ML18010B066: Difference between revisions

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| number = ML18010B066
| number = ML18010B066
| issue date = 03/26/1993
| issue date = 03/26/1993
| title = Responds to NRC 930225 Ltr Re Violations Noted in Insp Rept 50-400/93-03.Corrective Actions:Mgt & Organizational Changes Will Provide Further Enhancement to EP Program by Shifting Responsibility for Conducting Drills & Exercises
| title = Responds to NRC Re Violations Noted in Insp Rept 50-400/93-03.Corrective Actions:Mgt & Organizational Changes Will Provide Further Enhancement to EP Program by Shifting Responsibility for Conducting Drills & Exercises
| author name = Vaughn G
| author name = Vaughn G
| author affiliation = CAROLINA POWER & LIGHT CO.
| author affiliation = CAROLINA POWER & LIGHT CO.
Line 12: Line 12:
| case reference number = CON-NRC-807
| case reference number = CON-NRC-807
| document report number = HO-930070, NUDOCS 9303290224
| document report number = HO-930070, NUDOCS 9303290224
| title reference date = 02-25-1993
| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE
| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE
| page count = 11
| page count = 11
Line 17: Line 18:


=Text=
=Text=
{{#Wiki_filter:ACCELERATED DOCUMENT DISTRIBUTION SYSTEM REGULATORY INFORMATION DISTRIBUTION SYSTEM             (RIDS)
{{#Wiki_filter:ACCELERATED DOCUMENT DISTRIBUTIONSYSTEM REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)
ACCESSION'BR:9303290224             DOC.DATE: 93/03/26       NOTARIZED: NO         DOCKET  N ACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina                 05000400 AUTH. NAME           AUTHOR AFFILIATION AUGHNiG.E.         Carolina Power       & Light Co.
ACCESSION'BR:9303290224 DOC.DATE: 93/03/26 NOTARIZED: NO ACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina AUTH.NAME AUTHOR AFFILIATION AUGHNiG.E.
RECIP.NAME           RECIPIENT AFFILIATION Document Control Branch (Document           Control Desk)
Carolina Power
& Light Co.
RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)
DOCKET N
05000400


==SUBJECT:==
==SUBJECT:==
Responds     to NRC 930225 ltr re violations noted in insp rept 50-400/93-03.'Corrective actions:mgt & organizational changes will provide further enhancement to EP program by shifting responsibility for conducting drills & exercises.
Responds to NRC 930225 ltr re violations noted in insp rept 50-400/93-03.'Corrective actions:mgt
DISTRIBUTION CODE: IE01D         COPIES RECEIVED:LTR         ENCL       SIZE:
& organizational changes will provide further enhancement to EP program by shifting responsibility for conducting drills
TITLE: General (50 Dkt)-Insp Rept/Notice of             Violation   Response NOTES:Application     for permit renewal filed.                                   05000400 RECIPIENT             COPIES              RECIPIENT          COPIES ID CODE/NAME           LTTR ENCL        ID CODE/NAME        LTTR ENCL PD2-1 PD                   1      1      LE,N                    1    1 INTERNAL: ACRS                         2      2      AEOD/DEIB              1    1 AEOD/DSP/TPAB               1     1     AEOD/TTC                1     1 DEDRO                      1     1     NRR/DORS/OEAB          1     1 NRR/DRCH/HHFBPT            1     1     NRR/DRIL/RPEB          1    1 NRR/DRSS/PEPB              1      1      NRR/PMAS/ILPB1          1    1 NRR/PMAS/ILPB2              1      1      NUDOCS-ABSTRACT         1     1 1     1     OGC/HDS1                1     1 REG FIL          02        1     1     RES MORISSEAU,D        1     1 RGN2    'FILE    01        1     1 EXTERNAL: EG&G/BRYCE,J.H.              1     1     NRC PDR                1     1 NSIC                        1     1 NOTE TO ALL"RIDS" RECIPIENTS:
& exercises.
DISTRIBUTION CODE:
IE01D COPIES RECEIVED:LTR ENCL SIZE:
TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response NOTES:Application for permit renewal filed.
05000400 RECIPIENT ID CODE/NAME PD2-1 PD INTERNAL: ACRS AEOD/DSP/TPAB DEDRO NRR/DRCH/HHFBPT NRR/DRSS/PEPB NRR/PMAS/ILPB2 REG FIL 02 RGN2
'FILE 01 EXTERNAL: EG&G/BRYCE,J.H.
NSIC COPIES LTTR ENCL 1
1 2
2 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 RECIPIENT ID CODE/NAME LE,N AEOD/DEIB AEOD/TTC NRR/DORS/OEAB NRR/DRIL/RPEB NRR/PMAS/ILPB1 NUDOCS-ABSTRACT OGC/HDS1 RES MORISSEAU,D NRC PDR COPIES LTTR ENCL 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 1
1 NOTE TO ALL"RIDS" RECIPIENTS:
PLEASE HELP US fO REDUCE WASTE! CONTACT TIIE DOCUMEN'f CONTROL D)>V, ROOM Pl-37 (EXT. 504-2065) TO ELIMINATEYOUR NAME FROM DISmIDU'fION LISTS FOR DOCUMENTS YOU DON'T NEED!
PLEASE HELP US fO REDUCE WASTE! CONTACT TIIE DOCUMEN'f CONTROL D)>V, ROOM Pl-37 (EXT. 504-2065) TO ELIMINATEYOUR NAME FROM DISmIDU'fION LISTS FOR DOCUMENTS YOU DON'T NEED!
TOTAL NUMBER OF COPIES REQUIRED: LTTR               23   ENCL   23
TOTAL NUMBER OF COPIES REQUIRED:
LTTR 23 ENCL 23


t                                                   Carolina Power & Light Company P.O. Box 165 ~ New Hill, NC 27562 G.E. VAUGHN Vice President Harris Nuclear Plant MAR 2 6 199'etter Number:             HO-930070 Document           Control         Desk                                                             NRC-807 United States Nuclear Regulatory Commission Washington,                   DC 20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400 LICENSE NO. NPF-63 REPLY TO A NOTICE OF VIOLATION Gentlemen:
t Carolina Power & Light Company P.O. Box 165 ~ New Hill,NC 27562 G.E. VAUGHN Vice President Harris Nuclear Plant MAR 2 6
In refere nce to your letter of February 25, 1993, referring to NRC Inspection Report RII: 50-400/93-03, the attached is Carolina Power and Light Company's reply to the notice of violation identified in Enclosure 1.
199'etter Number:
Thank you                   for your consideration in this matter.
HO-930070 Document Control Desk United States Nuclear Regulatory Commission Washington, DC 20555 NRC-807 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400 LICENSE NO. NPF-63 REPLY TO A NOTICE OF VIOLATION Gentlemen:
Very truly yours, Vice President Harris Nuclear Plant MGW:kls Attachment cc:       Mr. S. D. Ebneter (NRC-RII)
In refere nce to your letter of February 25, 1993, referring to NRC Inspection Report RII:
50-400/93-03, the attached is Carolina Power and Light Company's reply to the notice of violation identified in Enclosure 1.
Thank you for your consideration in this matter.
Very truly yours, Vice President Harris Nuclear Plant MGW:kls Attachment cc:
Mr. S.
D. Ebneter (NRC-RII)
Mr. N. B. Le (NRC-NRR)
Mr. N. B. Le (NRC-NRR)
Mr. J. E. Tedrow (NRC-SHNPP) 9303290224 93032b PDR         ADQCK 05000400 8                                 PDR MEM/HO-930070/1/Osl (t(
Mr. J.
E. Tedrow (NRC-SHNPP) 9303290224 93032b PDR ADQCK 05000400 8
PDR MEM/HO-930070/1/Osl (t(
t
t


Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-01 Re orted Violation:
Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-01 Re orted Violation:
10 CFR     50.54(q) states     that a licensee authorized to possess and operate a nuclear power reactor shall follow and maintain in effect an emergency plan which meets the standards in 10 CFR 50.47(b) and the requirements of appendix E to 10 CFR Part 50. 10 CFR 50.47(b)(8) requires that adequate emergency facilities and equipment     to support the emergency response are provided and maintained.
10 CFR 50.54(q) states that a licensee authorized to possess and operate a
Section 3..1       of the Shearon Harris Emergency Plan, which implements 10 CFR 50.47(b)(8), states that adequate emergency facilities, communication, and equipment to support emergency response are provided and maintained.
nuclear power reactor shall follow and maintain in effect an emergency plan which meets the standards in 10 CFR 50.47(b) and the requirements of appendix E to 10 CFR Part 50.
Section 3.5.3.b       of the Shearon Harris Emergency Plan identifies Emergency Response     Facility Information System (ERFIS) consoles, capable of displaying plant data, SPDS, and RMS, as Emergency Operations Facility equipment to be maintained.
10 CFR 50.47(b)(8) requires that adequate emergency facilities and equipment to support the emergency response are provided and maintained.
PEP-402, "Maintaining Readiness of Emergency Facilities,             identifies Portable Radios and Base Stations as emergency equipment.
Section 3..1 of the Shearon Harris Emergency
Contrary to the above,         two examples of inadequately maintained equipment   were identified:
: Plan, which implements 10 CFR 50.47(b)(8), states that adequate emergency facilities, communication, and equipment to support emergency response are provided and maintained.
: 1.   =
Section 3.5.3.b of the Shearon Harris Emergency Plan identifies Emergency
When   tested by the inspector, two of the six hand-held mobile radios maintained     in the Operational Support Center (OSC) kits failed to transmit.
 
: 2.       When   an operational     demonstration was requested   by the inspector, Emergency Operations     Facility (EOF) ERFIS terminals 1, 2, and   3 did not operate.
===Response===
This is     a Severity Level IV violation (Supplement     VIII).
Facility Information System (ERFIS)
: consoles, capable of displaying plant data,
: SPDS, and
: RMS, as Emergency Operations Facility equipment to be maintained.
PEP-402, "Maintaining Readiness of Emergency Facilities, identifies Portable Radios and Base Stations as emergency equipment.
Contrary to the above, two examples of inadequately maintained equipment were identified:
1.
=
When tested by the inspector, two of the six hand-held mobile radios maintained in the Operational Support Center (OSC) kits failed to transmit.
2.
When an operational demonstration was requested by the inspector, Emergency Operations Facility (EOF)
ERFIS terminals 1,
2, and 3 did not operate.
This is a Severity Level IV violation (Supplement VIII).
Denial or Admission:
Denial or Admission:
The   violation is denied.
The violation is denied.
(Example 1)
(Example 1)
OSC   emergency response personnel are taught to check equipment such as radios       to ensure proper operation prior to leaving the OSC on a mission.
OSC emergency response personnel are taught to check equipment such as radios to ensure proper operation prior to leaving the OSC on a mission.
It is   true that on the date of the     NRC inspectors visit and upon examination of one of the       three'SC   emergency supply kits, two of the six hand-held -.radios failed   to   transmit   due   to deficient batteries. However, there were spare batteries available in the kit for use in the radios. This was demonstrated at the time of the inspection.
It is true that on the date of the NRC inspectors visit and upon examination of one of the three'SC emergency supply kits, two of the six hand-held -.radios failed to transmit due to deficient batteries.
: However, there were spare batteries available in the kit for use in the radios.
This was demonstrated at the time of the inspection.
MEM/HO-930070/2/OS1
MEM/HO-930070/2/OS1


Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO.     50-400/93-03 Since radio operability checks are normal practice and spare batteries were available, CP&L contends that the radios were available for use at the time of inspection. The condition noted by the inspector is not considered a violation of the Emergency Plan or implementing procedure (PEP-402).
Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 Since radio operability checks are normal practice and spare batteries were available, CP&L contends that the radios were available for use at the time of inspection.
The cause of the two batteries not to function properly was due to memory lock on the batteries.       In order to alleviate the memory lock problem a battery manager is being purchased and batteries for the OSC radios will be rotated through the battery manager.
The condition noted by the inspector is not considered a violation of the Emergency Plan or implementing procedure (PEP-402).
The cause of the two batteries not to function properly was due to memory lock on the batteries.
In order to alleviate the memory lock problem a battery manager is being purchased and batteries for the OSC radios will be rotated through the battery manager.
(Example 2)
(Example 2)
It is true that when an operational demonstration was requested by the inspector First, on January 26, 1993, the EOF ERFIS terminals 1, 2, and 3 did not operate.
It is true that when an operational demonstration was requested by the inspector on January 26, 1993, the EOF ERFIS terminals 1, 2, and 3 did not operate.
it should be made clear that alternate means of transmitting plant operating data to the Technical Support Center (TSC) and EOF is available.                 Secondly, the problem   that ultimately would cause the non-operational state noted by the inspector had been recognized on January 21, 1993, and a work ticket was written to correct the switcher problem. On January 25, 1993, an upgrade to enhance the reliability of our ERFIS system was initiated. The EOF equipment was operating properly on January 22 1993, and January 25, 1993, when checked by a member of the Harris Emergency           Preparedness     (EP) staff.     On   the morning of January 26, 1993, as part of the ERFIS upgrade,         the switchers were activated and since the   switcher for the EOF ERFIS   equipment was not functioning properly, the EOF ERFIS equipment went off line.           This was discovered at about 4 p.m. on January 26, 1993, when the demonstration was requested by the inspector in the EOF. The Specialist contacted by phone to place the EOF ERFIS equipment on line was not aware of the switcher problem.           From his look at the equipment he felt the EOF equipment should be on line. The next morning the technician that normally works with the EOF equipment became aware of the problem, he changed switchers and had the EOF equipment back on line within 30 minutes on January 27, 1993.
: First, it should be made clear that alternate means of transmitting plant operating data to the Technical Support Center (TSC) and EOF is available.
The ERFIS computer   is a very complex computer system with numerous remote devices subject   to various   perturbations which can trip various components off line.
: Secondly, the problem that ultimately would cause the non-operational state noted by the inspector had been recognized on January 21,
However, we have the ability to return these components very rapidly to an operational status by getting the proper qualified technician in the Computer Control Room to accomplish the proper line up. The technicians are trained as part of the Emergency Response Organization and during emergencies or exercises are called in to perform any required adjustments in order to keep ERFIS functional.
: 1993, and a work ticket was written to correct the switcher problem.
CP&L does   not consider this to       be a   violation in that the problem had been self-identified and the ability to rapidly place the equipment back on line by a qualified technician is available and was demonstrated.           The ERFIS upgrade is an ongoing major proj ect to improve the operation and reliability of the ERFIS system. This fact has been noted as one of the strengths in the EP Program in the past. Further, the upgrade of the ERFIS will greatly enhance the system's entire capability. The particular switcher problems have been repaired and an upgrade with new model, more reliable switchers had been identified as part of the ERFIS upgrade. The replacement of these switchers is to be accomplished in 1993.
On January 25,
: 1993, an upgrade to enhance the reliability of our ERFIS system was initiated.
The EOF equipment was operating properly on January 22 1993, and January 25,
: 1993, when checked by a member of the Harris Emergency Preparedness (EP) staff.
On the morning of January 26,
: 1993, as part of the ERFIS upgrade, the switchers were activated and since the switcher for the EOF ERFIS equipment was not functioning properly, the EOF ERFIS equipment went off line.
This was discovered at about 4 p.m.
on January 26,
: 1993, when the demonstration was requested by the inspector in the EOF.
The Specialist contacted by phone to place the EOF ERFIS equipment on line was not aware of the switcher problem.
From his look at the equipment he felt the EOF equipment should be on line.
The next morning the technician that normally works with the EOF equipment became aware of the problem, he changed switchers and had the EOF equipment back on line within 30 minutes on January 27, 1993.
The ERFIS computer is a very complex computer system with numerous remote devices subject to various perturbations which can trip various components off line.
: However, we have the ability to return these components very rapidly to an operational status by getting the proper qualified technician in the Computer Control Room to accomplish the proper line up.
The technicians are trained as part of the Emergency
 
===Response===
Organization and during emergencies or exercises are called in to perform any required adjustments in order to keep ERFIS functional.
CP&L does not consider this to be a violation in that the problem had been self-identified and the ability to rapidly place the equipment back on line by a qualified technician is available and was demonstrated.
The ERFIS upgrade is an ongoing major proj ect to improve the operation and reliability of the ERFIS system.
This fact has been noted as one of the strengths in the EP Program in the past.
: Further, the upgrade of the ERFIS will greatly enhance the system's entire capability.
The particular switcher problems have been repaired and an upgrade with new model, more reliable switchers had been identified as part of the ERFIS upgrade.
The replacement of these switchers is to be accomplished in 1993.
MEM/HO-930070/3/OS1
MEM/HO-930070/3/OS1


Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-03 Re orted Violation:
Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-03 Re orted Violation:
10 CFR   50.54(q) states     that a licensee authorized to possess and operate a nuclear power reactor   shall follow and maintain in effect an emergency plan which meets the standards     in 10 CFR   50.47(b) and the requirements of Appendix E to 10 CFR Part 50. 10 CFR 50, Appendix   E.IV.D.2 states that signs or other measures shall also be used   to disseminate     to any transient population within the plume exposure pathway Emergency     Planning   Zone   (EPZ) appropriate information that would be helpful if an   accident   occurs.
10 CFR 50.54(q) states that a licensee authorized to possess and operate a
nuclear power reactor shall follow and maintain in effect an emergency plan which meets the standards in 10 CFR 50.47(b) and the requirements of Appendix E to 10 CFR Part 50.
10 CFR 50, Appendix E.IV.D.2 states that signs or other measures shall also be used to disseminate to any transient population within the plume exposure pathway Emergency Planning Zone (EPZ) appropriate information that would be helpful if an accident occurs.
Section 5.2.5 of the Shearon Harris Emergency Plan states that adhesive decals are located at public telephone booths in the 10-mile EPZ to inform transients that they are in an emergency warning zone and what immediate actions to take should they hear the sirens.
Section 5.2.5 of the Shearon Harris Emergency Plan states that adhesive decals are located at public telephone booths in the 10-mile EPZ to inform transients that they are in an emergency warning zone and what immediate actions to take should they hear the sirens.
Contrary to the above, four out of eight telephone                 booths surveyed by the inspector did not display the adhesive decals.
Contrary to the
This is a Severity Level   V violation     (Supplement   VIII).
: above, four out of eight telephone booths surveyed by the inspector did not display the adhesive decals.
This is a Severity Level V violation (Supplement VIII).
Denial or Admission:
Denial or Admission:
While the above statement is true, CPGL requests that the NRC withdraw the violation as allowed by 10CFR2 Appendix C VII B [1]. The basis for this request is (a) this condition was not one which could be expected to have been prevented by the licensee's corrective action for a previous violation, (b) corrective action was initiated prior to the end of the inspection to survey public phone booths within the 10-mile EPZ and ensure the decals were in place and (c) this was not a willful violation.
While the above statement is true, CPGL requests that the NRC withdraw the violation as allowed by 10CFR2 Appendix C VII B [1].
The   public phone booth decals serve only as an enhancement to other more effective and logical means of notifying the transient population as to the meaning of sirens and what actions to take. More realistic warning to transients would naturally come from their asking someone within the 10 mile EPZ what the sirens indicate.     The residents and businesses           within the 10 mile EPZ are furnished with an Annual   Emergency   Preparedness   Calendar with all the information concerning sirens, possible       evacuations     and turning   to Emergency Broadcast Frequencies on   Radio   or   TV. The   other   most logical   means   of providing the information to transients   is the   Emergency   Broadcast   System   which would carry information concerning     the emergency     or drill.
The basis for this request is (a) this condition was not one which could be expected to have been prevented by the licensee's corrective action for a previous violation, (b) corrective action was initiated prior to the end of the inspection to survey public phone booths within the 10-mile EPZ and ensure the decals were in place and (c) this was not a willfulviolation.
In addition to fixed sirens sounding in the event of a real emergency," the vehicle routes inside the 10 mile EPZ will have emergency vehicles with flashing lights, sirens and broadcast capabilities doing route alerting which would alert the permanent and transient populations.
The public phone booth decals serve only as an enhancement to other more effective and logical means of notifying the transient population as to the meaning of sirens and what actions to take.
Efforts were underway prior to the inspection to           enhance   the entire program of notification of transients. While CP&L has had             a contract in force with the areas major telephone company       to ensure that the decal information is placed in MEM/HO-930070/4/OS1
More realistic warning to transients would naturally come from their asking someone within the 10 mile EPZ what the sirens indicate.
The residents and businesses within the 10 mile EPZ are furnished with an Annual Emergency Preparedness Calendar with all the information concerning
: sirens, possible evacuations and turning to Emergency Broadcast Frequencies on Radio or TV.
The other most logical means of providing the information to transients is the Emergency Broadcast System which would carry information concerning the emergency or drill.
In addition to fixed sirens sounding in the event of a real emergency,"
the vehicle routes inside the 10 mile EPZ willhave emergency vehicles with flashing lights, sirens and broadcast capabilities doing route alerting which would alert the permanent and transient populations.
Efforts were underway prior to the inspection to enhance the entire program of notification of transients.
While CP&L has had a contract in force with the areas major telephone company to ensure that the decal information is placed in MEM/HO-930070/4/OS1


,~
,~
I Attachment to NRC-807 g'                             REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 all of their public     telephones within the 10 mile EPZ, we recognize the difficulty in ensuring   decal placement and preventing removal of the decals by members of the public.
 
CP&L is currently evaluating the basis for this commitment. Because of the marginal value of decals and the availability of more effective means to notify the transient population during an emergency, CP&L intends to pursue a change to
I Attachment to NRC-807 g'
    'the Emergency Plan removing the commitment to have the adhesive decals located in public telephone booths throughout the 10 mile EPZ.
REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 all of their public telephones within the 10 mile
: EPZ, we recognize the difficulty in ensuring decal placement and preventing removal of the decals by members of the public.
CP&L is currently evaluating the basis for this commitment.
Because of the marginal value of decals and the availability of more effective means to notify the transient population during an emergency, CP&L intends to pursue a change to
'the Emergency Plan removing the commitment to have the adhesive decals located in public telephone booths throughout the 10 mile EPZ.
In conclusion, the Shearon Harris Nuclear Plant has an effective EP Program.
In conclusion, the Shearon Harris Nuclear Plant has an effective EP Program.
This is evidenced by the successful annual graded exercises conducted without NRC identified deficiencies or weaknesses for the past several years. Recently announced management and organizational changes will provide further enhancement to the EP Program by shifting responsibility for conducting drills and exercises, including scenario development, from the EP Organization to the Harris Training Section. This move will allow the EP Organization to improve their focus on administration responsibilities and program compliance.
This is evidenced by the successful annual graded exercises conducted without NRC identified deficiencies or weaknesses for the past several years.
Recently announced management and organizational changes willprovide further enhancement to the EP Program by shifting responsibility for conducting drills and exercises, including scenario development, from the EP Organization to the Harris Training Section.
This move will allow the EP Organization to improve their focus on administration responsibilities and program compliance.
MEM/HO-930070/5/OS1
MEM/HO-930070/5/OS1


I(}}
I(}}

Latest revision as of 06:37, 7 January 2025

Responds to NRC Re Violations Noted in Insp Rept 50-400/93-03.Corrective Actions:Mgt & Organizational Changes Will Provide Further Enhancement to EP Program by Shifting Responsibility for Conducting Drills & Exercises
ML18010B066
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 03/26/1993
From: Vaughn G
CAROLINA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
CON-NRC-807 HO-930070, NUDOCS 9303290224
Download: ML18010B066 (11)


Text

ACCELERATED DOCUMENT DISTRIBUTIONSYSTEM REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)

ACCESSION'BR:9303290224 DOC.DATE: 93/03/26 NOTARIZED: NO ACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina AUTH.NAME AUTHOR AFFILIATION AUGHNiG.E.

Carolina Power

& Light Co.

RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)

DOCKET N

05000400

SUBJECT:

Responds to NRC 930225 ltr re violations noted in insp rept 50-400/93-03.'Corrective actions:mgt

& organizational changes will provide further enhancement to EP program by shifting responsibility for conducting drills

& exercises.

DISTRIBUTION CODE:

IE01D COPIES RECEIVED:LTR ENCL SIZE:

TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response NOTES:Application for permit renewal filed.

05000400 RECIPIENT ID CODE/NAME PD2-1 PD INTERNAL: ACRS AEOD/DSP/TPAB DEDRO NRR/DRCH/HHFBPT NRR/DRSS/PEPB NRR/PMAS/ILPB2 REG FIL 02 RGN2

'FILE 01 EXTERNAL: EG&G/BRYCE,J.H.

NSIC COPIES LTTR ENCL 1

1 2

2 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 RECIPIENT ID CODE/NAME LE,N AEOD/DEIB AEOD/TTC NRR/DORS/OEAB NRR/DRIL/RPEB NRR/PMAS/ILPB1 NUDOCS-ABSTRACT OGC/HDS1 RES MORISSEAU,D NRC PDR COPIES LTTR ENCL 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 1

1 NOTE TO ALL"RIDS" RECIPIENTS:

PLEASE HELP US fO REDUCE WASTE! CONTACT TIIE DOCUMEN'f CONTROL D)>V, ROOM Pl-37 (EXT. 504-2065) TO ELIMINATEYOUR NAME FROM DISmIDU'fION LISTS FOR DOCUMENTS YOU DON'T NEED!

TOTAL NUMBER OF COPIES REQUIRED:

LTTR 23 ENCL 23

t Carolina Power & Light Company P.O. Box 165 ~ New Hill,NC 27562 G.E. VAUGHN Vice President Harris Nuclear Plant MAR 2 6

199'etter Number:

HO-930070 Document Control Desk United States Nuclear Regulatory Commission Washington, DC 20555 NRC-807 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400 LICENSE NO. NPF-63 REPLY TO A NOTICE OF VIOLATION Gentlemen:

In refere nce to your letter of February 25, 1993, referring to NRC Inspection Report RII:

50-400/93-03, the attached is Carolina Power and Light Company's reply to the notice of violation identified in Enclosure 1.

Thank you for your consideration in this matter.

Very truly yours, Vice President Harris Nuclear Plant MGW:kls Attachment cc:

Mr. S.

D. Ebneter (NRC-RII)

Mr. N. B. Le (NRC-NRR)

Mr. J.

E. Tedrow (NRC-SHNPP) 9303290224 93032b PDR ADQCK 05000400 8

PDR MEM/HO-930070/1/Osl (t(

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Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-01 Re orted Violation:

10 CFR 50.54(q) states that a licensee authorized to possess and operate a

nuclear power reactor shall follow and maintain in effect an emergency plan which meets the standards in 10 CFR 50.47(b) and the requirements of appendix E to 10 CFR Part 50.

10 CFR 50.47(b)(8) requires that adequate emergency facilities and equipment to support the emergency response are provided and maintained.

Section 3..1 of the Shearon Harris Emergency

Plan, which implements 10 CFR 50.47(b)(8), states that adequate emergency facilities, communication, and equipment to support emergency response are provided and maintained.

Section 3.5.3.b of the Shearon Harris Emergency Plan identifies Emergency

Response

Facility Information System (ERFIS)

consoles, capable of displaying plant data,
SPDS, and
RMS, as Emergency Operations Facility equipment to be maintained.

PEP-402, "Maintaining Readiness of Emergency Facilities, identifies Portable Radios and Base Stations as emergency equipment.

Contrary to the above, two examples of inadequately maintained equipment were identified:

1.

=

When tested by the inspector, two of the six hand-held mobile radios maintained in the Operational Support Center (OSC) kits failed to transmit.

2.

When an operational demonstration was requested by the inspector, Emergency Operations Facility (EOF)

ERFIS terminals 1,

2, and 3 did not operate.

This is a Severity Level IV violation (Supplement VIII).

Denial or Admission:

The violation is denied.

(Example 1)

OSC emergency response personnel are taught to check equipment such as radios to ensure proper operation prior to leaving the OSC on a mission.

It is true that on the date of the NRC inspectors visit and upon examination of one of the three'SC emergency supply kits, two of the six hand-held -.radios failed to transmit due to deficient batteries.

However, there were spare batteries available in the kit for use in the radios.

This was demonstrated at the time of the inspection.

MEM/HO-930070/2/OS1

Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 Since radio operability checks are normal practice and spare batteries were available, CP&L contends that the radios were available for use at the time of inspection.

The condition noted by the inspector is not considered a violation of the Emergency Plan or implementing procedure (PEP-402).

The cause of the two batteries not to function properly was due to memory lock on the batteries.

In order to alleviate the memory lock problem a battery manager is being purchased and batteries for the OSC radios will be rotated through the battery manager.

(Example 2)

It is true that when an operational demonstration was requested by the inspector on January 26, 1993, the EOF ERFIS terminals 1, 2, and 3 did not operate.

First, it should be made clear that alternate means of transmitting plant operating data to the Technical Support Center (TSC) and EOF is available.
Secondly, the problem that ultimately would cause the non-operational state noted by the inspector had been recognized on January 21,
1993, and a work ticket was written to correct the switcher problem.

On January 25,

1993, an upgrade to enhance the reliability of our ERFIS system was initiated.

The EOF equipment was operating properly on January 22 1993, and January 25,

1993, when checked by a member of the Harris Emergency Preparedness (EP) staff.

On the morning of January 26,

1993, as part of the ERFIS upgrade, the switchers were activated and since the switcher for the EOF ERFIS equipment was not functioning properly, the EOF ERFIS equipment went off line.

This was discovered at about 4 p.m.

on January 26,

1993, when the demonstration was requested by the inspector in the EOF.

The Specialist contacted by phone to place the EOF ERFIS equipment on line was not aware of the switcher problem.

From his look at the equipment he felt the EOF equipment should be on line.

The next morning the technician that normally works with the EOF equipment became aware of the problem, he changed switchers and had the EOF equipment back on line within 30 minutes on January 27, 1993.

The ERFIS computer is a very complex computer system with numerous remote devices subject to various perturbations which can trip various components off line.

However, we have the ability to return these components very rapidly to an operational status by getting the proper qualified technician in the Computer Control Room to accomplish the proper line up.

The technicians are trained as part of the Emergency

Response

Organization and during emergencies or exercises are called in to perform any required adjustments in order to keep ERFIS functional.

CP&L does not consider this to be a violation in that the problem had been self-identified and the ability to rapidly place the equipment back on line by a qualified technician is available and was demonstrated.

The ERFIS upgrade is an ongoing major proj ect to improve the operation and reliability of the ERFIS system.

This fact has been noted as one of the strengths in the EP Program in the past.

Further, the upgrade of the ERFIS will greatly enhance the system's entire capability.

The particular switcher problems have been repaired and an upgrade with new model, more reliable switchers had been identified as part of the ERFIS upgrade.

The replacement of these switchers is to be accomplished in 1993.

MEM/HO-930070/3/OS1

Attachment to NRC-807 REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 VIOLATION 400 93-03-03 Re orted Violation:

10 CFR 50.54(q) states that a licensee authorized to possess and operate a

nuclear power reactor shall follow and maintain in effect an emergency plan which meets the standards in 10 CFR 50.47(b) and the requirements of Appendix E to 10 CFR Part 50.

10 CFR 50, Appendix E.IV.D.2 states that signs or other measures shall also be used to disseminate to any transient population within the plume exposure pathway Emergency Planning Zone (EPZ) appropriate information that would be helpful if an accident occurs.

Section 5.2.5 of the Shearon Harris Emergency Plan states that adhesive decals are located at public telephone booths in the 10-mile EPZ to inform transients that they are in an emergency warning zone and what immediate actions to take should they hear the sirens.

Contrary to the

above, four out of eight telephone booths surveyed by the inspector did not display the adhesive decals.

This is a Severity Level V violation (Supplement VIII).

Denial or Admission:

While the above statement is true, CPGL requests that the NRC withdraw the violation as allowed by 10CFR2 Appendix C VII B [1].

The basis for this request is (a) this condition was not one which could be expected to have been prevented by the licensee's corrective action for a previous violation, (b) corrective action was initiated prior to the end of the inspection to survey public phone booths within the 10-mile EPZ and ensure the decals were in place and (c) this was not a willfulviolation.

The public phone booth decals serve only as an enhancement to other more effective and logical means of notifying the transient population as to the meaning of sirens and what actions to take.

More realistic warning to transients would naturally come from their asking someone within the 10 mile EPZ what the sirens indicate.

The residents and businesses within the 10 mile EPZ are furnished with an Annual Emergency Preparedness Calendar with all the information concerning

sirens, possible evacuations and turning to Emergency Broadcast Frequencies on Radio or TV.

The other most logical means of providing the information to transients is the Emergency Broadcast System which would carry information concerning the emergency or drill.

In addition to fixed sirens sounding in the event of a real emergency,"

the vehicle routes inside the 10 mile EPZ willhave emergency vehicles with flashing lights, sirens and broadcast capabilities doing route alerting which would alert the permanent and transient populations.

Efforts were underway prior to the inspection to enhance the entire program of notification of transients.

While CP&L has had a contract in force with the areas major telephone company to ensure that the decal information is placed in MEM/HO-930070/4/OS1

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I Attachment to NRC-807 g'

REPLY TO A NOTICE OF VIOLATION NRC INSPECTION REPORT NO. 50-400/93-03 all of their public telephones within the 10 mile

EPZ, we recognize the difficulty in ensuring decal placement and preventing removal of the decals by members of the public.

CP&L is currently evaluating the basis for this commitment.

Because of the marginal value of decals and the availability of more effective means to notify the transient population during an emergency, CP&L intends to pursue a change to

'the Emergency Plan removing the commitment to have the adhesive decals located in public telephone booths throughout the 10 mile EPZ.

In conclusion, the Shearon Harris Nuclear Plant has an effective EP Program.

This is evidenced by the successful annual graded exercises conducted without NRC identified deficiencies or weaknesses for the past several years.

Recently announced management and organizational changes willprovide further enhancement to the EP Program by shifting responsibility for conducting drills and exercises, including scenario development, from the EP Organization to the Harris Training Section.

This move will allow the EP Organization to improve their focus on administration responsibilities and program compliance.

MEM/HO-930070/5/OS1

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