IR 05000413/2010007: Difference between revisions

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=Text=
=Text=
{{#Wiki_filter:UNITED STATES ber 28, 2010
{{#Wiki_filter:December 28, 2010


==SUBJECT:==
==SUBJECT:==
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However, the inspectors identified two minor performance deficiencies associated with the licensees prioritization and evaluation of issues.
However, the inspectors identified two minor performance deficiencies associated with the licensees prioritization and evaluation of issues.


DEC   2 In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Web-site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
DEC  
 
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Web-site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).


Sincerely,
Sincerely,
/RA by Jonathan Bartley Acting For/
/RA by Jonathan Bartley Acting For/  
George T. Hopper, Chief Reactor Projects Branch 7 Division of Reactor Projects Docket Nos.: 50-413, 50-414 License Nos.: NPF-35, NPF-52
 
George T. Hopper, Chief Reactor Projects Branch 7 Division of Reactor Projects  
 
Docket Nos.: 50-413, 50-414 License Nos.: NPF-35, NPF-52  


===Enclosure:===
===Enclosure:===
Inspection Report 05000413/2010007, 05000414/2010007 w/Attachment: Supplemental Information
Inspection Report 05000413/2010007, 05000414/2010007 w/Attachment: Supplemental Information  


REGION II==
REGION II==
Docket Nos.: 50-413, 50-414 License Nos.: NPF-35, NPF-52 Report No.: 05000413/2010007, 05000414/2010007 Licensee: Duke Energy Carolinas, LLC Facility: Catawba Nuclear Station, Units 1 and 2 Location: Catawba Nuclear Station 4800 Concord Road York, SC 29745-9635 Dates: November 1 - 5, 2010 November 15 - 18, 2010 Inspectors: N. Staples, Reactor Inspector (Team Leader)
Docket Nos.:
R. Cureton, Resident Inspector S. Ninh, Senior Project Engineer S. Rose, Senior Project Engineer J. Wallo, Senior Physical Security Inspector S. Anderson, Reactor Inspector (Training)
50-413, 50-414  
Approved by: George T. Hopper, Chief Reactor Projects Branch 7 Division of Reactor Projects Enclosure
 
License Nos.:
NPF-35, NPF-52  
 
Report No.:
05000413/2010007, 05000414/2010007  
 
Licensee:
Duke Energy Carolinas, LLC  
 
Facility:
Catawba Nuclear Station, Units 1 and 2  
 
Location:
Catawba Nuclear Station  
 
4800 Concord Road  
 
York, SC 29745-9635  
 
Dates:
November 1 - 5, 2010  
 
November 15 - 18, 2010  
 
Inspectors:  
 
N. Staples, Reactor Inspector (Team Leader)
R. Cureton, Resident Inspector S. Ninh, Senior Project Engineer S. Rose, Senior Project Engineer J. Wallo, Senior Physical Security Inspector  
 
S. Anderson, Reactor Inspector (Training)  
 
Approved by:
George T. Hopper, Chief  
 
Reactor Projects Branch 7  
 
Division of Reactor Projects  
 
Enclosure  


=SUMMARY OF FINDINGS=
=SUMMARY OF FINDINGS=
IR05000413/2010007, IR05000414/2010007; 11/01/2010 -11/19/2010; Catawba Nuclear
IR05000413/2010007, IR05000414/2010007; 11/01/2010 -11/19/2010; Catawba Nuclear  


Station, Biennial Inspection of the Problem Identification and Resolution Program.
Station, Biennial Inspection of the Problem Identification and Resolution Program.
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The inspection was conducted by two senior project engineers, a reactor inspector, a senior physical security inspector, a resident inspector, and a reactor inspector in-training. No findings were identified. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process.
The inspection was conducted by two senior project engineers, a reactor inspector, a senior physical security inspector, a resident inspector, and a reactor inspector in-training. No findings were identified. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process.


Identification and Resolution of Problems The inspectors concluded that, in general, problems were properly identified, evaluated, prioritized, and corrected. The licensee was effective at identifying problems and entering them into the corrective action program (CAP) for resolution. The licensee maintained a low threshold for identifying problems as evidenced by the large number of Problem Investigation Program (PIPs) entered annually into the CAP. Generally, the licensee properly prioritized and evaluated issues, formal root cause evaluations for significant problems were thorough and detailed, and corrective actions specified for problems were adequate. Overall, corrective actions developed and implemented for issues were effective in correcting the problems. However, several minor observations were identified in the area of issue screening and prioritization.
Identification and Resolution of Problems  
 
The inspectors concluded that, in general, problems were properly identified, evaluated, prioritized, and corrected. The licensee was effective at identifying problems and entering them into the corrective action program (CAP) for resolution. The licensee maintained a low threshold for identifying problems as evidenced by the large number of Problem Investigation Program (PIPs) entered annually into the CAP. Generally, the licensee properly prioritized and evaluated issues, formal root cause evaluations for significant problems were thorough and detailed, and corrective actions specified for problems were adequate. Overall, corrective actions developed and implemented for issues were effective in correcting the problems. However, several minor observations were identified in the area of issue screening and prioritization.


The inspectors determined that audits and self-assessments were effective in identifying deficiencies and areas for improvement in the CAP, and in most cases, corrective actions were developed to address these issues. Operating experience usage was found to be generally acceptable and integrated into the licensees processes for performing and managing work, and plant operations. However, the inspectors found one example where operating experience was not adequately addressed.
The inspectors determined that audits and self-assessments were effective in identifying deficiencies and areas for improvement in the CAP, and in most cases, corrective actions were developed to address these issues. Operating experience usage was found to be generally acceptable and integrated into the licensees processes for performing and managing work, and plant operations. However, the inspectors found one example where operating experience was not adequately addressed.
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==OTHER ACTIVITIES==
==OTHER ACTIVITIES==
{{a|4OA2}}
{{a|4OA2}}
==4OA2 Problem Identification and Resolution==
==4OA2 Problem Identification and Resolution==
===.1 Assessment of the Corrective Action Program===
===.1 Assessment of the Corrective Action Program===
====a. Inspection Scope====
====a. Inspection Scope====
The inspectors reviewed the licensees CAP procedures which described the administrative process for initiating and resolving problems primarily through the use of Problem Identification Process (PIPs). To verify that problems were being properly identified, appropriately characterized, and entered into the CAP, the inspectors reviewed PIPs that had been issued between April 2008 and November 2010, including a detailed review of selected PIPs associated with the following risk-significant systems:
The inspectors reviewed the licensees CAP procedures which described the administrative process for initiating and resolving problems primarily through the use of Problem Identification Process (PIPs). To verify that problems were being properly identified, appropriately characterized, and entered into the CAP, the inspectors reviewed PIPs that had been issued between April 2008 and November 2010, including a detailed review of selected PIPs associated with the following risk-significant systems:
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Documents reviewed are listed in the Attachment.
Documents reviewed are listed in the Attachment.


b. Assessment Identification of Issues The inspectors determined that the licensee was generally effective in identifying problems and entering them into the CAP and there was a low threshold for entering issues into the CAP. This conclusion was based on a review of the requirements for initiating PIPs as described in licensee procedure NSD 208, Problem Investigation Process, and managements expectation that employees were encouraged to initiate PIPs for any reason. Trending was generally effective in monitoring equipment performance. Site management was actively involved in the CAP and focused appropriate attention on significant plant issues. Based on reviews and walkdowns of accessible portions of the selected systems, the inspectors determined that system deficiencies were being identified and placed in the CAP.
b.
 
Assessment  


Prioritization and Evaluation of Issues Based on the review of PIPs sampled by the inspectors during the onsite period, the inspectors concluded that problems were generally prioritized and evaluated in accordance with the licensees CAP procedures as described in the PIP categorization guidance in NSD 208. Each PIP was assigned a priority level (category) by the PIP Screening Team and adequate consideration was given to system or component operability and associated plant risk.
Identification of Issues
 
The inspectors determined that the licensee was generally effective in identifying problems and entering them into the CAP and there was a low threshold for entering issues into the CAP. This conclusion was based on a review of the requirements for initiating PIPs as described in licensee procedure NSD 208, Problem Investigation Process, and managements expectation that employees were encouraged to initiate PIPs for any reason. Trending was generally effective in monitoring equipment performance. Site management was actively involved in the CAP and focused appropriate attention on significant plant issues. Based on reviews and walkdowns of accessible portions of the selected systems, the inspectors determined that system deficiencies were being identified and placed in the CAP.
 
Prioritization and Evaluation of Issues  
 
Based on the review of PIPs sampled by the inspectors during the onsite period, the inspectors concluded that problems were generally prioritized and evaluated in accordance with the licensees CAP procedures as described in the PIP categorization guidance in NSD 208. Each PIP was assigned a priority level (category) by the PIP Screening Team and adequate consideration was given to system or component operability and associated plant risk.


The inspectors determined that station personnel had conducted root cause and apparent cause analyses in compliance with the licensees CAP procedures and assigned cause determinations were appropriate, considering the significance of the issues being evaluated. A variety of formal causal-analysis techniques were used depending on the type and complexity of the issue consistent with NSD 212.
The inspectors determined that station personnel had conducted root cause and apparent cause analyses in compliance with the licensees CAP procedures and assigned cause determinations were appropriate, considering the significance of the issues being evaluated. A variety of formal causal-analysis techniques were used depending on the type and complexity of the issue consistent with NSD 212.
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* The inspectors identified a performance deficiency for the licensees failure to incorporate lessons learned from a more conservative alarm response approach at the Oconee and McGuire Nuclear stations. This issue was considered to be minor because it did not adversely affect any ROP cornerstone objectives. This issue was entered into the licensees corrective action program as PIP C-10-07733.
* The inspectors identified a performance deficiency for the licensees failure to incorporate lessons learned from a more conservative alarm response approach at the Oconee and McGuire Nuclear stations. This issue was considered to be minor because it did not adversely affect any ROP cornerstone objectives. This issue was entered into the licensees corrective action program as PIP C-10-07733.


Effectiveness of Corrective Actions Based on a review of corrective action documents, interviews with licensee staff, and verification of completed corrective actions, the inspectors determined that overall, corrective actions were timely, commensurate with the safety significance of the issues, and effective, in that conditions adverse to quality were corrected and non-recurring. For significant conditions adverse to quality, the corrective actions directly addressed the cause and effectively prevented recurrence in that a review of performance indicators, PIPs, and effectiveness reviews demonstrated that the significant conditions adverse to quality had not recurred. Effectiveness reviews for corrective actions to prevent recurrence (CAPRs) were sufficient to ensure corrective actions were properly implemented and were effective.
Effectiveness of Corrective Actions  
 
Based on a review of corrective action documents, interviews with licensee staff, and verification of completed corrective actions, the inspectors determined that overall, corrective actions were timely, commensurate with the safety significance of the issues, and effective, in that conditions adverse to quality were corrected and non-recurring. For significant conditions adverse to quality, the corrective actions directly addressed the cause and effectively prevented recurrence in that a review of performance indicators, PIPs, and effectiveness reviews demonstrated that the significant conditions adverse to quality had not recurred. Effectiveness reviews for corrective actions to prevent recurrence (CAPRs) were sufficient to ensure corrective actions were properly implemented and were effective.


===.2 Assessment of the Use of Operating Experience (OE)===
===.2 Assessment of the Use of Operating Experience (OE)===
====a. Inspection Scope====
====a. Inspection Scope====
The inspectors examined licensee programs for reviewing industry operating experience, reviewed licensee procedure NSD 204, Operating Experience Program, reviewed and selected PIPs to assess the effectiveness of how external and internal operating experience data was handled at the plant. In addition, the inspectors selected a sample of operating experience documents (e.g., NRC generic communications, 10 CFR Part 21 reports, licensee event reports, vendor notifications, and plant internal operating experience items, etc.), which had been issued since March 2008, to verify whether the licensee had appropriately evaluated each notification for applicability, and whether issues identified through these reviews were entered into the CAP. Documents reviewed are listed in the Attachment.
The inspectors examined licensee programs for reviewing industry operating experience, reviewed licensee procedure NSD 204, Operating Experience Program, reviewed and selected PIPs to assess the effectiveness of how external and internal operating experience data was handled at the plant. In addition, the inspectors selected a sample of operating experience documents (e.g., NRC generic communications, 10 CFR Part 21 reports, licensee event reports, vendor notifications, and plant internal operating experience items, etc.), which had been issued since March 2008, to verify whether the licensee had appropriately evaluated each notification for applicability, and whether issues identified through these reviews were entered into the CAP. Documents reviewed are listed in the Attachment.


b. Assessment Based on a review of documentation related to review of OE issues, the inspectors determined that the licensee was generally effective in screening OE for applicability to the plant. Industry OE was evaluated and relevant information was then forwarded to the applicable department for further action or informational purposes. OE issues requiring action were entered into the CAP for tracking and closure. In addition, OE was included in all apparent cause and root cause evaluations in accordance with licensee procedure NSD 204.
b.
 
Assessment  
 
Based on a review of documentation related to review of OE issues, the inspectors determined that the licensee was generally effective in screening OE for applicability to the plant. Industry OE was evaluated and relevant information was then forwarded to the applicable department for further action or informational purposes. OE issues requiring action were entered into the CAP for tracking and closure. In addition, OE was included in all apparent cause and root cause evaluations in accordance with licensee procedure NSD 204.


====c. Findings====
====c. Findings====
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===.3 Assessment of Self-Assessments and Audits===
===.3 Assessment of Self-Assessments and Audits===
====a. Inspection Scope====
====a. Inspection Scope====
The inspectors reviewed audit reports and self-assessment reports, including those which focused on problem identification and resolution, to assess the thoroughness and self-criticism of the licensee's audits and self assessments, and to verify that problems identified through those activities were appropriately prioritized and entered into the CAP for resolution in accordance with licensee procedure NSD 208. Documents reviewed are listed in the Attachment.
The inspectors reviewed audit reports and self-assessment reports, including those which focused on problem identification and resolution, to assess the thoroughness and self-criticism of the licensee's audits and self assessments, and to verify that problems identified through those activities were appropriately prioritized and entered into the CAP for resolution in accordance with licensee procedure NSD 208. Documents reviewed are listed in the Attachment.


b. Assessment The inspectors determined that the scopes of assessments and audits were adequate.
b.
 
Assessment  
 
The inspectors determined that the scopes of assessments and audits were adequate.


Self-assessments were generally detailed and critical, as evidenced by findings consistent with the inspectors independent review. The inspectors verified that PIPs were created to document all areas for improvement and findings resulting from the self-assessments, and verified that actions had been completed consistent with those recommendations. Generally, the licensee performed evaluations that were technically accurate. Site trend reports were thorough and a low threshold was established for evaluation of potential trends, as evidenced by the PIPs reviewed that were initiated as a result of adverse trends.
Self-assessments were generally detailed and critical, as evidenced by findings consistent with the inspectors independent review. The inspectors verified that PIPs were created to document all areas for improvement and findings resulting from the self-assessments, and verified that actions had been completed consistent with those recommendations. Generally, the licensee performed evaluations that were technically accurate. Site trend reports were thorough and a low threshold was established for evaluation of potential trends, as evidenced by the PIPs reviewed that were initiated as a result of adverse trends.
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===.4 Assessment of Safety-Conscious Work Environment===
===.4 Assessment of Safety-Conscious Work Environment===
====a. Inspection Scope====
====a. Inspection Scope====
The inspectors interviewed 25 randomly selected on-site workers regarding their knowledge of the CAP and their willingness to write PIPs or raise safety concerns.
The inspectors interviewed 25 randomly selected on-site workers regarding their knowledge of the CAP and their willingness to write PIPs or raise safety concerns.
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During technical discussions with members of the plant staff, the inspectors conducted interviews to develop a general perspective of the safety-conscious work environment at the site. The interviews were also conducted to determine if any conditions existed that would cause employees to be reluctant to raise safety concerns. The inspectors reviewed the licensees Employee Concerns Program (ECP). Additionally, the inspectors reviewed a sample of PIPs generated as a result of issued identified through the ECP to verify that concerns were being properly reviewed.
During technical discussions with members of the plant staff, the inspectors conducted interviews to develop a general perspective of the safety-conscious work environment at the site. The interviews were also conducted to determine if any conditions existed that would cause employees to be reluctant to raise safety concerns. The inspectors reviewed the licensees Employee Concerns Program (ECP). Additionally, the inspectors reviewed a sample of PIPs generated as a result of issued identified through the ECP to verify that concerns were being properly reviewed.


b. Assessment Based on the interviews conducted and the PIPs reviewed, the inspectors determined that licensee management emphasized the need for all employees to identify and report problems using the appropriate methods established within the administrative programs, including the CAP and ECP. These methods were readily accessible to all employees.
b.
 
Assessment  
 
Based on the interviews conducted and the PIPs reviewed, the inspectors determined that licensee management emphasized the need for all employees to identify and report problems using the appropriate methods established within the administrative programs, including the CAP and ECP. These methods were readily accessible to all employees.


Based on discussions conducted with a sample of plant employees from various departments, the inspectors determined that employees felt free to raise issues, and that management encouraged employees to place issues into the CAP for resolution. The inspectors did not identify any reluctance on the part of the licensee staff to report safety concerns.
Based on discussions conducted with a sample of plant employees from various departments, the inspectors determined that employees felt free to raise issues, and that management encouraged employees to place issues into the CAP for resolution. The inspectors did not identify any reluctance on the part of the licensee staff to report safety concerns.
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No findings were identified.
No findings were identified.


{{a|4OA6}}
{{a|4OA6}}
 
==4OA6 Exit==
==4OA6 Exit==
===Exit Meeting Summary===
On November 18, 2010, the inspectors presented the inspection results to Mr. Jim Morris and other members of the licensee staff. The inspectors confirmed that all proprietary information that was provided and examined was returned at the conclusion of the inspection. Following completion of additional review in the Region II office, a final exit was held by telephone with Mr. Randy Hart and other members of your staff on December 16, 2010, to provide an update on changes to the preliminary inspection findings.
KEY POINTS OF CONTACT
Licensee personnel:
E. Benfield, Radiation Protection Specialist B. Craddock, Work Control Coordinator A. Driver, Regulatory Compliance Engineer B. Ferguson, MCE Manager E. Haack, Principal Engineer T. Hamilton, Engineering Manager G. Hamrick, Station Manager R. Hart, Regulatory Compliance M. Heavner, OPS OWP Manager W. Jarman, Operations Shift manager B. Jones, Performance Improvement Manager R. Kayler, Engineering Supervisor J. Lightsey, Maintenance Supervisor G. Mitchell, Emergency Planning Operation Specialist J. Morris, Site VP J. Neal, Work Control Manager K. Phillips, Training Manager S. Pursley, CAP Lead S. Putnam, Safety Assurance Manager M. Sawicki, Regulatory Compliance Engineer J. Shuping, Technical Systems Manager
NRC personnel:
A. Hutto, Senior Resident Inspector
LIST OF REPORT ITEMS
Opened and Closed
None


===Exit Meeting Summary===
Closed
 
None


On November 18, 2010, the inspectors presented the inspection results to Mr. Jim Morris and other members of the licensee staff. The inspectors confirmed that all proprietary information that was provided and examined was returned at the conclusion of the inspection. Following completion of additional review in the Region II office, a final exit was held by telephone with Mr. Randy Hart and other members of your staff on December 16, 2010, to provide an update on changes to the preliminary inspection findings.
Discussed


KEY POINTS OF CONTACT Licensee personnel:
None LIST OF  
E. Benfield, Radiation Protection Specialist B. Craddock, Work Control Coordinator A. Driver, Regulatory Compliance Engineer B. Ferguson, MCE Manager E. Haack, Principal Engineer T. Hamilton, Engineering Manager G. Hamrick, Station Manager R. Hart, Regulatory Compliance M. Heavner, OPS OWP Manager W. Jarman, Operations Shift manager B. Jones, Performance Improvement Manager R. Kayler, Engineering Supervisor J. Lightsey, Maintenance Supervisor G. Mitchell, Emergency Planning Operation Specialist J. Morris, Site VP J. Neal, Work Control Manager K. Phillips, Training Manager S. Pursley, CAP Lead S. Putnam, Safety Assurance Manager M. Sawicki, Regulatory Compliance Engineer J. Shuping, Technical Systems Manager NRC personnel:
A. Hutto, Senior Resident Inspector LIST OF REPORT ITEMS Opened and Closed None Closed None Discussed None LIST OF  


=DOCUMENTS REVIEWED=
=DOCUMENTS REVIEWED=
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NSD-411, Preventive Maintenance Program, Rev. 6
NSD-411, Preventive Maintenance Program, Rev. 6
NSD-506, Operator Workarounds and Control Room Deficiencies, Rev. 5
NSD-506, Operator Workarounds and Control Room Deficiencies, Rev. 5
NSD-602, Safety Conscious Work Environment (SCWE) & Employee Concerns Program
NSD-602, Safety Conscious Work Environment (SCWE) & Employee Concerns Program  
(ECP), Rev. 6
(ECP), Rev. 6
MP/0/A/7550/008, Energy Solution Cask CNS 8-120A Handling, Loading and Unloading,
MP/0/A/7550/008, Energy Solution Cask CNS 8-120A Handling, Loading and Unloading,
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09-02-INOS-SEC-CNS, February 9-19, 2009
09-02-INOS-SEC-CNS, February 9-19, 2009
Conditional Security Audit 10-29-INOS-SEC-CNS, August 2012, 2010
Conditional Security Audit 10-29-INOS-SEC-CNS, August 2012, 2010
Independent Nuclear Oversight - Audit CNS Radiological Effluent Control Program 10-13
Independent Nuclear Oversight - Audit CNS Radiological Effluent Control Program 10-13  
(INOS)(REC)(CNS)
(INOS)(REC)(CNS)
Independent Nuclear Oversight-Audit Catawba Emergency Planning Audit - 10-07-
Independent Nuclear Oversight-Audit Catawba Emergency Planning Audit - 10-07-
(INOS)(EP)(CNS)
(INOS)(EP)(CNS)
Emergency Planning Limited Scope Audit- Catawba Nuclear Station- 09-25(INOS)(LEP)(CNS)
Emergency Planning Limited Scope Audit-Catawba Nuclear Station- 09-25(INOS)(LEP)(CNS)
2009 Emergency Planning Performance Review- 09-101(INOS)(EP)(CNS)
2009 Emergency Planning Performance Review- 09-101(INOS)(EP)(CNS)
C-RPS-SA-10-05, 1EOC18 Personnel Contamination Event Common Cause Assessment
C-RPS-SA-10-05, 1EOC18 Personnel Contamination Event Common Cause Assessment  


Problem Investigation Process (PIP) records
Problem Investigation Process (PIP) records
C-04-03675             C-09-00106          C-09-04345        C-09-07787          C-10-03012
C-04-03675
C-04-01754            C-09-00195          C-09-04390        C-09-07870          C-10-04900
C-04-01754
C-04-0745              C-09-00324          C-09-05020        C-09-1603          C-10-02623
C-04-0745
C-07-01682            C-09-00658          C-09-05201        C-09-01415          C-10-00781
C-07-01682
C-07-01683            C-09-00659          C-09-05896        C-09-3214          C-10-01020
C-07-01683
C-07-03258            C-09-00719          C-09-06498        C-09-03512          C-10-06567
C-07-03258
C-07-03766            C-09-00754          C-09-06655        C-10-01351          C-10-07403
C-07-03766
C-07-03810            C-09-00827          C-09-07534        C-10-2815          C-10-01910
C-07-03810
C-07-07431            C-09-00905          C-09-07585        C-10-04459          C-10-02356
C-07-07431
C-08-00513            C-09-01069          C-09-00206        C-10-00566          C-10-01919
C-08-00513
C-08-01920            C-09-01110          C-09-07493        C-10-0507          C-10-01308
C-08-01920
C-08-03351            C-09-01308          C-09-00839        C-10-0444          C-10-01523
C-08-03351
C-08-03386            C-09-01701          C-09-05319        C-10-03012          C-10-02349
C-08-03386
C-08-04024            C-09-01851          C-09-06776        C-10-2193          C-10-02984
C-08-04024
C-08-05273            C-09-02108          C-09-02027        C-10-0005          C-10-03551
C-08-05273
C-08-06048            C-09-02890          C-09-02352        C-10-4486          C-10-04054
C-08-06048
C-08-1036              C-09-03024          C-09-03881        C-10-3092          C-10-04459
C-08-1036
C-08-06595            C-09-03305          C-09-01399        C-10-3145          C-10-05452
C-08-06595
C-08-07140            C-09-00325          C-09-03979        C-10-01228          C-10-06567
C-08-07140
C-08-03755            C-09-03384          C-09-04059        C-10-01026          C-10-07403
C-08-03755
C-08-7041              C-09-03425          C-09-04344        C-10-03241
C-08-7041
C-08-05041            C-09-03446          C-09-00372        C-10-03901
C-08-05041
C-08-07137            C-09-03779          C-09-01999        C-10-01320
C-08-07137
C-08-07189            C-09-04326          C-09-07591        C-10-03793
C-08-07189
C-09-00106
C-09-00195
C-09-00324
C-09-00658
C-09-00659
C-09-00719
C-09-00754
C-09-00827
C-09-00905
C-09-01069
C-09-01110
C-09-01308
C-09-01701
C-09-01851
C-09-02108
C-09-02890
C-09-03024
C-09-03305
C-09-00325
C-09-03384
C-09-03425
C-09-03446
C-09-03779
C-09-04326
C-09-04345
C-09-04390
C-09-05020
C-09-05201
C-09-05896
C-09-06498
C-09-06655
C-09-07534
C-09-07585
C-09-00206
C-09-07493
C-09-00839
C-09-05319
C-09-06776
C-09-02027
C-09-02352
C-09-03881
C-09-01399
C-09-03979
C-09-04059
C-09-04344
C-09-00372
C-09-01999
C-09-07591
C-09-07787
C-09-07870
C-09-1603
C-09-01415
C-09-3214
C-09-03512
C-10-01351
C-10-2815
C-10-04459
C-10-00566
C-10-0507
C-10-0444
C-10-03012
C-10-2193
C-10-0005
C-10-4486
C-10-3092
C-10-3145
C-10-01228
C-10-01026
C-10-03241
C-10-03901
C-10-01320
C-10-03793
C-10-03012
C-10-04900
C-10-02623
C-10-00781
C-10-01020
C-10-06567
C-10-07403
C-10-01910
C-10-02356
C-10-01919
C-10-01308
C-10-01523
C-10-02349
C-10-02984
C-10-03551
C-10-04054
C-10-04459
C-10-05452
C-10-06567
C-10-07403
Work Orders / Work Requests
Work Orders / Work Requests
01118880               01808415           01863438         01886853           01918922
01118880
01131701              01812678            01865384          01891363           01919185
01131701
01131704              01813440            01865514          01900813           01920283
01131704
01760754              01823197            01874990          01904257           01933826
01760754
01732882              01838658            01875760          01906307           01934467
01732882
01776025              01838923            01881957          01911997           01942768
01776025
01789634              01855468            01883080          01913791
01789634
01801150              01860409            01884180          01913793
01801150
01808415
01812678
01813440
01823197
01838658
01838923
01855468
01860409
01863438
01865384
01865514
01874990
01875760
01881957
01883080
01884180
01886853
01891363
01900813
01904257
01906307
01911997
01913791
01913793
01918922
01919185
01920283
01933826
01934467
01942768
PIPs Generated
PIPs Generated
C-10-07715, Procedures revisions not implemented as discussed in Docutracks
C-10-07715, Procedures revisions not implemented as discussed in Docutracks
Line 237: Line 440:
affecting reactivity in an uncontrolled manner.
affecting reactivity in an uncontrolled manner.
C-10-07733, Performance Improvement Team to evaluate why a failure to have adequate
C-10-07733, Performance Improvement Team to evaluate why a failure to have adequate
corrective actions for Root Cause C-10-005
corrective actions for Root Cause C-10-005  


Other Documents
Other Documents
Line 259: Line 462:
Duke Engineering Corporate Nuclear Root Cause Analysis Users Guide
Duke Engineering Corporate Nuclear Root Cause Analysis Users Guide
CNS Expert panel Meeting, 11/16/10
CNS Expert panel Meeting, 11/16/10
LIST OF ACRONYMS
 
CAP Corrective Action Program
LIST OF ACRONYMS  
CARB Corrective Action Review Board
 
CAPR Corrective Action Program Recurrence
CAP
ECP Employee Concerns Program
Corrective Action Program
FIN Finding
CARB
FD   Fuel Transfer System
Corrective Action Review Board
IMC Inspection Manual Chapter
CAPR
INPO Institute of Nuclear Power Operations
Corrective Action Program Recurrence
KC   Component Cooling Water
ECP
LER Licensee Event Report
Employee Concerns Program
NCV Non-Cited Violation
FIN
NSD Nuclear System Directive
Finding
NRC Nuclear Regulatory Commission
FD
OE   Operating Experience
Fuel Transfer System
PARS Public Available Records
IMC
PD   Performance Deficiency
Inspection Manual Chapter
PIP Problem Identification Plan
INPO
Pl&R Problem Identification and Resolution
Institute of Nuclear Power Operations
PM   Preventive Maintenance
KC
RCE Root Cause Evaluation
Component Cooling Water
ROP Reactor Oversight Process
LER
RCA Root Cause Analysis
Licensee Event Report
RN   Nuclear Service Water
NCV
SDP Significance Determination Process
Non-Cited Violation
SR   Service Requests
NSD
SSF Standby Shutdown Facility
Nuclear System Directive
WO   Work Orders
NRC
Attachment
Nuclear Regulatory Commission
OE
Operating Experience
PARS
Public Available Records
PD
Performance Deficiency
PIP
Problem Identification Plan
Pl&R
Problem Identification and Resolution
PM
Preventive Maintenance
RCE
Root Cause Evaluation
ROP
Reactor Oversight Process
RCA
Root Cause Analysis
RN
Nuclear Service Water
SDP
Significance Determination Process
SR
Service Requests
SSF
Standby Shutdown Facility
WO
Work Orders
}}
}}

Latest revision as of 00:51, 14 January 2025

IR 05000413-10-007, IR 05000414-10-007, on 11/01/2010 -11/19/2010, Catawba Nuclear Station, Biennial Inspection of the Problem Identification and Resolution Program
ML103620281
Person / Time
Site: Catawba  Duke Energy icon.png
Issue date: 12/28/2010
From: Hopper G
Reactor Projects Branch 7
To: Morris J
Duke Energy Carolinas
References
IR-10-007
Download: ML103620281 (17)


Text

December 28, 2010

SUBJECT:

CATAWBA NUCLEAR STATION - NRC PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000413/2010007, 05000414/2010007

Dear Mr. Morris:

On November 19, 2010, the U. S. Nuclear Regulatory Commission (NRC) completed a team inspection at your Catawba Nuclear Station. The enclosed inspection report documents the inspection results, which were discussed on November 19, 2010, and December 16, 2010, with you and other members of the Catawba Nuclear Station staff.

The inspection was an examination of activities conducted under your licenses as they relate to the identification and resolution of problems, compliance with the Commissions rules and regulations and with the conditions of your operating license. Within these areas, the inspection involved examination of selected procedures and representative records, observations of plant equipment and activities, and interviews conducted with station personnel.

On the basis of the sample selected for review, there were no findings of significance identified during this inspection. The team concluded, in general, that problems were properly identified, evaluated, and corrected within the problem identification and resolution programs (PI&R).

However, the inspectors identified two minor performance deficiencies associated with the licensees prioritization and evaluation of issues.

DEC

In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Web-site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely,

/RA by Jonathan Bartley Acting For/

George T. Hopper, Chief Reactor Projects Branch 7 Division of Reactor Projects

Docket Nos.: 50-413, 50-414 License Nos.: NPF-35, NPF-52

Enclosure:

Inspection Report 05000413/2010007, 05000414/2010007 w/Attachment: Supplemental Information

REGION II==

Docket Nos.:

50-413, 50-414

License Nos.:

NPF-35, NPF-52

Report No.:

05000413/2010007, 05000414/2010007

Licensee:

Duke Energy Carolinas, LLC

Facility:

Catawba Nuclear Station, Units 1 and 2

Location:

Catawba Nuclear Station

4800 Concord Road

York, SC 29745-9635

Dates:

November 1 - 5, 2010

November 15 - 18, 2010

Inspectors:

N. Staples, Reactor Inspector (Team Leader)

R. Cureton, Resident Inspector S. Ninh, Senior Project Engineer S. Rose, Senior Project Engineer J. Wallo, Senior Physical Security Inspector

S. Anderson, Reactor Inspector (Training)

Approved by:

George T. Hopper, Chief

Reactor Projects Branch 7

Division of Reactor Projects

Enclosure

SUMMARY OF FINDINGS

IR05000413/2010007, IR05000414/2010007; 11/01/2010 -11/19/2010; Catawba Nuclear

Station, Biennial Inspection of the Problem Identification and Resolution Program.

The inspection was conducted by two senior project engineers, a reactor inspector, a senior physical security inspector, a resident inspector, and a reactor inspector in-training. No findings were identified. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process.

Identification and Resolution of Problems

The inspectors concluded that, in general, problems were properly identified, evaluated, prioritized, and corrected. The licensee was effective at identifying problems and entering them into the corrective action program (CAP) for resolution. The licensee maintained a low threshold for identifying problems as evidenced by the large number of Problem Investigation Program (PIPs) entered annually into the CAP. Generally, the licensee properly prioritized and evaluated issues, formal root cause evaluations for significant problems were thorough and detailed, and corrective actions specified for problems were adequate. Overall, corrective actions developed and implemented for issues were effective in correcting the problems. However, several minor observations were identified in the area of issue screening and prioritization.

The inspectors determined that audits and self-assessments were effective in identifying deficiencies and areas for improvement in the CAP, and in most cases, corrective actions were developed to address these issues. Operating experience usage was found to be generally acceptable and integrated into the licensees processes for performing and managing work, and plant operations. However, the inspectors found one example where operating experience was not adequately addressed.

Based on interviews conducted with plant employees from various departments, the inspectors determined that personnel at the site felt free to raise safety concerns to management and use the CAP to resolve concerns.

REPORT DETAILS

OTHER ACTIVITIES

4OA2 Problem Identification and Resolution

.1 Assessment of the Corrective Action Program

a. Inspection Scope

The inspectors reviewed the licensees CAP procedures which described the administrative process for initiating and resolving problems primarily through the use of Problem Identification Process (PIPs). To verify that problems were being properly identified, appropriately characterized, and entered into the CAP, the inspectors reviewed PIPs that had been issued between April 2008 and November 2010, including a detailed review of selected PIPs associated with the following risk-significant systems:

Nuclear Service Water (RN), Standby Shutdown Facility (SSF), and Component Cooling Water (KC). Where possible, the inspectors independently verified that the corrective actions were implemented as intended. The inspectors also reviewed selected common causes and generic concerns associated with root cause evaluations to determine if they had been appropriately addressed. The inspectors selected a representative number of PIPs that were identified and assigned to the major plant departments, including operations, maintenance, engineering, health physics, chemistry, and security to ensure that samples were reviewed across all cornerstones of safety identified in the NRCs Reactor Oversight Process (ROP). These PIPs were reviewed to assess each departments threshold for identifying and documenting plant problems, thoroughness of evaluations, and adequacy of corrective actions. The inspectors reviewed selected PIPs, verified corrective actions were implemented, and attended meetings where PIPs were screened for significance to determine whether the licensee was identifying, accurately characterizing, and entering problems into the CAP at an appropriate threshold.

The inspectors conducted plant walkdowns of equipment associated with the selected systems and other plant areas to assess the material condition and to look for any deficiencies that had not been previously entered into the CAP. The inspectors reviewed PIPs, maintenance history, completed work orders (WOs) for the systems, and reviewed associated system health reports. These reviews were performed to verify that problems were being properly identified, appropriately characterized, and entered into the CAP. Items reviewed generally covered a two-year period; however, in accordance with the inspection procedure, a five-year review was performed for selected systems for age-dependent issues.

Control Room walk-downs were also performed to assess the main control room deficiency list and to ascertain if deficiencies were entered into the CAP and tracked to resolution. Operator Workarounds and Operator Burden screenings were reviewed, and the inspectors verified compensatory measures for deficient equipment which were being implemented in the field.

The inspectors conducted a detailed review of selected PIPs to assess the adequacy of the root-cause and apparent-cause evaluations of the problems identified. The inspectors reviewed these evaluations against the descriptions of the problem described in the PIPs and the guidance in licensee procedure NSD 212, Cause

Analysis.

The inspectors assessed if the licensee had adequately determined the cause(s) of identified problems, and had adequately addressed operability, reportability, common cause, generic concerns, extent-of-condition, and extent-of-cause. The review also assessed if the licensee had appropriately identified and prioritized corrective actions to prevent recurrence.

The inspectors reviewed selected industry operating experience items, including NRC generic communications, to verify that they had been appropriately evaluated for applicability and that issues identified through these reviews had been entered into the CAP.

The inspectors reviewed site trend reports, to determine if the licensee effectively trended identified issues and initiated appropriate corrective actions when adverse trends were identified.

The inspectors attended various plant meetings to observe management oversight functions of the corrective action process.

Documents reviewed are listed in the Attachment.

b.

Assessment

Identification of Issues

The inspectors determined that the licensee was generally effective in identifying problems and entering them into the CAP and there was a low threshold for entering issues into the CAP. This conclusion was based on a review of the requirements for initiating PIPs as described in licensee procedure NSD 208, Problem Investigation Process, and managements expectation that employees were encouraged to initiate PIPs for any reason. Trending was generally effective in monitoring equipment performance. Site management was actively involved in the CAP and focused appropriate attention on significant plant issues. Based on reviews and walkdowns of accessible portions of the selected systems, the inspectors determined that system deficiencies were being identified and placed in the CAP.

Prioritization and Evaluation of Issues

Based on the review of PIPs sampled by the inspectors during the onsite period, the inspectors concluded that problems were generally prioritized and evaluated in accordance with the licensees CAP procedures as described in the PIP categorization guidance in NSD 208. Each PIP was assigned a priority level (category) by the PIP Screening Team and adequate consideration was given to system or component operability and associated plant risk.

The inspectors determined that station personnel had conducted root cause and apparent cause analyses in compliance with the licensees CAP procedures and assigned cause determinations were appropriate, considering the significance of the issues being evaluated. A variety of formal causal-analysis techniques were used depending on the type and complexity of the issue consistent with NSD 212.

The inspectors identified two performance deficiencies associated with the licensees prioritization and evaluation of issues. However, because these performance deficiencies did not adversely affect any ROP cornerstone objectives, the inspectors determined the issues were of minor significance and not subject to enforcement action in accordance with the NRCs Enforcement Policy.

  • The inspectors identified a performance deficiency for the licensees failure to promptly identify the impact of the controllers for RN flow control valves RN-291/351 to sufficiently maintain the KC water outlet temperature and thereby reactivity. This issue was considered to be minor because RN flow control deficiencies did not have a significant effect on reactivity. This issue was entered into the licensees corrective action program as PIPs C-10-07732, C-10-07691, and C-10-07698.
  • The inspectors identified a performance deficiency for the licensees failure to incorporate lessons learned from a more conservative alarm response approach at the Oconee and McGuire Nuclear stations. This issue was considered to be minor because it did not adversely affect any ROP cornerstone objectives. This issue was entered into the licensees corrective action program as PIP C-10-07733.

Effectiveness of Corrective Actions

Based on a review of corrective action documents, interviews with licensee staff, and verification of completed corrective actions, the inspectors determined that overall, corrective actions were timely, commensurate with the safety significance of the issues, and effective, in that conditions adverse to quality were corrected and non-recurring. For significant conditions adverse to quality, the corrective actions directly addressed the cause and effectively prevented recurrence in that a review of performance indicators, PIPs, and effectiveness reviews demonstrated that the significant conditions adverse to quality had not recurred. Effectiveness reviews for corrective actions to prevent recurrence (CAPRs) were sufficient to ensure corrective actions were properly implemented and were effective.

.2 Assessment of the Use of Operating Experience (OE)

a. Inspection Scope

The inspectors examined licensee programs for reviewing industry operating experience, reviewed licensee procedure NSD 204, Operating Experience Program, reviewed and selected PIPs to assess the effectiveness of how external and internal operating experience data was handled at the plant. In addition, the inspectors selected a sample of operating experience documents (e.g., NRC generic communications, 10 CFR Part 21 reports, licensee event reports, vendor notifications, and plant internal operating experience items, etc.), which had been issued since March 2008, to verify whether the licensee had appropriately evaluated each notification for applicability, and whether issues identified through these reviews were entered into the CAP. Documents reviewed are listed in the Attachment.

b.

Assessment

Based on a review of documentation related to review of OE issues, the inspectors determined that the licensee was generally effective in screening OE for applicability to the plant. Industry OE was evaluated and relevant information was then forwarded to the applicable department for further action or informational purposes. OE issues requiring action were entered into the CAP for tracking and closure. In addition, OE was included in all apparent cause and root cause evaluations in accordance with licensee procedure NSD 204.

c. Findings

No findings were identified.

.3 Assessment of Self-Assessments and Audits

a. Inspection Scope

The inspectors reviewed audit reports and self-assessment reports, including those which focused on problem identification and resolution, to assess the thoroughness and self-criticism of the licensee's audits and self assessments, and to verify that problems identified through those activities were appropriately prioritized and entered into the CAP for resolution in accordance with licensee procedure NSD 208. Documents reviewed are listed in the Attachment.

b.

Assessment

The inspectors determined that the scopes of assessments and audits were adequate.

Self-assessments were generally detailed and critical, as evidenced by findings consistent with the inspectors independent review. The inspectors verified that PIPs were created to document all areas for improvement and findings resulting from the self-assessments, and verified that actions had been completed consistent with those recommendations. Generally, the licensee performed evaluations that were technically accurate. Site trend reports were thorough and a low threshold was established for evaluation of potential trends, as evidenced by the PIPs reviewed that were initiated as a result of adverse trends.

c. Findings

No findings were identified.

.4 Assessment of Safety-Conscious Work Environment

a. Inspection Scope

The inspectors interviewed 25 randomly selected on-site workers regarding their knowledge of the CAP and their willingness to write PIPs or raise safety concerns.

During technical discussions with members of the plant staff, the inspectors conducted interviews to develop a general perspective of the safety-conscious work environment at the site. The interviews were also conducted to determine if any conditions existed that would cause employees to be reluctant to raise safety concerns. The inspectors reviewed the licensees Employee Concerns Program (ECP). Additionally, the inspectors reviewed a sample of PIPs generated as a result of issued identified through the ECP to verify that concerns were being properly reviewed.

b.

Assessment

Based on the interviews conducted and the PIPs reviewed, the inspectors determined that licensee management emphasized the need for all employees to identify and report problems using the appropriate methods established within the administrative programs, including the CAP and ECP. These methods were readily accessible to all employees.

Based on discussions conducted with a sample of plant employees from various departments, the inspectors determined that employees felt free to raise issues, and that management encouraged employees to place issues into the CAP for resolution. The inspectors did not identify any reluctance on the part of the licensee staff to report safety concerns.

c. Findings

No findings were identified.

4OA6 Exit

Exit Meeting Summary

On November 18, 2010, the inspectors presented the inspection results to Mr. Jim Morris and other members of the licensee staff. The inspectors confirmed that all proprietary information that was provided and examined was returned at the conclusion of the inspection. Following completion of additional review in the Region II office, a final exit was held by telephone with Mr. Randy Hart and other members of your staff on December 16, 2010, to provide an update on changes to the preliminary inspection findings.

KEY POINTS OF CONTACT

Licensee personnel:

E. Benfield, Radiation Protection Specialist B. Craddock, Work Control Coordinator A. Driver, Regulatory Compliance Engineer B. Ferguson, MCE Manager E. Haack, Principal Engineer T. Hamilton, Engineering Manager G. Hamrick, Station Manager R. Hart, Regulatory Compliance M. Heavner, OPS OWP Manager W. Jarman, Operations Shift manager B. Jones, Performance Improvement Manager R. Kayler, Engineering Supervisor J. Lightsey, Maintenance Supervisor G. Mitchell, Emergency Planning Operation Specialist J. Morris, Site VP J. Neal, Work Control Manager K. Phillips, Training Manager S. Pursley, CAP Lead S. Putnam, Safety Assurance Manager M. Sawicki, Regulatory Compliance Engineer J. Shuping, Technical Systems Manager

NRC personnel:

A. Hutto, Senior Resident Inspector

LIST OF REPORT ITEMS

Opened and Closed

None

Closed

None

Discussed

None LIST OF

DOCUMENTS REVIEWED

Procedures

AM/0/B/5100/008, Installation of RC Recovery Submersible Pump(s), Rev. 7

EDM-201, Engineering Support Program, Rev.13

EDM-210, Engineering Responsibilities for the Maintenance Rule, Rev. 21

EDM-411, Engineering PM Program Processes, Rev.1

NSD-120, Equipment Reliability Process, Rev. 1

NSD-125, Performance Improvement, Rev. 3

NSD 203, Operability/Functionality, Rev. 22

NSD-204, Operating Experience Program (OEP) Description, Rev. 10

NSD-208, Problem Investigation Process (PIP), Rev. 32

NSD-212, Causal Analysis, Rev. 17

NSD-223, PIP Trending Program, Rev. 6

NSD-229, Evaluation and Reporting of Potential Defects and Noncompliance per 10 CFR Part 21, Rev. 4

NSD-304, Reactivity Management, Rev. 16 and Rev. 18

NSD-310, Requirements for the Maintenance Rule, Rev. 9

NSD-411, Preventive Maintenance Program, Rev. 6

NSD-506, Operator Workarounds and Control Room Deficiencies, Rev. 5

NSD-602, Safety Conscious Work Environment (SCWE) & Employee Concerns Program

(ECP), Rev. 6

MP/0/A/7550/008, Energy Solution Cask CNS 8-120A Handling, Loading and Unloading,

revision 21

MP/0/A/7550/011, Energy Solution 8-120B Cask handling, Loading, and Unloading, Revisions

and 29

OP/1/A/6400/005, Component Cooling System, Rev. 112NSD-607, Assessments,

RP/0/B/5000/013, NRC Notification Requirements, Revision 30

SH/0/B/2004/001, Preparation and Shipment of Radioactive Material, Rev. 7 and 8

Benchmarking, and Observations, Rev. 14

Work Process Manual (WPM) 500, Planning, Revision 30

WPM 601, On-line Management, Revision 24

Self-Assessments / Audits

Catawba Quality Assurance Program Audits of Corrective Action (2008 and 2010)

08-18-INOS-SEC-ALL, August 11-12, 2008

09-02-INOS-SEC-CNS, February 9-19, 2009

Conditional Security Audit 10-29-INOS-SEC-CNS, August 2012, 2010

Independent Nuclear Oversight - Audit CNS Radiological Effluent Control Program 10-13

(INOS)(REC)(CNS)

Independent Nuclear Oversight-Audit Catawba Emergency Planning Audit - 10-07-

(INOS)(EP)(CNS)

Emergency Planning Limited Scope Audit-Catawba Nuclear Station- 09-25(INOS)(LEP)(CNS)

2009 Emergency Planning Performance Review- 09-101(INOS)(EP)(CNS)

C-RPS-SA-10-05, 1EOC18 Personnel Contamination Event Common Cause Assessment

Problem Investigation Process (PIP) records

C-04-03675

C-04-01754

C-04-0745

C-07-01682

C-07-01683

C-07-03258

C-07-03766

C-07-03810

C-07-07431

C-08-00513

C-08-01920

C-08-03351

C-08-03386

C-08-04024

C-08-05273

C-08-06048

C-08-1036

C-08-06595

C-08-07140

C-08-03755

C-08-7041

C-08-05041

C-08-07137

C-08-07189

C-09-00106

C-09-00195

C-09-00324

C-09-00658

C-09-00659

C-09-00719

C-09-00754

C-09-00827

C-09-00905

C-09-01069

C-09-01110

C-09-01308

C-09-01701

C-09-01851

C-09-02108

C-09-02890

C-09-03024

C-09-03305

C-09-00325

C-09-03384

C-09-03425

C-09-03446

C-09-03779

C-09-04326

C-09-04345

C-09-04390

C-09-05020

C-09-05201

C-09-05896

C-09-06498

C-09-06655

C-09-07534

C-09-07585

C-09-00206

C-09-07493

C-09-00839

C-09-05319

C-09-06776

C-09-02027

C-09-02352

C-09-03881

C-09-01399

C-09-03979

C-09-04059

C-09-04344

C-09-00372

C-09-01999

C-09-07591

C-09-07787

C-09-07870

C-09-1603

C-09-01415

C-09-3214

C-09-03512

C-10-01351

C-10-2815

C-10-04459

C-10-00566

C-10-0507

C-10-0444

C-10-03012

C-10-2193

C-10-0005

C-10-4486

C-10-3092

C-10-3145

C-10-01228

C-10-01026

C-10-03241

C-10-03901

C-10-01320

C-10-03793

C-10-03012

C-10-04900

C-10-02623

C-10-00781

C-10-01020

C-10-06567

C-10-07403

C-10-01910

C-10-02356

C-10-01919

C-10-01308

C-10-01523

C-10-02349

C-10-02984

C-10-03551

C-10-04054

C-10-04459

C-10-05452

C-10-06567

C-10-07403

Work Orders / Work Requests

01118880

01131701

01131704

01760754

01732882

01776025

01789634

01801150

01808415

01812678

01813440

01823197

01838658

01838923

01855468

01860409

01863438

01865384

01865514

01874990

01875760

01881957

01883080

01884180

01886853

01891363

01900813

01904257

01906307

01911997

01913791

01913793

01918922

01919185

01920283

01933826

01934467

01942768

PIPs Generated

C-10-07715, Procedures revisions not implemented as discussed in Docutracks

C-10-07726, Air leak discovered from 2NS-60

C-10-07729, Valve 2KC-82B found with cupped gasket in flange joint

C-10-07698, Use of OE from PIP-09-01202 being include in the Pre-job briefing for the KC

system operation

C-10-07697, Capability of Problem Investigation Software to generate anonymous PIPs.

C-10-07691, Evaluate Operations Work Around WAPR# 09-0030

C-10-07732, Untimely Corrective actions associated with RN-291/351 controller problems

affecting reactivity in an uncontrolled manner.

C-10-07733, Performance Improvement Team to evaluate why a failure to have adequate

corrective actions for Root Cause C-10-005

Other Documents

Root Cause Analysis Users Guide, Rev. 9

Shift Briefing Agenda (0645-1845)

KC-Component Cooling Health Report, 2009Q2, 2008Q4, 2008Q2, 2008Q1, 2007Q4, 2007Q3,

and 2007Q2

Interactive Pre-Job Brief Form, Brief 437, for OP/1/A/6400/005, Component Cooling System,

Encl. 4.4, Operation of Additional KC Pumps/Parallel Operation

Interactive Pre-Job Brief Form, Brief 435, for OP/1/A/6400/005, Component Cooling System,

Encl. 4.3, Shifting Trains

CNS Operator Workaround List (WAPR), September/October 2010

SSF System Health Report (7/1 - 9/30/2010)

PT/1/A/4350/002B, Revision 16, Diesel Generator 1B Operability Test

PT/1/A/4350/002A, Diesel Generator Operability Test 1A, Revision 119

PT/1/A/4350/002B, Diesel generator Operability test 1B, Revision 116

PT/2/A/4350/002A, Diesel Generator Operability test 2A, Revision 91

PT/2/A/4350/002B, Diesel generator Operability Test 2B, Revision 91

PT/1/A/4700/020, WL Sump Pump Check Inservice Test

OP/1/A/6350/002, Diesel Generator Operation, Revision 147

Duke Engineering Corporate Nuclear Root Cause Analysis Users Guide

CNS Expert panel Meeting, 11/16/10

LIST OF ACRONYMS

CAP

Corrective Action Program

CARB

Corrective Action Review Board

CAPR

Corrective Action Program Recurrence

ECP

Employee Concerns Program

FIN

Finding

FD

Fuel Transfer System

IMC

Inspection Manual Chapter

INPO

Institute of Nuclear Power Operations

KC

Component Cooling Water

LER

Licensee Event Report

NCV

Non-Cited Violation

NSD

Nuclear System Directive

NRC

Nuclear Regulatory Commission

OE

Operating Experience

PARS

Public Available Records

PD

Performance Deficiency

PIP

Problem Identification Plan

Pl&R

Problem Identification and Resolution

PM

Preventive Maintenance

RCE

Root Cause Evaluation

ROP

Reactor Oversight Process

RCA

Root Cause Analysis

RN

Nuclear Service Water

SDP

Significance Determination Process

SR

Service Requests

SSF

Standby Shutdown Facility

WO

Work Orders