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| issue date = 08/11/2009
| issue date = 08/11/2009
| title = IR 05000133-09-002, on July 13-16, 2009, Humboldt Bay Power Plant Unit 3 Facility
| title = IR 05000133-09-002, on July 13-16, 2009, Humboldt Bay Power Plant Unit 3 Facility
| author name = Whitten J E
| author name = Whitten J
| author affiliation = NRC/RGN-IV/DNMS/NMSB-B
| author affiliation = NRC/RGN-IV/DNMS/NMSB-B
| addressee name = Conway J T
| addressee name = Conway J
| addressee affiliation = Pacific Gas & Electric Co
| addressee affiliation = Pacific Gas & Electric Co
| docket = 05000133
| docket = 05000133
Line 14: Line 14:
| page count = 18
| page count = 18
}}
}}
See also: [[followed by::IR 05000133/2009002]]
See also: [[see also::IR 05000133/2009002]]


=Text=
=Text=
{{#Wiki_filter:August 11, 2009 Mr. John T. Conway  Senior Vice President-Energy Supply     & Chief Nuclear Officer  Pacific Gas and Electric Company   
{{#Wiki_filter:August 11, 2009  
P.O. Box 3  Mail Code 104/6/601 Avila Beach, California 93424   
Mr. John T. Conway   
  SUBJECT:  NRC INSPECTION REPORT 050-00133/09-002  
Senior Vice President-Energy Supply  
  & Chief Nuclear Officer   
Pacific Gas and Electric Company   
P.O. Box 3   
Mail Code 104/6/601  
Avila Beach, California 93424   
   
SUBJECT:  NRC INSPECTION REPORT 050-00133/09-002  
Dear Mr. Conway:
This refers to the inspection conducted on July 13-16, 2009, at the Humboldt Bay Power Plant,
Unit 3 facility.  This inspection was an examination of activities conducted under your license as
they relate to safety and compliance with the Commissions rules and regulations and with the
conditions of your license.  Within these areas, the inspection consisted of selected examination
of procedures and representative records, observations of activities, and interviews with
personnel.  The enclosed report presents the results of this inspection.  In summary, the
inspector determined that you were conducting decommissioning activities in compliance with
regulatory and license requirements.
In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its
enclosure, and your response, if you choose to provide one, will be made available
electronically for public inspection in the NRC Public Document Room or from the NRCs
document system (ADAMS), accessible from the NRCs Web site at http://www.nrc.gov/reading-
rm/adams.html.  To the extent possible, your response should not include any personal privacy,
proprietary, or safeguards information so that it can be made available to the Public without
redaction. 
Should you have any questions concerning this inspection, please contact Mr. Robert Evans,
Senior Health Physicist, at (817) 860-8234 or the undersigned at (817) 860-8197.
Sincerely,
/RA/
Jack E. Whitten, Chief
Nuclear Materials Safety Branch B
Docket No.:  050-00133
License No.:  DPR-7
Enclosure:
  NRC Inspection Report 050-00133/09-002   
cc w/enclosure:
UNITED STATES
NUCLEAR REGULATORY COMM ISSION
R E GI ON  I V
612 EAST LAMAR BLVD, SUITE 400
ARLINGTON, TEXAS 76011-4125


  Dear Mr. Conway:
Pacific Gas and Electric Company
  This refers to the inspection conducted on July 13-16, 2009, at the Humboldt Bay Power Plant, Unit 3 facility. This inspection was an examination of activities conducted under your license as they relate to safety and compliance with the Commission's rules and regulations and with the conditions of your licenseWithin these areas, the inspection consisted of selected examination
- 2 -
of procedures and representative records, observations of activities, and interviews with personnel. The enclosed report presents the results of this inspection. In summary, the inspector determined that you were conducting decommissioning activities in compliance with regulatory and license requirements.
James Becker, Site Vice President  
  and Station Director
Pacific Gas and Electric Company
Diablo Canyon Power Plant
P.O. Box 56
Avila Beach, CA  93424 
Jennifer L. Post, Esq.  
PG&E
P.O. Box 7442
San Francisco, CA 94120
Paul Roller, Director and Plant Manager
Humboldt Bay Power Plant, PG&E
1000 King Salmon Avenue
Eureka, CA  95505
   
Chairman
Humboldt County Board of Supervisors
County Courthouse
825 Fifth Street
Eureka, CA  95501
Law Office of Linda J. Brown, Esq.
300 Drakes Landing Road, Suite 172
Greenbrae, CA  94904
   
Regional Radiation Representative
U. S. Environmental Protection Agency
Region IX Office
75 Hawthorne Street
San Francisco, CA  94105
Dr. Richard Ferguson, Energy Chair
Sierra Club California
1100 11th Street, Suite 311
Sacramento, CA  95814
Dr. James F. Davis, State Geologist
Department of Conservation
Division of Mines & Geology
801 K Street MS 12-30
Sacramento, CA  95814-3531
Director, Radiologic Health Branch
State Department of Health Services
P.O. Box 997414 (MS 7610)
Sacramento, CA 95899-7414
   
   
   
   
In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response, if you choose to provide one, will be made available electronically for public inspection in the NRC Public Document Room or from the NRC's document system (ADAMS), accessible from the NRC's Web site at http://www.nrc.gov/reading-rm/adams.html.  To the extent possible, your response should not include any personal privacy, proprietary, or safeguards information so that it can be made available to the Public without redaction. 
Should you have any questions concerning this inspection, please contact Mr. Robert Evans, Senior Health Physicist, at (817) 860-8234 or the undersigned at (817) 860-8197.


      Sincerely/RA/        Jack E. Whitten, Chief      Nuclear Materials Safety Branch B
Pacific Gas and Electric Company
- 3 -
Director
Energy Facilities Siting Division
Energy Resources Conservation &
  Development Commission
1516 9th Street
Sacramento, CA 95814
Gretchen Dumas, Esq.
Public Utilities Commission
  of the State of California
5066 State Building
San Francisco, CA  94102
Redwood Alliance
P.O. Box 293
Arcata, CA  95521
James D. Boyd, Commissioner
California Energy Commission
1516 Ninth Street (MS 34)
Sacramento, CA  95814


  Docket No.:  050-00133 License No.:  DPR-7
Pacific Gas and Electric Company
Enclosure:  
- 4 -
  NRC Inspection Report 050-00133/09-002    cc w/enclosure: UNITED STATESNUCLEAR REGULATORY COMMISSIONREGION IV612 EAST LAMAR BLVD, SUITE 400ARLINGTON, TEXAS 76011-4125
bcc w/enclosure: 
Pacific Gas and Electric Company - 2 -James Becker, Site Vice President    and Station Director Pacific Gas and Electric Company Diablo Canyon Power Plant P.O. Box 56 Avila Beach, CA 93424  
A. Howell, D:DNMS
C. Cain, DD:DNMS
J. Whitten, C:DNMS/NMSB-B
S. Williams, OEDO RIV Coordinator  
J. Weil, Congressional Affairs Officer
J. Hickman, FSME/DWMEP/DURLD/RDB
R. Evans, NMSB-B
Fee Coordinator, DRMA
DRAFTS:\\DNMS\\!NMSB-B\\RJE\\HB 050-00133-09-002.doc                     
FINALR:\\_DNMS\\_HB\\2009\\HB 050-00133-09-002.doc      
MLxxxxxxxx           
OFFICIAL RECORD COPY 
T=Telephone          E=E-mail        F=Fax
ADAMS
Yes  No
SUNSI Rev Complete
Reviewer Initials:
RJE
Publicly Avail.
Yes  No
Sensitive Value:
RIV:DNMS:NMSB-B
C:NMSB-B
RJEvans
JEWhitten
/RA/
/RA/
   
   
08/02/09
08/10/09


  Jennifer L. Post, EsqPG&E P.O. Box 7442 San Francisco, CA 94120
ENCLOSURE
U.S. NUCLEAR REGULATORY COMMISSION  
REGION IV 
Docket No.:
050-00133
License No.: 
DPR-7
Report No.:
050-00133/09-002 
Licensee:
Pacific Gas and Electric Company
Facility:
Humboldt Bay Power Plant, Unit 3
Location:
1000 King Salmon Avenue
Eureka, California 95503
Dates: 
July 13-16, 2009
Inspector:
Robert Evans, PE, CHP, Senior Health Physicist
Nuclear Materials Safety Branch B
Accompanied By:
Arthur T. Howell III, Director
Division of Nuclear Materials Safety
   
Approved By: 
Jack E. Whitten, Chief
Nuclear Materials Safety Branch B
Attachment:
Supplemental Inspection Information


Paul Roller, Director and Plant Manager Humboldt Bay Power Plant, PG&E 1000 King Salmon Avenue Eureka, CA  95505
Chairman
Humboldt County Board of Supervisors County Courthouse 825 Fifth Street Eureka, CA  95501
   
   
Law Office of Linda J. Brown, Esq. 300 Drake's Landing Road, Suite 172 Greenbrae, CA 94904
ENCLOSURE
  Regional Radiation Representative
- 2 -
U. S. Environmental Protection Agency Region IX Office 75 Hawthorne Street San Francisco, CA 94105
EXECUTIVE SUMMARY
Humboldt Bay Power Plant, Unit 3
NRC Inspection Report 050-00133/09-002
This inspection was a routine, announced inspection of decommissioning activities being
conducted at the Humboldt Bay Power Plant, Unit 3 facility. In summary, the licensee was
conducting decommissioning activities in compliance with regulatory and license requirements.  
Safety Reviews, Design Changes, and Modifications
*
The licensees safety review program was conducted in compliance with 10 CFR 50.59
requirements (Section 1).   
Maintenance and Surveillance
*
The licensee continued to operate and maintain necessary plant equipment in
accordance with license and procedure requirements (Section 2). 
Decommissioning Performance and Status Review
*
The licensee was conducting decommissioning activities with an emphasis on
radiological safety.  Radiation protection controls had been implemented in accordance
with 10 CFR Part 20 requirements (Section 3.2.a). 
*
The licensee conducted an infrequently performed heavy load test in accordance with
work order instructions and with an emphasis on industrial safety (Section 3.2.b). 
*
The license implemented a cross contamination plan in the new fossil generation facility
in accordance with license requirements (Section 3.2.c).
   
*
The licensees training program was in agreement with Defueled Safety Analysis Report
requirements, but at the time of the inspection, the licensee was significantly upgrading
the training program to account for the site-specific radiological hazards involving alpha
particulate contamination (Section 3.2.d).
   
Occupational Radiation Exposure
*
The licensee implemented an occupational exposure program that effectively monitored
the internal and external doses to radiation.  No individual exceeded the regulatory limit
for total effective dose equivalent exposures during calendar year 2008 (Section 4.2.a).
 
*
During 2009, the licensee began implementing a program for control of worker
exposures to alpha particulate contamination.  This program supports the concept of As
Low As Reasonably Achievable (ALARA) and should help control worker exposures to
licensed material (Section 4).
   
   
   
Dr. Richard Ferguson, Energy Chair Sierra Club California 1100 11th Street, Suite 311 Sacramento, CA  95814
   
   
Dr. James F. Davis, State Geologist Department of Conservation Division of Mines & Geology 801 K Street MS 12-30 Sacramento, CA  95814-3531
Director, Radiologic Health Branch
State Department of Health Services P.O. Box 997414 (MS 7610) Sacramento, CA 95899-7414
 
 
Pacific Gas and Electric Company - 3 -Director Energy Facilities Siting Division Energy Resources Conservation &  Development Commission 1516 9th Street Sacramento, CA  95814


  Gretchen Dumas, Esq. Public Utilities Commission  of the State of California 5066 State Building
   
San Francisco, CA 94102
ENCLOSURE
  Redwood Alliance P.O. Box 293 Arcata, CA  95521
- 3 -
  James D. Boyd, Commissioner
Radioactive Waste Treatment, and Effluent and Environmental Monitoring
California Energy Commission 1516 Ninth Street (MS 34) Sacramento, CA 95814
   
 
*
 
The effluent and environment monitoring programs were in compliance with license
Pacific Gas and Electric Company - 4 -bcc w/enclosure:  A. Howell, D:DNMS C. Cain, DD:DNMS J. Whitten, C:DNMS/NMSB-B S. Williams, OEDO RIV Coordinator J. Weil, Congressional Affairs Officer
requirements. All required samples had been collected, no sample result exceeded
J. Hickman, FSME/DWMEP/DURLD/RDB R. Evans, NMSB-B Fee Coordinator, DRMA
applicable limits, and no adverse trends were identified. Annual doses to the public
 
were well below the regulatory limit (Section 5).
     
   
   
Solid Radioactive Waste Management and Transportation of Radioactive Materials
           
               
*
To support the planned decommissioning activities as described in the Post-Shutdown
Decommissioning Activities Report, the licensee developed formal plans for control and
shipping of radioactive wastesThese plans provided detailed reviews and assessments
of work challenges involving radioactive waste disposals (Section 6).  


           
  DRAFT:  S:\DNMS\!NMSB-B\RJE\HB 050-00133-09-002.doc                      FINAL:  R:\_DNMS\_HB\2009\HB 050-00133-09-002.doc      MLxxxxxxxx            OFFICIAL RECORD COPY  T=Telephone          E=E-mail        F=FaxADAMS Yes  No SUNSI Rev Complete Reviewer Initials: RJE Publicly Avail. Yes  No Sensitive Value:  RIV:DNMS:NMSB-B C:NMSB-B  RJEvans JEWhitten  /RA/ /RA/  08/02/09 08/10/09 
ENCLOSURE U.S. NUCLEAR REGULATORY COMMISSION  REGION IV 
  Docket No.:  050-00133
   
   
  License No.: DPR-7
ENCLOSURE
   Report No.: 050-00133/09-002  
- 4 -
   Licensee: Pacific Gas and Electric Company
Report Details
   
Summary of Plant Status
At the time of the inspection, Humboldt Bay Power Plant (HBPP), Unit 3, was being
decommissioned in accordance with commitments specified in the Post-Shutdown
Decommissioning Activities Report (PSDAR) dated June 30, 2009The licensee commenced
with decommissioning during May 2009.  Since May 2009, the licensee has removed the Unit 3
transformers and generator exciter.    
In the near future, the licensee plans to remove the generator, seal oil exciter switchgear, and
reactor feed pump room equipment.  The licensee may also conduct a radiological survey and
study of the reactor vessel, in part, to ascertain the various options for its removal and disposal.
Also during the inspection, the licensee continued to construct a new power generating plant on
the site property.  Following construction of the new power generating plant, the licensee plans
to commence with decommissioning of Units 1 and 2.
1
Safety Reviews, Design Changes, and Modifications (37801)
1.1
Inspection Scope
The inspector conducted reviews of the licensees design change program to ensure
compliance with the requirements of 10 CFR 50.59.
1.2
Observations and Findings
The licensee conducted one 10 CFR 50.59 safety evaluation during 2009Evaluation
09-01 eliminated a previously analyzed accident scenario. The evaluation deleted the
spent fuel pool (SFP) rupture scenario from the Defueled Safety Analysis Report
(DSAR).  Rupture of the SFP was possible based on a seismic event or heavy load drop.
To prevent a heavy load drop accident, plant procedures previously prohibited the
movement of loads greater than 10 tons over the SFP.    
The spent fuel was removed from the SFP by December 2008.  The licensee conducted
the analysis using the NRC sponsored computer code RESRAD-OFFSITE to verify that
the remaining radioactive material would result in minimal offsite dose in the event of a
rupture of the SFP.  Following its approval, this change now allows the licensee to move
heavy loads over the SFP as part of decommissioning activities.
During the inspection, representatives of the licensee stated that several documents
would be updated in the near future including the DSAR. These documents will be
updated, in part, to account for the impacts and hazards of alpha contamination.
1.3
Conclusions
The licensees safety review program was conducted in compliance with 10 CFR 50.59
requirements. 


  Facility:  Humboldt Bay Power Plant, Unit 3
  Location:  1000 King Salmon Avenue    Eureka, California 95503
  Dates:  July 13-16, 2009
  Inspector:  Robert Evans, PE, CHP, Senior Health Physicist    Nuclear Materials Safety Branch B
  Accompanied By: Arthur T. Howell III, Director Division of Nuclear Materials Safety
      Approved By:  Jack E. Whitten, Chief    Nuclear Materials Safety Branch B
Attachment:  Supplemental Inspection Information
   
 
ENCLOSURE - 2 -EXECUTIVE SUMMARY
  Humboldt Bay Power Plant, Unit 3 NRC Inspection Report 050-00133/09-002
This inspection was a routine, announced inspection of decommissioning activities being
conducted at the Humboldt Bay Power Plant, Unit 3 facility.  In summary, the licensee was conducting decommissioning activities in compliance with regulatory and license requirements. 
Safety Reviews, Design Changes, and Modifications
  *  The licensee's safety review program was conducted in compliance with 10 CFR 50.59 requirements (Section 1).   
Maintenance and Surveillance
  *  The licensee continued to operate and maintain necessary plant equipment in accordance with license and procedure requirements (Section 2). 
Decommissioning Performance and Status Review
  * The licensee was conducting decommissioning activities with an emphasis on radiological safety.  Radiation protection controls had been implemented in accordance with 10 CFR Part 20 requirements (Section 3.2.a). 
* The licensee conducted an infrequently performed heavy load test in accordance with work order instructions and with an emphasis on industrial safety (Section 3.2.b). 
* The license implemented a cross contamination plan in the new fossil generation facility in accordance with license requirements (Section 3.2.c).
* The licensee's training program was in agreement with Defueled Safety Analysis Report requirements, but at the time of the inspection, the licensee was significantly upgrading the training program to account for the site-specific radiological hazards involving alpha particulate contamination (Section 3.2.d).
Occupational Radiation Exposure
  * The licensee implemented an occupational exposure program that effectively monitored the internal and external doses to radiation.  No individual exceeded the regulatory limit for total effective dose equivalent exposures during calendar year 2008 (Section 4.2.a).    * During 2009, the licensee began implementing a program for control of worker exposures to alpha particulate contamination.  This program supports the concept of As Low As Reasonably Achievable (ALARA) and should help control worker exposures to licensed material (Section 4).
 
 
ENCLOSURE - 3 -Radioactive Waste Treatment, and Effluent and Environmental Monitoring
  * The effluent and environment monitoring programs were in compliance with license requirements.  All required samples had been collected, no sample result exceeded applicable limits, and no adverse trends were identified.  Annual doses to the public were well below the regulatory limit (Section 5).
Solid Radioactive Waste Management and Transportation of Radioactive Materials
  * To support the planned decommissioning activities as described in the Post-Shutdown Decommissioning Activities Report, the licensee developed formal plans for control and shipping of radioactive wastes.  These plans provided detailed reviews and assessments of work challenges involving radioactive waste disposals (Section 6). 
ENCLOSURE - 4 -Report Details
  Summary of Plant Status
  At the time of the inspection, Humboldt Bay Power Plant (HBPP), Unit 3, was being decommissioned in accordance with commitments specified in the Post-Shutdown
Decommissioning Activities Report (PSDAR) dated June 30, 2009.  The licensee commenced with decommissioning during May 2009.  Since May 2009, the licensee has removed the Unit 3 transformers and generator exciter. 
In the near future, the licensee plans to remove the generator, seal oil exciter switchgear, and
reactor feed pump room equipment.  The licensee may also conduct a radiological survey and study of the reactor vessel, in part, to ascertain the various options for its removal and disposal. Also during the inspection, the licensee continued to construct a new power generating plant on the site property.  Following construction of the new power generating plant, the licensee plans to commence with decommissioning of Units 1 and 2.
1 Safety Reviews, Design Changes, and Modifications (37801)
  1.1 Inspection Scope
  The inspector conducted reviews of the licensee's design change program to ensure compliance with the requirements of 10 CFR 50.59.
1.2 Observations and Findings
  The licensee conducted one 10 CFR 50.59 safety evaluation during 2009.  Evaluation 09-01 eliminated a previously analyzed accident scenario.  The evaluation deleted the
spent fuel pool (SFP) rupture scenario from the Defueled Safety Analysis Report (DSAR).  Rupture of the SFP was possible based on a seismic event or heavy load drop. To prevent a heavy load drop accident, plant procedures previously prohibited the movement of loads greater than 10 tons over the SFP. 
   
   
The spent fuel was removed from the SFP by December 2008.  The licensee conducted the analysis using the NRC sponsored computer code RESRAD-OFFSITE to verify that the remaining radioactive material would result in minimal offsite dose in the event of a rupture of the SFP.  Following its approval, this change now allows the licensee to move heavy loads over the SFP as part of decommissioning activities.
ENCLOSURE
 
- 5 -
During the inspection, representatives of the licensee stated that several documents would be updated in the near future including the DSAR.  These documents will be updated, in part, to account for the impacts and hazards of alpha contamination.
2  
1.3 Conclusions
Maintenance and Surveillance (62801)  
  The licensee's safety review program was conducted in compliance with 10 CFR 50.59 requirements. 
   
 
2.1  
 
Inspection Scope  
ENCLOSURE - 5 -2 Maintenance and Surveillance (62801)  2.1 Inspection Scope
  The inspector conducted a review of the equipment that remained in service to support plant operations, and the inspector observed the performance of selected maintenance  
The inspector conducted a review of the equipment that remained in service to support  
plant operations, and the inspector observed the performance of selected maintenance  
and surveillance activities.  
and surveillance activities.  
2.2 Observations and Findings
  At the time of the inspection, the licensee continued to maintain selected plant systems. 
The components that will remain in service included the plant alarm system, seismograph, stack gas flow monitor, liquid radwaste monitor, radwaste system components, ventilation equipment, SFP support equipment, instrument air, service air, and electrical controls.  The licensee also continued to operate various in-plant radiation monitors; however, these monitors are scheduled for permanent removal in the near future. 
   
   
The inspector compared operating plant parameters to the procedure limits specified in the license.  All parameters reviewed by the inspector were found to be within the allowed range.  For example, the SFP water level was being maintained in the range stipulated by plant procedures.  In summary, the licensee operated the remaining equipment in accordance with procedure requirements.  
2.2
Observations and Findings
At the time of the inspection, the licensee continued to maintain selected plant systems. 
The components that will remain in service included the plant alarm system,
seismograph, stack gas flow monitor, liquid radwaste monitor, radwaste system
components, ventilation equipment, SFP support equipment, instrument air, service air,
and electrical controls.  The licensee also continued to operate various in-plant radiation
monitors; however, these monitors are scheduled for permanent removal in the near
future. 
The inspector compared operating plant parameters to the procedure limits specified in  
the license.  All parameters reviewed by the inspector were found to be within the  
allowed range.  For example, the SFP water level was being maintained in the range  
stipulated by plant procedures.  In summary, the licensee operated the remaining  
equipment in accordance with procedure requirements.
The inspector observed the performance of three maintenance and surveillance tests:
Discharge canal sample station back flush
Stack particulate monitor sampling
Quarterly ventilation system test in the refueling building
In summary, the tests observed by the inspector were completed satisfactorily, and the
operators/technicians appeared knowledgeable of the tasks being conducted. 
2.3
Conclusions
The licensee continued to operate and maintain necessary plant equipment in  
accordance with and procedure requirements specified in the license. 
3
Decommissioning Performance and Status Review (71801)
3.1 
Inspection Scope
The inspector evaluated whether the licensee and its contracted workforce were
conducting decommissioning activities in accordance with license and regulatory
requirements.  


The inspector observed the performance of three maintenance and surveillance tests:
  Discharge canal sample station back flush  Stack particulate monitor sampling  Quarterly ventilation system test in the refueling building
In summary, the tests observed by the inspector were completed satisfactorily, and the operators/technicians appeared knowledgeable of the tasks being conducted. 
2.3 Conclusions
  The licensee continued to operate and maintain necessary plant equipment in accordance with and procedure requirements specified in the license. 
   
   
3 Decommissioning Performance and Status Review (71801)
ENCLOSURE
  3.1  Inspection Scope
- 6 -
  The inspector evaluated whether the licensee and its contracted workforce were conducting decommissioning activities in accordance with license and regulatory requirements. 
3.2  
 
Observations and Findings  
ENCLOSURE - 6 -3.2 Observations and Findings
    a. Site Tours
  a.  
  The inspector toured the fuel handling building, Unit 3 control room, and the other radiologically restricted areas of the facility.  Radiological postings were clearly visible,  
Site Tours  
and the postings met the requirements of 10 CFR Part 20.  Housekeeping was being controlled in these areas.  During the site tours, the inspector conducted radiological surveys to verify the accuracy of radiation area postings.  The inspector did not identify any radiation area that was incorrectly posted by the licensee.   
The inspector toured the fuel handling building, Unit 3 control room, and the other  
radiologically restricted areas of the facility.  Radiological postings were clearly visible,  
and the postings met the requirements of 10 CFR Part 20.  Housekeeping was being  
controlled in these areas.  During the site tours, the inspector conducted radiological  
surveys to verify the accuracy of radiation area postings.  The inspector did not identify  
any radiation area that was incorrectly posted by the licensee.   
   
   
   b. Heavy Load Lift
   b.  
  During the inspection, the licensee conducted a 125-percent load test of the main 75-ton crane located within the refueling building.  The licensee conducted the test to certify the 75-ton crane to be able to lift a 90-ton load.  The load that was lifted during the test consisted of the shield plug and various free weights.  The weight of the lift was determined by calculation versus direct measurement.  A State of California inspector  
Heavy Load Lift  
During the inspection, the licensee conducted a 125-percent load test of the main 75-ton  
crane located within the refueling building.  The licensee conducted the test to certify the  
75-ton crane to be able to lift a 90-ton load.  The load that was lifted during the test  
consisted of the shield plug and various free weights.  The weight of the lift was  
determined by calculation versus direct measurement.  A State of California inspector  
was present during the load test.  
was present during the load test.  
  Since this activity was an infrequently performed evolution, a special pre-job briefing was conducted.  The test was then conducted using instructions provided in a work order.  The test included a lift and hold to ensure that the crane breaks worked as designed.   
   
The crane was also moved in each of the four major compass directions, although the crane movement was constrained by the location of the SFP.  In accordance with the work order, the licensee elected to avoid lifting the heavy load over the SFP.   
Since this activity was an infrequently performed evolution, a special pre-job briefing was  
  In summary, the load test was completed in a satisfactory manner, and industrial safety  
conducted.  The test was then conducted using instructions provided in a work order.   
was evident during all portions of the test.  The load test certification has a four year recertification interval, although annual crane inspections will still be required to keep the certification current.  
The test included a lift and hold to ensure that the crane breaks worked as designed.   
    c. Cross-Contamination Plan
The crane was also moved in each of the four major compass directions, although the  
  License Condition 2.C.4 specifies that a cross-contamination prevention and monitoring plan be maintained for the location of the new fossil generation facility.  The inspector reviewed the licensee's implementation of its cross contamination plan.  Site procedure C-220, Cross Contamination Prevention and Monitoring Plan (Plan), provides the  
crane movement was constrained by the location of the SFP.  In accordance with the  
instructions for the program.  The inspector noted that the Plan provided an adequate overview of the survey program, but the Plan lacked specificity for the implementation of the cross-contamination prevention and monitoring program.  The Plan referenced a radiation protection procedure for implementation details, but when examined by the inspector this secondary procedure had not fully incorporated the requirements of the Plan.  During the inspection, a licensee representative stated that the procedure would be updated in the near future.  
work order, the licensee elected to avoid lifting the heavy load over the SFP.   
   
In summary, the load test was completed in a satisfactory manner, and industrial safety  
was evident during all portions of the test.  The load test certification has a four year  
recertification interval, although annual crane inspections will still be required to keep the  
certification current.  
  c.  
Cross-Contamination Plan  
License Condition 2.C.4 specifies that a cross-contamination prevention and monitoring  
plan be maintained for the location of the new fossil generation facility.  The inspector  
reviewed the licensees implementation of its cross contamination plan.  Site procedure  
C-220, Cross Contamination Prevention and Monitoring Plan (Plan), provides the  
instructions for the program.  The inspector noted that the Plan provided an adequate  
overview of the survey program, but the Plan lacked specificity for the implementation of  
the cross-contamination prevention and monitoring program.  The Plan referenced a  
radiation protection procedure for implementation details, but when examined by the  
inspector this secondary procedure had not fully incorporated the requirements of the  
Plan.  During the inspection, a licensee representative stated that the procedure would  
be updated in the near future.
Despite the procedure limitation, the licensee conducted an initial radiological survey as
required by the cross contamination plan.  The survey was conducted during early July
2009.  The radiological survey results obtained indicated that all measurements taken
were indistinguishable from background levels.  These survey results suggest that the
licensee has effectively implemented the requirements of the cross contamination plan.  


Despite the procedure limitation, the licensee conducted an initial radiological survey as required by the cross contamination plan.  The survey was conducted during early July 2009.  The radiological survey results obtained indicated that all measurements taken were indistinguishable from background levels.  These survey results suggest that the
licensee has effectively implemented the requirements of the cross contamination plan. 
ENCLOSURE - 7 -  d. Site Training Program
  The inspector reviewed the training program for compliance with 10 CFR 19.12 and DSAR requirements.  Section 4.2.1 of the DSAR provides the training requirements.  The training programs include general employee training, program-specific training, and respiratory protection training.  Details of the training program are included in HBPP
procedures B-2, General Training Requirements for On-Site Personnel, and B-200, Radiation Protection Training Program.  The inspector noted that the licensee was in the process of significantly updating the training program to account for the radiological hazards that are present at the site.
   
   
At the time of the inspection, general employee and industrial safety training was provided by the site training department.  Function-specific training was provided by the various departments such as radiation protection, security, and emergency preparedness departments.  General employee training consisted of computer based training, formal classroom lectures, videotapes, handouts, and an examination.   
ENCLOSURE
  The radiation protection staff was revising its program-specific training to include the  
- 7 -
hazards of alpha contamination.  The licensee recently created a new, offsite training center that included mockups.  The mockups will be used to train workers in the protocols of foaming, cutting, and sealing pipes that may contain alpha contamination.  The mockups included glove boxes and tents that will be used to help control the spread of contamination.  
  d.
Site Training Program
The inspector reviewed the training program for compliance with 10 CFR 19.12 and
DSAR requirements.  Section 4.2.1 of the DSAR provides the training requirements. 
The training programs include general employee training, program-specific training, and
respiratory protection training.  Details of the training program are included in HBPP
procedures B-2, General Training Requirements for On-Site Personnel, and B-200,
Radiation Protection Training Program.  The inspector noted that the licensee was in the
process of significantly updating the training program to account for the radiological
hazards that are present at the site.
At the time of the inspection, general employee and industrial safety training was  
provided by the site training department.  Function-specific training was provided by the  
various departments such as radiation protection, security, and emergency  
preparedness departments.  General employee training consisted of computer based  
training, formal classroom lectures, videotapes, handouts, and an examination.   
   
The radiation protection staff was revising its program-specific training to include the  
hazards of alpha contamination.  The licensee recently created a new, offsite training  
center that included mockups.  The mockups will be used to train workers in the  
protocols of foaming, cutting, and sealing pipes that may contain alpha contamination.   
The mockups included glove boxes and tents that will be used to help control the spread  
of contamination.  
The training certifications of selected instructors were reviewed.  The inspector
determined that the instructors were certified to teach specific classes.  The inspector
reviewed selected class records and confirmed that the instructors associated with the
requisite training classes were qualified to teach the classes at the time the class was
given. The licensee maintained an informal list of all classes and the primary instructors
for those classes.  Based on a random review, the inspector determined that the
instructors were certified for the courses that were assigned to them.
The inspector reviewed the respiratory protection training program with the applicable
supervisor.  The training consisted of computer-based training, a medical physical, and a
fit test.  At the time of the inspection, the fit test program was suspended pending receipt
of new masks for fit testing.  Previous fit test failures were attributed to improper sealing
of the probe that penetrated the test respirator.  The supervisor expects the fit test
program to be full operational prior to commencement of work activities involving alpha
contamination.
The inspector also discussed the applicable respiratory protection procedure with the
radiation protection supervisor.  The inspector noted that the procedure had been
updated to account for the new fit testing protocol and special respiratory cleaning and
sampling requirements that must be implemented because of alpha contamination.  The
supervisor expected the fit testing procedure to be updated prior to commencement of
work involving alpha contamination. Finally, the licensee plans to construct a new glove
box for cleaning alpha-contaminated respirators, and the licensee plans to provide
special training to workers who will wash and maintain the respirators.


  The training certifications of selected instructors were reviewed.  The inspector determined that the instructors were certified to teach specific classesThe inspector reviewed selected class records and confirmed that the instructors associated with the requisite training classes were qualified to teach the classes at the time the class was
   
given. The licensee maintained an informal list of all classes and the primary instructors for those classesBased on a random review, the inspector determined that the instructors were certified for the courses that were assigned to them.  
ENCLOSURE
  The inspector reviewed the respiratory protection training program with the applicable
- 8 -
supervisor.  The training consisted of computer-based training, a medical physical, and a fit test.  At the time of the inspection, the fit test program was suspended pending receipt of new masks for fit testing.  Previous fit test failures were attributed to improper sealing of the probe that penetrated the test respirator.  The supervisor expects the fit test program to be full operational prior to commencement of work activities involving alpha  
3.3
Conclusions
   
The licensee was conducting decommissioning activities with an emphasis on
radiological safetyRadiation protection controls had been implemented in accordance
with 10 CFR Part 20 requirements. The licensee conducted an infrequently performed
heavy load test on the 75-ton crane in accordance with work order instructions and with
an emphasis on industrial safetyThe license implemented a cross contamination plan
in the new fossil generation facility in accordance with license requirements.  The  
licensees training program was in agreement with DSAR requirements, but at the time  
of the inspection, the licensee was significantly upgrading the training program to  
account for the site-specific radiological hazards involving alpha particulate
contamination.  
contamination.  
The inspector also discussed the applicable respiratory protection procedure with the radiation protection supervisor.  The inspector noted that the procedure had been updated to account for the new fit testing protocol and special respiratory cleaning and sampling requirements that must be implemented because of alpha contamination.  The supervisor expected the fit testing procedure to be updated prior to commencement of
work involving alpha contamination. Finally, the licensee plans to construct a new glove box for cleaning alpha-contaminated respirators, and the licensee plans to provide special training to workers who will wash and maintain the respirators.
 
ENCLOSURE - 8 -3.3 Conclusions
  The licensee was conducting decommissioning activities with an emphasis on radiological safety.  Radiation protection controls had been implemented in accordance with 10 CFR Part 20 requirements.  The licensee conducted an infrequently performed heavy load test on the 75-ton crane in accordance with work order instructions and with
an emphasis on industrial safety.  The license implemented a cross contamination plan in the new fossil generation facility in accordance with license requirements.  The licensee's training program was in agreement with DSAR requirements, but at the time of the inspection, the licensee was significantly upgrading the training program to account for the site-specific radiological hazards involving alpha particulate
contamination.
4 Occupational Radiation Exposure (83750)
  4.1 Inspection Scope
  The inspector reviewed occupational radiation exposures to verify compliance with
10 CFR Part 20 limitations.  The inspector also reviewed the implementation of the licensee=s As Low As Reasonably Achievable (ALARA) program. 
   
   
4.2  Observations and Findings  
4
    a. Occupational Exposures
Occupational Radiation Exposure (83750)
 
Occupational radiation exposures consisted of both external and internal exposures.  The licensee monitored and maintained records of Unit 3 exposures.  The inspector reviewed the occupational exposure records for calendar year 2008.  During 2008, 267 thermoluminescent dosimeters were issued to individuals to measure external gamma doses.  The combined total effective dose equivalent for all individuals with a measurable gamma dose was about 2.05 person-rems.  During 2008, the work projects with the highest dose potential included cleaning of the SFP, offloading of the fuel, and  
4.1
Inspection Scope
The inspector reviewed occupational radiation exposures to verify compliance with
10 CFR Part 20 limitations.  The inspector also reviewed the implementation of the
licensee=s As Low As Reasonably Achievable (ALARA) program. 
4.2   
Observations and Findings
  a.  
Occupational Exposures  
Occupational radiation exposures consisted of both external and internal exposures.   
The licensee monitored and maintained records of Unit 3 exposures.  The inspector  
reviewed the occupational exposure records for calendar year 2008.  During 2008, 267  
thermoluminescent dosimeters were issued to individuals to measure external gamma  
doses.  The combined total effective dose equivalent for all individuals with a  
measurable gamma dose was about 2.05 person-rems.  During 2008, the work projects  
with the highest dose potential included cleaning of the SFP, offloading of the fuel, and  
shipping of radioactive resins.  
shipping of radioactive resins.  
  The highest total effective dose equivalent exposure recorded during 2008 to one individual was 121 millirems.  The highest committed effective dose equivalent exposure was 27 millirems, a dose that was assigned to two individuals.  The regulatory limit for  
   
total effective dose equivalents, a combination of deep dose equivalent and committed effective dose equivalent, is 5,000 millirems.  In summary, site doses during 2008 were well below the regulatory limit.  
The highest total effective dose equivalent exposure recorded during 2008 to one  
  To help monitor for internal doses, the licensee conducted bioassay sampling.  Bioassay  
individual was 121 millirems.  The highest committed effective dose equivalent exposure  
sampling included entrance, exit, annual, and event-based whole body counting.  No positive whole-body counts were attributed to plant events during 2008, and to the date of this inspection in 2009.  
was 27 millirems, a dose that was assigned to two individuals.  The regulatory limit for  
  The inspector reviewed the licensee's ALARA program for future work activities.  During  
total effective dose equivalents, a combination of deep dose equivalent and committed  
interviews, the licensee's staff predicted the work activities planned during 2009 that had the greatest potential for doses to individuals would be the reactor vessel characterization study (if conducted) and turbine-generator decommissioning.  The licensee estimated that the decommissioning of Unit 3 would result in a total combined   
effective dose equivalent, is 5,000 millirems.  In summary, site doses during 2008 were  
ENCLOSURE - 9 -dose of approximately 208 person-rems.  The projects with the highest dose potential include decommissioning of the reactor vessel, SFP, shutdown and cleanup heat exchangers, and area vaults.   
well below the regulatory limit.  
    b. Control of Exposures to Alpha Contamination
   
  The inspector conducted a review of the licensee's plans to control occupational exposures to alpha contamination.  The site has a unique radiological hazard due to alpha particulate contamination.  Early fuel failures resulted in the internal contamination  of plant systems with fission products and transuranic radionuclides.  The alpha  particulate hazard has increased over time from the decay of plutonium-241, while the  
To help monitor for internal doses, the licensee conducted bioassay sampling.  Bioassay  
gamma radiation hazards have decreased due to the decay of cobalt-60 and cesium-137.   
sampling included entrance, exit, annual, and event-based whole body counting.  No  
  The licensee plans to commence work that has the potential for exposures to alpha particulate contamination during October 2009.  In response, the licensee developed a radiation protection procedure for performing and evaluating alpha particulate contamination postings and surveys.  In addition, the procedure provides new controls  
positive whole-body counts were attributed to plant events during 2008, and to the date  
for alpha zones.  The implementation of this new procedure should help minimize the potential for worker exposures to alpha contamination.  
of this inspection in 2009.  
  To help assess the alpha contamination hazard inside of plant piping, the licensee recently collected a number of 'coupon' samples from various locations including the  
   
turbine and feedwater piping.  These samples were submitted to an offsite laboratory for analysis.  The results of these samples will be used, in part, to help characterize the material for waste disposal and for transportation.  
The inspector reviewed the licensees ALARA program for future work activities.  During  
  The licensee plans to conduct the cutting of alpha contaminated pipes within glove  
interviews, the licensees staff predicted the work activities planned during 2009 that had  
boxes or containment tents.  The use of glove boxes and tents is expected to reduce the potential for worker exposures to loose alpha contamination.  In addition, the licensee plans to inject foam material into the pipes to fixate the alpha contamination during cutting operations.  Site workers that enter a contaminated area will be required to wear lapel air samplers to help the licensee assess worker exposures to radioactive  
the greatest potential for doses to individuals would be the reactor vessel  
characterization study (if conducted) and turbine-generator decommissioning.  The  
licensee estimated that the decommissioning of Unit 3 would result in a total combined  
 
   
ENCLOSURE  
- 9 -
dose of approximately 208 person-rems.  The projects with the highest dose potential  
include decommissioning of the reactor vessel, SFP, shutdown and cleanup heat  
exchangers, and area vaults.   
  b.  
Control of Exposures to Alpha Contamination  
The inspector conducted a review of the licensees plans to control occupational  
exposures to alpha contamination.  The site has a unique radiological hazard due to  
alpha particulate contamination.  Early fuel failures resulted in the internal contamination   
of plant systems with fission products and transuranic radionuclides.  The alpha   
particulate hazard has increased over time from the decay of plutonium-241, while the  
gamma radiation hazards have decreased due to the decay of cobalt-60 and  
cesium-137.   
   
The licensee plans to commence work that has the potential for exposures to alpha  
particulate contamination during October 2009.  In response, the licensee developed a  
radiation protection procedure for performing and evaluating alpha particulate  
contamination postings and surveys.  In addition, the procedure provides new controls  
for alpha zones.  The implementation of this new procedure should help minimize the  
potential for worker exposures to alpha contamination.  
   
To help assess the alpha contamination hazard inside of plant piping, the licensee  
recently collected a number of coupon samples from various locations including the  
turbine and feedwater piping.  These samples were submitted to an offsite laboratory for  
analysis.  The results of these samples will be used, in part, to help characterize the  
material for waste disposal and for transportation.  
   
The licensee plans to conduct the cutting of alpha contaminated pipes within glove  
boxes or containment tents.  The use of glove boxes and tents is expected to reduce the  
potential for worker exposures to loose alpha contamination.  In addition, the licensee  
plans to inject foam material into the pipes to fixate the alpha contamination during  
cutting operations.  Site workers that enter a contaminated area will be required to wear  
lapel air samplers to help the licensee assess worker exposures to radioactive  
particulate contamination.   
particulate contamination.   
  During the inspection, the licensee was in the process of upgrading its training program for workers that will be potentially exposed to alpha contamination.  Industry experts were being used to upgrade the lesson plan and to teach the class to site workers.  All  
   
workers are expected to be retrained prior to commencement of work activities involving alpha contamination.  In addition, the licensee established a mock-up facility to support training of workers that will be cutting and handling the alpha-contaminated piping.  These training enhancements are expected to help reduce the potential for inhalation or ingestion of alpha contamination.  
During the inspection, the licensee was in the process of upgrading its training program  
  Routine whole-body counts are generally ineffective for identifying uptakes of alpha  
for workers that will be potentially exposed to alpha contamination.  Industry experts  
contamination.  The licensee plans to implement an enhanced bioassay program that will include collection of urine and fecal samples for monitoring of internally deposited alpha-emitting radionuclides.  
were being used to upgrade the lesson plan and to teach the class to site workers.  All  
  The licensee has been procuring new equipment to conduct real-time monitoring of  
workers are expected to be retrained prior to commencement of work activities involving  
alpha contamination.  The licensee recently placed into service a number of continuous   
alpha contamination.  In addition, the licensee established a mock-up facility to support  
ENCLOSURE - 10 -air monitors that monitor for alpha contamination in addition to beta-gamma contamination.  Further, the licensee plans to install an alpha detecting monitor in the plant ventilation stack.  This monitor was expected to be installed during September 2009, prior to start of decommissioning work involving alpha contamination.  
training of workers that will be cutting and handling the alpha-contaminated piping.   
  4.3 Conclusions
These training enhancements are expected to help reduce the potential for inhalation or  
  The licensee implemented an occupational exposure program that effectively monitored the internal and external doses to radiation.  No individual exceeded the regulatory limit for total effective dose equivalent exposures during calendar year 2008.  During 2009,  the licensee began implementing a program for control of worker exposures to alpha  
ingestion of alpha contamination.  
particulate contamination.  This program supports the concept of ALARA and should help control worker exposures to licensed material.  
   
  5 Radioactive Waste Treatment, and Effluent and Environmental Monitoring  
Routine whole-body counts are generally ineffective for identifying uptakes of alpha  
  5.1 Inspection Scope
contamination.  The licensee plans to implement an enhanced bioassay program that  
  The inspector reviewed the licensee's program to control, monitor, and quantify releases of radioactive materials to the environment in liquid, gaseous, and particulate forms.  
will include collection of urine and fecal samples for monitoring of internally deposited  
  5.2  Observations and Findings  
alpha-emitting radionuclides.  
  The inspector reviewed the Annual Radioactive Effluent Release Report for 2008 dated March 26, 2009, and the Annual Radiological Environmental Monitoring Report for 2008 dated April 30, 2009.  The inspector compared the results presented in these reports to the requirements provided in site procedures and the Offsite Dose Calculation Manual.  In summary, all required samples had been collected, and no sample result exceeded a  
   
licensed or regulatory limit.  No adverse trends were apparent.  The inspector identified several report errors, and the licensee agreed to update the reports during the next routine submittals.  
The licensee has been procuring new equipment to conduct real-time monitoring of  
  The inspector compared the effluent and environmental monitoring results to the public  
alpha contamination.  The licensee recently placed into service a number of continuous  
dose limits specified in 10 CFR 20.1301.  In summary, the records indicate that the public dose limits were not exceeded.  The licensee's results suggest a maximum public dose of less than one millirem for 2008 with an annual regulatory limit of 100 millirems.   
 
  5.3 Conclusions
   
  The effluent and environment monitoring programs were in compliance with license requirements.  All required samples had been collected, no sample result exceeded applicable limits, and no adverse trends were identified.  Annual doses to the public were well below the regulatory limit.  
ENCLOSURE  
  6 Solid Radioactive Waste Management and Transportation of Radioactive Materials (86750)  6.1 Inspection Scope
- 10 -
  The inspector reviewed the licensee's plans for characterizing and shipping the  
air monitors that monitor for alpha contamination in addition to beta-gamma  
radioactive wastes that will be generated during decommissioning.   
contamination.  Further, the licensee plans to install an alpha detecting monitor in the  
ENCLOSURE - 11 -6.2  Observations and Findings  
plant ventilation stack.  This monitor was expected to be installed during September  
  The PSDAR provides a description and schedule of planned decommissioning activities. To support decommissioning, the licensee recently developed two plans, a Waste Management and Disposal Plan and a Transportation Plan.  These plans were developed, in part, to identify the challenges for waste management and to identify  
2009, prior to start of decommissioning work involving alpha contamination.  
   
4.3  
Conclusions  
The licensee implemented an occupational exposure program that effectively monitored  
the internal and external doses to radiation.  No individual exceeded the regulatory limit  
for total effective dose equivalent exposures during calendar year 2008.  During 2009,   
the licensee began implementing a program for control of worker exposures to alpha  
particulate contamination.  This program supports the concept of ALARA and should  
help control worker exposures to licensed material.  
   
5  
Radioactive Waste Treatment, and Effluent and Environmental Monitoring  
   
5.1  
Inspection Scope  
The inspector reviewed the licensees program to control, monitor, and quantify releases  
of radioactive materials to the environment in liquid, gaseous, and particulate forms.  
   
5.2   
Observations and Findings
The inspector reviewed the Annual Radioactive Effluent Release Report for 2008 dated  
March 26, 2009, and the Annual Radiological Environmental Monitoring Report for 2008  
dated April 30, 2009.  The inspector compared the results presented in these reports to  
the requirements provided in site procedures and the Offsite Dose Calculation Manual.   
In summary, all required samples had been collected, and no sample result exceeded a  
licensed or regulatory limit.  No adverse trends were apparent.  The inspector identified  
several report errors, and the licensee agreed to update the reports during the next  
routine submittals.  
   
The inspector compared the effluent and environmental monitoring results to the public  
dose limits specified in 10 CFR 20.1301.  In summary, the records indicate that the  
public dose limits were not exceeded.  The licensees results suggest a maximum public  
dose of less than one millirem for 2008 with an annual regulatory limit of 100 millirems.   
   
5.3  
Conclusions  
The effluent and environment monitoring programs were in compliance with license  
requirements.  All required samples had been collected, no sample result exceeded  
applicable limits, and no adverse trends were identified.  Annual doses to the public  
were well below the regulatory limit.  
   
6  
Solid Radioactive Waste Management and Transportation of Radioactive Materials  
(86750)  
   
6.1  
Inspection Scope  
The inspector reviewed the licensees plans for characterizing and shipping the  
radioactive wastes that will be generated during decommissioning.  
 
   
ENCLOSURE  
- 11 -
6.2   
Observations and Findings
The PSDAR provides a description and schedule of planned decommissioning activities.  
To support decommissioning, the licensee recently developed two plans, a Waste  
Management and Disposal Plan and a Transportation Plan.  These plans were  
developed, in part, to identify the challenges for waste management and to identify  
potential options for these challenges.  The unique challenges include:  
potential options for these challenges.  The unique challenges include:  
  Control of the limited amount of area available for waste handling operations  Establishment of temporary waste storage areas inside and outside of site structures  Control of alpha contaminated material  Removal of contaminated concrete and soils below the water table  Removal of contaminated sediment from the intake and discharge canals  
  As explained in the PSDAR, the licensee has to decide whether to segment the reactor pressure vessel and its internals or to dispose of the vessel as a single item.  
  The licensee estimates that the total volume of contaminated material to be removed  
Control of the limited amount of area available for waste handling operations  
from the site is about 660 thousand cubic feet.  The material includes soils, building rubble, and equipment.  The vast majority of the waste material generated will most likely be classified as Class A wastes for disposal at an out-of-state disposal site.  The wastes will be sorted based on disposal and shipping classification.  The licensee also plans to use radioactive waste processors to consolidate the wastes for disposal. The  
   
use of waste processors may allow the licensee to reduce the volume of wastes disposed.   
Establishment of temporary waste storage areas inside and outside of site structures  
  In response to the above challenges, the Waste Management and Disposal Plan provide recommended flow paths for the movement of equipment from the location of  
   
dismantlement to the location of packaging for shipment.  This plan also provides a recommended list of work areas for decommissioning.  For example, the main condenser is considered one such work area.  The plan also describes the potential classification of the waste streams such as Class A bulk wastes and Class A general wastes.   
Control of alpha contaminated material  
   
Removal of contaminated concrete and soils below the water table  
   
Removal of contaminated sediment from the intake and discharge canals  
   
As explained in the PSDAR, the licensee has to decide whether to segment the reactor  
pressure vessel and its internals or to dispose of the vessel as a single item.  
   
The licensee estimates that the total volume of contaminated material to be removed  
from the site is about 660 thousand cubic feet.  The material includes soils, building  
rubble, and equipment.  The vast majority of the waste material generated will most  
likely be classified as Class A wastes for disposal at an out-of-state disposal site.  The  
wastes will be sorted based on disposal and shipping classification.  The licensee also  
plans to use radioactive waste processors to consolidate the wastes for disposal. The  
use of waste processors may allow the licensee to reduce the volume of wastes  
disposed.   
   
In response to the above challenges, the Waste Management and Disposal Plan provide  
recommended flow paths for the movement of equipment from the location of  
dismantlement to the location of packaging for shipment.  This plan also provides a  
recommended list of work areas for decommissioning.  For example, the main  
condenser is considered one such work area.  The plan also describes the potential  
classification of the waste streams such as Class A bulk wastes and Class A general  
wastes.   
In general, field crews will remove the equipment from a given area and will relocate the
equipment near the waste containers.  The waste handling and packaging crews will
package the waste equipment, and the shipping and transportation crews will ship the
material for disposal.  Based on the current work schedule, most wastes will be shipped
during the 2013-2014 time frame.  The bulk of the wastes will consist mostly of soils and
building debris.
At the time of the inspection, the licensee was developing a system and area
characterization plan.  This plan will help establish the definitions of the various waste
streams and help establish the waste profiles for disposal and shipment.  The waste
profiles have to be completed and approved prior to the actual shipment of the waste
materials.
As explained in the Transportation Plan, the licensee estimates that it will ship
approximately 1500 shipments to the out-of-state waste disposal site.  Challenges to 


In general, field crews will remove the equipment from a given area and will relocate the equipment near the waste containers.  The waste handling and packaging crews will package the waste equipment, and the shipping and transportation crews will ship the material for disposal.  Based on the current work schedule, most wastes will be shipped
during the 2013-2014 time frame.  The bulk of the wastes will consist mostly of soils and building debris.
At the time of the inspection, the licensee was developing a system and area characterization plan.  This plan will help establish the definitions of the various waste streams and help establish the waste profiles for disposal and shipment.  The waste profiles have to be completed and approved prior to the actual shipment of the waste
materials.
As explained in the Transportation Plan, the licensee estimates that it will ship approximately 1500 shipments to the out-of-state waste disposal site.  Challenges to 
ENCLOSURE - 12 -transportation include the locations of the staging areas needed to support decommissioning.  Because of the limited amount of space available, the licensee is expected to tightly control the movement, handling, and storage of waste containers. 
A second transportation challenge is the location of the site.  The site has limited access to alternate modes of transportation.  There are no rail or barge access points in the
immediate area of the site, so practically all wastes may have to be shipped by truck to the disposal site.  In addition, there are no easy, direct routes to the disposal site.  Further, the licensee will have to comply with length restrictions on the local highways.
At the time of the inspection, the licensee was in the process of adding staff to the
radwaste packaging and transportation groups.  Procedures were being upgraded to provide step-by-step instructions for the work that will be performed.  The licensee was in the process of procuring intermodal containers for shipment of the wastes.  The licensee was also reviewing its options for shipping large components. 
The licensee was reviewing its protocols for shipment of other types of waste streams, including oil and asbestos wastes, for disposal.  For example, the licensee was
considering its options for disposal of the fuel oil storage tank, turbine lube oil, and exciter.  These components may be disposed in an alternate manner, as allowed by 10 CFR 20.2002.  An alternate disposal methodology was being considered because of the low radiological hazards associated with these materials. 
   
   
6.3 Conclusions
ENCLOSURE
  To support the planned decommissioning activities as described in the PSDAR, the licensee developed formal plans for control and shipping of radioactive wastes.  These plans provided detailed reviews and assessments of work challenges involving  
- 12 -
transportation include the locations of the staging areas needed to support
decommissioning.  Because of the limited amount of space available, the licensee is
expected to tightly control the movement, handling, and storage of waste containers. 
A second transportation challenge is the location of the site.  The site has limited access
to alternate modes of transportation.  There are no rail or barge access points in the
immediate area of the site, so practically all wastes may have to be shipped by truck to
the disposal site.  In addition, there are no easy, direct routes to the disposal site. 
Further, the licensee will have to comply with length restrictions on the local highways.
At the time of the inspection, the licensee was in the process of adding staff to the
radwaste packaging and transportation groups.  Procedures were being upgraded to
provide step-by-step instructions for the work that will be performed.  The licensee was
in the process of procuring intermodal containers for shipment of the wastes.  The
licensee was also reviewing its options for shipping large components. 
The licensee was reviewing its protocols for shipment of other types of waste streams,
including oil and asbestos wastes, for disposal.  For example, the licensee was
considering its options for disposal of the fuel oil storage tank, turbine lube oil, and
exciter.  These components may be disposed in an alternate manner, as allowed by
10 CFR 20.2002.  An alternate disposal methodology was being considered because of
the low radiological hazards associated with these materials. 
6.3  
Conclusions  
To support the planned decommissioning activities as described in the PSDAR, the  
licensee developed formal plans for control and shipping of radioactive wastes.  These  
plans provided detailed reviews and assessments of work challenges involving  
radioactive waste disposals.   
radioactive waste disposals.   
  7 Exit Meeting
   
  The inspector reviewed the scope and findings of the inspection during an exit meeting  
7  
that was conducted at the conclusion of the onsite inspection on July 16, 2009.  The licensee did not identify as proprietary any information provided to, or reviewed, by the inspector.
Exit Meeting  
 
  ATTACHMENT SUPPLEMENTAL INSPECTION INFORMATION
The inspector reviewed the scope and findings of the inspection during an exit meeting  
  PARTIAL LIST OF PERSONS CONTACTED
that was conducted at the conclusion of the onsite inspection on July 16, 2009.  The  
  J. Albers, Radiation Protection Manager B. Barley, Radiation Protection Planning  
licensee did not identify as proprietary any information provided to, or reviewed, by the  
M. Celletti, Training Coordinator J. Chadwick, Radiation Protection Engineer J. Davis, Radiation Protection Engineer J. Griffin, Engineering Consultant, AM Solutions L. Hardwick, SAFSTOR Supervisor  
inspector.  
L. Pulley, Deputy Decommissioning Manager K. Rod, Decommissioning Manager P. Roller, Director and Nuclear Plant Manager T. Sanders, Site Services Manager B. Sicotte, Quality Control Supervisor M. Smith, Engineering Manager R. Snyder, Radwaste Supervisor  
D. Sokolsky, Licensing Supervisor  M. Stein, Radiation Protection Supervisor, Bartlett B. Stephens, Work Week Manager  
 
  INSPECTION PROCEDURES USED  
   
  IP 37801  Safety Reviews, Design Changes, and Modifications IP 62801  Maintenance and Surveillance  IP 71801  Decommissioning Status   
ATTACHMENT  
IP 83750  Occupational Radiation Exposure IP 84750  Radioactive Waste Treatment, and Effluent and Environmental Monitoring IP 86750  Solid Radioactive Waste Management and Transportation of Radioactive Materials   
SUPPLEMENTAL INSPECTION INFORMATION  
  ITEMS OPENED, CLOSED, AND DISCUSSED
  Opened  None  
PARTIAL LIST OF PERSONS CONTACTED  
  Closed  None  Discussed   
None  
J. Albers, Radiation Protection Manager  
  ATTACHMENT - 2 -LIST OF ACRONYMS
B. Barley, Radiation Protection Planning  
  ALARA As Low As Reasonably Achievable CFR  Code of Federal Regulations DSAR  Defueled Safety Analysis Report  HBPP  Humboldt Bay Power Plant  
M. Celletti, Training Coordinator  
IP  Inspection Procedure PSDAR Post Shutdown Decommissioning Activities Report SFP  Spent Fuel Pool
J. Chadwick, Radiation Protection Engineer  
J. Davis, Radiation Protection Engineer  
J. Griffin, Engineering Consultant, AM Solutions  
L. Hardwick, SAFSTOR Supervisor  
L. Pulley, Deputy Decommissioning Manager  
K. Rod, Decommissioning Manager  
P. Roller, Director and Nuclear Plant Manager  
T. Sanders, Site Services Manager  
B. Sicotte, Quality Control Supervisor  
M. Smith, Engineering Manager  
R. Snyder, Radwaste Supervisor  
D. Sokolsky, Licensing Supervisor   
M. Stein, Radiation Protection Supervisor, Bartlett  
B. Stephens, Work Week Manager  
INSPECTION PROCEDURES USED  
   
IP 37801  Safety Reviews, Design Changes, and Modifications  
IP 62801  Maintenance and Surveillance   
IP 71801  Decommissioning Status   
IP 83750  Occupational Radiation Exposure  
IP 84750  Radioactive Waste Treatment, and Effluent and Environmental Monitoring  
IP 86750  Solid Radioactive Waste Management and Transportation of Radioactive Materials   
ITEMS OPENED, CLOSED, AND DISCUSSED  
Opened  
   
None  
   
Closed  
   
None  
   
Discussed  
   
None  
   
 
ATTACHMENT  
- 2 -
LIST OF ACRONYMS  
ALARA  
As Low As Reasonably Achievable  
CFR  
   
Code of Federal Regulations  
DSAR   
Defueled Safety Analysis Report   
HBPP   
Humboldt Bay Power Plant  
IP  
   
Inspection Procedure  
PSDAR  
Post Shutdown Decommissioning Activities Report  
SFP  
   
Spent Fuel Pool
}}
}}

Latest revision as of 09:55, 14 January 2025

IR 05000133-09-002, on July 13-16, 2009, Humboldt Bay Power Plant Unit 3 Facility
ML092230614
Person / Time
Site: Humboldt Bay
Issue date: 08/11/2009
From: Whitten J
NRC/RGN-IV/DNMS/NMSB-B
To: Conway J
Pacific Gas & Electric Co
References
IR-09-002
Download: ML092230614 (18)


See also: IR 05000133/2009002

Text

August 11, 2009

Mr. John T. Conway

Senior Vice President-Energy Supply

& Chief Nuclear Officer

Pacific Gas and Electric Company

P.O. Box 3

Mail Code 104/6/601

Avila Beach, California 93424

SUBJECT: NRC INSPECTION REPORT 050-00133/09-002

Dear Mr. Conway:

This refers to the inspection conducted on July 13-16, 2009, at the Humboldt Bay Power Plant,

Unit 3 facility. This inspection was an examination of activities conducted under your license as

they relate to safety and compliance with the Commissions rules and regulations and with the

conditions of your license. Within these areas, the inspection consisted of selected examination

of procedures and representative records, observations of activities, and interviews with

personnel. The enclosed report presents the results of this inspection. In summary, the

inspector determined that you were conducting decommissioning activities in compliance with

regulatory and license requirements.

In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its

enclosure, and your response, if you choose to provide one, will be made available

electronically for public inspection in the NRC Public Document Room or from the NRCs

document system (ADAMS), accessible from the NRCs Web site at http://www.nrc.gov/reading-

rm/adams.html. To the extent possible, your response should not include any personal privacy,

proprietary, or safeguards information so that it can be made available to the Public without

redaction.

Should you have any questions concerning this inspection, please contact Mr. Robert Evans,

Senior Health Physicist, at (817) 860-8234 or the undersigned at (817) 860-8197.

Sincerely,

/RA/

Jack E. Whitten, Chief

Nuclear Materials Safety Branch B

Docket No.: 050-00133

License No.: DPR-7

Enclosure:

NRC Inspection Report 050-00133/09-002

cc w/enclosure:

UNITED STATES

NUCLEAR REGULATORY COMM ISSION

R E GI ON I V

612 EAST LAMAR BLVD, SUITE 400

ARLINGTON, TEXAS 76011-4125

Pacific Gas and Electric Company

- 2 -

James Becker, Site Vice President

and Station Director

Pacific Gas and Electric Company

Diablo Canyon Power Plant

P.O. Box 56

Avila Beach, CA 93424

Jennifer L. Post, Esq.

PG&E

P.O. Box 7442

San Francisco, CA 94120

Paul Roller, Director and Plant Manager

Humboldt Bay Power Plant, PG&E

1000 King Salmon Avenue

Eureka, CA 95505

Chairman

Humboldt County Board of Supervisors

County Courthouse

825 Fifth Street

Eureka, CA 95501

Law Office of Linda J. Brown, Esq.

300 Drakes Landing Road, Suite 172

Greenbrae, CA 94904

Regional Radiation Representative

U. S. Environmental Protection Agency

Region IX Office

75 Hawthorne Street

San Francisco, CA 94105

Dr. Richard Ferguson, Energy Chair

Sierra Club California

1100 11th Street, Suite 311

Sacramento, CA 95814

Dr. James F. Davis, State Geologist

Department of Conservation

Division of Mines & Geology

801 K Street MS 12-30

Sacramento, CA 95814-3531

Director, Radiologic Health Branch

State Department of Health Services

P.O. Box 997414 (MS 7610)

Sacramento, CA 95899-7414

Pacific Gas and Electric Company

- 3 -

Director

Energy Facilities Siting Division

Energy Resources Conservation &

Development Commission

1516 9th Street

Sacramento, CA 95814

Gretchen Dumas, Esq.

Public Utilities Commission

of the State of California

5066 State Building

San Francisco, CA 94102

Redwood Alliance

P.O. Box 293

Arcata, CA 95521

James D. Boyd, Commissioner

California Energy Commission

1516 Ninth Street (MS 34)

Sacramento, CA 95814

Pacific Gas and Electric Company

- 4 -

bcc w/enclosure:

A. Howell, D:DNMS

C. Cain, DD:DNMS

J. Whitten, C:DNMS/NMSB-B

S. Williams, OEDO RIV Coordinator

J. Weil, Congressional Affairs Officer

J. Hickman, FSME/DWMEP/DURLD/RDB

R. Evans, NMSB-B

Fee Coordinator, DRMA

DRAFT: S:\\DNMS\\!NMSB-B\\RJE\\HB 050-00133-09-002.doc

FINAL: R:\\_DNMS\\_HB\\2009\\HB 050-00133-09-002.doc

MLxxxxxxxx

OFFICIAL RECORD COPY

T=Telephone E=E-mail F=Fax

ADAMS

Yes No

SUNSI Rev Complete

Reviewer Initials:

RJE

Publicly Avail.

Yes No

Sensitive Value:

RIV:DNMS:NMSB-B

C:NMSB-B

RJEvans

JEWhitten

/RA/

/RA/

08/02/09

08/10/09

ENCLOSURE

U.S. NUCLEAR REGULATORY COMMISSION

REGION IV

Docket No.:

050-00133

License No.:

DPR-7

Report No.:

050-00133/09-002

Licensee:

Pacific Gas and Electric Company

Facility:

Humboldt Bay Power Plant, Unit 3

Location:

1000 King Salmon Avenue

Eureka, California 95503

Dates:

July 13-16, 2009

Inspector:

Robert Evans, PE, CHP, Senior Health Physicist

Nuclear Materials Safety Branch B

Accompanied By:

Arthur T. Howell III, Director

Division of Nuclear Materials Safety

Approved By:

Jack E. Whitten, Chief

Nuclear Materials Safety Branch B

Attachment:

Supplemental Inspection Information

ENCLOSURE

- 2 -

EXECUTIVE SUMMARY

Humboldt Bay Power Plant, Unit 3

NRC Inspection Report 050-00133/09-002

This inspection was a routine, announced inspection of decommissioning activities being

conducted at the Humboldt Bay Power Plant, Unit 3 facility. In summary, the licensee was

conducting decommissioning activities in compliance with regulatory and license requirements.

Safety Reviews, Design Changes, and Modifications

The licensees safety review program was conducted in compliance with 10 CFR 50.59

requirements (Section 1).

Maintenance and Surveillance

The licensee continued to operate and maintain necessary plant equipment in

accordance with license and procedure requirements (Section 2).

Decommissioning Performance and Status Review

The licensee was conducting decommissioning activities with an emphasis on

radiological safety. Radiation protection controls had been implemented in accordance

with 10 CFR Part 20 requirements (Section 3.2.a).

The licensee conducted an infrequently performed heavy load test in accordance with

work order instructions and with an emphasis on industrial safety (Section 3.2.b).

The license implemented a cross contamination plan in the new fossil generation facility

in accordance with license requirements (Section 3.2.c).

The licensees training program was in agreement with Defueled Safety Analysis Report

requirements, but at the time of the inspection, the licensee was significantly upgrading

the training program to account for the site-specific radiological hazards involving alpha

particulate contamination (Section 3.2.d).

Occupational Radiation Exposure

The licensee implemented an occupational exposure program that effectively monitored

the internal and external doses to radiation. No individual exceeded the regulatory limit

for total effective dose equivalent exposures during calendar year 2008 (Section 4.2.a).

During 2009, the licensee began implementing a program for control of worker

exposures to alpha particulate contamination. This program supports the concept of As

Low As Reasonably Achievable (ALARA) and should help control worker exposures to

licensed material (Section 4).

ENCLOSURE

- 3 -

Radioactive Waste Treatment, and Effluent and Environmental Monitoring

The effluent and environment monitoring programs were in compliance with license

requirements. All required samples had been collected, no sample result exceeded

applicable limits, and no adverse trends were identified. Annual doses to the public

were well below the regulatory limit (Section 5).

Solid Radioactive Waste Management and Transportation of Radioactive Materials

To support the planned decommissioning activities as described in the Post-Shutdown

Decommissioning Activities Report, the licensee developed formal plans for control and

shipping of radioactive wastes. These plans provided detailed reviews and assessments

of work challenges involving radioactive waste disposals (Section 6).

ENCLOSURE

- 4 -

Report Details

Summary of Plant Status

At the time of the inspection, Humboldt Bay Power Plant (HBPP), Unit 3, was being

decommissioned in accordance with commitments specified in the Post-Shutdown

Decommissioning Activities Report (PSDAR) dated June 30, 2009. The licensee commenced

with decommissioning during May 2009. Since May 2009, the licensee has removed the Unit 3

transformers and generator exciter.

In the near future, the licensee plans to remove the generator, seal oil exciter switchgear, and

reactor feed pump room equipment. The licensee may also conduct a radiological survey and

study of the reactor vessel, in part, to ascertain the various options for its removal and disposal.

Also during the inspection, the licensee continued to construct a new power generating plant on

the site property. Following construction of the new power generating plant, the licensee plans

to commence with decommissioning of Units 1 and 2.

1

Safety Reviews, Design Changes, and Modifications (37801)

1.1

Inspection Scope

The inspector conducted reviews of the licensees design change program to ensure

compliance with the requirements of 10 CFR 50.59.

1.2

Observations and Findings

The licensee conducted one 10 CFR 50.59 safety evaluation during 2009. Evaluation

09-01 eliminated a previously analyzed accident scenario. The evaluation deleted the

spent fuel pool (SFP) rupture scenario from the Defueled Safety Analysis Report

(DSAR). Rupture of the SFP was possible based on a seismic event or heavy load drop.

To prevent a heavy load drop accident, plant procedures previously prohibited the

movement of loads greater than 10 tons over the SFP.

The spent fuel was removed from the SFP by December 2008. The licensee conducted

the analysis using the NRC sponsored computer code RESRAD-OFFSITE to verify that

the remaining radioactive material would result in minimal offsite dose in the event of a

rupture of the SFP. Following its approval, this change now allows the licensee to move

heavy loads over the SFP as part of decommissioning activities.

During the inspection, representatives of the licensee stated that several documents

would be updated in the near future including the DSAR. These documents will be

updated, in part, to account for the impacts and hazards of alpha contamination.

1.3

Conclusions

The licensees safety review program was conducted in compliance with 10 CFR 50.59

requirements.

ENCLOSURE

- 5 -

2

Maintenance and Surveillance (62801)

2.1

Inspection Scope

The inspector conducted a review of the equipment that remained in service to support

plant operations, and the inspector observed the performance of selected maintenance

and surveillance activities.

2.2

Observations and Findings

At the time of the inspection, the licensee continued to maintain selected plant systems.

The components that will remain in service included the plant alarm system,

seismograph, stack gas flow monitor, liquid radwaste monitor, radwaste system

components, ventilation equipment, SFP support equipment, instrument air, service air,

and electrical controls. The licensee also continued to operate various in-plant radiation

monitors; however, these monitors are scheduled for permanent removal in the near

future.

The inspector compared operating plant parameters to the procedure limits specified in

the license. All parameters reviewed by the inspector were found to be within the

allowed range. For example, the SFP water level was being maintained in the range

stipulated by plant procedures. In summary, the licensee operated the remaining

equipment in accordance with procedure requirements.

The inspector observed the performance of three maintenance and surveillance tests:

Discharge canal sample station back flush

Stack particulate monitor sampling

Quarterly ventilation system test in the refueling building

In summary, the tests observed by the inspector were completed satisfactorily, and the

operators/technicians appeared knowledgeable of the tasks being conducted.

2.3

Conclusions

The licensee continued to operate and maintain necessary plant equipment in

accordance with and procedure requirements specified in the license.

3

Decommissioning Performance and Status Review (71801)

3.1

Inspection Scope

The inspector evaluated whether the licensee and its contracted workforce were

conducting decommissioning activities in accordance with license and regulatory

requirements.

ENCLOSURE

- 6 -

3.2

Observations and Findings

a.

Site Tours

The inspector toured the fuel handling building, Unit 3 control room, and the other

radiologically restricted areas of the facility. Radiological postings were clearly visible,

and the postings met the requirements of 10 CFR Part 20. Housekeeping was being

controlled in these areas. During the site tours, the inspector conducted radiological

surveys to verify the accuracy of radiation area postings. The inspector did not identify

any radiation area that was incorrectly posted by the licensee.

b.

Heavy Load Lift

During the inspection, the licensee conducted a 125-percent load test of the main 75-ton

crane located within the refueling building. The licensee conducted the test to certify the

75-ton crane to be able to lift a 90-ton load. The load that was lifted during the test

consisted of the shield plug and various free weights. The weight of the lift was

determined by calculation versus direct measurement. A State of California inspector

was present during the load test.

Since this activity was an infrequently performed evolution, a special pre-job briefing was

conducted. The test was then conducted using instructions provided in a work order.

The test included a lift and hold to ensure that the crane breaks worked as designed.

The crane was also moved in each of the four major compass directions, although the

crane movement was constrained by the location of the SFP. In accordance with the

work order, the licensee elected to avoid lifting the heavy load over the SFP.

In summary, the load test was completed in a satisfactory manner, and industrial safety

was evident during all portions of the test. The load test certification has a four year

recertification interval, although annual crane inspections will still be required to keep the

certification current.

c.

Cross-Contamination Plan

License Condition 2.C.4 specifies that a cross-contamination prevention and monitoring

plan be maintained for the location of the new fossil generation facility. The inspector

reviewed the licensees implementation of its cross contamination plan. Site procedure

C-220, Cross Contamination Prevention and Monitoring Plan (Plan), provides the

instructions for the program. The inspector noted that the Plan provided an adequate

overview of the survey program, but the Plan lacked specificity for the implementation of

the cross-contamination prevention and monitoring program. The Plan referenced a

radiation protection procedure for implementation details, but when examined by the

inspector this secondary procedure had not fully incorporated the requirements of the

Plan. During the inspection, a licensee representative stated that the procedure would

be updated in the near future.

Despite the procedure limitation, the licensee conducted an initial radiological survey as

required by the cross contamination plan. The survey was conducted during early July

2009. The radiological survey results obtained indicated that all measurements taken

were indistinguishable from background levels. These survey results suggest that the

licensee has effectively implemented the requirements of the cross contamination plan.

ENCLOSURE

- 7 -

d.

Site Training Program

The inspector reviewed the training program for compliance with 10 CFR 19.12 and

DSAR requirements. Section 4.2.1 of the DSAR provides the training requirements.

The training programs include general employee training, program-specific training, and

respiratory protection training. Details of the training program are included in HBPP

procedures B-2, General Training Requirements for On-Site Personnel, and B-200,

Radiation Protection Training Program. The inspector noted that the licensee was in the

process of significantly updating the training program to account for the radiological

hazards that are present at the site.

At the time of the inspection, general employee and industrial safety training was

provided by the site training department. Function-specific training was provided by the

various departments such as radiation protection, security, and emergency

preparedness departments. General employee training consisted of computer based

training, formal classroom lectures, videotapes, handouts, and an examination.

The radiation protection staff was revising its program-specific training to include the

hazards of alpha contamination. The licensee recently created a new, offsite training

center that included mockups. The mockups will be used to train workers in the

protocols of foaming, cutting, and sealing pipes that may contain alpha contamination.

The mockups included glove boxes and tents that will be used to help control the spread

of contamination.

The training certifications of selected instructors were reviewed. The inspector

determined that the instructors were certified to teach specific classes. The inspector

reviewed selected class records and confirmed that the instructors associated with the

requisite training classes were qualified to teach the classes at the time the class was

given. The licensee maintained an informal list of all classes and the primary instructors

for those classes. Based on a random review, the inspector determined that the

instructors were certified for the courses that were assigned to them.

The inspector reviewed the respiratory protection training program with the applicable

supervisor. The training consisted of computer-based training, a medical physical, and a

fit test. At the time of the inspection, the fit test program was suspended pending receipt

of new masks for fit testing. Previous fit test failures were attributed to improper sealing

of the probe that penetrated the test respirator. The supervisor expects the fit test

program to be full operational prior to commencement of work activities involving alpha

contamination.

The inspector also discussed the applicable respiratory protection procedure with the

radiation protection supervisor. The inspector noted that the procedure had been

updated to account for the new fit testing protocol and special respiratory cleaning and

sampling requirements that must be implemented because of alpha contamination. The

supervisor expected the fit testing procedure to be updated prior to commencement of

work involving alpha contamination. Finally, the licensee plans to construct a new glove

box for cleaning alpha-contaminated respirators, and the licensee plans to provide

special training to workers who will wash and maintain the respirators.

ENCLOSURE

- 8 -

3.3

Conclusions

The licensee was conducting decommissioning activities with an emphasis on

radiological safety. Radiation protection controls had been implemented in accordance

with 10 CFR Part 20 requirements. The licensee conducted an infrequently performed

heavy load test on the 75-ton crane in accordance with work order instructions and with

an emphasis on industrial safety. The license implemented a cross contamination plan

in the new fossil generation facility in accordance with license requirements. The

licensees training program was in agreement with DSAR requirements, but at the time

of the inspection, the licensee was significantly upgrading the training program to

account for the site-specific radiological hazards involving alpha particulate

contamination.

4

Occupational Radiation Exposure (83750)

4.1

Inspection Scope

The inspector reviewed occupational radiation exposures to verify compliance with

10 CFR Part 20 limitations. The inspector also reviewed the implementation of the

licensee=s As Low As Reasonably Achievable (ALARA) program.

4.2

Observations and Findings

a.

Occupational Exposures

Occupational radiation exposures consisted of both external and internal exposures.

The licensee monitored and maintained records of Unit 3 exposures. The inspector

reviewed the occupational exposure records for calendar year 2008. During 2008, 267

thermoluminescent dosimeters were issued to individuals to measure external gamma

doses. The combined total effective dose equivalent for all individuals with a

measurable gamma dose was about 2.05 person-rems. During 2008, the work projects

with the highest dose potential included cleaning of the SFP, offloading of the fuel, and

shipping of radioactive resins.

The highest total effective dose equivalent exposure recorded during 2008 to one

individual was 121 millirems. The highest committed effective dose equivalent exposure

was 27 millirems, a dose that was assigned to two individuals. The regulatory limit for

total effective dose equivalents, a combination of deep dose equivalent and committed

effective dose equivalent, is 5,000 millirems. In summary, site doses during 2008 were

well below the regulatory limit.

To help monitor for internal doses, the licensee conducted bioassay sampling. Bioassay

sampling included entrance, exit, annual, and event-based whole body counting. No

positive whole-body counts were attributed to plant events during 2008, and to the date

of this inspection in 2009.

The inspector reviewed the licensees ALARA program for future work activities. During

interviews, the licensees staff predicted the work activities planned during 2009 that had

the greatest potential for doses to individuals would be the reactor vessel

characterization study (if conducted) and turbine-generator decommissioning. The

licensee estimated that the decommissioning of Unit 3 would result in a total combined

ENCLOSURE

- 9 -

dose of approximately 208 person-rems. The projects with the highest dose potential

include decommissioning of the reactor vessel, SFP, shutdown and cleanup heat

exchangers, and area vaults.

b.

Control of Exposures to Alpha Contamination

The inspector conducted a review of the licensees plans to control occupational

exposures to alpha contamination. The site has a unique radiological hazard due to

alpha particulate contamination. Early fuel failures resulted in the internal contamination

of plant systems with fission products and transuranic radionuclides. The alpha

particulate hazard has increased over time from the decay of plutonium-241, while the

gamma radiation hazards have decreased due to the decay of cobalt-60 and

cesium-137.

The licensee plans to commence work that has the potential for exposures to alpha

particulate contamination during October 2009. In response, the licensee developed a

radiation protection procedure for performing and evaluating alpha particulate

contamination postings and surveys. In addition, the procedure provides new controls

for alpha zones. The implementation of this new procedure should help minimize the

potential for worker exposures to alpha contamination.

To help assess the alpha contamination hazard inside of plant piping, the licensee

recently collected a number of coupon samples from various locations including the

turbine and feedwater piping. These samples were submitted to an offsite laboratory for

analysis. The results of these samples will be used, in part, to help characterize the

material for waste disposal and for transportation.

The licensee plans to conduct the cutting of alpha contaminated pipes within glove

boxes or containment tents. The use of glove boxes and tents is expected to reduce the

potential for worker exposures to loose alpha contamination. In addition, the licensee

plans to inject foam material into the pipes to fixate the alpha contamination during

cutting operations. Site workers that enter a contaminated area will be required to wear

lapel air samplers to help the licensee assess worker exposures to radioactive

particulate contamination.

During the inspection, the licensee was in the process of upgrading its training program

for workers that will be potentially exposed to alpha contamination. Industry experts

were being used to upgrade the lesson plan and to teach the class to site workers. All

workers are expected to be retrained prior to commencement of work activities involving

alpha contamination. In addition, the licensee established a mock-up facility to support

training of workers that will be cutting and handling the alpha-contaminated piping.

These training enhancements are expected to help reduce the potential for inhalation or

ingestion of alpha contamination.

Routine whole-body counts are generally ineffective for identifying uptakes of alpha

contamination. The licensee plans to implement an enhanced bioassay program that

will include collection of urine and fecal samples for monitoring of internally deposited

alpha-emitting radionuclides.

The licensee has been procuring new equipment to conduct real-time monitoring of

alpha contamination. The licensee recently placed into service a number of continuous

ENCLOSURE

- 10 -

air monitors that monitor for alpha contamination in addition to beta-gamma

contamination. Further, the licensee plans to install an alpha detecting monitor in the

plant ventilation stack. This monitor was expected to be installed during September

2009, prior to start of decommissioning work involving alpha contamination.

4.3

Conclusions

The licensee implemented an occupational exposure program that effectively monitored

the internal and external doses to radiation. No individual exceeded the regulatory limit

for total effective dose equivalent exposures during calendar year 2008. During 2009,

the licensee began implementing a program for control of worker exposures to alpha

particulate contamination. This program supports the concept of ALARA and should

help control worker exposures to licensed material.

5

Radioactive Waste Treatment, and Effluent and Environmental Monitoring

5.1

Inspection Scope

The inspector reviewed the licensees program to control, monitor, and quantify releases

of radioactive materials to the environment in liquid, gaseous, and particulate forms.

5.2

Observations and Findings

The inspector reviewed the Annual Radioactive Effluent Release Report for 2008 dated

March 26, 2009, and the Annual Radiological Environmental Monitoring Report for 2008

dated April 30, 2009. The inspector compared the results presented in these reports to

the requirements provided in site procedures and the Offsite Dose Calculation Manual.

In summary, all required samples had been collected, and no sample result exceeded a

licensed or regulatory limit. No adverse trends were apparent. The inspector identified

several report errors, and the licensee agreed to update the reports during the next

routine submittals.

The inspector compared the effluent and environmental monitoring results to the public

dose limits specified in 10 CFR 20.1301. In summary, the records indicate that the

public dose limits were not exceeded. The licensees results suggest a maximum public

dose of less than one millirem for 2008 with an annual regulatory limit of 100 millirems.

5.3

Conclusions

The effluent and environment monitoring programs were in compliance with license

requirements. All required samples had been collected, no sample result exceeded

applicable limits, and no adverse trends were identified. Annual doses to the public

were well below the regulatory limit.

6

Solid Radioactive Waste Management and Transportation of Radioactive Materials

(86750)

6.1

Inspection Scope

The inspector reviewed the licensees plans for characterizing and shipping the

radioactive wastes that will be generated during decommissioning.

ENCLOSURE

- 11 -

6.2

Observations and Findings

The PSDAR provides a description and schedule of planned decommissioning activities.

To support decommissioning, the licensee recently developed two plans, a Waste

Management and Disposal Plan and a Transportation Plan. These plans were

developed, in part, to identify the challenges for waste management and to identify

potential options for these challenges. The unique challenges include:

Control of the limited amount of area available for waste handling operations

Establishment of temporary waste storage areas inside and outside of site structures

Control of alpha contaminated material

Removal of contaminated concrete and soils below the water table

Removal of contaminated sediment from the intake and discharge canals

As explained in the PSDAR, the licensee has to decide whether to segment the reactor

pressure vessel and its internals or to dispose of the vessel as a single item.

The licensee estimates that the total volume of contaminated material to be removed

from the site is about 660 thousand cubic feet. The material includes soils, building

rubble, and equipment. The vast majority of the waste material generated will most

likely be classified as Class A wastes for disposal at an out-of-state disposal site. The

wastes will be sorted based on disposal and shipping classification. The licensee also

plans to use radioactive waste processors to consolidate the wastes for disposal. The

use of waste processors may allow the licensee to reduce the volume of wastes

disposed.

In response to the above challenges, the Waste Management and Disposal Plan provide

recommended flow paths for the movement of equipment from the location of

dismantlement to the location of packaging for shipment. This plan also provides a

recommended list of work areas for decommissioning. For example, the main

condenser is considered one such work area. The plan also describes the potential

classification of the waste streams such as Class A bulk wastes and Class A general

wastes.

In general, field crews will remove the equipment from a given area and will relocate the

equipment near the waste containers. The waste handling and packaging crews will

package the waste equipment, and the shipping and transportation crews will ship the

material for disposal. Based on the current work schedule, most wastes will be shipped

during the 2013-2014 time frame. The bulk of the wastes will consist mostly of soils and

building debris.

At the time of the inspection, the licensee was developing a system and area

characterization plan. This plan will help establish the definitions of the various waste

streams and help establish the waste profiles for disposal and shipment. The waste

profiles have to be completed and approved prior to the actual shipment of the waste

materials.

As explained in the Transportation Plan, the licensee estimates that it will ship

approximately 1500 shipments to the out-of-state waste disposal site. Challenges to

ENCLOSURE

- 12 -

transportation include the locations of the staging areas needed to support

decommissioning. Because of the limited amount of space available, the licensee is

expected to tightly control the movement, handling, and storage of waste containers.

A second transportation challenge is the location of the site. The site has limited access

to alternate modes of transportation. There are no rail or barge access points in the

immediate area of the site, so practically all wastes may have to be shipped by truck to

the disposal site. In addition, there are no easy, direct routes to the disposal site.

Further, the licensee will have to comply with length restrictions on the local highways.

At the time of the inspection, the licensee was in the process of adding staff to the

radwaste packaging and transportation groups. Procedures were being upgraded to

provide step-by-step instructions for the work that will be performed. The licensee was

in the process of procuring intermodal containers for shipment of the wastes. The

licensee was also reviewing its options for shipping large components.

The licensee was reviewing its protocols for shipment of other types of waste streams,

including oil and asbestos wastes, for disposal. For example, the licensee was

considering its options for disposal of the fuel oil storage tank, turbine lube oil, and

exciter. These components may be disposed in an alternate manner, as allowed by

10 CFR 20.2002. An alternate disposal methodology was being considered because of

the low radiological hazards associated with these materials.

6.3

Conclusions

To support the planned decommissioning activities as described in the PSDAR, the

licensee developed formal plans for control and shipping of radioactive wastes. These

plans provided detailed reviews and assessments of work challenges involving

radioactive waste disposals.

7

Exit Meeting

The inspector reviewed the scope and findings of the inspection during an exit meeting

that was conducted at the conclusion of the onsite inspection on July 16, 2009. The

licensee did not identify as proprietary any information provided to, or reviewed, by the

inspector.

ATTACHMENT

SUPPLEMENTAL INSPECTION INFORMATION

PARTIAL LIST OF PERSONS CONTACTED

J. Albers, Radiation Protection Manager

B. Barley, Radiation Protection Planning

M. Celletti, Training Coordinator

J. Chadwick, Radiation Protection Engineer

J. Davis, Radiation Protection Engineer

J. Griffin, Engineering Consultant, AM Solutions

L. Hardwick, SAFSTOR Supervisor

L. Pulley, Deputy Decommissioning Manager

K. Rod, Decommissioning Manager

P. Roller, Director and Nuclear Plant Manager

T. Sanders, Site Services Manager

B. Sicotte, Quality Control Supervisor

M. Smith, Engineering Manager

R. Snyder, Radwaste Supervisor

D. Sokolsky, Licensing Supervisor

M. Stein, Radiation Protection Supervisor, Bartlett

B. Stephens, Work Week Manager

INSPECTION PROCEDURES USED

IP 37801 Safety Reviews, Design Changes, and Modifications

IP 62801 Maintenance and Surveillance

IP 71801 Decommissioning Status

IP 83750 Occupational Radiation Exposure

IP 84750 Radioactive Waste Treatment, and Effluent and Environmental Monitoring

IP 86750 Solid Radioactive Waste Management and Transportation of Radioactive Materials

ITEMS OPENED, CLOSED, AND DISCUSSED

Opened

None

Closed

None

Discussed

None

ATTACHMENT

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LIST OF ACRONYMS

ALARA

As Low As Reasonably Achievable

CFR

Code of Federal Regulations

DSAR

Defueled Safety Analysis Report

HBPP

Humboldt Bay Power Plant

IP

Inspection Procedure

PSDAR

Post Shutdown Decommissioning Activities Report

SFP

Spent Fuel Pool