Items l.m and l.n effectively  
The pressure loop affected by the modification provides indication only and is not required to be operable for any analyzed event. The pressure transmitter is mounted off piping associated with ment Penetrcation MZ-17 and is physically located between the manual instrument isolation valve and the manual containment isolation valves. The manual instrument isolation valve is maintained open to allow pressure transmitter operation.
respond to this item also. Date When Full Compliance  
Therefore, the primary containment boundary includes PT-1812. While processing SC-88-102, engineering personnel  
Will be Achieved Administrative  
*failed to identify that the pressure transmitter constituted part of the containment boundary.
procedures  
This ure is attributed to the following factor: The administrative procedure for Specification Changes (Reference
will be revised by January 1990. Training in the procedure  
: 5) requires that the engineer consult the Equipment Data Base (EDB). The EDB-Q-Listing identifies the pressure retaining and structural (seismic) requirements to be met by the equipment.
revisions  
The existing Q-Listing in the EDB for PT-1812 indicates that the transmitter function is not safety-related, there are no pressure retaining requirements, and that the structural mounting is not safety-related.
will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher ing on SC-related  
This specific Q-Listing needs to be reviewed and revised as necessary.
procedures.  
Given accurate EDB information, the existing_
NRC Violation  
SC checklist "prompts" which also existed at the time this deficiency occurred, are sufficient to identify the governing design codes, standards and regulatory guides to be complied with. Corrective Actions Taken and Results Achieved A formal seismic engineering analysis has been initiated to document the adequacy of the existing transmitter mounting and the associated tubing. MI0789-1683A-TC01-NL02 27 ;..&.. ',' :*,* : .:*:
255/89007.0lp:  
SC-88-102 "Upgrade Containment  
Pressure Transmitter  
PT-1812." [Refer-to  
pages 31 and 32 of NRC Report 50-255/89007 (DRS).] Example Specification  
Change No 88-102 installed  
a different  
model containment  
pressure transmitter  
for Transmitter  
No PT-1812 without performing  
a seismic analysis to determine  
the acceptability  
of installing  
the new transmitter  
on the old mounting.  
Reason for-Violation  
SC-88-102  
upgraded containment  
building pressure transmitter, PT-1812 to a Rosemount  
pressure transmitter.  
The pressure loop affected by the modification  
provides indication  
only and is not required to be operable for any analyzed event. The pressure transmitter  
is mounted off piping associated  
with  
ment Penetrcation  
MZ-17 and is physically  
located between the manual instrument  
isolation  
valve and the manual containment  
isolation  
valves. The manual instrument  
isolation  
valve is maintained  
open to allow pressure transmitter  
operation.  
Therefore, the primary containment  
boundary includes PT-1812. While processing  
SC-88-102, engineering  
personnel  
*failed to identify that the pressure transmitter  
constituted  
part of the containment  
boundary.  
This ure is attributed  
to the following  
factor: The administrative  
procedure  
for Specification  
Changes (Reference  
5) requires that the engineer consult the Equipment  
Data Base (EDB). The EDB-Q-Listing  
identifies  
the pressure retaining  
and structural (seismic)  
requirements  
to be met by the equipment.  
The existing Q-Listing  
in the EDB for PT-1812 indicates  
that the transmitter  
function is not safety-related, there are no pressure retaining  
requirements, and that the structural  
mounting is not safety-related.  
This specific Q-Listing  
needs to be reviewed and revised as necessary.  
Given accurate EDB information, the existing_  
SC checklist "prompts" which also existed at the time this deficiency  
occurred, are sufficient  
to identify the governing  
design codes, standards  
and regulatory  
guides to be complied with. Corrective  
Actions Taken and Results Achieved A formal seismic engineering  
analysis has been initiated  
to document the adequacy of the existing transmitter  
mounting and the associated  
tubing. MI0789-1683A-TC01-NL02  
27 ;..&.. ',' :*,* : .:*:  
:*. ..... , .* *:: :.:;.: *;* .. .. . , .. :" : .  
:*. ..... , .* *:: :.:;.: *;* .. .. . , .. :" : .  
--;_,.
--;_,.
The results of the inspection  
The results of the inspection have been presented to all engineering groups. These presentations were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance The existing Q-List interpretation for PT-1812 will be reviewed for accuracy and revised as necessary.
have been presented  
In addition, if it is determined that the tation is in error, other interpretations will also be reviewed to identify the breadth of the discrepancy.
to all engineering  
These additonal reviews will cover, as a minimum, interpretation for other instrumentation serving pressure retaining functions.
groups. These presentations  
If additional reviews indicate the need, additional clarification in tive P.rocedures related to Q-List interpretation (Reference
were completed  
: 6) will be provided and engineers will be trained. Further, a review will be conducted to ensure the seismic qualification of other similar configurations.
on August 2, 1989. Corrective  
In addition, a program to provide periodic refresher training on procedures related to Q-Listing will be developed.
Actions to be Taken to Avoid Further Non Compliance  
Finally, a portion of the Configuration Control Project involves the tion of the Q classification for approximately 16,000 components in the Plant's equipment data base. This activity is currently scheduled to be completed by the end of-1990 and will provide a sound technical basis for future tions. Date When F.ull Compliance Will Be Achieved The existing Q-List interpretation for PT-1812 will be reviewed for accuracy and revised necessary) by September 15, 1989. If it is concluded that the PT-1812 interpretation is in error, interpretation for other similar tions will be completed by November 1; 1989. If these additional reviews tate the need for procedural clarification, the procedures will be enhanced by January 1, 1990 and all engineers*
The existing Q-List interpretation  
will be trained on the enhancements by this date. The program for periodic refresher training on Q-Listing will be in place by March 1, 1990. The additional seismic review will be completed by October 1, 1989. NRC Violation 255/89007-0lg:
for PT-1812 will be reviewed for accuracy and revised as necessary.  
EA-FC-722-10 "N2 Backup Test Evaluation for Station 5," February*21, 1987. [Refer to page 15 of NRC Report 50-255/89007 (DRS).] Example The stated that the nitrogen usage rate was 32.5 psig AP/hour based on the test results from Functional Test T-FC-722-501-01.
In addition, if it is determined  
However, the test results failed to account for the post test calibration shift of 5 psig for of the pressure gauges. By incorporating this additional factor, the usage rate is increased to 33.75 psig AP/hour. MI0789-1683A-TC01-NL02 28 . *. . -:* ** '7. *. '',-'* .. .*,* . ,* ' *.*.:* ... * *,'* *. **-:*** ."'-*,' .. * .** .... *.,_ ..  
that the tation is in error, other interpretations  
will also be reviewed to identify the breadth of the discrepancy.  
These additonal  
reviews will cover, as a minimum, interpretation  
for other instrumentation  
serving pressure retaining  
functions.  
If additional  
reviews indicate the need, additional  
clarification  
in  
tive P.rocedures  
related to Q-List interpretation (Reference  
6) will be provided and engineers  
will be trained. Further, a review will be conducted  
to ensure the seismic qualification  
of other similar configurations.  
In addition, a program to provide periodic refresher  
training on procedures  
related to Q-Listing  
will be developed.  
Finally, a portion of the Configuration  
Control Project involves the tion of the Q classification  
for approximately  
16,000 components  
in the Plant's equipment  
data base. This activity is currently  
scheduled  
to be completed  
by the end of-1990 and will provide a sound technical  
basis for future tions. Date When F.ull Compliance  
Will Be Achieved The existing Q-List interpretation  
for PT-1812 will be reviewed for accuracy and revised necessary)  
by September  
15, 1989. If it is concluded  
that the PT-1812 interpretation  
is in error, interpretation  
for other similar tions will be completed  
by November 1; 1989. If these additional  
reviews tate the need for procedural  
clarification, the procedures  
will be enhanced by January 1, 1990 and all engineers*  
will be trained on the enhancements  
by this date. The program for periodic refresher  
training on Q-Listing  
will be in place by March 1, 1990. The additional  
seismic review will be completed  
by October 1, 1989. NRC Violation  
255/89007-0lg:  
EA-FC-722-10 "N2 Backup Test Evaluation  
for Station 5," February*21, 1987. [Refer to page 15 of NRC Report 50-255/89007 (DRS).] Example The  
stated that the nitrogen usage rate was 32.5 psig AP/hour based on the test results from Functional  
Test T-FC-722-501-01.  
However, the test results failed to account for the post test calibration  
shift of 5 psig for of the pressure gauges. By incorporating  
this additional  
factor, the usage rate is increased  
to 33.75 psig AP/hour. MI0789-1683A-TC01-NL02  
28 . *. . -:* ** '7. *. '',-'* .. .*,* . ,* ' *.*.:* ... * *,'* *. **-:*** ."'-*,' .. * .** .... *.,_ ..  
.; .....   
.; .....   
. ' * * Using the above rate in the calculation  
. ' *
reduces the "actual operating  
* Using the above rate in the calculation reduces the "actual operating period" from 10.3 days to 9.93 days. This is below the assumed acceptance limit given in the original calculationo No safety significance was attributed to this occurrence; however, the instrument accuracy requirements specified in the test procedure were inadequate as noted belowo -Procedure No T-FC-722-0501, "CV Air Supply -N2 Backup Performance Test," Revision O, February 6, 1987. Under Special Tools/Equipment, a 0-3000 psig pressure gauge is called for. The accuracy specified is +/- 2% minimum. This equates to a +/- 60 psig accuracyo The acceptance criteria for three of the four nitrogen stations ranged from 24 psig to 68 psig over the four hour span of the performance test. CPCo Response CPCo does not acknowledge this example as a violation of Appendix Criterion III Design Control," based upon the following.
period" from 10.3 days to 9.93 days. This is below the assumed acceptance  
: 1. Page 6 of 32 of "Palisades Nuclear Plant Modification Procedure No T-FC-722-501," and "Temporary Change to a Change No FFC-87-006, specified calibrated analog pressure gauges, 0-3000 psig, +/- 2% minimum accuracy and that these gauges shall be calibrated in accordance with 2.4, reference paragraph 6.1.5. 2. The intent of specifying a minimum accuracy of the test gauges was to allow qualified test personnel the. flexibility to utilize test gauges of a higher degree"of accuracy if available.
limit given in the original calculationo  
: 3. The intent of Reference 2.4 (Palisades Nuclear Plant Administrative dure S.07, "Control of Measuring of and Test Equipment"), paragraph 6.1.5, is to require performance of pre-and post-calibrations of the test gauges. These calibrations were performed as Pre-and Post-Calibrations of the gauges are utilized to determine/verify the actual gauge accuracy as utilized during the test. 4. As stated in paragraph 1 of page 16 of NRC Report No 50-255/89007 (DRS), "Additional reviews by the inspector disclosed that the pressure gauges actually used has a specified accuracy of +/- 1%. In addition, pre-test and post-test calibration data indicated that the actual accuracy was closer to +/- 0.1%." This statement reinforces the intent of specifying and the requirement to perform pre-and post-calibrations (reference Item 83) of the gauges. 5. Acceptance criteria for Palisades Nuclear Plant Modification Procedure No T-FC-722-501 are established via calculation and are not affected by gauge inaccuracies which are linear and constant throughout the test range
No safety significance  
* 29 ... .: . ' . . ...... *--*   
was attributed  
*
to this occurrence;  
* Based upon the above the specification of test gauges, 0-3000 psig, +/- 2% accuracy was appropriate and in accordance with Palisades Nuclear Plant Administrative Procedures--.
however, the instrument  
Plant administrative design control procedures (Reference
accuracy requirements  
: 2) required, and currently require, that modification test procedures feature requirement  
specified  
-The use of calibrated test equipment of the proper range and accuracy to determine conformance to specified acceptance criteria, -Test equipment be identified along with its calibration status, and -Acceptance criteria (with appropriate tolerances) be specified to effectively determine whether critical design requirements have been satisfied.
in the test procedure  
Thus, no corrective action is deemed necessary.
were inadequate  
NRC Violation 255/89007-0lr:
as noted belowo -Procedure  
SC-87-163 "Upgrade Feedwater Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-163 added a series voltage regulating zener diode to the FW flow transmitter loop for Transmitter Nos FT-0701 and FT-0703 without specifying
No T-FC-722-0501, "CV Air Supply -N2 Backup Performance  
__ the measurement .of. the power supply, zener, and transmitter voltage as acceptance*
Test," Revision O, February 6, 1987. Under Special Tools/Equipment, a 0-3000 psig pressure gauge is called for. The accuracy specified  
criteria to determine if the transmitter loop was operating within its-design limits. Reason for Violation SC-87-163 upgraded FW flow transmitters FT-0701 and FT-0703 to Rosemount units. The supply voltage requirements-for a 1151 DP transmitter is 12 VDC to 45 VDC (4 mA to 20 mA current loop). The transmitter will operate within this voltage range as a function of load resistance.
is +/- 2% minimum. This equates to a +/- 60 psig accuracyo  
The load resistance for the FW flow transmitters is approximately 300 ohms. The nominal supply voltage requirement for the transmitter as determined from the Rosemount functional specifications was approximately 19 Vdc. As part of the SC a zener diode was installed in the series current loop to lower the power supply output voltage to the operating voltage of the Rosemount flow transmitter.
The acceptance  
During the inspection, the NRC inspector identified that the SC package did not contain post installation power supply output voltage urements.
criteria for three of the four nitrogen stations ranged from 24 psig to 68 psig over the four hour span of the performance  
Further, it did not contain zener diode and transmitter operating voltages following modification.
test. CPCo Response CPCo does not acknowledge  
The failure to adequately specify necessary preoperational testing requirements on the work orders which implemented the SC has been attributed to weaknesses within Administrative Procedure 9.04. Currently, no guidance exists as to the type of which may be appropriate, nor does the procedure specify the need to document testing performed on implementing work orders or within the SC package.
this example as a violation  
of  
Appendix Criterion  
III Design Control," based upon the following.  
1. Page 6 of 32 of "Palisades  
Nuclear Plant Modification  
Procedure  
No T-FC-722-501," and "Temporary  
Change to a  
Change No FFC-87-006, specified  
calibrated  
analog pressure gauges, 0-3000 psig, +/- 2% minimum accuracy and that these gauges shall be calibrated  
in accordance  
with 2.4, reference  
paragraph  
6.1.5. 2. The intent of specifying  
a minimum accuracy of the test gauges was to allow qualified  
test personnel  
the. flexibility  
to utilize test gauges of a higher degree"of  
accuracy if available.  
3. The intent of Reference  
2.4 (Palisades  
Nuclear Plant Administrative dure S.07, "Control of Measuring  
of and Test Equipment"), paragraph  
6.1.5, is to require performance  
of pre-and post-calibrations  
of the test gauges. These calibrations  
were performed  
as  
Pre-and Post-Calibrations  
of the gauges are utilized to determine/verify  
the actual gauge accuracy as utilized during the test. 4. As stated in paragraph  
1 of page 16 of NRC Report No 50-255/89007 (DRS), "Additional  
reviews by the inspector  
disclosed  
that the pressure gauges actually used has a specified  
accuracy of +/- 1%. In addition, pre-test and post-test  
calibration  
data indicated  
that the actual accuracy was closer to +/- 0.1%." This statement  
reinforces  
the intent of specifying  
and the requirement  
to perform pre-and post-calibrations (reference  
Item 83) of the gauges. 5. Acceptance  
criteria for Palisades  
Nuclear Plant Modification  
Procedure  
No T-FC-722-501  
are established  
via calculation  
and are not affected by gauge inaccuracies  
which are linear and constant throughout  
the test range *  
29 ... .: . ' . . ...... *--*   
* * Based upon the above the specification  
of test gauges, 0-3000 psig, +/- 2% accuracy was appropriate  
and in accordance  
with Palisades  
Nuclear Plant Administrative  
Procedures--.  
Plant administrative  
design control procedures (Reference  
2) required, and currently  
require, that modification  
test procedures  
feature requirement  
-The use of calibrated  
test equipment  
of the proper range and accuracy to determine  
conformance  
to specified  
acceptance  
criteria, -Test equipment  
be identified  
along with its calibration  
status, and -Acceptance  
criteria (with appropriate  
tolerances)  
be specified  
to effectively  
determine  
whether critical design requirements  
have been satisfied.  
Thus, no corrective  
action is deemed necessary.  
NRC Violation  
255/89007-0lr:  
SC-87-163 "Upgrade Feedwater  
Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification  
Change No 87-163 added a series voltage regulating  
zener diode to the FW flow transmitter  
loop for Transmitter  
Nos FT-0701 and FT-0703 without specifying  
__ the measurement .of. the power supply, zener, and transmitter  
voltage as acceptance*  
criteria to determine  
if the transmitter  
loop was operating  
within its-design  
limits. Reason for Violation  
SC-87-163  
upgraded FW flow transmitters  
FT-0701 and FT-0703 to Rosemount  
units. The supply voltage requirements-
for a 1151 DP transmitter  
is 12 VDC to 45 VDC (4 mA to 20 mA current loop). The transmitter  
will operate within this voltage range as a function of load resistance.  
The load resistance  
for the FW flow transmitters  
is approximately  
300 ohms. The nominal supply voltage requirement  
for the transmitter  
as determined  
from the Rosemount  
functional  
specifications  
was approximately  
19 Vdc. As part of the SC a zener diode was installed  
in the series current loop to lower the power supply output voltage to the operating  
voltage of the Rosemount  
flow transmitter.  
During the inspection, the NRC inspector  
identified  
that the SC package did not contain post installation  
power supply output voltage urements.  
Further, it did not contain zener diode and transmitter  
operating  
voltages following  
modification.  
The failure to adequately  
specify necessary  
preoperational  
testing requirements  
on the work orders which implemented  
the SC has been attributed  
to weaknesses  
within Administrative  
Procedure  
9.04. Currently, no guidance exists as to the type of  
which may be appropriate, nor does the procedure  
specify the need to document testing performed  
on implementing  
work orders or within the SC package.  
30 . *** ..............  
30 . *** ..............  
*.*:***:_-
*.*:***:_-
.. *. . .. ., .. ... ......
.. *. . .. ., .. ... ......
Corrective  
Corrective Actions Taken and Results Achieved As noted within the inspection reportp the power supply output voltage, and the zener diode and transmitter operating voltages were measured.
Actions Taken and Results Achieved As noted within the inspection  
From these urements it was determined that all components were performing their design function within manufacturer specifications.
reportp the power supply output voltage, and the zener diode and transmitter  
Presentations have been made to engineers discussing the results of the recent NRC engineering inspection.
operating  
These presentations were completed on August 2, 1989. Corrective Action to be Taken to Avoid Further Non Compliance Personal letters will be sent to all engineers on or before September lp 1989 describing the results of the NRC inspection and requiring that SC's currently being managed be reviewed for similar problems.
voltages were measured.  
Date When Full Compliance Will be Achieved The procedure revisions for Violation Items l.m and l.n will effectively respond to this item. NRC Violation 255/89007-0ls:
From these urements it was determined  
SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] NRC Identi&#xa3;ied Discrepancy Specificai:ion Change No 88-069 added a series voltage regulating zener diode to the safety injection tank pressure transmitter loops for Transmitter Nos PT-0363, 0367, 0379, and 0371 without specifying the measurement of the power supply, zener, and the transmitter voltage as acceptance criteria to determine if the transmitter loop was operating within its design limits; and also did not specify acceptance criteria for determining the acceptability of changing the load adjustment resistor in the power supply. Reason for Violation Consumers Power Company's response regarding the failure to specify acceptance criteria to determine if the transmitter loop was operating within its design limits in the preoperational stage is provided in our response to Violation Item l.m. In regard to the post modification stage of this SC, the failure to establish a program to periodically measure the pressure transmitter loop voltages has been attributed to plant personnel not considering all potential failure modes and effects in the circuit design. Acceptance criterion for determining the acceptability of changing the load adjustment resistor in the power supply were not specified in the SC package. The manual for the Foxboro 610A power supply stated that the output load resistance for the power supply must be 600 ohms + 10; -20 percent. In matory conversations with the vendor on July 25, 1989, the requirement for load resistance was said to be based on transmitter limitations, not power supply limitations.
that all components  
The new Rosemount transmitters installed per SC-88-069 do MI0789-1683A-TC01-NL02 31 . . : ' :* -. . : -. *-: ... ... , .... ....
were performing  
not have this load restriction and hence do not have acceptance criteria as delineated in the manual. Therefore this item by itself is not a violation of 10CFR50-, Appendix B, Criterion III. It is noted however that the new Rosemount transmitters have voltage limitations and this is discussed in our response to Violation Item l.n. Corrective Actions Taken and Results Achieved Same as that taken for Violation Item l.n. Corrective Actions to be Taken to Avoid Further Non Compliance Procedural revisions and tra1n1ng described for Violation Item l.n will ively respond to this item. Additionally, preplanned and periodic control sheets (preventive maintenance activities) will be established to provide for periodic measurements of loop voltages.
their design function within manufacturer  
Date When Full Compliance Will be Achieved The control sheet program will be established by October 1, 1989. Violation  
specifications.  
'255/87007-02a-b) lOCFRSO, Appendix B, Criterion X as implemented by the Palisades Operations Quality Assurance Program requires, in part, that a program for inspection of activities-,affecting quality be established and executed by or for the zation performing the activity to verify conformance with the documented instructions, procedures, and drawings for accomplishing the activity and that examinations, measurements, or tests of materials or products processed be performed for each work operation where necessary to assure quality. Contrary to the above: This is a Severity Level IV Violation.
Presentations  
NRC Violation 255/89007-02a:
have been made to engineers  
CPCo Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to pages 12 and. 13 of NRC Report 50-255/89007(DRS).]
discussing  
Example A secondary aspect, associated with the socket welds, pertains to the quality control (QC) inspection of the completed fillet welds. The RIC forms have a column for "QC verification" but for the socket welds in question, the size of the fillet welds was not inspected by QC. Line No 16 of the RIC form, which specifies the weld, size, gap, and type of joint was marked "NA" (not applicable) for all the welds in question under the QC Verification column. Although all of the welds received a Nondestructive Testing (NDT) Visual Examination (VT), it is not clear if the size of the welds was verified during these examinations.
the results of the recent NRC engineering  
Since the size of the socket fillet welds was not specified on the drawing, nor noted on the RIC form, the NDT examiner would MI0789-1683A-TC01-NL02 32 ** : * '."'!'* *.* :: * .. * ..... ' ..... : ..... '.'-:_: ....... *.** -:-*:**.**  
inspection.  
These presentations  
were completed  
on August 2, 1989. Corrective  
Action to be Taken to Avoid Further Non Compliance  
Personal letters will be sent to all engineers  
on or before September  
lp 1989 describing  
the results of the NRC inspection  
and requiring  
that SC's currently  
being managed be reviewed for similar problems.  
Date When Full Compliance  
Will be Achieved The procedure  
revisions  
for Violation  
Items l.m and l.n will effectively  
respond to this item. NRC Violation  
255/89007-0ls:  
SC-88-069 "Upgrade Safety Injection  
Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] NRC Identi&#xa3;ied  
Discrepancy  
Specificai:ion  
Change No 88-069 added a series voltage regulating  
zener diode to the safety injection  
tank pressure transmitter  
loops for Transmitter  
Nos PT-0363, 0367, 0379, and 0371 without specifying  
the measurement  
of the power supply, zener, and the transmitter  
voltage as acceptance  
criteria to determine  
if the transmitter  
loop was operating  
within its design limits; and also did not specify acceptance  
criteria for determining  
the acceptability  
of changing the load adjustment  
resistor in the power supply. Reason for Violation  
Consumers  
Power Company's  
response regarding  
the failure to specify acceptance  
criteria to determine  
if the transmitter  
loop was operating  
within its design limits in the preoperational  
stage is provided in our response to Violation  
Item l.m. In regard to the post modification  
stage of this SC, the failure to establish  
a program to periodically  
measure the pressure transmitter  
loop voltages has been attributed  
to plant personnel  
not considering  
all potential  
failure modes and effects in the circuit design. Acceptance  
criterion  
for determining  
the acceptability  
of changing the load adjustment  
resistor in the power supply were not specified  
in the SC package. The manual for the Foxboro 610A power supply stated that the output load resistance  
for the power supply must be 600 ohms + 10; -20 percent. In matory conversations  
with the vendor on July 25, 1989, the requirement  
for load resistance  
was said to be based on transmitter  
limitations, not power supply limitations.  
The new Rosemount  
transmitters  
installed  
per SC-88-069  
do MI0789-1683A-TC01-NL02  
31 . . : ' :* -. . : -. *-: ... ... , .... ....
not have this load restriction  
and hence do not have acceptance  
criteria as delineated  
in the manual. Therefore  
this item by itself is not a violation  
of 10CFR50-, Appendix B, Criterion  
III. It is noted however that the new Rosemount  
transmitters  
have voltage limitations  
and this is discussed  
in our response to Violation  
Item l.n. Corrective  
Actions Taken and Results Achieved Same as that taken for Violation  
Item l.n. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Procedural  
revisions  
and tra1n1ng described  
for Violation  
Item l.n will ively respond to this item. Additionally, preplanned  
and periodic control sheets (preventive  
maintenance  
activities)  
will be established  
to provide for periodic measurements  
of loop voltages.  
Date When Full Compliance  
Will be Achieved The control sheet program will be established  
by October 1, 1989. Violation  
'255/87007-02a-b)  
lOCFRSO, Appendix B, Criterion  
X as implemented  
by the Palisades  
Operations  
Quality Assurance  
Program requires, in part, that a program for inspection  
of activities-,affecting  
quality be established  
and executed by or for the zation performing  
the activity to verify conformance  
with the documented  
instructions, procedures, and drawings for accomplishing  
the activity and that examinations, measurements, or tests of materials  
or products processed  
be performed  
for each work operation  
where necessary  
to assure quality. Contrary to the above: This is a Severity Level IV Violation.  
NRC Violation  
255/89007-02a:  
CPCo Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary  
Feedwater  
Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to pages 12 and. 13 of NRC Report 50-255/89007(DRS).]  
Example A secondary  
aspect, associated  
with the socket welds, pertains to the quality control (QC) inspection  
of the completed  
fillet welds. The RIC forms have a column for "QC verification" but for the socket welds in question, the size of the fillet welds was not inspected  
by QC. Line No 16 of the RIC form, which specifies  
the weld, size, gap, and type of joint was marked "NA" (not applicable)  
for all the welds in question under the QC Verification  
column. Although all of the welds received a Nondestructive  
Testing (NDT) Visual Examination (VT), it is not clear if the size of the welds was verified during these examinations.  
Since the size of the socket fillet welds was not specified  
on the drawing, nor noted on the RIC form, the NDT examiner would MI0789-1683A-TC01-NL02  
32 ** : * '."'!'* *.* :: * .. * ..... ' ..... : ..... '.'-:_: ....... *.** -:-*:**.**  
**. ,  
**. ,  
*.-*.'* .. * ;, ..... * ::* : : .. *: .* ***.* ....... * .. : ........ .
*.-*.'* .. * ;, ..... * ::* : : .. *: .* ***.* ....... * .. : ........ .
* have had to determine  
* have had to determine the required size in the same manner as previously described for the welder. No notation of size nor record of the size calculation was in the documentation provided with the NDT-VT data. In addition, the VT report did not list fillet weld gauges under "Visual Aids Used" giving further indication that the size of the welds was not checked. As a point of clarification, it should be noted that the VT performed on the socket fillet welds was in accordance with American Welding Society (AWS) Dl.l requirements.
the required size in the same manner as previously  
This is a structural welding code and allows portions of fillet welds to be undersized by 1/16". This is inconsistent with the requirement of ANSI 831.1, Power Piping Code which specifies minimum fillet weld sizes. If the size of the-socket fillet welds was verified by the stated VT examinationp it cannot be assured that the weld meets the ANSI 831.1 Code requirements.
described  
Reason for Violation The failure to merit conformance of the size of the socket fillet welds has been attributed to a lack of engineering input to and technical review of the maintenance planning for the welding process. Prior to actions taken as a result of recent self-identified failures to verify weld size (Reference 7), no specific requirements existed to verify characteristics (weld, type, size contour) of installed welds. Although Nuclear Operations Department Standards suggest inspection hold points for weld installation verification, working level administrative procedures did not specify:a hold point requirement except for fit up. Corrective'"Action-Taken and Results Achieved Presentations to all engineering groups have been conductep to review the results of this inspection.
for the welder. No notation of size nor record of the size calculation  
These presentations were completed on August 2, 1989. -The Inservice Inspection (ISI) Section oP the Projects Engineering Department has assumed the role of Design Authority for weld engineering by revising the RIC to technically review the maintenance planner's specifications.
was  
The purpose of the review is to ensure that appropriate welding codes are complied with in the areas of weld installation and post-installation examination.  
in the documentation  
-The RIC has been revised to issue the-weld minimum leg length to the field. This will eliminate the need for the field welder to calculate the length. The aforementioned ISI review will assure that this specification is provided.  
provided with the NDT-VT data. In addition, the VT report did not list fillet weld gauges under "Visual Aids Used" giving further indication  
-Reference Violation 255/89007-0lc for other applicable actions being taken. Corrective Actions to be Taken to Avoid Further Non Compliance Specifying welding requirements (such as applicable code, weld material, weld type and weld size) is an engineering function.
that the size of the welds was not checked. As a point of clarification, it should be noted that the VT performed  
If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding MI0789-1683A-TC01-NL02 33 :. . . ' . : . -; : . ':* *:-. . . ': . *. *: **.::-. ,._ *. ,*,_ ... , ..
on the socket fillet welds was in accordance  
details for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/or structural analysis engineering sketches which have lacked size dimensions for the welds. As a result 11 the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementation.
with American Welding Society (AWS) Dl.l requirements.  
Although plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference 3), these procedures had not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning, installation, and post-installation verification.
This is a structural  
As a result, the following actions have been/will be taken to prevent rence: Interim Same as that required for.Violation Item.l.a.
welding code and allows portions of fillet welds to be undersized  
by 1/16". This is inconsistent  
with the requirement  
of ANSI 831.1, Power Piping Code which specifies  
minimum fillet weld sizes. If the size of the-socket fillet welds was verified by the stated VT examinationp  
it cannot be assured that the weld meets the ANSI 831.1 Code requirements.  
Reason for Violation  
The failure to merit conformance  
of the size of the socket fillet welds has been attributed  
to a lack of engineering  
input to and technical  
review of the maintenance  
planning for the welding process. Prior to actions taken as a result of recent self-identified  
failures to verify weld size (Reference  
7), no specific requirements  
existed to verify characteristics (weld, type, size contour) of installed  
welds. Although Nuclear Operations  
Department  
Standards  
suggest inspection  
hold points for weld installation  
verification, working level administrative  
procedures  
did not specify:a  
hold point requirement  
except for fit up. Corrective'"Action-Taken  
and Results Achieved Presentations  
to all engineering  
groups have been conductep  
to review the results of this inspection.  
These presentations  
were completed  
on August 2, 1989. -The Inservice  
Inspection (ISI) Section oP the Projects Engineering  
Department  
has assumed the role of Design Authority  
for weld engineering  
by revising the RIC to technically  
review the maintenance  
planner's  
specifications.  
The purpose of the review is to ensure that appropriate  
welding codes are complied with in the areas of weld installation  
and post-installation  
examination.  
-The RIC has been revised to issue the-weld minimum leg length to the field. This will eliminate  
the need for the field welder to calculate  
the length. The aforementioned  
ISI review will assure that this specification  
is provided.  
-Reference  
Violation  
255/89007-0lc  
for other applicable  
actions being taken. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Specifying  
welding requirements (such as applicable  
code, weld material, weld type and weld size) is an engineering  
function.  
If properly administered  
by procedure, the maintenance  
planner can (and has) effectively  
prescribe  
welding MI0789-1683A-TC01-NL02  
33 :. . . ' . : . -; : . ':* *:-. . . ': . *. *: **.::-. ,._ *. ,*,_ ... , ..
details for the field provided that adequate input from engineering  
exists as a basis. In the past, engineering  
input has been limited to welding  
tion and/or structural  
analysis engineering  
sketches which have lacked size dimensions  
for the welds. As a result 11 the planner has failed to provide the proper size on the Repair Inspection  
Checklist (RIC) thereby requiring  
the field welder to determine  
and install the proper weld size. This practice fails to meet current expectations  
for control of design change implementation.  
Although plant administrative  
design control procedures  
required and currently  
require that the design change project engineer determine  
code requirements  
for assigned projects (Reference  
4), and plant maintenance  
procedures  
required and currently  
require that the maintenance  
planner specify applicable  
code and weld parameters  
after consultation  
with the Engineering  
Department (Reference  
3), these procedures  
had not been effectively  
integrated  
to support one another to ensure that weld specifications  
from engineering  
were accurately  
translated  
into installation  
planning, installation, and post-installation  
verification.  
As a result, the following  
actions have been/will  
be taken to prevent rence: Interim Same as that required for.Violation  
Item.l.a.  
Long-Term  
Long-Term  
-Enhancements  
-Enhancements to .plant design.control and maintenance procedures will be made to more effectively integrate engineering into weld specification and mately -into weld planning and verification:
to .plant design.control  
Appropriate welding codes will be included in the Design Input Checklist (Reference
and maintenance  
: 2) to prompt the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.  
procedures  
-Design control procedures related to engineering analyses (Reference
will be made to more effectively  
: 1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. In addition, the procedures will require that sizing culations be performed as part of the analysis.
integrate  
Finally, a technical review checklist will be provided to require that the reviewer ensure that weld information be accurately represented on the analysis drawings.
engineering  
Plant maintenance procedures (Reference
into weld specification  
: 3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.
and mately -into weld planning and verification:  
Interim actions related to changes to the RIC and ISI group review of the RIC (as described above) will remain in effect. MI0789-1683A-TC01-NL02 34 *. *, -;.*; .. *:. ' ....... .. *' .... -. . *.::*****  
Appropriate  
welding codes will be included in the Design Input Checklist (Reference  
2) to prompt the design engineer to specify appropriate  
weld requirements (for installation  
and examination)  
in the facility change package as part of both conceptual  
and detailed engineering.  
-Design control procedures  
related to engineering  
analyses (Reference  
1) will explicitly  
require that all drawings accompanying  
structural/seismic  
analyses provide detailed weld information (type, size, material)  
for input to the planner. In addition, the procedures  
will require that sizing culations  
be performed  
as part of the analysis.  
Finally, a technical  
review checklist  
will be provided to require that the reviewer ensure that weld information  
be accurately  
represented  
on the analysis drawings.  
Plant maintenance  
procedures (Reference  
3) will require that the maintenance  
planner utilize the contents of the facility change package to complete the RIC in specifying  
for the field weld installation  
and examination ments. The procedure  
will require that the planner consult the Design Input Checklist  
and structural/seismic  
engineering  
analyses.  
Interim actions related to changes to the RIC and ISI group review of the RIC (as described  
above) will remain in effect. MI0789-1683A-TC01-NL02  
34 *. *, -;.*; .. *:. ' ....... .. *' .... -. . *.::*****  
,: .... . :*  
,: .... . :*  
.. ;*,  
.. ;*,  
.. .a.* ' *-**.*. :-*: -.   
.. .a.* ' *-**.*. :-*: -.   
* -Design and quality assurance  
* -Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes and their application to weld installation and examination.
engineers  
The engineers will also be trained on the above procedural enhancements.
will be trained on the appropriate  
A program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the related design control and maintenance procedures.
structural  
In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified by engineeringp planned by maintenance (with a check on planning by engineering)p and in turn verified by quality control. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued prior to September lp 1989. Procedure enhancements and required training on the enhancements will be pleted by January 1, 1990. The program for periodic refresher training will be developed by March lp 1990. NRC Violation 255/89007-02b:
and piping weld codes and their application  
SC-89-072 (Deviation Report D-PAL-89-043).
to weld installation  
[Refer to page 32 of NRC Report 50-255/89007 (DRS).] Example This report documented the undersized fillet welds on socket welded fittings -for SC-89-072.
and examination.  
This specification change was necessary to provide an interim solution to primary coolant system leakage from cold leg drain valves. The change required the of a new length of two inch schedule 160 pipe with a socket welded cap on each of the four loop drains. Inspection of all eight socket fillet welds indicated that none of them met the Code required size of 3/8 inch. During the inspector's review* of the deviation report, there were several concerns that apparently were not addressed.
The engineers  
First, although the corrective actions appear to recognize that the current RIC form does not give the welder sufficient information (specifically the size of the fillet weld), there was no recognition that QC did not and was not required to verify the size of the fillet weld. The.undersized condition was not discovered until the authorized inspector (AI) pointed it out to the licensee.
will also be trained on the above procedural  
All of the welds had been reviewed and by the licensee's program and yet the size had never been verified.
enhancements.  
This is considered another example of violation of 10CFR50, Appendix 8p Criterion X, in that the size of the socket fillet welds was not verified (255/89007-02b).
A program will be developed  
Reason for Violation Specifying welding requirements (such as applicable code, weld material, type and weld size) is an engineering function.
to periodically  
If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding MI0789-1683A-TC01-NL02 35 . *.".,'T:'  
train design and quality assurance  
engineers  
on the aforementioned  
codes and their application, and on the related design control and maintenance  
procedures.  
In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified  
by engineeringp  
planned by maintenance (with a check on planning by engineering)p  
and in turn verified by quality control. Date When Full Compliance  
Will be Achieved The personal briefings  
by letter will be issued prior to September  
lp 1989. Procedure  
enhancements  
and required training on the enhancements  
will be pleted by January 1, 1990. The program for periodic refresher  
training will be developed  
by March lp 1990. NRC Violation  
255/89007-02b:  
SC-89-072 (Deviation  
Report D-PAL-89-043).  
[Refer to page 32 of NRC Report 50-255/89007 (DRS).] Example This  
report documented  
the undersized  
fillet welds on socket welded fittings -for SC-89-072.  
This specification  
change was necessary  
to provide an interim solution to primary coolant system leakage from cold leg drain valves. The change required the  
of a new length of two inch schedule 160 pipe with a socket welded cap on each of the four loop drains. Inspection  
of all eight socket fillet welds indicated  
that none of them met the Code required size of 3/8 inch. During the inspector's  
review* of the deviation  
report, there were several concerns that apparently  
were not addressed.  
First, although the corrective  
actions appear to recognize  
that the current RIC form does not give the welder sufficient  
information (specifically  
the size of the fillet weld), there was no recognition  
that QC did not and was not required to verify the size of the fillet weld. The.undersized  
condition  
was not discovered  
until the authorized  
inspector (AI) pointed it out to the licensee.  
All of the welds had been reviewed and  
by the licensee's  
program and yet the size had never been verified.  
This is considered  
another example of violation  
of 10CFR50, Appendix 8p Criterion  
X, in that the size of the socket fillet welds was not verified (255/89007-02b).  
Reason for Violation  
Specifying  
welding requirements (such as applicable  
code, weld material,  
type and weld size) is an engineering  
function.  
If properly administered  
by procedure, the maintenance  
planner can (and has) effectively  
prescribe  
welding MI0789-1683A-TC01-NL02  
35 . *.".,'T:'  
*.*. ': .. *: ***-._ .. ___  
*.*. ': .. *: ***-._ .. ___  
**.,. . ... . * .. *.:* *. '. . .. --. _.,*.
**.,. . ... . * .. *.:* *. '. . .. --. _.,*.
* details for the field provided that adequate input from engineering  
* details for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/or structural analysis engineering sketches which have lacked size dimensions for the welds. As a result, the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementationo Corrective Action Taken and Results Achieved -Presentations to all engineering groups were conducted to brief engineers as to the results of this inspection.
exists as a basis. In the past, engineering  
The presentations were completed on August 2, 1989. -The Inservice Inspection (ISI) Section of the Projects Engineering Department has assumed the role of Design Authority for weld engineering by revising the RIC to technically review the maintenance planner's specifications.
input has been limited to welding  
The purpose of the review is to ensure that appropriate welding codes are complied .with in the areas of weld installation and post-installation examinationm  
tion and/or structural  
-The RIC has been revised to issue the weld minimum leg length to the fieldo This will eliminate the need for the field welder to calculate the length. The aforementioned ISI review will assure that this specification is provided.
analysis engineering  
Corrective Actions to be Taken to Avoid Further Non Compliance Although .plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference these procedures had not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning,.
sketches which have lacked size dimensions  
installation, and post-installation verification.
for the welds. As a result, the planner has failed to provide the proper size on the Repair Inspection  
As a result, the following actions have been/will be taken to prevent rence: Interim Same as that required for Violation Item l.a. Long-Term  
Checklist (RIC) thereby requiring  
-Enhancements to plant design control and maintenance procedures, and to ESS Departmental guidelines will be ***ade by January 1, 1990 to more effectively integrate engineering into weld specification and ultimately into weld ning and verification:  
the field welder to determine  
-Appropriate welding codes will be included in the Design Input Checklist (Reference
and install the proper weld size. This practice fails to meet current expectations  
: 2) to prompt the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.
for control of design change implementationo  
MI0789-1683A-TC01-NL02 36 . , ... 'i--: ' .. . .. ' ....... ;** _. **:*: I   
Corrective  
. '* ,. ' .. Design control procedures related to engineering analyses (Reference
Action Taken and Results Achieved -Presentations  
: 1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. In addition, the procedures will require that sizing culations be performed as part of the analysis.
to all engineering  
Finally, a technical review checklist will be provided to require that the reviewer ensure that weld information be accurately represented on the analysis drawings.  
groups were conducted  
-Plant maintenance procedures (Reference
to brief engineers  
: 3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.  
as to the results of this inspection.  
-Interim actions related to changes to the RIC and ISI group review of the RIC (as described above) will remain in effect. -Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes-and their application to weld installation and examination.
The presentations  
The engineers will also be trained on the above procedural enhancements.
were completed  
A program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the related design control and maintenance procedures.
on August 2, 1989. -The Inservice  
In is expected that these actions will ensure that proper welding requirement-s (t-ype, material, size) are specified by engineering, planned by maintenance (with a check on planning by engineering), and in turn verified by quality control *. Date When Full Compliance Will be Achieved *The personal briefings by letter will be issued prior to September 1, 1989. Procedure enhancements and required training on the enhancements will be pleted by January 1, 1990. The program for periodic refresher training will be developed by March 1, 1990. NRC Violation 255/89007-03:
Inspection (ISI) Section of the Projects Engineering  
SC-87-344 Low Temperature Over Pressure Set Points. [Refer to page 28 of NRC Report 50-255/89007 (DRS).] Technical Specification (TS) No 3.1.8.1.a requires a low temperature sure (LTOP) power operated relief valve (PORV) lift setting of < 310 psia for Tc < 300&deg;F and TS 3.1.8.1.b requires a LTOP PORV lift setting 575 psia for Tc < 430&deg;F. Contrary to the above, between August 9, 1988 and February 27, 1989, the PORV as-left setting exceeded the TS requirement on 17 occasions.
Department  
This is a Severity Level IV violation.
has assumed the role of Design Authority  
MI0789-1683A-TC01-NL02 37 *.-* ***-**-;* . * '* .* .. *.** ...... :* :,-* ;;;. ..... : .. :* .. , .   
for weld engineering  
., I .. * * :* .. * .. Reason for Violation changed the LTQP protection system set points for temperature switches TS-0115 and TS-0125. The LTOP system provides primary coolant system {PCS) overpressure relief capability to protect the reactor vessel from the potential for brittle fracture.
by revising the RIC to technically  
The Palisades LTOP system is a two channel system which relieves PCS pressure through either of two PORV's. Channel A relieves through PRV-1042B and channel B relieves through The system is enabled at two settings.
review the maintenance  
When the PCS cold leg temperature is less than or equal to 300&deg;F, the lift set point for the PORV is less than or equal to 310 psia. When the PCS cold leg temperature is greater than 300&deg;F but less than 430&deg;F, the set point for PORV opening is less than or equal to 575 psia. Above 430&deg;F the LTOP system is not required to be enabled. The LTOP system set points are derived from plant heatup and cooldown limits specified in Plant Technical Specifications.
planner's  
The set points reflect the ature and pressure limits calculated according to the requirements of Appendix G to 10CFR50, using the methodology provided in Regulatory Guide 1.99, Revision 2. These set points were enacted with the issuance of Amendment 117 to the Palisades operating license on November 14, 1988. At the time the 310 and 575 psia LTOP PORV set points were proposed on the Technical Specification change request which resulted in the issuance of Amendment 117, existing Technical Specifications did not recognize the need for LTOP above_300&deg;F.
specifications.  
Instrumentation existing at this time did not operate above 600 psia had a recognized accuracy of +/- 22 psia. Therefore, the 310 and 575 psia points were selected to provide the maximum practical operating window allawed by exi.sting plant components while remaining bound by 10CFR50 Appendix G limits. The proximate cause of this condition is that the set point value which results from the addition of instrument inaccuracies is not conservative with the lift point specified in Technical Specifications.
The purpose of the review is to ensure that appropriate  
This condition has been attributed to poor documentation within the Technical Specifications regarding the fic lift point value. When the technical specification value was derived, Engineering personnel subtracted instrument inaccuracies from the 10CFR50 Appendix G limit and arrived at the 310 and 575 psia set points found in Technical Specifications.
welding codes are complied .with in the areas of weld installation  
The intent of the Technical Specification lift point value is to ensure compliance with Appendix G. The typical set point methodology, if applied to this situation, would be to provide the applicable Appendix G limit in TS and then control the actual set point, adjusted for instrument inaccuracies, through Technical Specification Surveillance dures. As noted in the inspection report, the issue was identified in parallel by both the and plant personnel.
and post-installation  
At the plant, the issue was identified during a review of the set point methodology process utilized at Palisades.
examinationm  
Plant Engineering personnel identified that the PORV lift point had been set at the technical specification values of 310 and 575 psia. Setting the lift points at the technical specification value, neglecting instrument accuracies, could result in the actual lift points being 332 and 597 psia when maximum instrument inaccuracies are accounted for. A review of past performances of MI0789-1683A-TC01-NL02 38 ''* '  
-The RIC has been revised to issue the weld minimum leg length to the fieldo This will eliminate  
* .. * * ,.. .-I -* <.. . /
the need for the field welder to calculate  
* r * ;:: ** **,: *. . "' .._<:*   
the length. The aforementioned  
. : , ........ ,-:*. Technical Specification Surveillance Procedures M0-27A through D which provide for functional testing of the LTOP system, revealed that 29 of the 31 times lift set points (310 or 575 psia) were checked, the set point was greater than the technical specification limitc While the lift point did exceed the technical specification limit, it was within the acceptance values provided by 10CFR50 Appendix Ge Corrective Actions Taken and Results Achieved Plant Engineering personnel reviewed the basis for Technical Specification 3.1.8.1 and Technical Specification Surveillance Procedures which set the PORV lift points and verified that even if the largest positive instrument inaccuracy was added to the technical specification lift point, the 10CFR50 Appendix G limit would not be exceeded.
ISI review will assure that this specification  
Upon further review it was additionally identified that the curve utilized in defining the Appendix G limit has incorporated a 30 psia measurement inaccuracy.
is provided.  
In that a Technical Specification change request is being prepared for submittal in support of LTOP protection system modifications to be performed during an upcoming maintenance outage, a letter of interpretation was submitted to the NRC on July 12, 1989 which presented Consumers Power Company's position regarding continued compliance with 10CFR50 Appendix G. Technical Specification Surveillance Procedures M0-27C and M0-27D 9 which provide setting and the PORV lift set points were revised on May 11, 1989 to remove the + 22 psia tolerance.
Corrective  
Corrective_Actions to be Taken to Avoid Further Non Compliance A Technical Specification change request will be submitted which delineates the requi.red PORV lift set points to assure continued compliance with 10CFR50 Appendix G limits following LTOP protection system modifications.
Actions to be Taken to Avoid Further Non Compliance  
* An tion of the Technical Specification change request development process is being undertaken to determine where enhancements in the review process are required to preclude future occurrences.
Although .plant administrative  
Date When Full Compliance Will be Achieved Continued compliance with the lift set point value specified in the Technical Specifications has been assured by submittal of Consumers Power Company's letter dated July 12, 1989 and the rev1s1ons to M0-27C and M0-27D. The cal Specification change request supporting the planned LTOP protection system modifications will be submitted by October 1, 1989. The evaluation of the Technical Specification change request development process will be completed by November 1, 1989. NRC Open Item 255/89007-04:
design control procedures  
Consumers Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping, 11 [Refer to page 13 of NRC Report %-255/89007
required and currently  
(.DRS).] Example 'An additional aspect was associated with the size of socket fillet welds: The inspector noted that the current design practice used by the licensee is sistent with the original Code of construction.
require that the design change project engineer determine  
The current practice utilizes MI0789-1683A-TC01-NL02 39 '* ... ; .... "' ,****:::. *:;* .... -,, . ' . "*;. :.-: .. ..;.-.: ,;.* ... -.. . ..... .. .. .... :*"'* '/' --
code requirements  
* later editions of 831.1 Code which specify the lo09 times the nominal p1p1ng wall thickness.
for assigned projects (Reference  
The original Code of construction required 1.25 times the nominal wall thickness. -From a technical standpoint the current practice is acceptable; however, this inconsistency has not been delineated by the licensee in the FSAR. Pending revision of the this item is considered open (255/89007-04).
4), and plant maintenance  
Reason for Violation Construction codes related to 831.1 have not been reconciled 1n a document useable to the modifications engineer.
procedures  
Corrective Action Taken and Results Achieved Presentations have been made to all engineering groups on the results of this inspection.
required and currently  
These presentations were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation l.a. Long-Term Palisades  
require that the maintenance  
&taff will complete a reconciliation of all construction codes to the latest edit:,.ion of 831.1. This. action would provide for standardization of code usage-and simplify the determination of code requirements.
planner specify applicable  
This effort will also address the structural welding code AWS Dl.l. Such reconciliation will be documented in plant administrative design control procedures ence 4). In addition, a periodic training program covering procedural welding requirements will be developed.
code and weld parameters  
Upon completion of the reconciliation the FSAR will be updated to* identify applicable codes and standards and their application.
after consultation  
Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. The ciliation of construction codes will be completed and implemented into plant. design control procedures by January 1, 1990. Training on these procedural revisions will also be complete by January 1, 1990. The periodic training program will be in place by March 1, 1990. The FSAR will be updated in the next revision following January 1, 1990. NRC Unresolved Item 255/89007-06:
with the Engineering  
SC-89-072 (Deviation Report D-PAL-89-043).
Department (Reference these procedures  
[Refer to page 32 of NRC Report 50-255/89007 (DRS).] MI0789-1683A-TC01-NL02 40 .--' ...  
had not been effectively  
.. '.* .:-.. --*<.
integrated  
Example The second concern pertains to the generic aspect of the problem. The licensee appeared to recognize the programmatic weakness which contributed to the problem by revising the RIC form to include the specific weld size. However, there appeared to be no corrective actions directed toward reviewing previously made socket fillet welds for compliance with Code requirements.
to support one another to ensure that weld specifications  
Based on the added complication that the sizes of fillet welds in general apparently have not been verified under the licensee's program, reviews of past work may not be sarily limited to socket welded fittings.
from engineering  
Pending a review of the licensee's justification as to why additional inspection of previous fillet welds is not required, this is considered an Unresolved Item (255/89007-06).
were accurately  
CPCo Response CPCo acknowledges that no corrective actions have yet been directed towards reviewing previously made socket fillet welds for compliance with code ments. CPCo plans, however, to select an appropriate sample of as-built welds and inspect the-welds during the 1989 maintenance outage. The sample will be chosen to include a range of weld types. The purpose of the inspection will be to verify that the weld characteristics (type and size) conform to requirements set forth in the Repair Inspection Checklist and/or applicable welding code. These field verifications and resulting report will be completed by December 1, 1989. NRC Unresolved Item 5: Consumers Power Company Drawing M-101 Sheet 5113, Revision O,. "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-07-3JA Bypass Piping." [Refer to page 14 of NRC Report 50-255/89007 (DRS).] NRC Identified Discrepancy A further concern associated with the p1p1ng installation drawing pertains to the attachment weld for a bypass piping fitting onto the existing run pipe. For this situation, the drawing did not specify the type of joint nor the weld reinforcement required.
translated  
However, the specified fitting is a "Weldolet" and as such has an exisitng weld prep on it and requires no additional design work. Also, the size of the fillet weld cover is specified in the welding procedure for this type of full penetration branch line connection.
into installation  
The problem arose during the review of the RIC forms for the four branch connection welds. Although these are full penetration single bevel groove welds, with fillet weld reinforcement, the RIC form labels these welds as "F.W." indicating a fillet weld. For Gap Thickness, the RIC form specifies "NA" which would be appropriate for a fillet weld but not for a full penetration weld. Since this attachment must be a full penetration weld, there was no documentation able to assure that the proper penetration has been achieved using the fied fillet weld. Additional review by the inspector of the NDT Examination Reports revealed another deficiency.
planning,.  
According to liquid penetrant (PT) examination report sheet No MKV-01, welds No 2 and No 13 on line 1/2 did not receive a PT examination as required by Specification M-152(Q) "Field Fabrication and Installation of ASME Section Xi Piping fication in a Nuclear Power Plant," Revision 14, September 30, 1986, paragraph MI0789-1683A-TC01-NL02 41 .... ,.. .,.. . .... '* .. -. . --.. *.**-:**.'... . **.* .. -.  
installation, and post-installation  
.. *. :*'. "*. -* ,c;, ' *.** '"' ,' * -' ' --
verification.  
9.1.1. Pending verification that all four branch attachment welds are full penetration welds and resolution of the PT this is considered an Unresolved Item (255/89007-05).
As a result, the following  
CPCo Response Reference NRC Violation 255/89007-02a.
actions have been/will  
MI0789-1683A-TC01-NL02 42 . -=--***_&#xb5;_*  
be taken to prevent rence: Interim Same as that required for Violation  
Item l.a. Long-Term  
-Enhancements  
to plant design control and maintenance  
procedures, and to ESS Departmental  
guidelines  
will be ***ade by January 1, 1990 to more effectively  
integrate  
engineering  
into weld specification  
and ultimately  
into weld ning and verification:  
-Appropriate  
welding codes will be included in the Design Input Checklist (Reference  
2) to prompt the design engineer to specify appropriate  
weld requirements (for installation  
and examination)  
in the facility change package as part of both conceptual  
and detailed engineering.  
MI0789-1683A-TC01-NL02  
36 . , ... 'i--: ' .. . .. ' ....... ;** _. **:*: I   
. '* ,. ' .. Design control procedures  
related to engineering  
analyses (Reference  
1) will explicitly  
require that all drawings accompanying  
structural/seismic  
analyses provide detailed weld information (type, size, material)  
for input to the planner. In addition, the procedures  
will require that sizing culations  
be performed  
as part of the analysis.  
Finally, a technical  
review checklist  
will be provided to require that the reviewer ensure that weld information  
be accurately  
represented  
on the analysis drawings.  
-Plant maintenance  
procedures (Reference  
3) will require that the maintenance  
planner utilize the contents of the facility change package to complete the RIC in specifying  
for the field weld installation  
and examination ments. The procedure  
will require that the planner consult the Design Input Checklist  
and structural/seismic  
engineering  
analyses.  
-Interim actions related to changes to the RIC and ISI group review of the RIC (as described  
above) will remain in effect. -Design and quality assurance  
engineers  
will be trained on the appropriate  
structural  
and piping weld codes-and  
their application  
to weld installation  
and examination.  
The engineers  
will also be trained on the above procedural  
enhancements.  
A program will be developed  
to periodically  
train design and quality assurance  
engineers  
on the aforementioned  
codes and their application, and on the related design control and maintenance  
procedures.  
In  
is expected that these actions will ensure that proper welding requirement-s (t-ype, material, size) are specified  
by engineering, planned by maintenance (with a check on planning by engineering), and in turn verified by quality control *. Date When Full Compliance  
Will be Achieved *The personal briefings  
by letter will be issued prior to September  
1, 1989. Procedure  
enhancements  
and required training on the enhancements  
will be pleted by January 1, 1990. The program for periodic refresher  
training will be developed  
by March 1, 1990. NRC Violation  
255/89007-03:  
SC-87-344  
Low Temperature  
Over Pressure Set Points. [Refer to page 28 of NRC Report 50-255/89007 (DRS).] Technical  
Specification (TS) No 3.1.8.1.a  
requires a low temperature sure (LTOP) power operated relief valve (PORV) lift setting of < 310 psia for Tc < 300&deg;F and TS 3.1.8.1.b  
requires a LTOP PORV lift setting 575 psia for Tc < 430&deg;F. Contrary to the above, between August 9, 1988 and February 27, 1989, the PORV as-left setting exceeded the TS requirement  
on 17 occasions.  
This is a Severity Level IV violation.  
MI0789-1683A-TC01-NL02  
37 *.-* ***-**-;* . * '* .* .. *.** ...... :* :,-* ;;;. ..... : .. :* .. , .   
., I .. * * :* .. * .. Reason for Violation  
changed the LTQP protection  
system set points for temperature  
switches TS-0115 and TS-0125. The LTOP system provides primary coolant system {PCS) overpressure  
relief capability  
to protect the reactor vessel from the potential  
for brittle fracture.  
The Palisades  
LTOP system is a two channel system which relieves PCS pressure through either of two PORV's. Channel A relieves through PRV-1042B  
and channel B relieves through  
The system is enabled at two settings.  
When the PCS cold leg temperature  
is less than or equal to 300&deg;F, the lift set point for the PORV is less than or equal to 310 psia. When the PCS cold leg temperature  
is greater than 300&deg;F but less than 430&deg;F, the set point for PORV opening is less than or equal to 575 psia. Above 430&deg;F the LTOP system is not required to be enabled. The LTOP system set points are derived from plant heatup and cooldown limits specified  
in Plant Technical  
Specifications.  
The set points reflect the ature and pressure limits calculated  
according  
to the requirements  
of Appendix G to 10CFR50, using the methodology  
provided in Regulatory  
Guide 1.99, Revision 2. These set points were enacted with the issuance of Amendment  
117 to the Palisades  
operating  
license on November 14, 1988. At the time the 310 and 575 psia LTOP PORV set points were proposed on the Technical  
Specification  
change request which resulted in the issuance of Amendment  
117, existing Technical  
Specifications  
did not recognize  
the need for LTOP above_300&deg;F.  
Instrumentation  
existing at this time did not operate above 600 psia had a recognized  
accuracy of +/- 22 psia. Therefore, the 310 and 575 psia points were selected to provide the maximum practical  
operating  
window allawed by exi.sting  
plant components  
while remaining  
bound by 10CFR50 Appendix G limits. The proximate  
cause of this condition  
is that the set point value which results from the addition of instrument  
inaccuracies  
is not conservative  
with the lift point specified  
in Technical  
Specifications.  
This condition  
has been attributed  
to poor documentation  
within the Technical  
Specifications  
regarding  
the fic lift point value. When the technical  
specification  
value was derived, Engineering  
personnel  
subtracted  
instrument  
inaccuracies  
from the 10CFR50 Appendix G limit and arrived at the 310 and 575 psia set points found in Technical  
Specifications.  
The intent of the Technical  
Specification  
lift point value is to ensure compliance  
with Appendix G. The typical set point methodology, if applied to this situation, would be to provide the applicable  
Appendix G limit in TS and then control the actual set point, adjusted for instrument  
inaccuracies, through Technical  
Specification  
Surveillance  
dures. As noted in the inspection  
report, the issue was identified  
in parallel by both the and plant personnel.  
At the plant, the issue was identified  
during a review of the set point methodology  
process utilized at Palisades.  
Plant Engineering  
personnel  
identified  
that the PORV lift point had been set at the technical  
specification  
values of 310 and 575 psia. Setting the lift points at the technical  
specification  
value, neglecting  
instrument  
accuracies, could result in the actual lift points being 332 and 597 psia when maximum instrument  
inaccuracies  
are accounted  
for. A review of past performances  
of MI0789-1683A-TC01-NL02  
38 ''* '  
* .. * * ,.. .-I -* <.. . / * r * ;:: ** **,: *. . "' .._<:*   
. : , ........ ,-:*. Technical  
Specification  
Surveillance  
Procedures  
M0-27A through D which provide for functional  
testing of the LTOP system, revealed that 29 of the 31 times lift set points (310 or 575 psia) were checked, the set point was greater than the technical  
specification  
limitc While the lift point did exceed the technical  
specification  
limit, it was within the acceptance  
values provided by 10CFR50 Appendix Ge Corrective  
Actions Taken and Results Achieved Plant Engineering  
personnel  
reviewed the basis for Technical  
Specification  
3.1.8.1 and Technical  
Specification  
Surveillance  
Procedures  
which set the PORV lift points and verified that even if the largest positive instrument  
inaccuracy  
was added to the technical  
specification  
lift point, the 10CFR50 Appendix G limit would not be exceeded.  
Upon further review it was additionally  
identified  
that the curve utilized in defining the Appendix G limit has incorporated  
a 30 psia measurement  
inaccuracy.  
In that a Technical  
Specification  
change request is being prepared for submittal  
in support of LTOP protection  
system modifications  
to be performed  
during an upcoming maintenance  
outage, a letter of interpretation  
was submitted  
to the NRC on July 12, 1989 which presented  
Consumers  
Power Company's  
position regarding  
continued  
compliance  
with 10CFR50 Appendix G. Technical  
Specification  
Surveillance  
Procedures  
M0-27C and M0-27D 9 which provide setting and  
the PORV lift set points were revised on May 11, 1989 to remove the + 22 psia tolerance.  
Corrective_Actions  
to be Taken to Avoid Further Non Compliance A Technical  
Specification  
change request will be submitted  
which delineates  
the requi.red  
PORV lift set points to assure continued  
compliance  
with 10CFR50 Appendix G limits following  
LTOP protection  
system modifications.  
* An tion of the Technical  
Specification  
change request development  
process is being undertaken  
to determine  
where enhancements  
in the review process are required to preclude future occurrences.  
Date When Full Compliance  
Will be Achieved Continued  
compliance  
with the lift set point value specified  
in the Technical  
Specifications  
has been assured by submittal  
of Consumers  
Power Company's  
letter dated July 12, 1989 and the rev1s1ons  
to M0-27C and M0-27D. The cal Specification  
change request supporting  
the planned LTOP protection  
system modifications  
will be submitted  
by October 1, 1989. The evaluation  
of the Technical  
Specification  
change request development  
process will be completed  
by November 1, 1989. NRC Open Item 255/89007-04:  
Consumers  
Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary  
Feedwater  
Control Valve CV-0736A and CV-0737A Bypass Piping, 11 [Refer to page 13 of NRC Report %-255/89007  
(.DRS).] Example 'An additional  
aspect was associated  
with the size of socket fillet welds: The inspector  
noted that the current design practice used by the licensee is sistent with the original Code of construction.  
The current practice utilizes MI0789-1683A-TC01-NL02  
39 '* ... ; .... "' ,****:::. *:;* .... -,, . ' . "*;. :.-: .. ..;.-.: ,;.* ... -.. . ..... .. .. .... :*"'* '/' --  
* later editions of 831.1 Code which specify the lo09 times the nominal p1p1ng wall thickness.  
The original Code of construction  
required 1.25 times the nominal wall thickness. -From a technical  
standpoint  
the current practice is acceptable;  
however, this inconsistency  
has not been delineated  
by the licensee in the FSAR. Pending revision of the  
this item is considered  
open (255/89007-04).  
Reason for Violation  
Construction  
codes related to 831.1 have not been reconciled  
1n a document useable to the modifications  
engineer.  
Corrective  
Action Taken and Results Achieved Presentations  
have been made to all engineering  
groups on the results of this inspection.  
These presentations  
were completed  
on August 2, 1989. Corrective  
Actions to be Taken to Avoid Further Non Compliance  
Interim Same as that required for Violation  
l.a. Long-Term  
Palisades  
&taff will complete a reconciliation  
of all construction  
codes to the latest edit:,.ion  
of 831.1. This. action would provide for standardization  
of code usage-and  
simplify the determination  
of code requirements.  
This effort will also address the structural  
welding code AWS Dl.l. Such reconciliation  
will be documented  
in plant administrative  
design control procedures ence 4). In addition, a periodic training program covering procedural  
welding requirements  
will be developed.  
Upon completion  
of the reconciliation  
the FSAR will be updated to* identify applicable  
codes and standards  
and their application.  
Date When Full Compliance  
Will be Achieved The personal briefings  
letter will be issued by September  
1, 1989. The ciliation  
of construction  
codes will be completed  
and implemented  
into plant. design control procedures  
by January 1, 1990. Training on these procedural  
revisions  
will also be complete by January 1, 1990. The periodic training program will be in place by March 1, 1990. The FSAR will be updated in the next revision following  
January 1, 1990. NRC Unresolved  
Item 255/89007-06:  
SC-89-072 (Deviation  
Report D-PAL-89-043).  
[Refer to page 32 of NRC Report 50-255/89007 (DRS).] MI0789-1683A-TC01-NL02  
40 .--' ...  
.. '.* .:-.. --*<.
Example The second concern pertains to the generic aspect of the problem. The licensee appeared to recognize  
the programmatic  
weakness which contributed  
to the problem by revising the RIC form to include the specific weld size. However, there appeared to be no corrective  
actions directed toward reviewing  
previously  
made socket fillet welds for compliance  
with Code requirements.  
Based on the added complication  
that the sizes of fillet welds in general apparently  
have not been verified under the licensee's  
program, reviews of past work may not be sarily limited to socket welded fittings.  
Pending a review of the licensee's  
justification  
as to why additional  
inspection  
of previous fillet welds is not required, this is considered  
an Unresolved  
Item (255/89007-06).  
CPCo Response CPCo acknowledges  
that no corrective  
actions have yet been directed towards reviewing  
previously  
made socket fillet welds for compliance  
with code ments. CPCo plans, however, to select an appropriate  
sample of as-built welds and inspect the-welds  
during the 1989 maintenance  
outage. The sample will be chosen to include a range of weld types. The purpose of the inspection  
will be to verify that the weld characteristics (type and size) conform to requirements  
set forth in the Repair Inspection  
Checklist  
and/or applicable  
welding code. These field verifications  
and resulting  
report will be completed  
by December 1, 1989. NRC Unresolved  
Item 5: Consumers  
Power Company Drawing M-101 Sheet 5113, Revision O,. "Piping Isometric, Auxiliary  
Feedwater  
Control Valve CV-0736A and CV-07-3JA  
Bypass Piping." [Refer to page 14 of NRC Report 50-255/89007 (DRS).] NRC Identified  
Discrepancy  
A further concern associated  
with the p1p1ng installation  
drawing pertains to the attachment  
weld for a bypass piping fitting onto the existing run pipe. For this situation, the drawing did not specify the type of joint nor the weld reinforcement  
required.  
However, the specified  
fitting is a "Weldolet" and as such has an exisitng weld prep on it and requires no additional  
design work. Also, the size of the fillet weld cover is specified  
in the welding procedure  
for this type of full penetration  
branch line connection.  
The problem arose during the review of the RIC forms for the four branch connection  
welds. Although these are full penetration  
single bevel groove welds, with fillet weld reinforcement, the RIC form labels these welds as "F.W." indicating  
a fillet weld. For Gap Thickness, the RIC form specifies "NA" which would be appropriate  
for a fillet weld but not for a full penetration  
weld. Since this attachment  
must be a full penetration  
weld, there was no documentation able to assure that the proper penetration  
has been achieved using the fied fillet weld. Additional  
review by the inspector  
of the NDT Examination  
Reports revealed another deficiency.  
According  
to liquid penetrant (PT) examination  
report sheet No MKV-01, welds No 2 and No 13 on line  
1/2 did not receive a PT examination  
as required by  
Specification  
M-152(Q) "Field Fabrication  
and Installation  
of ASME Section Xi Piping fication in a Nuclear Power Plant," Revision 14, September  
30, 1986, paragraph  
MI0789-1683A-TC01-NL02  
41 .... ,.. .,.. . .... '* .. -. . --.. *.**-:**.'... . **.* .. -.  
.. *. :*'. "*. -* ,c;, ' *.** '"' ,' * -' ' --  
9.1.1. Pending verification  
that all four branch attachment  
welds are full penetration  
welds and resolution  
of the PT  
this is considered  
an Unresolved  
Item (255/89007-05).  
CPCo Response Reference  
NRC Violation  
255/89007-02a.  
MI0789-1683A-TC01-NL02  
42 . -=--***_&#xb5;_*  
***:..:___*  
***:..:___*  
*'*' -... --  
*'*' -... --  
'' . -* ATT0889-0167-NL04  
'' . -* ATT0889-0167-NL04 ATTACHMENT 2 Consumers Power Company Palisades Plant Docket 50-255 LIST OF REFERENCES August 10, 1989 1 Page ' ... *.* .. *.* .. ' .: ... :***_-..
ATTACHMENT  
2 Consumers  
Power Company Palisades  
Plant Docket 50-255 LIST OF REFERENCES  
August 10, 1989 1 Page ' ... *.* .. *.* .. ' .: ... :***_-..
References  
References  
.. lo Plant Administrative  
.. lo Plant Administrative Procedure (AP) 9.11 "Engineering Analyses" --i I 2. AP 9.03 "Facility Change" 3. AP 5.06 "Control of Special Processesn
Procedure (AP) 9.11 "Engineering  
: 4. AP 9.06 "Code Requirements for Maintenance and Modifications" 5. AP 9.04 "Specification Changes" 6. AP 9.30 "Q-List" 7. Deviation Report D-PAL-89-43  
Analyses" --i I 2. AP 9.03 "Facility  
-..*. MI0789-1683A-TC01-NL02 1 .... '* : .. : . *. ,: .. ' .... -. . ..... . . .. ' *,*.1 . .-.: :'}}
Change" 3. AP 5.06 "Control of Special Processesn  
4. AP 9.06 "Code Requirements  
for Maintenance  
and Modifications" 5. AP 9.04 "Specification  
Changes" 6. AP 9.30 "Q-List" 7. Deviation  
Report D-PAL-89-43  
-..*. MI0789-1683A-TC01-NL02  
1 .... '* : .. : . *. ,: .. ' .... -. . ..... . . .. ' *,*.1 . .-.: :'
}}

Revision as of 23:59, 16 August 2019

Responds to NRC 890628 Ltr Re Violations Noted in Insp Rept 50-255/89-07.Corrective Actions:Design Engineers & QA Personnel Provided W/Training on Structural & Welding Codes & Code Application to Weld Installation & Exam
ML18054A910
Person / Time
Site: Palisades Entergy icon.png
Issue date: 08/10/1989
From: Berry K
CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.)
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
NUDOCS 8908180078
Download: ML18054A910 (50)


Text

. "'
  • G11neral 1946 West Parn11ll Road, Jackson, Ml 49201 * (6171 788-1638 ** -----August 10, 1989 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES PLANT -RESPONSE TO INSPECTION REPORT 89007 NOTICE OF VIOLATION Kenneth W Berry Director Nuclear Licensing Nuclear Regulatory Commission Inspection Report 255/89007, dated June 28, 1989, identified strengths in inservice testing programs and weaknesses relative to design control. These weaknesses resulted in three violations supported by numerous examples.

None of these examples were safety cant, but collectively they indicated a need for programmatic refinements and additional communication of management's expectations.

The NRC required a written response to be provided within 30 days, however, discussion between respective members of our staffs extended the due date to August 10, 1989. This letter. summarizes the actions to be taken. Details pertaining to the specific items are provided in the Attachments.

Since 1986 significant efforts have been undertaken by Consumers Power Company to provide for effective control of Plant design change activities.

These efforts have resulted from evaluation of performance by Plant Engineering and Corporate Engineering personnel, Quality Assurance personnel, NRC and the Institute of Nuclear Power Operations.

In achieving an effective design control process; procedures governing modification control activities have been revised, a single design authority has been established, changes to the facility are. being effected through a single unified approach and expectations and standards have been communicated to Design Engineering personnel.

Procedural upgrades have focused on translation of design input to the desired output, controlling and implementing the design change in the field and providing close coordination of the design with the needs of the Plant. In the past, the design authority for "minor" modifications has resided at the Plant while offsite engineering organizations retained the design for "major" modifications.

Establishing the Plant as the design authority for all changes to the facility has been effected by Plant sponsorship of all design control procedures, Plant approval for assignment of design individuals and Plant review of all work completed by non-Plant organizations.

Further, OC0889-0167-NL04 8908180078 890810 PDR ADOCK 05000255 G PNU .*.-.*-. :; .--.* , .. -,,.. ** _,. "':;. '* *.;*;,***"'

  • .*

...... :,=o-*r-<*

*** *., ** , ... _ *--

  • *
  • Nuclear Regulatory Commission Palisades Plant Response to IR 89007 August 10, 1989 semi-annual design seminars and monthly design supervisor meetings which include Engineering, Construction and Testing and Quality Assurance personnel are being conducted to facilitate communication of procedural changes, standards and expectations.

2 Consumers Power Company believes, and as recognized within the Inspection Report, these efforts have resulted in programmatic strengths.such as; good design procedures, improved equipment performance and competent, knowledgeable personnel.

However, Consumers Power Company also recognizes that as industry performance standards are increased, weaknesses in established programs may develop which require additional effort. NRC violation 255/89007-01 presented 19 examples of inadequate design control related to design changes implemented at the Plant. The first seven of these examples were related to the failure to correctly translate design bases into drawings, procedures and instructions.

Five of the examples are acknowledged as presented and are attributed to the failure to; 1) follow established procedures, 2) provide adequate justification and documentation within cation packages or 3) provide for adequate technical reviews of installation efforts. Also, certain areas were identified where procedural enhancements and improved design guidance would preclude recurrences. er, the remaining two examples, 255/89007-0ld and Olg, are not acknowledged as* presented within the Inspection Report. For these two* examples we believe the design intent of the modification was preserved and verified by testing and that record drawings utilized reflect the as-built condition of the Plant. The nine examples were related to the failure to adequately verify and check design. Eight of the examples are attributed to the failure to; 1) follow established procedures, 2) document engineering decisions or 3) provide for adequate technical reviews. Also, certain areas were fied where procedural enhancements would preclude recurrence.

However, Consumers Power Company does not acknowledge the remaining example 255/89007-011.

For this example, the Inspection Report noted that a setpoint change was implemented without assuring the design intent of the system had not been compromised.

In review of the documentation supporting the design change, it was verified that design intent of the system was considered and documented within the modification package and had not been compromised.

The remaining three examples were identified as non-compliances for the to adequately delineate acceptance criteria.

Two of these examples are attributed to a lack of procedural guidance within modification procedures.

Consumers Power Company does not believe example 255/89007-0lq is valid as presented in that appropriate equipment selection criterion were applied during design and documented within the modification package

  • OC0889-0167-NL04

... *****-*' .... -.***.*****:*

.,--._., .. _ ....

...... *.*-****-***._*-.**.*.,,,,_._._,_

.. _,., ... **-*....-*******.-

..

  • Nuclear Regulatory Commission
  • Palisades Plant Response to IR 89007 August 10, 1989 3 In an effort to ensure the accuracy of the existing plant design basis is maintained, discrepancies identified within analyses supporting the cited design changes have been or will be dispositioned and documented.

As an effort to collectively utilize auditing agencies appraisals of our past performances, the identified deficiencies were presented to Design Change Engineers with emphasis placed on strict adherence to established procedures and the concept of Plant based modification engineering.

Enhancements being made to design change procedures regarding documentation of engineering judgement, substantiating input assumptions and* thorough technical reviews will be presented to design change engineers via personal letters, performance seminars and continuing training programs.

Enhanced design guidance is being developed for weld engineering.

Specifically, code training for weld neers is being conducted as well as design change procedure revision to "prompt" the use of existing weld engineering guidelines for proper code selection and specification.

In addition, as part of the Configuration Control Project, additional engineering guidance regarding cable sizing and raceway fill, designing fire barriers and fire stops, evaluating station and emergency power* system.component loads and cable routing including the effects of cable submergence, is being developed.

Additionally, more engineering guidance in the form of an engineering specification will be developed for the civil/structural discipline.

This specification will be developed by July 1990. . NRC violation 255/89007-02 presented two examples where socket fillet welds were not-verified to be in conformance with weld size requirements provided in welding specifications.

These examples are attributed to a failure to meet current expectations for the control of design change implementation.

To . avoid further non-compliance, design change procedures are being revised to present welding specifications input checklists and implementation drawings, and to provide for technical reviews of weld requirement inputs by Maintenance Planners.

Additionally, Design, Engineers and Quality Assurance personnel are.being provided with training on structural and welding codes and their application to weld installation and examination.

NRC violation 255/89007-03 was issued for a failure to implement and maintain Technical Specification low temperature overpressure (LTOP) setpoints which were changed through the specification change process. The violation is attributed to poor within the Technical Specification Change Request development process. When the LTOP setpoints were derived, Plant personnel failed to identify that the value included in the Technical cation did not account for calibration tolerance.

A letter of interpretation has been submitted to the NRR which documents ou"' '1-'osition and commits to revising the setpoints in a forthcoming Technical Specification Change quest. In the interim, surveillance procedures which provide for setting and verifying the LTOP setpoints.have been revised to remove the positive tion tolerance.

An evaluation will be conducted to determine where ments in the Technical Specification Change Request process can be made to preclude recurrence.

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  • Nuclear Regulatory Commission Pal:isades Plant Response to IR 89007 August 10, 1989 4 The Inspection Report additionally requested a written response be provided for certain, specific examples of programmatic weaknesses.

The first weakness cited involved the addition of zener diodes in the safety injection tank pressure transmitter power supply without analyzing potential failure modes and without checking diode input voltage after installation.

The failure to fully analyze potential failure modes is attributed to personnel error. Administrative Procedures currently require that .a failure modes and effects analysis (FMEAs) be performed as part of the safety evaluation process. The periodic*

refresher training program for design engineers will include emphasis on FMEAs. The next weakness cited pertained to the backup nitrogen supply modification.

Specifically, an unauthorized design change was implemented when field nel implemented their own weld requirements after identifying that an priate weld was specified by the design engineer.

The condition is attributable to the fact that welding maintenance procedures are not. ly integrated with design control procedures, thus assuring that changes. in the field will be approved by engineering before they are undertaken.

The welding maintenance procedures will be better integrated with the design control procedures.

The third weakness pertained to utilization of different editions of the ASME Code relative to stress intensification factors utilized in analyses.

In summary, usage of the later addition of the ASME Code, as currently described in the Palisades.

Final Safety Analysis Report (FSAR), was discussed in an April 1980 meeting between Consumers Power Company and the NRC and found to be acceptable.

Our interpretation of the results of this meeting was submitted to the NRC in the draft form, revised FSAR pages in our Final Response to IE Bulletin 79-14 dated September 26, 1980. As indicated in our submittal to the NRC dated October 24, 1980, the use of different code editions was found to be acceptable, reviewed in accordance with 10CFR50.59 and placed in the Palisades FSAR. Therefore, usage of different code editions as presented in the FSAR currently represents our position and is believed to be acceptable.

The last weakness cited pertains specifically to the Engineering Design Change (EDC) form utilized to revise facility changes not listing calculations which may be affected by the particular EDC. Therefore, it was unclear whether technical reviewers had considered the effects of the EDC on the original analyses.

Consumers Power Company believes that existing procedural ments direct the EDC initiator to "reflect" the change in all affected tailed design documents; the engineering analysis was clearly identified in the procedure as being a detailed design document.

However, "engineering analyses" will be specifically added to the EDC form to ensure that technical reviewers consider effects on engineering analyses and provide documentation of this consideration

  • OC0889-0167-NL04 I
  • Nuclear Regulatory Commission
    • **Palisades Plant Response to IR 89007 August 10,
  • 1989 5 The Inspection Report also requested that specific discussion be provided regarding unresolved items pertaining to welding. This discussion is ed on page 41 of Attachment
1. In summary, we acknowledge that no corrective actions have yet been directed towards reviewing previously made socket fillet welds for compliance with code requirements.

Consumers Power Company plans, however, to select an appropriate sample.of as-built welds and inspect the

  • welds during the 1989 maintenance outage. The sample will be chosen to include a range of weld types. The purpose of the inspection will.be to verify that the weld characteristics (type and size) conform to requirements set forth in the repair inspection checklist and/or applicable welding code. Kenneth W Berry Director, . Nuclear Licensing-CC Administrator, Region III, USNRC NRC Resident Inspector

-Palisades Attachments OC0889-0167-NL04

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  • * * .*_.* *; ATT0889-0167-NL04 ATTACHMENT 1 Consumers Power Company Palisades Plant Docket 50-255 DETAILED RESPONSES TO INSPECTION REPORT 89007 August 10, 1989 45 Pages . ' . * ,. . ..* *. , .. *** .. * *. ** ** .. *---"""--'---'----'-'-'""'"--=...;.......*

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  • Violation (255/89007-0!A-S)
1. lOCFRSO, Appendix B, Criterion III, as implemented by the Palisades Operations Quality Assurance Program requires, in part, that the design bases be correctly translated into drawings, procedures, and instructions; that the design control measures provide for verifying or checking.the adequacy of the design; and that design control measures be applied to the delineation of acceptance criteria for inspections and tests. Contrary to the above, the following instances of inadequate design control were identified:

This is a Severity Level IV Violation.

This violation is sustained by 19 examples.

Though Consumers Power Company believes four of these are not supportive examples.

We do acknowledge the violation.

Our detailed response to each example follows: MI0789-1683A-TC01-NL02 1 ... . -::* -* .. ........ * -....... ,. .. *. .... *... ,.,_

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NRG Violation 255/89007-0la:

EA-FC-789-07, "Seismic Analysis of Auxiliary Feedw'ater Control ESSR 88714, 11 Revision l, August 24, 1988. [Refer to page 9 of NRG Report 50-255/89007 (DRS).] Example FC-789 contained multiple dimensional differences between the analysis model and the installation drawings.

The following examples are provided:

-The location of new support 8224 was analyzed at 6 11 from the 45° elbow. The piping drawing (M-101 Sheet 5113) *used to install the support specified a dimension of l'-7 1/2" from the elbow. This difference was not noted in the calculation.

-The length of pipe between Model Nodes 6276 and 6282 was analyzed as 5'-10" long. The installation drawing specifies S'-6" long. This difference was not noted in-the calculation.

Several additional -dimensional .discrepancies on the. new. bypass piping were . also noted between the analysis and installation drawing. These discrepancies ranged from 1 11 to 2-1/4" and were considered minor by the inspector.

none of these discrepancies were noted in the calculation.

Reason for Violation During the evaluation*

of the design of the bypass piping system numerous changes in design dimensions were encountered due--to pipe, support and valve operator-interferences.

At a certain point in the analysis process, it was decided to build* the design *to. the drawing and* effect the final analysis reconciliation*when the as-built data were recorded on a marked-up drawing. The analysis reconciliation with the as-built was never made. This violation was due' to inadequate documentation of the* justification for analytical input and failure to follow established procedures.

Corrective Action Taken, and** Results Achieved-All engineering groups have been briefed as to the results of this inspection.

These briefings were completed on August 2, 1989. The above noted cies have been satisfactorily dispositioned and the finite element piping analysis model has been updated. Corrective Actions to be Taken to Avoid Further Non Compliance Interim All design change engineers will be briefed as to the reported violations by personal letter. These letters will require that all engineers involved in design changes scheduled for installation in 1989 review existing design ages for similar problems and correct any identified problems.

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.-:*** , .. ,,. .. Long-Term Enhancements will be made to plant administrative design control procedures to further clarify the requirements that strict alignment between engineering analyses, associated/accompanying drawings, and as-built condition must be verified and documented prior to declaring modified systems/equipment operable.

In additionf a program will be developed to provide periodic refresher training to all design change engineers on design change-related administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. dural enhancements will be completed by January 1 1 1990. The program for periodic training will be in place by March 1, 1990. NRC Violation 255/89007-0lb:

EA-FC-789-07, "Seismic Analysis of Auxiliary Feedwater Control ESSR 88714" Example b.l -For the south bypass loop, the Young's Modulus was specified as 27.4 E6 psi instead of 27.9 E6 psi. This is equivalent to analyzing this portion of pipe with properties at 300° instead of 70°. This discrepancy was not noted in the analysis.

Reason for Violation The use of the.27.4 E6 psi value for the Young's Modulus represents a 1.8 cent error with *regard* to the correct value of 27 .9 E6* psi value. The impact of such an error is expected to be an underprediction of thermal expansion stress of no more than 1.8 percent. This resulted from inadequate tion of technical review and failure to follow existing procedures.

Corrective Action Taken. and. Results= Achieved*

All engineering groups have been* briefed as to the results of the inspection.

These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim All design change engineers will be briefed as to the reported violations by personal letter. These letters will require that all engineers involved in design changes scheduled for installation in 1989 review existing design ages for similar problems and correct the problems.

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  • ** Long-Term to plant administrative design control procedures will be made tog -Provide the technical reviewer a review checklist with a "prompt" to justify the numerical values of all constants and variables utilized as inputs to the analysis (the checklist will provide a comprehensive set of "prompts" to ensure an overall accurate, thorough and auditable analysis). -A mechanism for the reviewer to note minor errors which would not necessitate a reanalysis.

In addition, a program will be developed to provide periodic refresher training to all design change engineers on design change-related administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989e The procedural enhancements and training on the enhancements will be completed by January 1, 1990. The program for periodic training will be in place by March 1990. Example b.2 The location of the center of gravity (CG) for the new bypass valves was analyzed at 19 11 from the pipe centerline.

The location specified on the vendor-drawing was 22 11* This represents a 15% increase in the moment arm which was not noted in the calculationo Reason for Violation The piping analysis was set up from preliminary data. The valve assembly weight was included in the model. However, the weight placement was not sistent with-*the final drawing received.from the vendor. The existing mentation does not indicate whether or not the analyst reviewed the center of gravity data from the vendor drawing. The analysis certainly was not run to accommodate This violation occurred due to failure to account for vendor information as analytical input and failure to follow established procedures.

Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of the inspection.

These briefings were completed on.August 2, 1989. The calculation was revised to incorporate the correct vendor data and was found to be acceptable.

Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation l.a. MI0789-1683A-TC01-NL02 4 ...... ... \*::..:***** . . . . *,_ . . .*. . . . .:::*-

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  • Long-Term Enhancements to plant procedures will be made Ensure that vendor information/recolillllendations are accounted for ical input and that justification be provided for departure from information/recommendations, as such Provide the technical reviewer a review checklist with a 11 prompt" to assure that vendor information/recommendations are appropriately accounted for. A program will be developed to provide periodic refresher training to all design engineers on design change-related plant administrative procedures.

A 11 punch 11 list or equivalent will be developed to track items requiring verification when data becomes available.

Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. These procedural enhancements will be in-place by January 1, 1990 as will required training on these enhancements.

The program to provide refresher training will be in place by March 1, 1990. Example b.3 In addition to the above noted discrepancies for modeling the bypass piping, other dis.crepancies were noted in the model of the original auxiliary feedwater piping. The inspector could not determine whether these discrepancies were inherent in the original data or whether they occurred during the transcription of the original model into the current piping analysis.

However, notes in the piping model stated the following: "Bechtel analysis is a bit off from ISO here." -"Bechtel has modeled elbows only with SIFs. Elbows are used here." -"Review ISO for pipe schedule change." These notes led the inspector to question the validity of the assumption made in the calculation concerning the correctness of the original input data. CPCo Response The three notes recorded by the inspector do not necessarily imply errors in the original input analysis.

The notes reflect free text written into the ADLPIPE computer model by the translator of the ME101 Bechtel model for the review by the piping analyst. The specific analysis model/ISO discrepancy was small. However, the note advised the analyst that a choice needed to be made for analysis record runs. MI0789-1683A-TC01-NL02 5 . :.'.-.** -

  • There is nothing wrong with modeling elbows with SIFs and flexibility characteristics.

However, the note merely advises the analyst that comparing ADLPIPE elbows and ME101 elbows for counting of elbows for model benchmarking will not yield consistent results and that the MElOl model will require more review to ensure model consistency.

The note with respect to pipe schedule change is again for the benefit of the analyst. No error is implied. No corrective action is required.

Example b.4 The additional discrepancies in the mod*el of the auxiliary feedwater piping were as follows: -For flow element FE-0736, the weight of 192 lbs was modeled at node 211 instead of node 205 *. Although this was only a 4-1/2" error on a 6 11 pipe, the flange pair was analytically modeled with the weight concentrated at one edge instead of at the middle of the flanges. For Valve M0-0754, the 460 lb weight was modeled at the centerline of the pipe at node 267. The weight should have been specified at the valve CG at node 268, 18" out from the pipe centerline.

The horizontal response spectra used in the analysis was inconsistent with the spectra given in Specification C-175. The spectra used was lower and not as broad as those given in the Specification.

-Piping .between the nodes 252 and 253 was modeled as 4", schedule 40, instead of 6 11 , schedule 80. The above discrepancies are further examples of violation of 10 CFR 50, Appendix B, Criterion III in that the licensee failed to correctly translate the design into the drawing (255/89007-0lb).

Reason for Violation The placement of the flow element weight, the placement of the valve operator weight and the pipe schedule discrepancy constitute discrepancies which should be picked up in the review process. The reason for the violation has been attributed to an inadequate technical review and failure to follow established procedures.

The horizontal response spectra employed in the original IE Bulletin 79-14 analysis of the Palisades piping systems were based upon the Taft 1952 record. The digit,ized data and a straight-edged set of plots from those data were

.. to Consumers Power Company by Bechtel in 1976. The horizontal response spectra used in the piping analysis were derived from these digitized data. The straight-edged plots were used for building and equipment tion seismic work

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Because the straight-edged plots were very difficult to read and because it was desired to incorporate building and equipment spectra in a single seismic ification specification, the straight-edged plots were redrawn and incorporated into Specification C-175. It is expected that the horizontal spectra of C-175 could be slightly higher and broader than the straight-edged spectra. However, that was not the purpose for drawing them. Although the C-175 horizontal tra should be very similar to the straight-edged horizontal they should be used for building analysis and equipment qualification only. They should not be used for piping analysis.

The correct horizontal response spectra for safety related piping systems at Palisades which use the initial plant seismic design basis are those included in the stress packages as developed from the digitized spectra._

New piping systems or modifications involving substantial changes to existing systems will employ the spectra and procedures in Specification M-195. Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of the inspection.

These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as for Violation Item l.a. Long-Term Enhancements to plant procedures will be made to: -Provid*e the technical reviewer a checklist with a comprehensive set of "prompts" to ensure an overall accurate, thorough and auditable analysis.

These "prompts" will specifically require that the reviewer check the validity of all analytical input and assumptions.

-Provide. the basis for the selection of design as governing, and -Provide a technical review checklist with.a prompt to concur that governing design criteria (input) have been justifiably selected.

-Identify applications in which C-175 or M-195 would be used. Furthermore, a program witl be developed to provide periodic refresher training to engineering personnel on design change related plant administrative dures. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued by September 1, 1989. dural enhancements will be made by January 1, 1990 as will all required training on the enhancements.

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  • NRC Violation 255/89007.0lc:

Consumers Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to page 12 of NRC Report 50-255/89007 (DRS)o] Example -The size of the fillet weld was determined by the requirements of Welding Specification WPS-11.21, Revision 2; however, for the socket welded fittings, the size of the fillet weld was not specified on this drawingo In reviewing the Repair Inspection Checklist (RIC) for the welds in question, the weld size specified is 1 1/2 11* This is misleading in that this is the size of the pipe and not the size of the fillet weld. In order for the welder to determine the size of the fillet weld, the pipe wall thickness must be obtained and a calculation of 1.09 times the wall thickness must be per-. formed. Although this is a relatively simple calculation, it is a design function and* as such must be controlled.

There is no documentation to demonstrate that this design activity was performed.

In addition, there are *no controls in place to check and verify this design activity.

Reason for Violation Specifying welding requirements (such as applicable code, weld material, weld type and weld size) is an engineering function.

If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding details* for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/-0r structural analysis engineering sketches.

which have lacked size dimensions for the welds *. As a result, the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementation.

The plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference 3). These procedures have not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning, installation, and post-installation The following actions have been/will be taken to ensure the administrative dures relating to weld specifications are properly integrated with the Maintenance Department.

Prior to actions taken as a of recent self-identified failures to verify weld size (Reference 7), no specific requirements existed to verify characteristics (weld, type, size contour) of installed welds. Although Nuclear Operations Department Standards suggest inspection hold points for weld installation verification, working level administrative procedures did not specify a hold point requirement except for fit up. MI0789-1683A-TC01-NL02 8 .. '. **. _.\**.**.*.:

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  • * ---------Corrective Action Taken and Results Achieved -All engineering groups have been briefed as to the results of this inspectiono The briefings were completed on August 2, 1989. The Inservice Inspection (ISI) Section of the Plant Projects Engineering Department has effected the role of Design Authority for weld engineering by revising the RIC to identify critical weld parameters and require ISI cal review of the maintenance planner's specifications.

The purpose of the review is to ensure that appropriate welding codes are complied with in the areas of weld installation and post-installation examination.

Revision to the RIC was completed as part of the revision to the plant administrative procedure for control of special processes (Reference 3). -The ISI Section (as well as planners, welders and welding supervisors) has received specific training with respect to welding codes and technology to augment their existing collective knowledge.

-In addition, the RIC .. was revised to issue. the. weld minimum leg length to the field. This will eliminate the need for the field welder to calculate the length. The aforemenqoned ISI review will assure that this specification is provided.

-Finally, the RIC has been revised to require verification of weld size * (RIC now requires that weld is inspected for size, porosity, undercut,-etc.)

Training materials for the welder tra1n1ng progression course have been revised-to emphasize fillet weld terminology and conformance of the completed weld to the.design specification.

Corrective Actions to be Taken to Avoid Further Non Compliance Interim -* Same as that required for Violation Item l.a. Long-Term

-Enhancements to plant design control and maintenance procedures will be made to more effectively integrate engineering into weld specification and mately into weld planning and verification:

Appropriate welding codes will be included in the Design Input Checklist (Reference

2) to "prompt" the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.

In addition, a generic guideline will be developed to support the design engineer throughout the weld design process. MI0789-1683A-TC01-NL02 9 . :*.-...

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  • Design control procedures related to engineering analyses (Reference
1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. The procedures will also require that sizing calculations be* performed as part of the analysis.

Finally, a technical review checklist will be provided to require that the reviewer ensures that weld information be accurately represented on the analysis drawings.

-Plant maintenance procedures (Reference

3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.

Relative to weld verification, the design control program and related welding program will be evaluated and enhancements developed as necessary to ensure that administrative and quality verification controls exist to consistently verify that field installation satisfies design requirements (ie, input vs output). Interim actions related to changes to the RIC and !SI group review of the RIC (as described above) will remain in effect

  • Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes and their application to weld installation and examination.

The engineers will also be trained on the above procedural enhancements.

Finally, a program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the weld-related design control and maintenance procedures.

In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified by engineering, planned by maintenance (with a check on planning by engineering), and in turn, verified by quality control. Date When Full Compliance Will be Achieved The engineering group briefing has been The personal briefings by letter will be issued by September 1, 1989. Procedure enhancements and required training on the enhancements will be completed by January 1, 1990. The program for periodic refresher training will be developed by March 1, 1990. NRC Violation 255/89007-0ld:

EA-T-FC-722-501-01 "Calculation of Acceptance Criteria for Modification Test Procedure T-FC-722-501," January 13, 1987. [Refer to page 16 of NRC Report 50-255/89007(DRS).]

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  • Example The calc.ulation on page 2 of the engineering analysis states that the total volume of gas contained in the nitrogen bottles at 2000 psig is 209 scf. This value is incorrect in that it is the usable cylinder volume as given in lation EA-FC-722-02.

The actual volume is approximately 228 scf. By using the incorrect value, the calculated acceptance criteria for pressure drops were higher and, therefore, were nonconservative.

CPCo Response CPCo does not acknowledge this example as a of violation of 10CFR50, Appendix B, Criterion III for the following reasons. 1. As indicated by EA-FC-722-02, the design intent of this modification is to supply a nitr.ogen header pressure from an initial minimum bottle pressure of 2,000 psig down to 150 psig to ensure that the associated control valves would be brought to their safety-related position and maintained in that position for the -required time period.

  • 2. In accordance with the design intent of this modification, the usable volume of nitrogen is that volume contained in the bottle from 2,000 psig to 150 psig or 209 scf as calculated by EA-FC-722-02, Sheet 10 of 13. The usable volume of 209 scf is utilized as a conservative value to establish the number of nitrogen bottles required for each station to meet system design requirement.
3. Although not specifically stated in *the body of EA-T-FC-722-501-01, the value of the "usable" volume of nitrogen (209 scf) was utilized in lishing test acceptance criteria rather than the "total" volume of nitrogen (228 scf) to confirm the design intent, verify estimated leakage rates, and confirm system margins. The test procedure clearly tests the design intent of this modification.

Based up_on the above, we feel that this example does not support a violation of lOCFRSO, Appendix B, Criterion III has occurred.

However, certain actions will be undertaken to remedy this minor deficiency and prevent its recurrence:

Interim -All design change engineers will be briefed as to the reported violation by personal letter and by engineering group presentation.

The letter briefings will be completed by September 1, 1989. The group presentations were pleted on August 2, 1989. -EA-T-FC-722-Ji will be revised to clearly indicate that "useable" volume has been utilized to calculate the acceptance criteria rather than "total" volume. MI0789-1683A-TC01-NL02 11 . **-.*****:*:

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Long-Term The actions identified as being taken in the interim are considered complete and effective in responding to this identified condition; no further action is required.

Date When Full Compliance Will be Achieved The engineering analysis will be revised by September 1, 1989. NRC Violation 255/89007-0le:

FC-756 11 HPSI Pump Miniflow Bypass Modification.

19 [Refer to page 18 of NRC Report 50-255/89007 (DRS).] Example Input into the AOLPIPE, Inc (AOL) piping stress analysis, contained in FC-756, contained multiple dimensional differences from the as-built dimensions.

Bechtel's stress.isolmetric drawing 03378, sheet 4 of 5, Revision 1, and drawing Revision 4, showed a dimension of 29 7/8 inches between pump 66A and the elbow. The as-built dimension is 13 1/2 inches. Both (ADLPIPE, Inc.) AOL's and B.echtel's stress analyses used 27 7/B inches. This dimensional discrepancy was not documented during the NRC IEB 79-14 program, nor was it corrected in Bechtel's and AOL's stress analyses.

Further, this discrepancy is in conflict with the assumptions contained in analysis No CS-ESSR 87-144 that purportedly demonstrated that the Bechtel drawings are correct. The inspector also noted that the input data used in the modification portion of the piping system was inconsistent with as-built drawing No 03378, Sheet 4 of 5, Revision 2. The licensee reviewer was not aware of the above dimensional discrepancies.

Failure to correctly translate the design into the drawings is considered an example of violation of 10CFR50, Criterion III. Reason for Violation The dimensional discrepancy associated with the 27 7/8 versus 13-1/2 inch lengths was a result of the analyst relying on data being transmitted from the field and not checking the installation personally.

The smaller discrepancies between the ADL and as-built drawing records were recognized by the analyst when he was provided a marked-up drawing of the as-built configuration.

The analyst acknowledged receipt of the as-builts via memo and stated that the as-built configuration was acceptable and no reanalysis was required.

The reason for the violation was inadequate analytical assumption resulting from a failure to perform a system walkdown and failure to follow established dures. Corrective Action Taken and Results Achieved All engineering groups were briefed on the results of this inspection.

The briefings were completed on August 2, 1989. The dimensional discrepancies noted have been satisfactoril*y dispositioned and documented.

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  • Corrective Actions to be Taken to Avoid Further Non Compliance The following corrective actions will be taken to prevent Interim Same as that required for Violation Item 1.a. Long Term Procedural enhancements will be made to ensure

-The analyst "walks down" the area of interest *to confirm all as-built (or intended as-built) data is utilized in the analysis.

This confirmation must be made prior to declaring modified structures or equipment operable.

-By approval of the facility change "Responsible Engineer, 11 the above bility for as-built data confirmation may be delegated to field construction by controlled procedure or work order instruction.

-In the event the analyst concludes that no further "analysis" is necessary, the reconciliation of such shall be documented as part of a controlled analysis revision which ensures technical review. A program will be developed

  • to provide refresher training on design change related prQcedures.

This training will be directed towards all design change engineers.

_ Finally, a portion of the Configuration Control Projec.t involves the walkdown and field verification of piping as-built dimensions to confirm the accuracy of our stress isometric drawings.

Verification of the stress isometric ings for a sample system is planned for 1990 to assess theneed and extent of further verification activities.

CPCo will perform any required walkdowns by no later than the 1990 refueling outage. Date When Full Compliance Will be Achieved Personal briefings by letter will be issued* by September 1, 1989. Procedural enhancements and required training on the enhancements will be completed by January 1, 1990. The periodic training program will be in place by March 1, 1990. Walkdown and field verification of stress isometric drawings requiring verification will be completed by the 1990 refueling outage. ' NRC Vio*lation 255/89007-0lf:

FC-756 "HPSI Pump Miniflow Bypass Modification." [Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example The as-built sketch used in the analysis for FC-756 contained a nine inch dimensional error. MI0789-1683A-TC01-NL02.

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The as-built sketch for the modification near pump 66A was sent from the site to the engineering office for review. The inspector noted that this sketch contained.a dimensional error. the 2 1-6 1/2" dimension was incorrectly marked on the sketch. This dimension was off by nine inches. Failure to correctly translate the design into the drawing is considered an example of violation of lOCFRSOP Appendix B, Criterion III. Reason for Violation As a result of required piping changes for this modification, a seismic analysis and Stress Package 03378 update were requested by the site. Included with the request were M-107 Sh 2247/2248 which indicated the existing configuration, and proposed modification.

Using the drawings as input 1 the system was modeled on ADLPIPE to generate the system stresses after the modification.

The existing drawings (sent as part of the request) were marked "Issued As-Built per NRC IE Bulletin 79-14.11 After the analysis was performed, a pre-installation walkdown was performed.

During the walkdown the referenced dimensional discrepancy was noted. The seismic analyst was contacted to evaluate the change. As a resultp the analyst issued a letter stating *that since stresses in the area were low, based on his judgement, the change was acceptable.

When the construction was complete, the seismic analyst compared the as-built to the dimensions used in the preliminary analysis.

It was determined the analysis was acceptable with the dimensional variance .... Stress Package 03378 was annotated to reflect this information.

The above-information describes*

the circumstances surrounding.the modification however does not indicate a root cause. The discrepancy is not directly related to the modification except that the modification brought a previous error to light. That is, the drawings used were certified as being dimensionally correct per Bulletin 79-14, when in reality there was an error. Corrective Action Taken and Results Achieved The engineering groups were briefed as to the inspection results. These ings were completed on August 2, 1989. The above noted discrepancy has been satisfactorily

  • dispositioned by analysis.

Corrective Actions to be Taken to Avoid Further Non Compliance The. following corrective actions will be taken to prevent recurrence:

Interim Same as that required for Violation Icem l.a. Long-Term

  • The "long-term" actions prescribed for Violation Item l .e will prevent rence. MI0789-1683A-TC01-NL02 14 .

..... ,, --.

  • . -
  • Date When Full Compliance Will be Achieved The dates established for.actions related to Violation Item l.e apply here as well. NRC Violation 255/89007-0lg:

FC-756 "HPSI Pump Miniflow Bypass Modification.eu

[Refer to page 19 of NRC Report 50-255/89007 (DRS).] Example Pipe support drawings in p1p1ng support Calculation No 03378 of FC-756 did not adequately describe the required weld sizes. Pipe support drawings DCl-8198.1 and DC1-Hl96.2 contained in support tion No 03378 were reviewed.

The inspector found that one drawing showed fillet welds at the structural joints but no weld sizes were specified.

The other drawing showed a 3/16 inch fillet weld with a note "assumed." As a result, the design bases of the welds were not adequately translated into the drawings.

CPCo Response As part of the evaluation of this example, M-107 Sh 2254/2255 were reviewed which are detail drawings for the subject hangers. The two ports *cited were not modified or installed as part of FC-756. The supports were only evalua.ted regarding stresses in relation to the modification.

In both cases, the_drawings are Rev 0 and are issued as-built per IE Bulletin 79-14. It appear-s that this is a situation where documentation from the 79-14 effort may not be completely However, when past discrepancies were identified, there was no signficant impact on analytical conclusion.

Neither drawing DC1-H198.l nor DC2-Hl96.2 were utilized as design input to FC-756. After further discussion on this issue with NRC Region III via telecon on July 26, 1989 and review of the drawings referenced by the inspector, it was determined that these drawings were initial IEB 79-14 calculation file ings of preliminary status. These drawings do not represent the final hanger detail drawings referenced above. Since these calculation file drawings are not "record" drawings reflecting as-built condition, and are not referenced (by intent) in our Facility Change Design Document Checklist, they are not input to our facility change process. No further action is required since neither a design change control deficiency nor inaccurate record (as-built) document exists. Therefore, CPCo does not acknowledge this example. However, reference example e. for actions to be taken to ensure accurate dimensions are utilized as* analysis inputs. NRC Violation 255/87007-0lh:

FC-731 "Regulatory Guide 1.97 Transmitter Replacement." [Refer to pages 19 and 20 of NRC Report 50-255/89007 (DRS).] Example The seismic stress calculation assumed an incorrect center of gravity which was not identified during the checking process.

15 . *.*:.,*-*

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  • .** '* .:: *:_.: '! ... ,' . _..,,-. '* .* .*.,** .:*::.'.-
  • The analysis criteria shown on page 3 required the center of gravity (CG) of the instruments/equipment to be considered in the seismic stress calculationso A review of the rack support bent plate on page 27 found that the CG of the instruments was not considered in the seismic stress calculations.

As a the forces and moments at the rack support attachment were inadequately lated. Reason for Violation The analysis addresses the adequacy of instrument racks inside the containment building.

For the GWO 7906, FC-731 job, the work involved modifying all four instrument racks. Three of the racks are tied together while the fourth one is by itself. The racks are made out of Unistrut attaching to the containment liner plate using bent plates. The instruments are mounted on the mounting plate which in turn is* bolted to the Unistrut.

Analytical error based on the failure to consider the center of gravity is acknowledged.

The reason for this is an error made by the analyst, inadequate technical review and.failure to follow established procedures.

Corrective Action Taken and Results Achieved and the The analysis has been revised to include the center of gravity analytical results represent an acceptable as-built condition.

groups have been briefed as to the results of this* inspection.

were completed on August 2, 1989. All engineering These briefings Corrective,Actions to be Taken to Avoid.Further Non Compliance To prevent recurrence of this or similar discrepancies, the following corrective actions will be taken: Interim Same* as* that required for Violation Item* La. Long-Term The Plant Administrative Procedure will be enhanced by the incorporation of a technical review checklist consisting of a comprehensive set of review "prompts." One of the "prompts" will require that the reviewer ensure that all analysis objectives be carried through to completion.

' In addition, a program will be developed to provide periodic refresher training to all design engineers on design change-related administrative procedures.

Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. Procedural enhancements, as well as required training on the enhancements, will be pleted by January 1, 1990. The program for periodic refresher training will be in place by March 1, 1990. MI0789-1683A-TC01-NL02 16 *.:.

  • NRC Violation 255 /89007-0li:

FC-731 "Regulatory Guide 1. 97 Transmitter Replacement." [Refer to page 20 of NRC Report 50-255/89007 (DRS).] Example The calculated bending stress "fbx" shown on page 27 of the analysis was in error. The 5,645 psi should be 5,976 psi. The checker did not identify this calculational error. Reason for Violation Analytical error based on the inaccurate bending stress is acknowledged.

The analysis has been revised to incorporate the accurate "fbx" value and the analytical results represent an acceptable as-built condition.

Corrective Action Taken and Results Achieved All engineering groups have been briefed as to the results of this inspection.

These briefings were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance To prevent recurrence of this or similar discrepancies, the following corrective actions will be taken: Interim Same as that required for Violation Item La. Long-Term*

Same as that required for Violation Item l.h with the exception that a "prompt" will be included on the technical review checklist to require that the reviewer verify the accuracy of all analysis calculations.

Date When Full Compliance Will be Achieved The dates specified for Violation Item l.h apply to this item also. NRC Violation 255/89007-0lj:

FC-567 "Core Cooling Instrumentation Modification." [Refer to page 22 of NRC Report 50-255/89007 (DRS).] Example FC-567 did not address the impact of the increased load on the inverters, bypass regulators on the battery chargers.

The inspector observed that the licensee performed calculations to analyze the impact of the increased loading on the preferred AC bus supply breakers, cabling to the preferred busses from their respective inverters and on the DC batteries.

However, no calculations or analyses were evident which addressed MI0789-1683A-TC01-NL02 17 . . :_ . =** *; ..... ... : . . .. **. ::: :.

. :.' ..... -. the impact on the inverters, bypass regulator or the DC system battery chargers.

This resulted in a concern for the capability and capacity of these Class lE systems to perform their safety-related functions.

The inspector concluded that the licensee had failed to employ adequate design controls during the design stage of the facility change in that the full impact of the increased loading was not analyzed.

In response to the inspector's cern, the licensee verified the present loading on the respective inverters and battery chargers which includes the increase resulting from the instrumentation additions.

The inspector concurs that based on the licensee's reported inverter and battery charger outputs, plus the anticipated emergency loading, per the Design Basis document, the inverters, bypass regulator and battery chargers will not be overloaded.

However, the licensee failed to employ adequate design controls which would have included analyses of all impacted components.

Reason for Violation Facility Change FC-567 (Core Cooling Instrumentation) added a Reactor Vessel Level Monitoring System (RVLMS) to the plant design. Addition of this system resulted in an increased load of 600VA on each of preferred busses, YlO and Y20, the associated DC to AC inverters, bypass regulator and DC system. In reviewing this design change, the inspector identified that, although the effect of the increased load on the batteries was determined, the facility change did .not. address the impact of the increased load on the inverters, bypass regulator or the battery chargers * . * . The apparent failure to adequately verify and check design resulted from inadequate documentation of assumptions and engineering judgement utilized to determine the impact of the load additions to the preferred busses. The effect of the load increase on the batteries was determined based on the undocumented assumption that the batteries were the limiting component.

In order to mine the effect of the increased load on the batteries, the new loading on each of the preferred buses and thus the loading on each of the inverters was determined.

No documentation was provided, however, comparing the revised load on the invertors against their design. rating. A similar situation existed for the battery chargers.

The new battery load profile was determined based on the increased loads, however, no documentation of the effect of the new load profile on the battery charges was provided.

Subsequent evaluations have been performed to document that the load additions to the preferred buses performed by FC-567 did not result in overloading inverter, battery charger or bypass regulator.

The results of these evaluations are summarized below: 1. The maximum loadings on the YlO and Y20 buses during emergency conditions are 4378VA and 5456VA respectively.

This includes the loads added by FC-567. The design rating of the invertors is 6000VA and thus the tors are not overloaded.

MI0789-1683A-TC01-NL02 18 ., .... .._: .*

  • *. * .....

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. ' * -* _._ .. _. . ... ..... * ... 2. The steady state constant DC current requirements during emergency tions is 253 amps for the most heavily loaded battery (Battery No 2) after approximately ten minutes. This is less than the 400 amp combined rating of the two battery chargers connected to each DC bus. The battery chargers thus have sufficient capacity to provide the DC steady state load with capacity remaining for restoration of the batteries following the discharge during the first ten minutes. 3. The bypass regulator is utilized to provide temporary power to a preferred bus from a non-class lE source to allow maintenance to be performed on an inverter.

The initial response made to the inspector regarding operation of the bypass regulator was incorrect.

The bypass regulator is not shed during accident conditions and could be subject to the emergency load. Operation with the bypass regulator energizing the preferred buses is, however, restricted by Administrative Procedures to less than 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> (eight hours for some buses). This restriction minimizes the amount of time that the bypass regulator would be subject to providing power to a preferred bus during accident conditions.

The limiting component of the bypass regulator is the isolation transformer*

This transformer is rated at 5000VA. As discussed earlier, the maximum loading on bus Y20 is 5456VA. Thus the load on the bypass regulator could be exceeded if it were connected to bus Y20 during an emergency condition.

This discrepancy had been previously identified by the Configuration Control Project and Discrepancy Report F-CG-88-002 was initiated.

This discrepancy was quently closed out by assuring that the output voltage of the bypass regulator will be maintained at acceptable levels at up to 150% of the nameplate rating of the tr...an*sformer.

Corrective Action Taken and Results Achieved All engineering groups havebeen briefed on the results of this inspection.

These briefings were completed on August 2, 1989. -An engineering analysis was per.formed documenting that the inverter and

  • battery charger were not overloaded as a result of this modification.

-The Configuration Control Project had.previously identified the concern with the bypass regulator and has subseq'uently resolved and closed out the crepancy.

Corrective Actions to be Taken to Avoid Further Non Compliance To prevent recurrence of this or similar discrepancies, *the following corrective actions have or will be taken: Interim Same as that required for Violation Item l.a

  • MI0789-1683A-TC01-NL02 19 *.*:-: * .. " .-* *,::: >*'. -:-,,. .. ........ **. *'* ----
  • Long Term Upgrades have been initiated to our station load analysis program to account for full aystem impact of load additions.

In the the load carry1ng ability of load carrying components will be assessed in addition to assessing power supplies.

Specifically, the load carrying capability of the battery chargers and preferred power inverters will be assessed, along with battery capacity whenever load is added to the 120V preferred AC system. Periodic training as proposed for Violation Item l.a will feature the ities of modifications support groups such as: Power Resources and Systems Planning (for load addition and -Systems Protection and Planning (for breaker and -Energy Supply Services Civil Section (for structural analyses).

It is expected that this training wil-1 maintain the design engineer's awareness as to what must be taken into account when adding electrical or mechanical load to plant systems. Date When Full Compliance Will be Achieved Personal briefings letter will be issued by September 1, 1989. The station load analysis program upgrades will be completed by September 1, 1989. A gram for the periodic training on the capabilities of support groups will be in place by -March 1, 1990. NRC Violation 25S/89007-0lk:

FC-760-02 "Control Room Emergency Lighting." [Refer to pages 23.and 24 of NRC Report 50-255/89007 (DRS).] Example This FCcontained an unverified assumption in that the assumption that emergency lighting fixtures were rigit was never proven. Engineering Analysis EA-FC-760-2-001 was performed to analyze the mounting of the lighting fixtures to be installed.

Section V of this document, referring to the DC lighting fixtures, states in part "Assume the lighting fixture is rigid **** " This assumption is not justified in the analysis document and, in fact, the fixture (McMasters-Carr Lampholder, Catalog No 1700Kl2) employs a swivel joint. The lighting fixtures are not safety-related, but mounting is considered critical since they are in the control room and failure could endanger personnel or safety-related devices

  • MI0789-1683A-TC01-NL02 20 : * .. *:-. -**-. . .. .

-*. ' **:*:.-:***

Reason for Violation The McMasters-Carr Lampholder, Catalog No 1700Kl2 fixture has been used for the control room emergency lighting design associated with The fixture employs a swivel joint for adjusting only. The adjustment is made in one plane only. The mechanism used is a bolted connection and the lamp tion is fixed in place by the friction from tightening the bolt. Tightening the bolt keeps the joint tight in service and keeps it from swiveling.

The assumption of rigidity of the fixture service was based upon the analyst's interpretation of catalog data. That assumption is considered appropriate.

Plant administrative design control procedures required, and currently that all analytical assumptions be documented, acknowledged in terms of icance and technically reviewed (Reference 1). The identified discrepancy results from failure to implement this procedural requirement.

Corrective Action Taken and Results Achieved All e.ngineering groups have .. been briefed as to the results of this inspection.

The briefings were completed on August 2, 1989. Corrective-Actions to be Taken to Avoid Further Non Compliance Interim

  • Same* as that required for Violation Item 1.a.
  • Long-Terni-

-Develop a program to provide periodic refresher training on "the requirements of plant administrative design change procedures related to engineering analyses.

Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. The program for periodic refresher training will be in place by March 1, 1990. NRC Violation 255/89007-011:

SC-87-090 Water Leak Detection Set Point. [Refer to page 27 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-090 changed the Service Water (SW) leak detection set point from 75 gpm to 300 gpm verifying what size of SW piping break in the containment air coolers would result in a 300 gpm delta-flow alarm

  • MI0789-1683A-TC01-NL02 21 -.... * *** *i,.. :. * .. *:. -... . -.
  • CPCo Response The containment SW leak detection system monitors SW flow into and out of the reactor building and provides an alarm in the control room when a preset differential flow is exceeded.

SC-87-090 changed the differential flow alarm set point from 75 gpm to 300 gpm. The instrumentation loops for the leak detection system consist of flow elements 1 differential pressure transmitters with square root output and a differential flow switch with a time delay output. A time delay of approximately 15 seconds is incorporated to eliminate nuisance alarms due to flow noise spikes and still allow timely indication of leakage. The SW leak detection system is utilized as a post accident monitor. During accident conditions, without all control rods water leaking inside the containment building can dilute the containment building sump water to a boron concentration low enough to allow the reactor to return to a power state. As noted in Engineering Analysis EA-SC-87-090-1, the basis for the original alarm set point of 75 gpm was engineering judgement.

Further, the new 300 gpm set.point.was selected based on the total inaccuracies of the instrumentation loop, times the full scale flow of the transmitters.

Use of instrument acies within the engineering analysis provides a conservative determination based on instrument capabilities.

As noted in the inspection report, the engineering analysis did not provide justification that the set point meets the design intent of the SW leak tion systeqi..

However, the adequacy of the set point with respect to the tion system.design intent was presented and evaluated as part of the written l0CFR50.5-9

.. (Safety Evaluation) analysis for the SC. The safety evaluation is part of the SC package and was reviewed with other supporting documentation comprising the SC package by the Plant Review Committee (PRC) on March 2, 1987. Therefore, Consumers Power Company does not acknowledge this example as a lation of 10CFR50, Appendix B, Criterion III. NRC Violation 255/89007-0lm:

SC-87-163 "Upgrade Feedwater Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-163 added a series voltage zener diode to the feedwater flow transmitter instrument loop for Transmitter Nos FT-0701 and FT-0703 without specifying the required zener diode design parameters.

Reason for Violation upgraded FW flow transmitters FT-0701 and FT-0703 to Rosemount units. The supply voltage requirements for an 1151 DP transmitter is 12 Vdc to 45 Vdc (4 mA to 20 mA current loop). The transmitter will operate within this voltage range as a function of load resistance.

The load resistance for the FW flow transmitters is approximately 300 ohms. The nominal supply voltage requirements for the transmitter as determined from the Rosemount functional specifications was approximately 19 Vdc. MI0789-1683A-TC01-NL02 22 *__:_-.*-:-

    • .. ,._ *. ,. : o:. *..*.. * .. **:
  • .* , ..... *. :, .. ,._ *,*

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  • As part of the SC, a zener diode was installed -in the series current loop to lower the power supply output voltage to the operating voltage of the Rosemount flow transmitter.

During development of the SC, the design criteria for the zener diode, that is the required voltage was determined to be 11 Vdc. This design criteria is shown on Drawing F-69 Sh 1, Rev 22 of SC-87-163.

As a result of this criterion being stated within the SC package, the proper zener diode was installed and as stat-ed in the inspection "the zeners were performing their function." Therefore, Consumers Power Company does not specifically acknowledge-this example as stated. While the design criterion was detailed sufficiently within the SC to provide for installation of the proper zener diode, Consumers Power Company acknowledges the need for design packages to contain documentation which provides the bases for engineered changes. The failure to include the required enigneering analysis which served as the basis for the design criterion presented within SC-87-163 has been attributed to a weakness within the SC process regarding documentation of engineered decisions.

Corrective Actions Taken and Results Achieved In that the proper zener diode was prescribed and installed, and resulted in the equipment affected by the modification being capable of performing their design function, no immediate corrective actions have been undertaken.

All engineering groups were briefed on the results of this inspection.

The briefings were completed on August 2, 1989. Correctiv.e .Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation Item 1.a. Long-Term To ensure that adequate bases are developed to justify the change and that these bases are technically reviewed and documented within the specification change package, plant *administrative procedures (Reference

5) will be revised either to require that a formal engineering analysis (per Reference
1) or a new SC change justification form be utilized for the following:

To provide a reason for the change (in part by describing why the existing condition is less than desired and why the change will improve as-built dition), ., *:ra describe the design basis function of the system within which this change is being made and justification that this function will be maintained, -To identify the full impact change will have on the system within which this change is being made and on potential interfacing systems, MI0789-1683A-TC01-NL02 23 ;---* . *:..:.::--.**

.*--... :. .. :.

,, .. ,, .. -....... ;:., :*. * .. **.:::;1-'* . :"'.*

  • .. * *.*. .... :. -To identify critical functional or physical features that must be met by the change to achieve the desired as-built condition (this may require formal engineering analysis per Administrative Procedure 9.11), and -To describe how these critical features will be verified (eg, inspection or test). Date When Full Compliance Will Be Achieved The personal briefings letter will be issued by September 1, 1989. The revision to administrative procedures will be completed by January 1, 1990. In addition, a program will be developed by March 1, 1990 to provide engineers with periodic refresher training on SC-related administrative procedures.

NRC Violation 255/89007-0ln:

SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRC).] Example Specification Change No 88-069 added a series voltage regulating zener diode to the safety injection tank. pressure transmitter instrument loops for Transmitter Nos PT-0361, 0367 , 0369, and 0371 without specifying the required zener diode design parameters.

Reason for_Violation SC-88-069 safety injection (SI) tank pressure transmitters, PT-0363, PT-0367, ..PT-0369 and PT-0371 to Rosemount units. This modification, like SC-87-163, introduces a zener diode in series current loop to lower the power supply output voltage to the operating voltage of the Rosemount pressure mitter. During development of the SC package for this modification, engineering analyses.

were performed to* determine the design criterion for the zener diode. However, as evidenced by the transmitter voltage measurements taken during the inspection, an error was made .in the analysis.

This error was not identified during design reviews of the modification package due to the lack of a mented engineering analysis within the SC package. Further, after modification installation, no preoperational testing specific to transmitter operating age was conducted.

Therefore, the failure to attain a completed modification with all equipment operating within manufacturer prescribed operating ranges has been attributed to weaknesses within the Specification Change process regarding documentation of engineered options and adequate preoperational testing. Corrective Action Taken and Results Achieved The power supply output voltage, zener diode vuic:age and transmitter voltage for all the upgraded Rosemount transmitters associated with SC-88-069 were measured.

As indicated within the inspection report, the transmitters were found to be operating outside their nominal operating of 14 Vdc to 45 Vdc by.up MI0789-1683A-TC01-NL02 24 .. * '* .,. **:*

    • to 12.62 Vdc. As a result of this finding, all other installed transmitters having zener diodes in their circuit had power supply, zener diode and mitter voltages measured.

From these measurements, two additional non-safety related transmitters (PT-5117 and PT-0927) were identified to be operating outside their prescribed nominal* operating range. Due to these findings, SC-89-162 was generated to replace the improper zener diodes. As part of this modification package, an engineering analysis was completed and technically reviewed to assure proper zener diode selection and to provide documentation of design criterion.

The analysis was completed on August 1, 1989. Additionally, work orders were generated on June 5, 1989 to inspect the transmitters that were operating outside their nominal operating range. Presentations to all engineering groups have been conducted to. brief engineers as to the NRC engineering team inspection results. These presentations were completed on August 2, 1989. Corrective Actions to be*Taken to Avoid Further Non*Compliance Interim Personal letters will be sent to all engineers by September 1, 1989 describing the NRC observed weaknesses and requiring that the engineer look at SC's rently being engineered for similar problems.

Long Term -The plant administraive procedure (Reference

5) revisions described for tion l.m apply as do the following:

-Revise plant administrative procedures (Reference

1) to provide the technical reviewer of an engineering analysis a checklist to assure a thorough, accurate and auditable analysis.

The checklist would feature a set of "prompts" in part to verifyall analytical input, assumptions and calculation.

-Revise administrative procedures (Reference

5) to require that pre-operational testing be specified as part of SC engineering either in a work request or test procedure prior to technical review of the SC engineering package. In addition, require that the test specification align with the critical features identified as part of the documented change basis (see procedure changes identified for Violation Item l.m). Date When Full Compliance Will be Achieved Administrative procedures will be revised by January 1, 1990. Training on the procedure revisions will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher training on SC-rela.ted procedures.

SC-89-162 will be performed by November 15, 1989. The work orders to inspect the affected transmitters will be completed by December 1, 1989. MI0789-1683A-TC01-NL02 25 ; .....

NRC Violation 255/89007-0lo:

SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 88-069 did not consider the effect of instrument loop loading on the power supply; as a result, the load adjustment resistor setting which matches impedance for maximum power transfer was not specified or adjusted.

Reason for Violation SC-88-069 upgraded safety inJection (SI) tank pressure transmitters, PT-0363, PT-0367, PT-0369 and PT-0371 to Rosemount units. This modification, like SC-87-163, introduces a zener diode in series current loop to lower the power supply output voltage to the operating voltage of the Rosemount pressure mitter. While reviewing this SC the inspector reviewed the SI tank pressure loop power supply manual. As-stated intheinspectionreport; "the Foxboro Model 610A power supply is designed to furnish power to a single electronic transmitter.

The nominal DC output voltage is 80 volts. The manual also states that the output load resistance must be 600 ohms +10; -20 percent. The SC package did not determine the load resistance.

The manual provided detailed instructions to sum the input resistances of all the receivers in the loop (excluding the and to adjust the load adjustment dial on the power supply to the difference,,between the loop resistance and 600 ohms. Subsequentcto the inspection on July 25, 1989, plant engineering personnel contacted the power supply vendor to discuss the inspector's concern regarding the affects of increased load resistance on the power supply. During this conversation the vendor noted that the specific requirement for a load tance of 600 ohms applies only to Foxboro transmitters connected to Foxboro power supplies and that applied power supply load resistance is based on the voltage requirements of the associated transmitter.

The voltage requirements of the Rosemount transmitters installed under SC-88-069 are addressed in the modification package, however, documentation was not provided regarding resultant.

power supply l6ad resistance.

Failure to include applicable documentation within the modification package has been attributed to a lack of guidance being provided within Administrative Procedure 9.04, fication Changes." Corrective Action Taken and Results Achieved Presentations of the inspection results were made to all affected engineering groups. These presentatioris were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Personal letters will be sent to all engineers describing the NRC engineering inspection results by September 1, 1989. The letters will require that neers review SC packages currently being engineered for similar problems.

MI0789-1683A-TC01-NL02 26 -:* : .. \_._ .:: ;*'.. ,. -** :=. * .. : ** _.-:-: .*

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  • -The plant administrative procedure revisions (and training) described for lation Items l.m and l.n effectively respond to this item also. Date When Full Compliance Will be Achieved Administrative procedures will be revised by January 1990. Training in the procedure revisions will also be complete on January 1, 1990. In addition, a program will be in place by March 1, 1990 to provide periodic refresher ing on SC-related procedures.

NRC Violation 255/89007.0lp:

SC-88-102 "Upgrade Containment Pressure Transmitter PT-1812." [Refer-to pages 31 and 32 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 88-102 installed a different model containment pressure transmitter for Transmitter No PT-1812 without performing a seismic analysis to determine the acceptability of installing the new transmitter on the old mounting.

Reason for-Violation SC-88-102 upgraded containment building pressure transmitter, PT-1812 to a Rosemount pressure transmitter.

The pressure loop affected by the modification provides indication only and is not required to be operable for any analyzed event. The pressure transmitter is mounted off piping associated with ment Penetrcation MZ-17 and is physically located between the manual instrument isolation valve and the manual containment isolation valves. The manual instrument isolation valve is maintained open to allow pressure transmitter operation.

Therefore, the primary containment boundary includes PT-1812. While processing SC-88-102, engineering personnel

  • failed to identify that the pressure transmitter constituted part of the containment boundary.

This ure is attributed to the following factor: The administrative procedure for Specification Changes (Reference

5) requires that the engineer consult the Equipment Data Base (EDB). The EDB-Q-Listing identifies the pressure retaining and structural (seismic) requirements to be met by the equipment.

The existing Q-Listing in the EDB for PT-1812 indicates that the transmitter function is not safety-related, there are no pressure retaining requirements, and that the structural mounting is not safety-related.

This specific Q-Listing needs to be reviewed and revised as necessary.

Given accurate EDB information, the existing_

SC checklist "prompts" which also existed at the time this deficiency occurred, are sufficient to identify the governing design codes, standards and regulatory guides to be complied with. Corrective Actions Taken and Results Achieved A formal seismic engineering analysis has been initiated to document the adequacy of the existing transmitter mounting and the associated tubing. MI0789-1683A-TC01-NL02 27 ;..&.. ',' :*,* : .:*:

  • . ..... , .* *:: :.:;.: *;* .. .. . , .. :" : .

--;_,.

The results of the inspection have been presented to all engineering groups. These presentations were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance The existing Q-List interpretation for PT-1812 will be reviewed for accuracy and revised as necessary.

In addition, if it is determined that the tation is in error, other interpretations will also be reviewed to identify the breadth of the discrepancy.

These additonal reviews will cover, as a minimum, interpretation for other instrumentation serving pressure retaining functions.

If additional reviews indicate the need, additional clarification in tive P.rocedures related to Q-List interpretation (Reference

6) will be provided and engineers will be trained. Further, a review will be conducted to ensure the seismic qualification of other similar configurations.

In addition, a program to provide periodic refresher training on procedures related to Q-Listing will be developed.

Finally, a portion of the Configuration Control Project involves the tion of the Q classification for approximately 16,000 components in the Plant's equipment data base. This activity is currently scheduled to be completed by the end of-1990 and will provide a sound technical basis for future tions. Date When F.ull Compliance Will Be Achieved The existing Q-List interpretation for PT-1812 will be reviewed for accuracy and revised necessary) by September 15, 1989. If it is concluded that the PT-1812 interpretation is in error, interpretation for other similar tions will be completed by November 1; 1989. If these additional reviews tate the need for procedural clarification, the procedures will be enhanced by January 1, 1990 and all engineers*

will be trained on the enhancements by this date. The program for periodic refresher training on Q-Listing will be in place by March 1, 1990. The additional seismic review will be completed by October 1, 1989. NRC Violation 255/89007-0lg:

EA-FC-722-10 "N2 Backup Test Evaluation for Station 5," February*21, 1987. [Refer to page 15 of NRC Report 50-255/89007 (DRS).] Example The stated that the nitrogen usage rate was 32.5 psig AP/hour based on the test results from Functional Test T-FC-722-501-01.

However, the test results failed to account for the post test calibration shift of 5 psig for of the pressure gauges. By incorporating this additional factor, the usage rate is increased to 33.75 psig AP/hour. MI0789-1683A-TC01-NL02 28 . *. . -:* ** '7. *. ,-'* .. .*,* . ,* ' *.*.:* ... * *,'* *. **-:*** ."'-*,' .. * .** .... *.,_ ..

.; .....

. ' *

  • Using the above rate in the calculation reduces the "actual operating period" from 10.3 days to 9.93 days. This is below the assumed acceptance limit given in the original calculationo No safety significance was attributed to this occurrence; however, the instrument accuracy requirements specified in the test procedure were inadequate as noted belowo -Procedure No T-FC-722-0501, "CV Air Supply -N2 Backup Performance Test," Revision O, February 6, 1987. Under Special Tools/Equipment, a 0-3000 psig pressure gauge is called for. The accuracy specified is +/- 2% minimum. This equates to a +/- 60 psig accuracyo The acceptance criteria for three of the four nitrogen stations ranged from 24 psig to 68 psig over the four hour span of the performance test. CPCo Response CPCo does not acknowledge this example as a violation of Appendix Criterion III Design Control," based upon the following.
1. Page 6 of 32 of "Palisades Nuclear Plant Modification Procedure No T-FC-722-501," and "Temporary Change to a Change No FFC-87-006, specified calibrated analog pressure gauges, 0-3000 psig, +/- 2% minimum accuracy and that these gauges shall be calibrated in accordance with 2.4, reference paragraph 6.1.5. 2. The intent of specifying a minimum accuracy of the test gauges was to allow qualified test personnel the. flexibility to utilize test gauges of a higher degree"of accuracy if available.
3. The intent of Reference 2.4 (Palisades Nuclear Plant Administrative dure S.07, "Control of Measuring of and Test Equipment"), paragraph 6.1.5, is to require performance of pre-and post-calibrations of the test gauges. These calibrations were performed as Pre-and Post-Calibrations of the gauges are utilized to determine/verify the actual gauge accuracy as utilized during the test. 4. As stated in paragraph 1 of page 16 of NRC Report No 50-255/89007 (DRS), "Additional reviews by the inspector disclosed that the pressure gauges actually used has a specified accuracy of +/- 1%. In addition, pre-test and post-test calibration data indicated that the actual accuracy was closer to +/- 0.1%." This statement reinforces the intent of specifying and the requirement to perform pre-and post-calibrations (reference Item 83) of the gauges. 5. Acceptance criteria for Palisades Nuclear Plant Modification Procedure No T-FC-722-501 are established via calculation and are not affected by gauge inaccuracies which are linear and constant throughout the test range
  • 29 ... .: . ' . . ...... *--*
  • Based upon the above the specification of test gauges, 0-3000 psig, +/- 2% accuracy was appropriate and in accordance with Palisades Nuclear Plant Administrative Procedures--.

Plant administrative design control procedures (Reference

2) required, and currently require, that modification test procedures feature requirement

-The use of calibrated test equipment of the proper range and accuracy to determine conformance to specified acceptance criteria, -Test equipment be identified along with its calibration status, and -Acceptance criteria (with appropriate tolerances) be specified to effectively determine whether critical design requirements have been satisfied.

Thus, no corrective action is deemed necessary.

NRC Violation 255/89007-0lr:

SC-87-163 "Upgrade Feedwater Flow Transmitters." [Refer to pages 27 and 28 of NRC Report 50-255/89007 (DRS).] Example Specification Change No 87-163 added a series voltage regulating zener diode to the FW flow transmitter loop for Transmitter Nos FT-0701 and FT-0703 without specifying

__ the measurement .of. the power supply, zener, and transmitter voltage as acceptance*

criteria to determine if the transmitter loop was operating within its-design limits. Reason for Violation SC-87-163 upgraded FW flow transmitters FT-0701 and FT-0703 to Rosemount units. The supply voltage requirements-for a 1151 DP transmitter is 12 VDC to 45 VDC (4 mA to 20 mA current loop). The transmitter will operate within this voltage range as a function of load resistance.

The load resistance for the FW flow transmitters is approximately 300 ohms. The nominal supply voltage requirement for the transmitter as determined from the Rosemount functional specifications was approximately 19 Vdc. As part of the SC a zener diode was installed in the series current loop to lower the power supply output voltage to the operating voltage of the Rosemount flow transmitter.

During the inspection, the NRC inspector identified that the SC package did not contain post installation power supply output voltage urements.

Further, it did not contain zener diode and transmitter operating voltages following modification.

The failure to adequately specify necessary preoperational testing requirements on the work orders which implemented the SC has been attributed to weaknesses within Administrative Procedure 9.04. Currently, no guidance exists as to the type of which may be appropriate, nor does the procedure specify the need to document testing performed on implementing work orders or within the SC package.

30 . *** ..............

  • .*:***:_-

.. *. . .. ., .. ... ......

Corrective Actions Taken and Results Achieved As noted within the inspection reportp the power supply output voltage, and the zener diode and transmitter operating voltages were measured.

From these urements it was determined that all components were performing their design function within manufacturer specifications.

Presentations have been made to engineers discussing the results of the recent NRC engineering inspection.

These presentations were completed on August 2, 1989. Corrective Action to be Taken to Avoid Further Non Compliance Personal letters will be sent to all engineers on or before September lp 1989 describing the results of the NRC inspection and requiring that SC's currently being managed be reviewed for similar problems.

Date When Full Compliance Will be Achieved The procedure revisions for Violation Items l.m and l.n will effectively respond to this item. NRC Violation 255/89007-0ls:

SC-88-069 "Upgrade Safety Injection Tank Pressure Transmitters." [Refer to pages 29 and 30 of NRC Report 50-255/89007 (DRS).] NRC Identi£ied Discrepancy Specificai:ion Change No 88-069 added a series voltage regulating zener diode to the safety injection tank pressure transmitter loops for Transmitter Nos PT-0363, 0367, 0379, and 0371 without specifying the measurement of the power supply, zener, and the transmitter voltage as acceptance criteria to determine if the transmitter loop was operating within its design limits; and also did not specify acceptance criteria for determining the acceptability of changing the load adjustment resistor in the power supply. Reason for Violation Consumers Power Company's response regarding the failure to specify acceptance criteria to determine if the transmitter loop was operating within its design limits in the preoperational stage is provided in our response to Violation Item l.m. In regard to the post modification stage of this SC, the failure to establish a program to periodically measure the pressure transmitter loop voltages has been attributed to plant personnel not considering all potential failure modes and effects in the circuit design. Acceptance criterion for determining the acceptability of changing the load adjustment resistor in the power supply were not specified in the SC package. The manual for the Foxboro 610A power supply stated that the output load resistance for the power supply must be 600 ohms + 10; -20 percent. In matory conversations with the vendor on July 25, 1989, the requirement for load resistance was said to be based on transmitter limitations, not power supply limitations.

The new Rosemount transmitters installed per SC-88-069 do MI0789-1683A-TC01-NL02 31 . . : ' :* -. . : -. *-: ... ... , .... ....

not have this load restriction and hence do not have acceptance criteria as delineated in the manual. Therefore this item by itself is not a violation of 10CFR50-, Appendix B, Criterion III. It is noted however that the new Rosemount transmitters have voltage limitations and this is discussed in our response to Violation Item l.n. Corrective Actions Taken and Results Achieved Same as that taken for Violation Item l.n. Corrective Actions to be Taken to Avoid Further Non Compliance Procedural revisions and tra1n1ng described for Violation Item l.n will ively respond to this item. Additionally, preplanned and periodic control sheets (preventive maintenance activities) will be established to provide for periodic measurements of loop voltages.

Date When Full Compliance Will be Achieved The control sheet program will be established by October 1, 1989. Violation

'255/87007-02a-b) lOCFRSO, Appendix B, Criterion X as implemented by the Palisades Operations Quality Assurance Program requires, in part, that a program for inspection of activities-,affecting quality be established and executed by or for the zation performing the activity to verify conformance with the documented instructions, procedures, and drawings for accomplishing the activity and that examinations, measurements, or tests of materials or products processed be performed for each work operation where necessary to assure quality. Contrary to the above: This is a Severity Level IV Violation.

NRC Violation 255/89007-02a:

CPCo Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping." [Refer to pages 12 and. 13 of NRC Report 50-255/89007(DRS).]

Example A secondary aspect, associated with the socket welds, pertains to the quality control (QC) inspection of the completed fillet welds. The RIC forms have a column for "QC verification" but for the socket welds in question, the size of the fillet welds was not inspected by QC. Line No 16 of the RIC form, which specifies the weld, size, gap, and type of joint was marked "NA" (not applicable) for all the welds in question under the QC Verification column. Although all of the welds received a Nondestructive Testing (NDT) Visual Examination (VT), it is not clear if the size of the welds was verified during these examinations.

Since the size of the socket fillet welds was not specified on the drawing, nor noted on the RIC form, the NDT examiner would MI0789-1683A-TC01-NL02 32 ** : * '."'!'* *.* :: * .. * ..... ' ..... : ..... '.'-:_: ....... *.** -:-*:**.**

    • . ,
  • .-*.'* .. * ;, ..... * ::* : : .. *: .* ***.* ....... * .. : ........ .
  • have had to determine the required size in the same manner as previously described for the welder. No notation of size nor record of the size calculation was in the documentation provided with the NDT-VT data. In addition, the VT report did not list fillet weld gauges under "Visual Aids Used" giving further indication that the size of the welds was not checked. As a point of clarification, it should be noted that the VT performed on the socket fillet welds was in accordance with American Welding Society (AWS) Dl.l requirements.

This is a structural welding code and allows portions of fillet welds to be undersized by 1/16". This is inconsistent with the requirement of ANSI 831.1, Power Piping Code which specifies minimum fillet weld sizes. If the size of the-socket fillet welds was verified by the stated VT examinationp it cannot be assured that the weld meets the ANSI 831.1 Code requirements.

Reason for Violation The failure to merit conformance of the size of the socket fillet welds has been attributed to a lack of engineering input to and technical review of the maintenance planning for the welding process. Prior to actions taken as a result of recent self-identified failures to verify weld size (Reference 7), no specific requirements existed to verify characteristics (weld, type, size contour) of installed welds. Although Nuclear Operations Department Standards suggest inspection hold points for weld installation verification, working level administrative procedures did not specify:a hold point requirement except for fit up. Corrective'"Action-Taken and Results Achieved Presentations to all engineering groups have been conductep to review the results of this inspection.

These presentations were completed on August 2, 1989. -The Inservice Inspection (ISI) Section oP the Projects Engineering Department has assumed the role of Design Authority for weld engineering by revising the RIC to technically review the maintenance planner's specifications.

The purpose of the review is to ensure that appropriate welding codes are complied with in the areas of weld installation and post-installation examination.

-The RIC has been revised to issue the-weld minimum leg length to the field. This will eliminate the need for the field welder to calculate the length. The aforementioned ISI review will assure that this specification is provided.

-Reference Violation 255/89007-0lc for other applicable actions being taken. Corrective Actions to be Taken to Avoid Further Non Compliance Specifying welding requirements (such as applicable code, weld material, weld type and weld size) is an engineering function.

If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding MI0789-1683A-TC01-NL02 33 :. . . ' . : . -; : . ':* *:-. . . ': . *. *: **.::-. ,._ *. ,*,_ ... , ..

details for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/or structural analysis engineering sketches which have lacked size dimensions for the welds. As a result 11 the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementation.

Although plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference 3), these procedures had not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning, installation, and post-installation verification.

As a result, the following actions have been/will be taken to prevent rence: Interim Same as that required for.Violation Item.l.a.

Long-Term

-Enhancements to .plant design.control and maintenance procedures will be made to more effectively integrate engineering into weld specification and mately -into weld planning and verification:

Appropriate welding codes will be included in the Design Input Checklist (Reference

2) to prompt the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.

-Design control procedures related to engineering analyses (Reference

1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. In addition, the procedures will require that sizing culations be performed as part of the analysis.

Finally, a technical review checklist will be provided to require that the reviewer ensure that weld information be accurately represented on the analysis drawings.

Plant maintenance procedures (Reference

3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.

Interim actions related to changes to the RIC and ISI group review of the RIC (as described above) will remain in effect. MI0789-1683A-TC01-NL02 34 *. *, -;.*; .. *:. ' ....... .. *' .... -. . *.::*****

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  • -Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes and their application to weld installation and examination.

The engineers will also be trained on the above procedural enhancements.

A program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the related design control and maintenance procedures.

In summary, it is expected that these actions will ensure that proper welding requirements (type, material, size) are specified by engineeringp planned by maintenance (with a check on planning by engineering)p and in turn verified by quality control. Date When Full Compliance Will be Achieved The personal briefings by letter will be issued prior to September lp 1989. Procedure enhancements and required training on the enhancements will be pleted by January 1, 1990. The program for periodic refresher training will be developed by March lp 1990. NRC Violation 255/89007-02b:

SC-89-072 (Deviation Report D-PAL-89-043).

[Refer to page 32 of NRC Report 50-255/89007 (DRS).] Example This report documented the undersized fillet welds on socket welded fittings -for SC-89-072.

This specification change was necessary to provide an interim solution to primary coolant system leakage from cold leg drain valves. The change required the of a new length of two inch schedule 160 pipe with a socket welded cap on each of the four loop drains. Inspection of all eight socket fillet welds indicated that none of them met the Code required size of 3/8 inch. During the inspector's review* of the deviation report, there were several concerns that apparently were not addressed.

First, although the corrective actions appear to recognize that the current RIC form does not give the welder sufficient information (specifically the size of the fillet weld), there was no recognition that QC did not and was not required to verify the size of the fillet weld. The.undersized condition was not discovered until the authorized inspector (AI) pointed it out to the licensee.

All of the welds had been reviewed and by the licensee's program and yet the size had never been verified.

This is considered another example of violation of 10CFR50, Appendix 8p Criterion X, in that the size of the socket fillet welds was not verified (255/89007-02b).

Reason for Violation Specifying welding requirements (such as applicable code, weld material, type and weld size) is an engineering function.

If properly administered by procedure, the maintenance planner can (and has) effectively prescribe welding MI0789-1683A-TC01-NL02 35 . *.".,'T:'

  • .*. ': .. *: ***-._ .. ___
    • .,. . ... . * .. *.:* *. '. . .. --. _.,*.
  • details for the field provided that adequate input from engineering exists as a basis. In the past, engineering input has been limited to welding tion and/or structural analysis engineering sketches which have lacked size dimensions for the welds. As a result, the planner has failed to provide the proper size on the Repair Inspection Checklist (RIC) thereby requiring the field welder to determine and install the proper weld size. This practice fails to meet current expectations for control of design change implementationo Corrective Action Taken and Results Achieved -Presentations to all engineering groups were conducted to brief engineers as to the results of this inspection.

The presentations were completed on August 2, 1989. -The Inservice Inspection (ISI) Section of the Projects Engineering Department has assumed the role of Design Authority for weld engineering by revising the RIC to technically review the maintenance planner's specifications.

The purpose of the review is to ensure that appropriate welding codes are complied .with in the areas of weld installation and post-installation examinationm

-The RIC has been revised to issue the weld minimum leg length to the fieldo This will eliminate the need for the field welder to calculate the length. The aforementioned ISI review will assure that this specification is provided.

Corrective Actions to be Taken to Avoid Further Non Compliance Although .plant administrative design control procedures required and currently require that the design change project engineer determine code requirements for assigned projects (Reference 4), and plant maintenance procedures required and currently require that the maintenance planner specify applicable code and weld parameters after consultation with the Engineering Department (Reference these procedures had not been effectively integrated to support one another to ensure that weld specifications from engineering were accurately translated into installation planning,.

installation, and post-installation verification.

As a result, the following actions have been/will be taken to prevent rence: Interim Same as that required for Violation Item l.a. Long-Term

-Enhancements to plant design control and maintenance procedures, and to ESS Departmental guidelines will be ***ade by January 1, 1990 to more effectively integrate engineering into weld specification and ultimately into weld ning and verification:

-Appropriate welding codes will be included in the Design Input Checklist (Reference

2) to prompt the design engineer to specify appropriate weld requirements (for installation and examination) in the facility change package as part of both conceptual and detailed engineering.

MI0789-1683A-TC01-NL02 36 . , ... 'i--: ' .. . .. ' ....... ;** _. **:*: I

. '* ,. ' .. Design control procedures related to engineering analyses (Reference

1) will explicitly require that all drawings accompanying structural/seismic analyses provide detailed weld information (type, size, material) for input to the planner. In addition, the procedures will require that sizing culations be performed as part of the analysis.

Finally, a technical review checklist will be provided to require that the reviewer ensure that weld information be accurately represented on the analysis drawings.

-Plant maintenance procedures (Reference

3) will require that the maintenance planner utilize the contents of the facility change package to complete the RIC in specifying for the field weld installation and examination ments. The procedure will require that the planner consult the Design Input Checklist and structural/seismic engineering analyses.

-Interim actions related to changes to the RIC and ISI group review of the RIC (as described above) will remain in effect. -Design and quality assurance engineers will be trained on the appropriate structural and piping weld codes-and their application to weld installation and examination.

The engineers will also be trained on the above procedural enhancements.

A program will be developed to periodically train design and quality assurance engineers on the aforementioned codes and their application, and on the related design control and maintenance procedures.

In is expected that these actions will ensure that proper welding requirement-s (t-ype, material, size) are specified by engineering, planned by maintenance (with a check on planning by engineering), and in turn verified by quality control *. Date When Full Compliance Will be Achieved *The personal briefings by letter will be issued prior to September 1, 1989. Procedure enhancements and required training on the enhancements will be pleted by January 1, 1990. The program for periodic refresher training will be developed by March 1, 1990. NRC Violation 255/89007-03:

SC-87-344 Low Temperature Over Pressure Set Points. [Refer to page 28 of NRC Report 50-255/89007 (DRS).] Technical Specification (TS) No 3.1.8.1.a requires a low temperature sure (LTOP) power operated relief valve (PORV) lift setting of < 310 psia for Tc < 300°F and TS 3.1.8.1.b requires a LTOP PORV lift setting 575 psia for Tc < 430°F. Contrary to the above, between August 9, 1988 and February 27, 1989, the PORV as-left setting exceeded the TS requirement on 17 occasions.

This is a Severity Level IV violation.

MI0789-1683A-TC01-NL02 37 *.-* ***-**-;* . * '* .* .. *.** ...... :* :,-* ;;;. ..... : .. :* .. , .

., I .. * * :* .. * .. Reason for Violation changed the LTQP protection system set points for temperature switches TS-0115 and TS-0125. The LTOP system provides primary coolant system {PCS) overpressure relief capability to protect the reactor vessel from the potential for brittle fracture.

The Palisades LTOP system is a two channel system which relieves PCS pressure through either of two PORV's. Channel A relieves through PRV-1042B and channel B relieves through The system is enabled at two settings.

When the PCS cold leg temperature is less than or equal to 300°F, the lift set point for the PORV is less than or equal to 310 psia. When the PCS cold leg temperature is greater than 300°F but less than 430°F, the set point for PORV opening is less than or equal to 575 psia. Above 430°F the LTOP system is not required to be enabled. The LTOP system set points are derived from plant heatup and cooldown limits specified in Plant Technical Specifications.

The set points reflect the ature and pressure limits calculated according to the requirements of Appendix G to 10CFR50, using the methodology provided in Regulatory Guide 1.99, Revision 2. These set points were enacted with the issuance of Amendment 117 to the Palisades operating license on November 14, 1988. At the time the 310 and 575 psia LTOP PORV set points were proposed on the Technical Specification change request which resulted in the issuance of Amendment 117, existing Technical Specifications did not recognize the need for LTOP above_300°F.

Instrumentation existing at this time did not operate above 600 psia had a recognized accuracy of +/- 22 psia. Therefore, the 310 and 575 psia points were selected to provide the maximum practical operating window allawed by exi.sting plant components while remaining bound by 10CFR50 Appendix G limits. The proximate cause of this condition is that the set point value which results from the addition of instrument inaccuracies is not conservative with the lift point specified in Technical Specifications.

This condition has been attributed to poor documentation within the Technical Specifications regarding the fic lift point value. When the technical specification value was derived, Engineering personnel subtracted instrument inaccuracies from the 10CFR50 Appendix G limit and arrived at the 310 and 575 psia set points found in Technical Specifications.

The intent of the Technical Specification lift point value is to ensure compliance with Appendix G. The typical set point methodology, if applied to this situation, would be to provide the applicable Appendix G limit in TS and then control the actual set point, adjusted for instrument inaccuracies, through Technical Specification Surveillance dures. As noted in the inspection report, the issue was identified in parallel by both the and plant personnel.

At the plant, the issue was identified during a review of the set point methodology process utilized at Palisades.

Plant Engineering personnel identified that the PORV lift point had been set at the technical specification values of 310 and 575 psia. Setting the lift points at the technical specification value, neglecting instrument accuracies, could result in the actual lift points being 332 and 597 psia when maximum instrument inaccuracies are accounted for. A review of past performances of MI0789-1683A-TC01-NL02 38 * '

  • .. * * ,.. .-I -* <.. . /
  • r * ;:: ** **,: *. . "' .._<:*

. : , ........ ,-:*. Technical Specification Surveillance Procedures M0-27A through D which provide for functional testing of the LTOP system, revealed that 29 of the 31 times lift set points (310 or 575 psia) were checked, the set point was greater than the technical specification limitc While the lift point did exceed the technical specification limit, it was within the acceptance values provided by 10CFR50 Appendix Ge Corrective Actions Taken and Results Achieved Plant Engineering personnel reviewed the basis for Technical Specification 3.1.8.1 and Technical Specification Surveillance Procedures which set the PORV lift points and verified that even if the largest positive instrument inaccuracy was added to the technical specification lift point, the 10CFR50 Appendix G limit would not be exceeded.

Upon further review it was additionally identified that the curve utilized in defining the Appendix G limit has incorporated a 30 psia measurement inaccuracy.

In that a Technical Specification change request is being prepared for submittal in support of LTOP protection system modifications to be performed during an upcoming maintenance outage, a letter of interpretation was submitted to the NRC on July 12, 1989 which presented Consumers Power Company's position regarding continued compliance with 10CFR50 Appendix G. Technical Specification Surveillance Procedures M0-27C and M0-27D 9 which provide setting and the PORV lift set points were revised on May 11, 1989 to remove the + 22 psia tolerance.

Corrective_Actions to be Taken to Avoid Further Non Compliance A Technical Specification change request will be submitted which delineates the requi.red PORV lift set points to assure continued compliance with 10CFR50 Appendix G limits following LTOP protection system modifications.

  • An tion of the Technical Specification change request development process is being undertaken to determine where enhancements in the review process are required to preclude future occurrences.

Date When Full Compliance Will be Achieved Continued compliance with the lift set point value specified in the Technical Specifications has been assured by submittal of Consumers Power Company's letter dated July 12, 1989 and the rev1s1ons to M0-27C and M0-27D. The cal Specification change request supporting the planned LTOP protection system modifications will be submitted by October 1, 1989. The evaluation of the Technical Specification change request development process will be completed by November 1, 1989. NRC Open Item 255/89007-04:

Consumers Power Company Drawing M-101 Sheet 5113, Revision O, "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-0737A Bypass Piping, 11 [Refer to page 13 of NRC Report %-255/89007

(.DRS).] Example 'An additional aspect was associated with the size of socket fillet welds: The inspector noted that the current design practice used by the licensee is sistent with the original Code of construction.

The current practice utilizes MI0789-1683A-TC01-NL02 39 '* ... ; .... "' ,****:::. *:;* .... -,, . ' . "*;. :.-: .. ..;.-.: ,;.* ... -.. . ..... .. .. .... :*"'* '/' --

  • later editions of 831.1 Code which specify the lo09 times the nominal p1p1ng wall thickness.

The original Code of construction required 1.25 times the nominal wall thickness. -From a technical standpoint the current practice is acceptable; however, this inconsistency has not been delineated by the licensee in the FSAR. Pending revision of the this item is considered open (255/89007-04).

Reason for Violation Construction codes related to 831.1 have not been reconciled 1n a document useable to the modifications engineer.

Corrective Action Taken and Results Achieved Presentations have been made to all engineering groups on the results of this inspection.

These presentations were completed on August 2, 1989. Corrective Actions to be Taken to Avoid Further Non Compliance Interim Same as that required for Violation l.a. Long-Term Palisades

&taff will complete a reconciliation of all construction codes to the latest edit:,.ion of 831.1. This. action would provide for standardization of code usage-and simplify the determination of code requirements.

This effort will also address the structural welding code AWS Dl.l. Such reconciliation will be documented in plant administrative design control procedures ence 4). In addition, a periodic training program covering procedural welding requirements will be developed.

Upon completion of the reconciliation the FSAR will be updated to* identify applicable codes and standards and their application.

Date When Full Compliance Will be Achieved The personal briefings letter will be issued by September 1, 1989. The ciliation of construction codes will be completed and implemented into plant. design control procedures by January 1, 1990. Training on these procedural revisions will also be complete by January 1, 1990. The periodic training program will be in place by March 1, 1990. The FSAR will be updated in the next revision following January 1, 1990. NRC Unresolved Item 255/89007-06:

SC-89-072 (Deviation Report D-PAL-89-043).

[Refer to page 32 of NRC Report 50-255/89007 (DRS).] MI0789-1683A-TC01-NL02 40 .--' ...

.. '.* .:-.. --*<.

Example The second concern pertains to the generic aspect of the problem. The licensee appeared to recognize the programmatic weakness which contributed to the problem by revising the RIC form to include the specific weld size. However, there appeared to be no corrective actions directed toward reviewing previously made socket fillet welds for compliance with Code requirements.

Based on the added complication that the sizes of fillet welds in general apparently have not been verified under the licensee's program, reviews of past work may not be sarily limited to socket welded fittings.

Pending a review of the licensee's justification as to why additional inspection of previous fillet welds is not required, this is considered an Unresolved Item (255/89007-06).

CPCo Response CPCo acknowledges that no corrective actions have yet been directed towards reviewing previously made socket fillet welds for compliance with code ments. CPCo plans, however, to select an appropriate sample of as-built welds and inspect the-welds during the 1989 maintenance outage. The sample will be chosen to include a range of weld types. The purpose of the inspection will be to verify that the weld characteristics (type and size) conform to requirements set forth in the Repair Inspection Checklist and/or applicable welding code. These field verifications and resulting report will be completed by December 1, 1989. NRC Unresolved Item 5: Consumers Power Company Drawing M-101 Sheet 5113, Revision O,. "Piping Isometric, Auxiliary Feedwater Control Valve CV-0736A and CV-07-3JA Bypass Piping." [Refer to page 14 of NRC Report 50-255/89007 (DRS).] NRC Identified Discrepancy A further concern associated with the p1p1ng installation drawing pertains to the attachment weld for a bypass piping fitting onto the existing run pipe. For this situation, the drawing did not specify the type of joint nor the weld reinforcement required.

However, the specified fitting is a "Weldolet" and as such has an exisitng weld prep on it and requires no additional design work. Also, the size of the fillet weld cover is specified in the welding procedure for this type of full penetration branch line connection.

The problem arose during the review of the RIC forms for the four branch connection welds. Although these are full penetration single bevel groove welds, with fillet weld reinforcement, the RIC form labels these welds as "F.W." indicating a fillet weld. For Gap Thickness, the RIC form specifies "NA" which would be appropriate for a fillet weld but not for a full penetration weld. Since this attachment must be a full penetration weld, there was no documentation able to assure that the proper penetration has been achieved using the fied fillet weld. Additional review by the inspector of the NDT Examination Reports revealed another deficiency.

According to liquid penetrant (PT) examination report sheet No MKV-01, welds No 2 and No 13 on line 1/2 did not receive a PT examination as required by Specification M-152(Q) "Field Fabrication and Installation of ASME Section Xi Piping fication in a Nuclear Power Plant," Revision 14, September 30, 1986, paragraph MI0789-1683A-TC01-NL02 41 .... ,.. .,.. . .... '* .. -. . --.. *.**-:**.'... . **.* .. -.

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9.1.1. Pending verification that all four branch attachment welds are full penetration welds and resolution of the PT this is considered an Unresolved Item (255/89007-05).

CPCo Response Reference NRC Violation 255/89007-02a.

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. -* ATT0889-0167-NL04 ATTACHMENT 2 Consumers Power Company Palisades Plant Docket 50-255 LIST OF REFERENCES August 10, 1989 1 Page ' ... *.* .. *.* .. ' .: ... :***_-..

References

.. lo Plant Administrative Procedure (AP) 9.11 "Engineering Analyses" --i I 2. AP 9.03 "Facility Change" 3. AP 5.06 "Control of Special Processesn

4. AP 9.06 "Code Requirements for Maintenance and Modifications" 5. AP 9.04 "Specification Changes" 6. AP 9.30 "Q-List" 7. Deviation Report D-PAL-89-43

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