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| issue date = 08/14/2006
| issue date = 08/14/2006
| title = IR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations, Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety
| title = IR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations, Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety
| author name = Kennedy K M
| author name = Kennedy K
| author affiliation = NRC/RGN-IV/DRP/RPB-C
| author affiliation = NRC/RGN-IV/DRP/RPB-C
| addressee name = Hinnenkamp P D
| addressee name = Hinnenkamp P
| addressee affiliation = Entergy Operations, Inc
| addressee affiliation = Entergy Operations, Inc
| docket = 05000458
| docket = 05000458
Line 14: Line 14:
| page count = 45
| page count = 45
}}
}}
See also: [[followed by::IR 05000458/2006003]]
See also: [[see also::IR 05000458/2006003]]


=Text=
=Text=
{{#Wiki_filter:August 14, 2006Paul D. HinnenkampVice President - Operations
{{#Wiki_filter:August 14, 2006
Paul D. Hinnenkamp
Vice President - Operations
Entergy Operations, Inc.
Entergy Operations, Inc.
River Bend Station
River Bend Station
5485 US Highway 61N
5485 US Highway 61N
St. Francisville, LA   
St. Francisville, LA  70775
70775SUBJECT:RIVER BEND STATION - NRC INTEGRATED INSPECTIONREPORT 05000458/2006003Dear Mr. Hinnenkamp:
SUBJECT:
On June 30, 2006, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection atyour River Bend Station.  The enclosed integrated inspection report documents the inspectionresults, which were discussed on July 5, 2006, with you and other members of your staff.The inspection examined activities conducted under your license as they relate to safety andcompliance with the Commission's rules and regulations and with the conditions of your license.  
RIVER BEND STATION - NRC INTEGRATED INSPECTION
REPORT 05000458/2006003
Dear Mr. Hinnenkamp:
On June 30, 2006, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at
your River Bend Station.  The enclosed integrated inspection report documents the inspection
results, which were discussed on July 5, 2006, with you and other members of your staff.
The inspection examined 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.  
The inspectors reviewed selected procedures and records, observed activities, and interviewed
The inspectors reviewed selected procedures and records, observed activities, and interviewed
personnel.The report documents three  
personnel.
NRC-identified findings and two self-revealing findings of very lowsafety significance (Green).  The NRC has also determined that violations are associated withthese findings.  However, because these violations were of very low safety significance and
The report documents three NRC-identified findings and two self-revealing findings of very low
safety significance (Green).  The NRC has also determined that violations are associated with
these findings.  However, because these violations were of very low safety significance and
were entered into your corrective action program, the NRC is treating these violations as
were entered into your corrective action program, the NRC is treating these violations as
noncited violations, consistent with Section VI.A.1 of the NRC Enforcement Policy.  If youcontest the violations or the significance of the violations, you should provide a response within30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear
noncited violations, consistent with Section VI.A.1 of the NRC Enforcement Policy.  If you
Regulatory Commission, ATTN: document Control Desk, Washington, DC 20555-0001, withcopies to the Regional Administrator, U.S. Nuclear Regulatory Commission, Region IV, 611
contest the violations or the significance of the violations, you should provide a response within
Ryan Plaza Drive, Suite 400, Arlington, Texas 76011-4005; the Director, Office of Enforcement,U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Resi dentInspector at the River Bend Station facility.In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, itsenclosure, and your response (if any) will be available electronically for public inspection in theNRC Public Document Room or from the Publicly Available Records (PARS) com
30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear
ponent ofNRC's document system (ADAMS).  ADAMS is accessible from the NRC Website at
Regulatory Commission, ATTN: document Control Desk, Washington, DC 20555-0001, with
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).  
copies to the Regional Administrator, U.S. Nuclear Regulatory Commission, Region IV, 611
Entergy Operations, Inc.-2-Should you have any questions concerning this inspection, we will be pleased to discuss themwith you.Sincerely,/RA/Kriss M. Kennedy, ChiefProject Branch C
Ryan Plaza Drive, Suite 400, Arlington, Texas 76011-4005; the Director, Office of Enforcement,
Division of Reactor ProjectsDocket:  50-458License:  NPF-47Enclosure:NRC Inspection Report 05000458/2006003   w/Attachment:  Supplemental Informationcc w/enclosure:Senior Vice President and  
U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident
Inspector at the River Bend Station facility.
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its
enclosure, and your response (if any) will be available electronically for public inspection in the
NRC Public Document Room or from the Publicly Available Records (PARS) component of
NRCs document system (ADAMS).  ADAMS is accessible from the NRC Website at
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
 
Entergy Operations, Inc.
-2-
Should you have any questions concerning this inspection, we will be pleased to discuss them
with you.
Sincerely,
/RA/
Kriss M. Kennedy, Chief
Project Branch C
Division of Reactor Projects
Docket:  50-458
License:  NPF-47
Enclosure:
NRC Inspection Report 05000458/2006003
  w/Attachment:  Supplemental Information
cc w/enclosure:
Senior Vice President and  
   Chief Operating Officer
   Chief Operating Officer
Entergy Operations, Inc.
Entergy Operations, Inc.
P.O. Box 31995
P.O. Box 31995
Jackson, MS  39286-1995Vice President Operations Support
Jackson, MS  39286-1995
Vice President  
Operations Support
Entergy Operations, Inc.
Entergy Operations, Inc.
P.O. Box 31995
P.O. Box 31995
Jackson, MS  39286-1995General ManagerPlant Operations
Jackson, MS  39286-1995
General Manager
Plant Operations
Entergy Operations, Inc.
Entergy Operations, Inc.
River Bend Station
River Bend Station
5485 US Highway 61N
5485 US Highway 61N
St. Francisville, LA   
St. Francisville, LA  70775
70775Director - Nuclear SafetyEntergy Operations, Inc.
Director - Nuclear Safety
Entergy Operations, Inc.
River Bend Station
River Bend Station
5485 US Highway 61N
5485 US Highway 61N
St. Francisville, LA   
St. Francisville, LA  70775
70775Wise, Carter, Child & Caraway
Wise, Carter, Child & Caraway
P.O. Box 651
P.O. Box 651
Jackson, MS  39205  
Jackson, MS  39205
Entergy Operations, Inc.-3-Winston & Strawn LLP1700 K Street, N.W.
 
Washington, DC  20006-3817Manager - LicensingEntergy Operations, Inc.
Entergy Operations, Inc.
-3-
Winston & Strawn LLP
1700 K Street, N.W.
Washington, DC  20006-3817
Manager - Licensing
Entergy Operations, Inc.
River Bend Station
River Bend Station
5485 US Highway 61N
5485 US Highway 61N
St. Francisville, LA   
St. Francisville, LA  70775
70775The Honorable Charles C. Foti, Jr.Attorney General
The Honorable Charles C. Foti, Jr.
Attorney General
Department of Justice
Department of Justice
State of Louisiana
State of Louisiana
P.O. Box 94005
P.O. Box 94005
Baton Rouge, LA  70804-9005H. Anne Plettinger
Baton Rouge, LA  70804-9005
3456 Villa Rose DriveBaton Rouge, LA  70806Bert Babers, PresidentWest Feliciana Parish Police Jury
H. Anne Plettinger
3456 Villa Rose Drive
Baton Rouge, LA  70806
Bert Babers, President
West Feliciana Parish Police Jury
P.O. Box 1921
P.O. Box 1921
St. Francisville, LA   
St. Francisville, LA  70775
70775Richard Penrod, Senior Environmental  Scientist
Richard Penrod, Senior Environmental  
   Scientist
Office of Environmental Services
Office of Environmental Services
Northwestern State University  
Northwestern State University  
Russell Hall, Room 201
Russell Hall, Room 201
Natchitoches, LA  71497Brian AlmonPublic Utility Commission
Natchitoches, LA  71497
Brian Almon
Public Utility Commission
William B. Travis Building
William B. Travis Building
P.O. Box 13326
P.O. Box 13326
1701 North Congress Avenue
1701 North Congress Avenue
Austin, TX  78711-3326  
Austin, TX  78711-3326
Entergy Operations, Inc.-4-ChairpersonDenton Field Office  
 
Entergy Operations, Inc.
-4-
Chairperson
Denton Field Office  
Chemical and Nuclear Preparedness  
Chemical and Nuclear Preparedness  
   and Protection Division
   and Protection Division
Line 83: Line 140:
800 North Loop 288
800 North Loop 288
Federal Regional Center
Federal Regional Center
Denton, TX  76201-3698  
Denton, TX  76201-3698
Entergy Operations, Inc.-5-Electronic distribution by RIV:Regional Administrator (BSM1)DRP Director (ATH)DRS Director (DDC)DRS Deputy Director (RJC1)Senior Resident Inspector (PJA)Branch Chief, DRP/C (KMK)Senior Project Engineer, DRP/C (WCW)Team Leader, DRP/TSS (RLN1)RITS Coordinator (KEG)DRS STA (DAP)J. Lamb, OEDO RIV Coordinator (JGL1)ROPreports
 
RBS Site Secretary (LGD)W. A. Maier, RSLO (WAM)SUNSI Review Completed:  __wcw_    ADAMS:   Yes G  No            Initials: __wcw___   Publicly Available       
Entergy Operations, Inc.
G  Non-Publicly Available       
-5-
G  Sensitive  Non-SensitiveR:\_REACTORS\_RB\2006\RB2006-03RP-PJA.wpdRIV:SRI:DRP/CRI:DRP/CC:DRS/OBC:DRS/EB1C:DRS/PSBPJAlterMOMillerATGodyJAClarkMPS
Electronic distribution by RIV:
hannon  T - WCWalker E - WCWalker   /RA/     /RA/     /RA/8/10/068/10/068/11/068/10/068/10/06C:DRS/EB2SRA:DRSC:DRP/CLJSmithDPLovelessKMKennedy    /RA/   /RA/     /RA/8/10/068/14/068/14/06OFFICIAL RECORD COPY T=Telephone          E=E-mail        F=Fax  
Regional Administrator (BSM1)
Enclosure-1-U.S. NUCLEAR REGULATORY COMMISSIONREGION IVDocket:50-458License:NPF-47
DRP Director (ATH)
Report:05000458/2006003
DRS Director (DDC)
Licensee:Entergy Operations, Inc.
DRS Deputy Director (RJC1)
Facility:River Bend StationLocation:5485 U.S. Highway 61St. Francisville, LouisianaDates:April 1 to June 30, 2006
Senior Resident Inspector (PJA)
Inspectors:P. Alter, Senior Resident Inspector, Project Branch CM. Miller, Resident Inspector, Project Branch CG. Werner, Senior Project Engineer, Project Branch D
Branch Chief, DRP/C (KMK)
Senior Project Engineer, DRP/C (WCW)
Team Leader, DRP/TSS (RLN1)
RITS Coordinator (KEG)
DRS STA (DAP)
J. Lamb, OEDO RIV Coordinator (JGL1)
ROPreports
RBS Site Secretary (LGD)
W. A. Maier, RSLO (WAM)
SUNSI Review Completed:  __wcw_    ADAMS: : Yes
G  No            Initials: __wcw___  
Publicly Available      G  Non-Publicly Available      G  Sensitive
:   Non-Sensitive
R:\\_REACTORS\\_RB\\2006\\RB2006-03RP-PJA.wpd
RIV:SRI:DRP/C
RI:DRP/C
C:DRS/OB
C:DRS/EB1
C:DRS/PSB
PJAlter
MOMiller
ATGody
JAClark
MPShannon
  T - WCWalker
E - WCWalker
  /RA/
    /RA/
      /RA/
8/10/06
8/10/06
8/11/06
8/10/06
8/10/06
C:DRS/EB2
SRA:DRS
C:DRP/C
LJSmith
DPLoveless
KMKennedy
    /RA/
    /RA/
    /RA/
8/10/06
8/14/06
8/14/06
OFFICIAL RECORD COPY  
T=Telephone          E=E-mail        F=Fax
 
Enclosure
-1-
U.S. NUCLEAR REGULATORY COMMISSION
REGION IV
Docket:
50-458
License:
NPF-47
Report:
05000458/2006003
Licensee:
Entergy Operations, Inc.
Facility:
River Bend Station
Location:
5485 U.S. Highway 61
St. Francisville, Louisiana
Dates:
April 1 to June 30, 2006
Inspectors:
P. Alter, Senior Resident Inspector, Project Branch C
M. Miller, Resident Inspector, Project Branch C
G. Werner, Senior Project Engineer, Project Branch D
L. Ricketson, P.E., Senior Health Physicist, Plant Support Branch
L. Ricketson, P.E., Senior Health Physicist, Plant Support Branch
W. Sifre, Senior Reactor Inspector, Engineering Branch 1Approved By:Kriss M. Kennedy, ChiefProject Branch C
W. Sifre, Senior Reactor Inspector, Engineering Branch 1
Division of Reactor Projects  
Approved By:
Enclosure-2-TABLE OF CONTENTSSUMMARY OF FINDINGS....................................................3REPORT DETAILS..........................................................6
Kriss M. Kennedy, Chief
REACTOR SAFETY.........................................................61R01Adverse Weather Protection
Project Branch C
.......................................61R04Equipment Alignment
Division of Reactor Projects
.............................................71R05Fire Protection
 
..................................................71R08Inservice Inspection Activities
Enclosure
......................................81R11Licensed Operator Requalification Program
-2-
...........................91R12Maintenance Effectiveness.......................................101R13Maintenance Risk Assessments and Emergent Work Control.............101R14Operator Performance During Nonroutine Evolutions and Events..........111R15Operability Evaluations..........................................121R19Postmaintenance Testing........................................171R20Refueling and Other Outage Activities...............................171R22Surveillance Testing............................................201R23Temporary Plant Modifications....................................231EP6Drill Evaluation.................................................23RADIATION SAFETY.......................................................242OS1Access Control to Radiologically Significant Areas.....................242OS2ALARA Planning and Controls.....................................27OTHER ACTIVITIES........................................................284OA1Performance Indicator (PI) Verification..............................284OA2Identification and Resolution of Problems............................294OA3Event Followup................................................314OA5Other Activities.................................................324OA6Meetings, Including Exit..........................................32SUPPLEMENTAL INFORMATION............................................A-1
TABLE OF CONTENTS
KEY POINTS OF CONTACT................................................A-1
SUMMARY OF FINDINGS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED...........................A-1LIST OF DOCUMENTS REVIEWED..........................................A-2
REPORT DETAILS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6
LIST OF ACRONYMS......................................................A-7  
REACTOR SAFETY . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6
Enclosure-3-SUMMARY OF FINDINGSIR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations,Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety.The report covered a 3-month period of routine baseline inspections by resident inspectors andannounced baseline inspections by regional engineering and radiation protection inspectors.  
1R01
Adverse Weather Protection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6
1R04
Equipment Alignment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7
1R05
Fire Protection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7
1R08
Inservice Inspection Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8
1R11
Licensed Operator Requalification Program . . . . . . . . . . . . . . . . . . . . . . . . . . . 9
1R12
Maintenance Effectiveness . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
1R13
Maintenance Risk Assessments and Emergent Work Control . . . . . . . . . . . . . 10
1R14
Operator Performance During Nonroutine Evolutions and Events . . . . . . . . . . 11
1R15
Operability Evaluations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 12
1R19
Postmaintenance Testing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17
1R20
Refueling and Other Outage Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17
1R22
Surveillance Testing
. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20
1R23
Temporary Plant Modifications
. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 23
1EP6 Drill Evaluation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 23
RADIATION SAFETY . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24
2OS1 Access Control to Radiologically Significant Areas . . . . . . . . . . . . . . . . . . . . . 24
2OS2 ALARA Planning and Controls . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 27
OTHER ACTIVITIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28
4OA1 Performance Indicator (PI) Verification . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28
4OA2 Identification and Resolution of Problems . . . . . . . . . . . . . . . . . . . . . . . . . . . . 29
4OA3 Event Followup . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31
4OA5 Other Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 32
4OA6 Meetings, Including Exit . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 32
SUPPLEMENTAL INFORMATION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1
KEY POINTS OF CONTACT . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1
LIST OF DOCUMENTS REVIEWED . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-2
LIST OF ACRONYMS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-7
 
Enclosure
-3-
SUMMARY OF FINDINGS
IR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations,
Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety.
The report covered a 3-month period of routine baseline inspections by resident inspectors and
announced baseline inspections by regional engineering and radiation protection inspectors.  
Five Green noncited violations were identified.  The significance of most findings is indicated by
Five Green noncited violations were identified.  The significance of most findings is indicated by
their color (Green, White, Yellow, Red) using Inspection Manual Chapter 0609, "Significance
their color (Green, White, Yellow, Red) using Inspection Manual Chapter 0609, Significance
Determination Process." Findings for which the significance determination process does not
Determination Process.  Findings for which the significance determination process does not
apply may be Green or be assigned a severity level after  
apply may be Green or be assigned a severity level after NRC management review.  The
NRC management review.  TheNRC's program for overseeing the safe operation of commercial nuclear power reactors isdescribed in NUREG-1649, "Reactor Oversight Process," Revision 3, dated July 2000.A.NRC-Identified and Self-Revealing FindingsCornerstone:  Mitigating SystemsGreen.  A self-revealing noncited violation of 10 CFR Part 50, Appendix B, Criterion XVI,"Corrective Action," was reviewed involving the failure of the licensee to identify that the
NRCs program for overseeing the safe operation of commercial nuclear power reactors is
normal supply breaker to the Division III 4.16 kV engineered safety features bus was notproperly racked in for a period of 24 days following maintenance.  This issue was
described in NUREG-1649, Reactor Oversight Process, Revision 3, dated July 2000.
entered into the licensee's corrective action program as CR-RBS-2006-02402.The finding was more than minor because it was associated with the mitigating systemcornerstone attribute of configuration control and affected the associated cornerstone
A.
objective to ensure the availability, reliability, and capability of systems that res
NRC-Identified and Self-Revealing Findings
pond toinitiating events to prevent undesirable consequences.  Utilizing Manual Chapter 0609,"Significance Determination Process," a Phase 3 analysis concluded that the finding
Cornerstone:  Mitigating Systems
Green.  A self-revealing noncited violation of 10 CFR Part 50, Appendix B, Criterion XVI,
"Corrective Action," was reviewed involving the failure of the licensee to identify that the
normal supply breaker to the Division III 4.16 kV engineered safety features bus was not
properly racked in for a period of 24 days following maintenance.  This issue was
entered into the licensee's corrective action program as CR-RBS-2006-02402.
The finding was more than minor because it was associated with the mitigating system
cornerstone attribute of configuration control and affected the associated cornerstone
objective to ensure the availability, reliability, and capability of systems that respond to
initiating events to prevent undesirable consequences.  Utilizing Manual Chapter 0609,
"Significance Determination Process," a Phase 3 analysis concluded that the finding
was of very low safety significance.  The cause of the finding was related to the
was of very low safety significance.  The cause of the finding was related to the
crosscutting aspect of problem identification and resolution in that the licensee failed toproperly evaluate available indications to identify that the breaker was not properly
crosscutting aspect of problem identification and resolution in that the licensee failed to
racked in.  (Section 1R15).Green.  An NRC identified noncited violation of 10 CFR 50.65 Maintenance RuleSection (a)(4) was identified for the failure of the licensee to provide prescribed
properly evaluate available indications to identify that the breaker was not properly
racked in.  (Section 1R15).
Green.  An NRC identified noncited violation of 10 CFR 50.65 Maintenance Rule
Section (a)(4) was identified for the failure of the licensee to provide prescribed
compensatory measures for two Orange shutdown risk conditions during Refueling
compensatory measures for two Orange shutdown risk conditions during Refueling
Outage 13.  Specifically, the preoutage risk assessment recommended that two workorders be in place for maintenance electricians to provide power to one spent fuel pool
Outage 13.  Specifically, the preoutage risk assessment recommended that two work
orders be in place for maintenance electricians to provide power to one spent fuel pool
cooling pump in the event of problems with the running pump during periods of electrical
cooling pump in the event of problems with the running pump during periods of electrical
bus maintenance.  The inspectors found that the work packages were not in place
bus maintenance.  The inspectors found that the work packages were not in place
Line 127: Line 319:
engineering safety features bus testing, and May 3, 2006, during the Division I
engineering safety features bus testing, and May 3, 2006, during the Division I
engineered safety features bus outage.  This issue was entered into the licensee's
engineered safety features bus outage.  This issue was entered into the licensee's
corrective action program as CR-RBS-2006-01937.The finding was more than minor because the licensee failed to implement a prescribedcompensatory measure during the highest risk condition of Refueling Outage 13.  The  
corrective action program as CR-RBS-2006-01937.
Enclosure-4-specific compensatory measures were called for in the preoutage risk assessment andthe shutdown operations protection plan.  The finding affected the mitigati ng syst emcornerstone because of the increased risk of a sustained loss of spent fuel pool cooling
The finding was more than minor because the licensee failed to implement a prescribed
compensatory measure during the highest risk condition of Refueling Outage 13.  The
 
Enclosure
-4-
specific compensatory measures were called for in the preoutage risk assessment and
the shutdown operations protection plan.  The finding affected the mitigating system
cornerstone because of the increased risk of a sustained loss of spent fuel pool cooling
during core offloading operations.  The finding could not be evaluated using the
during core offloading operations.  The finding could not be evaluated using the
significance determination process, therefore the finding was reviewed by regional
significance determination process, therefore the finding was reviewed by regional
Line 135: Line 334:
the task of providing alternate power to a spent fuel pool cooling pump, (2) the
the task of providing alternate power to a spent fuel pool cooling pump, (2) the
necessary equipment was staged as part of the abnormal operating procedure for loss
necessary equipment was staged as part of the abnormal operating procedure for loss
of decay heat removal, and (3) the relatively long "time to boil" of the spent fuel storage
of decay heat removal, and (3) the relatively long time to boil of the spent fuel storage
pool at that time during the refueling outage.  The cause of the finding was related to thecrosscutting aspect of human performance because the licensee's plannedmaintenance activities and the predetermined increase in outage risk was not effectively
pool at that time during the refueling outage.  The cause of the finding was related to the
managed by prescribed compensatory measures (Section 1R20).Green.  An NRC identified noncited violation of Technical Specification 5.4.1.a wasidentified for the failure of the licensee to provide an adequate surveillance testprocedure to perform Technical Specification Surveillance Requirement 3.8.1.1. Specifically, STP-000-0102, "Power Distribution Alignment Check," Revision 4, did not
crosscutting aspect of human performance because the licensees planned
maintenance activities and the predetermined increase in outage risk was not effectively
managed by prescribed compensatory measures (Section 1R20).
Green.  An NRC identified noncited violation of Technical Specification 5.4.1.a was
identified for the failure of the licensee to provide an adequate surveillance test
procedure to perform Technical Specification Surveillance Requirement 3.8.1.1.  
Specifically, STP-000-0102, Power Distribution Alignment Check, Revision 4, did not
verify the required offsite power circuit breaker alignment and indicated power
verify the required offsite power circuit breaker alignment and indicated power
availability for the Division III 4.16 kV engineered safety features bus as required inModes 1, 2, and 3.  This issue was entered into the licensee's corrective action program
availability for the Division III 4.16 kV engineered safety features bus as required in
as CR-RBS-2006-02675 and -02402.The finding was more than minor because it was associated with the mitigating systemcornerstone attribute of configuration control and affected the associated cornerstone
Modes 1, 2, and 3.  This issue was entered into the licensee's corrective action program
objective to ensure the availability, reliability, and capability of systems that res
as CR-RBS-2006-02675 and -02402.
pond toinitiating events to prevent undesirable consequences.  Utilizing Manual Chapter 0609,"Significance Determination Process," a Phase 3 analysis concluded that the finding
The finding was more than minor because it was associated with the mitigating system
was of very low safety significance.  (Section 1R22).Cornerstone:  Occupational Radiation Safety
cornerstone attribute of configuration control and affected the associated cornerstone
*Green.  The inspector reviewed a self-revealing noncited violation of TechnicalSpecification 5.7.1, resulting from the licensee's failure to control access to a high
objective to ensure the availability, reliability, and capability of systems that respond to
initiating events to prevent undesirable consequences.  Utilizing Manual Chapter 0609,
"Significance Determination Process," a Phase 3 analysis concluded that the finding
was of very low safety significance.  (Section 1R22).
Cornerstone:  Occupational Radiation Safety
*
Green.  The inspector reviewed a self-revealing noncited violation of Technical
Specification 5.7.1, resulting from the licensees failure to control access to a high
radiation area.  While transferring reverse osmosis system filters in the radwaste
radiation area.  While transferring reverse osmosis system filters in the radwaste
building, the licensee allowed two workers to inadvertently enter a high radiation area. This occurred after a guard prematurely left his post in front of the 123 foot elevation
building, the licensee allowed two workers to inadvertently enter a high radiation area.  
This occurred after a guard prematurely left his post in front of the 123 foot elevation
elevator door.  The highest dose rate recorded by an electronic alarming dosimeter was
elevator door.  The highest dose rate recorded by an electronic alarming dosimeter was
164 millirem per hour.  The guard returned and evacuated the workers before they accrued additional radiation dose.  Planned corrective action was still being evaluated bythe licensee at the conclusion of the inspection.The finding was more than minor because it was associated with the occupationalradiation safety attribute of exposure control and affected the cornerstone objective in
164 millirem per hour.  The guard returned and evacuated the workers before they  
that not controlling a high radiation area could increase personal exposure.  Using theOccupational Radiation Safety Significance Determination Process, the inspector
accrued additional radiation dose.  Planned corrective action was still being evaluated by
determined that the finding was of very low safety significance because it did not  
the licensee at the conclusion of the inspection.
Enclosure-5-involve:  (1) an as low as is reasonably achievable finding, (2) an overexposure, (3) asubstantial potential for overexposure, or (4) an impaired ability to assess dose.  
The finding was more than minor because it was associated with the occupational
Additionally, this finding had crosscutting aspects associated with human performancein that the failure of the individual to guard the elevator door directly contributed to theviolation.  (Section 2OS1)*Green.  The inspector identified a noncited violation of 10 CFR 20.1501(a) because thelicense failed to survey airborne radioactivity.  During the removal of local power range
radiation safety attribute of exposure control and affected the cornerstone objective in
that not controlling a high radiation area could increase personal exposure.  Using the
Occupational Radiation Safety Significance Determination Process, the inspector
determined that the finding was of very low safety significance because it did not
 
Enclosure
-5-
involve:  (1) an as low as is reasonably achievable finding, (2) an overexposure, (3) a
substantial potential for overexposure, or (4) an impaired ability to assess dose.  
Additionally, this finding had crosscutting aspects associated with human performance
in that the failure of the individual to guard the elevator door directly contributed to the
violation.  (Section 2OS1)
*
Green.  The inspector identified a noncited violation of 10 CFR 20.1501(a) because the
license failed to survey airborne radioactivity.  During the removal of local power range
monitors, the licensee started collecting an air sample of the work area, but discarded
monitors, the licensee started collecting an air sample of the work area, but discarded
the sample before analyzing it.  Successful passage through the portal monitors at the
the sample before analyzing it.  Successful passage through the portal monitors at the
exit of the controlled access area confirmed that no worker experienced an uptake of
exit of the controlled access area confirmed that no worker experienced an uptake of
radioactive material.  Planned corrective action is still being evaluated.The finding was more than minor because it was associated with the occupationalradiation safety program attribute of exposure control and affected the cornerstone
radioactive material.  Planned corrective action is still being evaluated.
The finding was more than minor because it was associated with the occupational
radiation safety program attribute of exposure control and affected the cornerstone
objective in that the lack of knowledge of radiological conditions could increase
objective in that the lack of knowledge of radiological conditions could increase
personnel dose.  Using the Occupational Radiation Safety Significance Determination
personnel dose.  Using the Occupational Radiation Safety Significance Determination
Line 162: Line 391:
because it did not involve:  (1) an as low as is reasonably achievable finding, (2) an
because it did not involve:  (1) an as low as is reasonably achievable finding, (2) an
overexposure, (3) a substantial potential for overexposure, or (4) an impaired ability to
overexposure, (3) a substantial potential for overexposure, or (4) an impaired ability to
assess dose.  Additionally, this finding had crosscutti
assess dose.  Additionally, this finding had crosscutting aspects associated with human
ng aspects associated with humanperformance in that the failure to maintain the sample for analysis directly contributed to
performance in that the failure to maintain the sample for analysis directly contributed to
the violation.  (Section 2OS1)B.Licensee-Identified ViolationsNone.  
the violation.  (Section 2OS1)
Enclosure-6-REPORT DETAILSSummary of Plant Status:  The reactor was operated at 100 percent power from April 1-15,2006, when the reactor scrammed due to a control circuit failure which caused both reactor
B.
Licensee-Identified Violations
None.
 
Enclosure
-6-
REPORT DETAILS
Summary of Plant Status:  The reactor was operated at 100 percent power from April 1-15,
2006, when the reactor scrammed due to a control circuit failure which caused both reactor
recirculation pumps to shift to slow speed.  The reactor was restarted on April 17 and attained
recirculation pumps to shift to slow speed.  The reactor was restarted on April 17 and attained
100 percent power on April 18.  On April 23, the reactor was shut down for Refueling Outage
100 percent power on April 18.  On April 23, the reactor was shut down for Refueling Outage
Line 173: Line 410:
reactor remained at 100 percent power for the remainder of the inspection period, with the
reactor remained at 100 percent power for the remainder of the inspection period, with the
exception of regularly scheduled power reductions for control rod pattern adjustments and
exception of regularly scheduled power reductions for control rod pattern adjustments and
turbine testing.1.REACTOR SAFETYCornerstones:  Initiating Events, Mitigating Systems, Barrier Integrity, EmergencyPreparedness1R01Adverse Weather Protection     a.Inspection ScopeHurricane Season PreparationsDuring the week of June 12, 2006, the inspectors completed a review of the licensee'sreadiness for seasonal susceptibilities involving high winds at the beginning of hurricaneseason.  The inspectors reviewed Procedure ENS-EP-302, "Severe Weather
turbine testing.
Response," Revision 4.  The inspectors:  (1) reviewed plant procedures, the Updated
1.
REACTOR SAFETY
Cornerstones:  Initiating Events, Mitigating Systems, Barrier Integrity, Emergency
Preparedness
1R01
Adverse Weather Protection
    a.
Inspection Scope
Hurricane Season Preparations
During the week of June 12, 2006, the inspectors completed a review of the licensee's
readiness for seasonal susceptibilities involving high winds at the beginning of hurricane
season.  The inspectors reviewed Procedure ENS-EP-302, Severe Weather
Response, Revision 4.  The inspectors:  (1) reviewed plant procedures, the Updated
Safety Analysis Report (USAR), and Technical Specifications (TS) to verify that operator
Safety Analysis Report (USAR), and Technical Specifications (TS) to verify that operator
actions defined in adverse weather procedures maintained the readiness of essential
actions defined in adverse weather procedures maintained the readiness of essential
systems; (2) walked down portions of the protected area to verify that hurri
systems; (2) walked down portions of the protected area to verify that hurricane season
cane seasonpreparations were sufficient to support operability of essential systems, including theability to perform safe shutdown functions; (3) evaluated operator staffing levels to verifythe licensee could maintain the readiness of essential systems required by plantprocedures; and (4) reviewed the corrective action program (CAP) to determine if the
preparations were sufficient to support operability of essential systems, including the
licensee identified and corrected problems related to adverse weather conditions.The inspectors completed one inspection sample.     b.FindingsNo findings of significance were identified.  
ability to perform safe shutdown functions; (3) evaluated operator staffing levels to verify
Enclosure-7-1R04Equipment Alignment   Partial System Walkdowns     a.Inspection ScopeThe inspectors:  (1) walked down portions of the three risk important systems listedbelow and review
the licensee could maintain the readiness of essential systems required by plant
ed system operating procedures (SOPs), piping and instrumentdiagrams, and other documents to verify that critical portions of the selected systemswere correctly aligned; and (2) compared deficiencies identified during the walkdown to
procedures; and (4) reviewed the corrective action program (CAP) to determine if the
the licensee's USAR and CAP to verify problems were being identified and corrected. *Alternate decay heat removal system, which was the backup to the inserviceshutdown cooling system during refueling operations, on May 2, 2006*Reactor core isolation cooling system, while the high pressure core spray dieselwas out of service for maintenance, on June 12, 2006*Division I emergency diesel generator (EDG), while Division II EDG was out ofservice for planned maintenance, on June 21, 2006 Documents reviewed by the inspectors included:
licensee identified and corrected problems related to adverse weather conditions.
*SOP-0140, "Suppression Pool Cleanup and Alternate Decay Heat Removal,"Revision 16*SOP-0035, "Reactor Core Isolation Cooling System," Revision 8A
The inspectors completed one inspection sample.
*SOP-0053, "Standby Diesel Generator and Auxiliaries," Revision 44AThe inspectors completed three inspection samples.     h.FindingsNo findings of significance were identified.1R05Fire Protection     b.Inspection ScopeThe inspectors walked down the six plant areas listed below to assess the materialcondition of active and passive fire protection features and their operational lineup and
    b.
Findings
No findings of significance were identified.
 
Enclosure
-7-
1R04
Equipment Alignment
  Partial System Walkdowns
    a.
Inspection Scope
The inspectors:  (1) walked down portions of the three risk important systems listed
below and reviewed system operating procedures (SOPs), piping and instrument
diagrams, and other documents to verify that critical portions of the selected systems
were correctly aligned; and (2) compared deficiencies identified during the walkdown to
the licensee's USAR and CAP to verify problems were being identified and corrected.  
*
Alternate decay heat removal system, which was the backup to the inservice
shutdown cooling system during refueling operations, on May 2, 2006
*
Reactor core isolation cooling system, while the high pressure core spray diesel
was out of service for maintenance, on June 12, 2006
*
Division I emergency diesel generator (EDG), while Division II EDG was out of
service for planned maintenance, on June 21, 2006  
Documents reviewed by the inspectors included:
*
SOP-0140, Suppression Pool Cleanup and Alternate Decay Heat Removal,
Revision 16
*
SOP-0035, Reactor Core Isolation Cooling System, Revision 8A
*
SOP-0053, Standby Diesel Generator and Auxiliaries, Revision 44A
The inspectors completed three inspection samples.
    h.
Findings
No findings of significance were identified.
1R05
Fire Protection
    b.
Inspection Scope
The inspectors walked down the six plant areas listed below to assess the material
condition of active and passive fire protection features and their operational lineup and
readiness.  The inspectors:  (1) verified that transient combustibles were controlled in
readiness.  The inspectors:  (1) verified that transient combustibles were controlled in
accordance with plant procedures; (2) observed the condition of fire detection devices to
accordance with plant procedures; (2) observed the condition of fire detection devices to
verify they remained functional; (3) observed fire suppression systems to verify theyremained functional and that access to manual actuators was unobstructed; (4) verified
verify they remained functional; (3) observed fire suppression systems to verify they
that fire extinguishers and hose stations were provided at their designated locations and  
remained functional and that access to manual actuators was unobstructed; (4) verified
Enclosure-8-that they were in a satisfactory condition; (5) verified that passive fire protection features(electrical raceway barriers, fire doors, fire dampers, steel fire proofing, penetration
that fire extinguishers and hose stations were provided at their designated locations and
seals, and oil collection systems) were in a satisfactory material condition; (6) verifiedthat adequate compensatory measures were established for degraded or inoperable fire
 
protection features and that the compensatory measures were commensurate with thesignificance of the deficiency; and (7) reviewed the CAP to determine if the licensee
Enclosure
identified and corrected fire protection problems. *Auxiliary building piping Tunnel D, Fire Area AB-7, on May 9, 2006*Low pressure core spray pump room, Fire Area AB-6/Z-1, on May 9, 2006
-8-
*High pressure core spray pump room, Fire Area AB-2/Z-1, on May 9, 2006
that they were in a satisfactory condition; (5) verified that passive fire protection features
*Control building standby switchgear Room 1A, Fire Area C-15, on June 22, 2006
(electrical raceway barriers, fire doors, fire dampers, steel fire proofing, penetration
*Control building safety related cable tray area and stairway Number 3, Fire AreaC-16 and C-29, on June 22, 2006*Division I EDG control and diesel engine rooms, Fire Area DG-6/Z-1, on June 22, 2006Documents reviewed by the inspectors included:
seals, and oil collection systems) were in a satisfactory material condition; (6) verified
*Pre-Fire Plan/Strategy Book*USAR Section 9A.2, "Fire Hazards Analysis," Revision 10
that adequate compensatory measures were established for degraded or inoperable fire
*River Bend Station postfire safe shutdown analysis
protection features and that the compensatory measures were commensurate with the
*RBNP-038, "Site Fire Protection Program," Revision 6BThe inspectors completed six inspection samples.     b.FindingsNo findings of significance were identified.1R08Inservice Inspection Activities     a.Inspection ScopeThe inspector witnessed the performance of 12 volumetric (ultrasonic) and four surface(liquid penetrant) examinations.  The sample of nondestructive examination (NDE)
significance of the deficiency; and (7) reviewed the CAP to determine if the licensee
activities is listed in the attachment. For each of the NDE activities reviewed, the inspector verified that the examinationswere performed in accordance with American Society of Mechanical Engineers (ASME)
identified and corrected fire protection problems.  
Code requirements.  
*
Enclosure-9-During the review of each examination, the inspector verified that appropriate NDEprocedures were used, that examinations and conditions were as specified in the
Auxiliary building piping Tunnel D, Fire Area AB-7, on May 9, 2006
procedure, and that test instrumentation or equipment was properly calibrated and withinthe allowable calibration period.  The inspector also reviewed documentation to verify
*
Low pressure core spray pump room, Fire Area AB-6/Z-1, on May 9, 2006
*
High pressure core spray pump room, Fire Area AB-2/Z-1, on May 9, 2006
*
Control building standby switchgear Room 1A, Fire Area C-15, on June 22, 2006
*
Control building safety related cable tray area and stairway Number 3, Fire Area
C-16 and C-29, on June 22, 2006
*
Division I EDG control and diesel engine rooms, Fire Area DG-6/Z-1, on June 22,
2006
Documents reviewed by the inspectors included:
*
Pre-Fire Plan/Strategy Book
*
USAR Section 9A.2, Fire Hazards Analysis, Revision 10
*
River Bend Station postfire safe shutdown analysis
*
RBNP-038, Site Fire Protection Program, Revision 6B
The inspectors completed six inspection samples.
    b.
Findings
No findings of significance were identified.
1R08
Inservice Inspection Activities
    a.
Inspection Scope
The inspector witnessed the performance of 12 volumetric (ultrasonic) and four surface
(liquid penetrant) examinations.  The sample of nondestructive examination (NDE)
activities is listed in the attachment.  
For each of the NDE activities reviewed, the inspector verified that the examinations
were performed in accordance with American Society of Mechanical Engineers (ASME)
Code requirements.
 
Enclosure
-9-
During the review of each examination, the inspector verified that appropriate NDE
procedures were used, that examinations and conditions were as specified in the
procedure, and that test instrumentation or equipment was properly calibrated and within
the allowable calibration period.  The inspector also reviewed documentation to verify
that indications revealed by the examinations were  dispositioned in accordance with the
that indications revealed by the examinations were  dispositioned in accordance with the
ASME Code specified acceptance standards.  The inspector verified the certifications of the NDE personnel observed performingexaminations or identified during review of completed examination packages.The inspection procedure requires review of one or two examinations from the previousoutage with recordable indications that were accepted for continued service to ensure
ASME Code specified acceptance standards.   
The inspector verified the certifications of the NDE personnel observed performing
examinations or identified during review of completed examination packages.
The inspection procedure requires review of one or two examinations from the previous
outage with recordable indications that were accepted for continued service to ensure
that the disposition was done in accordance with the ASME Code.  There were no
that the disposition was done in accordance with the ASME Code.  There were no
recordable indications that required evaluation during the last outage.  If the licensee completed welding on the pressure boundary for Class 1 or  
recordable indications that required evaluation during the last outage.   
2 systemssince the beginning of the previous outage, the procedure requires verification thatacceptance and preservice examinations were done in accordance with the ASME Code
If the licensee completed welding on the pressure boundary for Class 1 or 2 systems
for one to three welds.  There were no welds available for review.The procedure also requires verification that one or two ASME Code Section XI repairsor replacements meet code requirements.  There were no code repairs or replacements
since the beginning of the previous outage, the procedure requires verification that
available at the time of this inspection.The inspectors completed 16 inspection samples.     b.FindingsNo findings of significance were identified.1R11Licensed Operator Requalification Program     a.Inspection ScopeOn June 13, 2006, the inspectors observed testing and training of senior reactoroperators and reactor operators to verify the adequacy of training, to assess operator
acceptance and preservice examinations were done in accordance with the ASME Code
performance, and to assess the evaluators' critique.  The training evaluation scenario
for one to three welds.  There were no welds available for review.
observed was RSMS-OPS-422, "Loss of Circ Water Pump, Failure of Steam Flow
The procedure also requires verification that one or two ASME Code Section XI repairs
Transmitter and Instrument Air System Leak," Revision 4.The inspectors completed one inspection sample.     b.FindingsNo findings of significance were identified.  
or replacements meet code requirements.  There were no code repairs or replacements
Enclosure-10-1R12Maintenance Effectiveness     a.Inspection ScopeThe inspectors reviewed the condition reports (CR) listed below which documentedequipment problems to:  (1) verify the appropriate handling of structure, system , andcomponent (SSC) performance or condition problems; (2) verify the appropriate
available at the time of this inspection.
The inspectors completed 16 inspection samples.
    b.
Findings
No findings of significance were identified.
1R11
Licensed Operator Requalification Program
    a.
Inspection Scope
On June 13, 2006, the inspectors observed testing and training of senior reactor
operators and reactor operators to verify the adequacy of training, to assess operator
performance, and to assess the evaluators critique.  The training evaluation scenario
observed was RSMS-OPS-422, Loss of Circ Water Pump, Failure of Steam Flow
Transmitter and Instrument Air System Leak, Revision 4.
The inspectors completed one inspection sample.
    b.
Findings
No findings of significance were identified.
 
Enclosure
-10-
1R12
Maintenance Effectiveness
    a.
Inspection Scope
The inspectors reviewed the condition reports (CR) listed below which documented
equipment problems to:  (1) verify the appropriate handling of structure, system, and
component (SSC) performance or condition problems; (2) verify the appropriate
handling of degraded SSC functional performance; (3) evaluate the role of work
handling of degraded SSC functional performance; (3) evaluate the role of work
practices and common cause problems; and (4) evaluate the handling of SSC issues
practices and common cause problems; and (4) evaluate the handling of SSC issues
reviewed under the requirements of the maintenance rule; 10 CFR Part 50, Appendix B;
reviewed under the requirements of the maintenance rule; 10 CFR Part 50, Appendix B;
and TS. *CR-RBS-2006-1898, main steam stop Valve B21-MOVF098C leakage, reviewedon June 2, 2006, and CR-RBS-2004-4338, main steam stop Valve B21-
and TS.  
MOVF098C high leakage during RFO-11 and -12, reviewed on June 26, 2006.*CR-RBS-2006-2302, primary containment integrity maintenance rule repetitivefunctional failure, reviewed on June 26, 2006.Documents reviewed by the inspectors included:
*
*NUMARC 93-01, Nuclear Energy Institute Industry (NEI) Guideline for Monitoringthe Effectiveness of Maintenance at Nuclear Power Plants, Revision 2*Maintenance rule function list
CR-RBS-2006-1898, main steam stop Valve B21-MOVF098C leakage, reviewed
*Maintenance rule performance criteria list
on June 2, 2006, and CR-RBS-2004-4338, main steam stop Valve B21-
*Main steam stop valve maintenance rule performance evaluations
MOVF098C high leakage during RFO-11 and -12, reviewed on June 26, 2006.
The inspectors completed two inspection samples.     b.FindingsNo findings of significance were identified.1R13Maintenance Risk Assessments and Emergent Work Control     a.Inspection Scope     .1Risk Assessment and Management of RiskThe inspectors reviewed the planned work weeks listed below to verify:  (1) that thelicensee performed risk assessments when required by 10 CFR 50.65 (a)(4) and
*
administrative Procedure ADM-096, "Risk Management Program Implementation and
CR-RBS-2006-2302, primary containment integrity maintenance rule repetitive
On-Line Maintenance Risk Assessment," Revision 4B, prior to changes in plant
functional failure, reviewed on June 26, 2006.
Documents reviewed by the inspectors included:
*
NUMARC 93-01, Nuclear Energy Institute Industry (NEI) Guideline for Monitoring
the Effectiveness of Maintenance at Nuclear Power Plants, Revision 2
*
Maintenance rule function list
*
Maintenance rule performance criteria list
*
Main steam stop valve maintenance rule performance evaluations
The inspectors completed two inspection samples.
    b.
Findings
No findings of significance were identified.
1R13
Maintenance Risk Assessments and Emergent Work Control
    a.
Inspection Scope
    .1
Risk Assessment and Management of Risk
The inspectors reviewed the planned work weeks listed below to verify:  (1) that the
licensee performed risk assessments when required by 10 CFR 50.65 (a)(4) and
administrative Procedure ADM-096, Risk Management Program Implementation and
On-Line Maintenance Risk Assessment, Revision 4B, prior to changes in plant
configuration for maintenance activities and plant operations; (2) the accuracy,
configuration for maintenance activities and plant operations; (2) the accuracy,
adequacy, and completeness of the information considered in the risk assessment;  
adequacy, and completeness of the information considered in the risk assessment;
Enclosure-11-(3) that the licensee recognized, and entered as applicable, the appropriate licenseeestablished risk category according to the risk assessment results and Procedure ADM-
 
096; and (4) that the licensee identified and corrected problems related to maintenancerisk assessments.  Specific work activities evaluated included planned and emergent
Enclosure
work for the weeks of:*June 5, 2006, Division I work week and preferred station service TransformerRTX-ESR1F cooling oil dehydration*June 19, 2006, planned Division II EDG outage week
-11-
*June 26, 2006, nondivisional work week and potential labor work stoppage     .2Emergent Work ControlFor the two emergent work activities listed below, the inspectors:  (1) verified that thelicensee performed actions to minimize the probability of initiating events andmaintained the functional capability of mitigating systems and barrier integrity systems;(2) verified that emergent work related activities such as troubleshooting, work
(3) that the licensee recognized, and entered as applicable, the appropriate licensee
established risk category according to the risk assessment results and Procedure ADM-
096; and (4) that the licensee identified and corrected problems related to maintenance
risk assessments.  Specific work activities evaluated included planned and emergent
work for the weeks of:
*
June 5, 2006, Division I work week and preferred station service Transformer
RTX-ESR1F cooling oil dehydration
*
June 19, 2006, planned Division II EDG outage week
*
June 26, 2006, nondivisional work week and potential labor work stoppage
    .2
Emergent Work Control
For the two emergent work activities listed below, the inspectors:  (1) verified that the
licensee performed actions to minimize the probability of initiating events and
maintained the functional capability of mitigating systems and barrier integrity systems;
(2) verified that emergent work related activities such as troubleshooting, work
planning/scheduling, establishing plant conditions, aligning equipment, tagging,
planning/scheduling, establishing plant conditions, aligning equipment, tagging,
temporary modifications, and equipment restoration did not place the plant in an
temporary modifications, and equipment restoration did not place the plant in an
unacceptable configuration; and (3) reviewed the CAP to determine if the licenseeidentified and corrected risk assessment and emergent work control problems. *Preferred station service Transformer RTX-ESR1F sudden pressure relay failureon May 30, 2006*Main turbine bypass valves inoperable due to hydraulic oil leak on June 2, 2006
unacceptable configuration; and (3) reviewed the CAP to determine if the licensee
The inspectors completed five inspection samples.     c.FindingsNo findings of significance were identified.1R14Operator Performance During Nonroutine Evolutions and Events     a.Inspection Scope   1.April 4, 2006, Automatic Initiation of Standby Service WaterThe inspectors:  (1) reviewed operator logs, plant computer data, and strip charts for theApril 4, 2006, unexpected initiation of Division II standby service water that occurred
identified and corrected risk assessment and emergent work control problems.  
*
Preferred station service Transformer RTX-ESR1F sudden pressure relay failure
on May 30, 2006
*
Main turbine bypass valves inoperable due to hydraulic oil leak on June 2, 2006
The inspectors completed five inspection samples.
    c.
Findings
No findings of significance were identified.
1R14
Operator Performance During Nonroutine Evolutions and Events
    a.
Inspection Scope
    1.
April 4, 2006, Automatic Initiation of Standby Service Water
The inspectors:  (1) reviewed operator logs, plant computer data, and strip charts for the
April 4, 2006, unexpected initiation of Division II standby service water that occurred
while swapping the running normal service water pumps to evaluate operator
while swapping the running normal service water pumps to evaluate operator
performance in coping with the event; (2) verified that operator actions were in
performance in coping with the event; (2) verified that operator actions were in
accordance with the response required by plant procedures and training; and (3) verified
accordance with the response required by plant procedures and training; and (3) verified
that the licensee identified and implemented appropriate corrective actions associatedwith personnel performance problems that occurred during the transient.  In addition, the  
that the licensee identified and implemented appropriate corrective actions associated
Enclosure-12-inspectors reviewed CR-RBS-2006-01257, which documented the procedural problemsthat led to the event and reviewed the following procedures used by the operators:*AOP-53, "Initiation of Standby Service Water With Normal Service WaterRunning," Revision 8*SOP-42, "Standby Service Water System," Revision 25
with personnel performance problems that occurred during the transient.  In addition, the
*SOP-66, "Control Building HVAC Chilled Water System," Revision 33B   2.April 15, 2006, Reactor ScramThe inspectors:  (1) reviewed operator logs, plant computer data, and strip charts for theApril 15, 2006, unexpected reactor recirculation pump downshift and subsequent reactor
 
Enclosure
-12-
inspectors reviewed CR-RBS-2006-01257, which documented the procedural problems
that led to the event and reviewed the following procedures used by the operators:
*
AOP-53, Initiation of Standby Service Water With Normal Service Water
Running, Revision 8
*
SOP-42, Standby Service Water System, Revision 25
*
SOP-66, Control Building HVAC Chilled Water System, Revision 33B
    2.
April 15, 2006, Reactor Scram
The inspectors:  (1) reviewed operator logs, plant computer data, and strip charts for the
April 15, 2006, unexpected reactor recirculation pump downshift and subsequent reactor
scram to evaluate operator performance in coping with the event; (2) verified that
scram to evaluate operator performance in coping with the event; (2) verified that
operator actions were in accordance with the response required by plant procedures
operator actions were in accordance with the response required by plant procedures
and training; and (3) verified that the licensee identified and implemented appropriatecorrective actions associated with personnel performance problems that occurred during
and training; and (3) verified that the licensee identified and implemented appropriate
corrective actions associated with personnel performance problems that occurred during
the transient.  In addition the inspectors reviewed the postscram report documented in
the transient.  In addition the inspectors reviewed the postscram report documented in
Procedure GOP-003, "Scram Recovery," Revision 16A, and observed the onsite safety
Procedure GOP-003, Scram Recovery, Revision 16A, and observed the onsite safety
review committee review of the postscram report.The inspectors completed two inspection samples.     e.FindingsNo findings of significance were identified.1R15Operability Evaluations     a.Inspection ScopeFor the operability evaluations associated with the documents listed below, theinspectors:  (1) reviewed plants status documents such as operator shift logs, emergent
review committee review of the postscram report.
The inspectors completed two inspection samples.
    e.
Findings
No findings of significance were identified.
1R15
Operability Evaluations
    a.
Inspection Scope
For the operability evaluations associated with the documents listed below, the
inspectors:  (1) reviewed plants status documents such as operator shift logs, emergent
work documentation, deferred modifications, and standing orders, to determine if an
work documentation, deferred modifications, and standing orders, to determine if an
operability evaluation was warranted for degraded components; (2) referred to theUSAR and design basis documents to review the technical adequacy of licensee
operability evaluation was warranted for degraded components; (2) referred to the
operability evaluations; (3) evaluated compensatory measures associated withoperability evaluations; (4) determined degraded component impact on any TS; (5) usedthe significance determination process to evaluate the risk significance of degraded or
USAR and design basis documents to review the technical adequacy of licensee
operability evaluations; (3) evaluated compensatory measures associated with
operability evaluations; (4) determined degraded component impact on any TS; (5) used
the significance determination process to evaluate the risk significance of degraded or
inoperable equipment; and (6) verified that the licensee identified and implemented
inoperable equipment; and (6) verified that the licensee identified and implemented
appropriate corrective actions associated with degraded components. *CR-RBS-2006-01207 and -01215, Primary containment purge exhaust line failsto meet leak rate acceptance criteria, reviewed during the week of April 3, 2006  
appropriate corrective actions associated with degraded components.  
Enclosure-13-*CR-RBS-2005-02805, Inserted control Rod 24-29 control blade lifetimecalculation revised for extended operating cycle, reviewed during the week ofApril 17, 2006*Work Request (WR) 76625, NNS-ACB23 "control power" light out, suspect badsocket, reviewed during the week of May 29, 2006*TS-LCO-06-0711, Division II EDG Generator Output Breaker charging springsdid not charge during tagout restoration, reviewed on June 23, 2006*CR-RBS-2006-01257, Division II standby service water start on low service waterpressure, reviewed on June 28, 2006*CR-RBS-2006-02632, turbine bypass valves hydraulic oil leak, reviewed onJune 28, 2006Other documents reviewed by the inspectors are listed in the attachment.
*
The inspectors completed six inspection samples.    b.FindingsIntroduction:  The inspectors reviewed a self-revealing noncited violation (NCV) of10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," involving the failure of
CR-RBS-2006-01207 and -01215, Primary containment purge exhaust line fails
the licensee to identify that the normal supply breaker to the Division III 4.16 kVengineered safety features (ESF) bus was not properly racked in following maintenance. Description:  Following the completion of planned maintenance on Switchgear NNS-SWG1A on April 29, 2006, operators were assigned to clear equipment tags and restore
to meet leak rate acceptance criteria, reviewed during the week of April 3, 2006


the system alignment.  As part of this task, operators racked in Breaker NNS-ACB23,the normal supply breaker to 4.16 kV Switchgear NNS-SWG1C.  No actions, such as
Enclosure
cycling the breaker, were required to verify that the breaker was properly racked in.On May 9, 2006, after noting that the control power light associated with Breaker NNS-ACB23 was not lit, operators wrote WR 76625 to repair the light.  The WR stated that
-13-
the white control power light on Control Room Panel H13-P808 was out with the breakerracked in and the control power fuses installed.  The WR also indicated that the
*
CR-RBS-2005-02805, Inserted control Rod 24-29 control blade lifetime
calculation revised for extended operating cycle, reviewed during the week of
April 17, 2006
*
Work Request (WR) 76625, NNS-ACB23 control power light out, suspect bad
socket, reviewed during the week of May 29, 2006
*
TS-LCO-06-0711, Division II EDG Generator Output Breaker charging springs
did not charge during tagout restoration, reviewed on June 23, 2006
*
CR-RBS-2006-01257, Division II standby service water start on low service water
pressure, reviewed on June 28, 2006
*
CR-RBS-2006-02632, turbine bypass valves hydraulic oil leak, reviewed on
June 28, 2006
Other documents reviewed by the inspectors are listed in the attachment.
The inspectors completed six inspection samples.
    b.
Findings
Introduction:  The inspectors reviewed a self-revealing noncited violation (NCV) of
10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," involving the failure of
the licensee to identify that the normal supply breaker to the Division III 4.16 kV
engineered safety features (ESF) bus was not properly racked in following maintenance.
Description:  Following the completion of planned maintenance on Switchgear NNS-
SWG1A on April 29, 2006, operators were assigned to clear equipment tags and restore
the system alignment.  As part of this task, operators racked in Breaker NNS-ACB23,
the normal supply breaker to 4.16 kV Switchgear NNS-SWG1C.  No actions, such as
cycling the breaker, were required to verify that the breaker was properly racked in.
On May 9, 2006, after noting that the control power light associated with Breaker NNS-
ACB23 was not lit, operators wrote WR 76625 to repair the light.  The WR stated that
the white control power light on Control Room Panel H13-P808 was out with the breaker
racked in and the control power fuses installed.  The WR also indicated that the
suspected cause was a bad socket and that position Switch 52H had failed in the past to
suspected cause was a bad socket and that position Switch 52H had failed in the past to
make up during closure.  A work control center senior reactor operator determined that
make up during closure.  A work control center senior reactor operator determined that
an operability evaluation was not required for the condition described in WR 76625.  TheWR was classified "4D," which indicated that it should be scheduled as resources
an operability evaluation was not required for the condition described in WR 76625.  The
WR was classified 4D, which indicated that it should be scheduled as resources
allowed within the normal 16-week work planning schedule. The inspectors noted the
allowed within the normal 16-week work planning schedule. The inspectors noted the
licensee did not write a CR.  The white control power light provides indication that the
licensee did not write a CR.  The white control power light provides indication that the
breaker is functional, specifically, that:  (1) there is no electrical fault on the line or load
breaker is functional, specifically, that:  (1) there is no electrical fault on the line or load
side of the breaker, (2) the breaker "Lockout" button is not depressed on Panel 808, and(3) the breaker is fully racked into the switchgear.  On May 9, 2006, there were no
side of the breaker, (2) the breaker Lockout button is not depressed on Panel 808, and
electrical faults on Breaker NNS-ACB23 and the "Lockout" was reset on Panel 808.
(3) the breaker is fully racked into the switchgear.  On May 9, 2006, there were no
Enclosure-14-On May 22, 2006, while aligning Switchgear NNS-SWG1C and the Division III 4.16 kVESF bus to the Transformer RSS1 offsite power supply, Breaker NNS-ACB23 failed to
electrical faults on Breaker NNS-ACB23 and the Lockout was reset on Panel 808.  
close.  Operators racked the breaker out and in, but the breaker failed to close on thesecond attempt.  Subsequent troubleshooting identified that the breaker had not beenfully racked in as electricians were able to rotate the racking device one additional turn.  
 
Enclosure
-14-
On May 22, 2006, while aligning Switchgear NNS-SWG1C and the Division III 4.16 kV
ESF bus to the Transformer RSS1 offsite power supply, Breaker NNS-ACB23 failed to
close.  Operators racked the breaker out and in, but the breaker failed to close on the
second attempt.  Subsequent troubleshooting identified that the breaker had not been
fully racked in as electricians were able to rotate the racking device one additional turn.  
The white light on Panel 808 came on and the breaker was successfully closed.  The
The white light on Panel 808 came on and the breaker was successfully closed.  The
operators and electricians determined that Breaker NNS-ACB23 had not been not
operators and electricians determined that Breaker NNS-ACB23 had not been not
properly racked in, wrote CR-RBS-2006-02325 and -02337 and initiated WR 77478 to
properly racked in, wrote CR-RBS-2006-02325 and -02337 and initiated WR 77478 to
investigate the problem with racking in Breaker NNS-ACB23.  On May 25, 2006, the inspectors questioned the impact that the failure of the breaker toclose had on the licensee's compliance with TS.  Specifically, TS 3.8.1.a requires two
investigate the problem with racking in Breaker NNS-ACB23.   
On May 25, 2006, the inspectors questioned the impact that the failure of the breaker to
close had on the licensees compliance with TS.  Specifically, TS 3.8.1.a requires two
qualified circuits between the offsite transmission network and the onsite Class 1E ac
qualified circuits between the offsite transmission network and the onsite Class 1E ac
electrical power distribution system when the plant is in Modes 1, 2, and 3.  On May 12,the plant was taken from Mode 4 to Mode 2 without two qualified offsite power sources
electrical power distribution system when the plant is in Modes 1, 2, and 3.  On May 12,
available to the Division III 4.16 kV ESF bus.  The licensee wrote CR-RBS-2006-2402and determined that they did not comply with TS 3.8.1.a when they changed modes onMay 12.  In addition, the Division III 4.16 kV ESF bus was inoperable for a period of10 days (May 12-22), which exceeded the allowed outage time of 72 hours specified in
the plant was taken from Mode 4 to Mode 2 without two qualified offsite power sources
available to the Division III 4.16 kV ESF bus.  The licensee wrote CR-RBS-2006-2402
and determined that they did not comply with TS 3.8.1.a when they changed modes on
May 12.  In addition, the Division III 4.16 kV ESF bus was inoperable for a period of
10 days (May 12-22), which exceeded the allowed outage time of 72 hours specified in
TS Condition 3.8.1.A.  The licensee also discovered that, on May 14 during the conduct
TS Condition 3.8.1.A.  The licensee also discovered that, on May 14 during the conduct
of maintenance on the Division I EDG, with Breaker NNS-ACB23 unable to be closed,
of maintenance on the Division I EDG, with Breaker NNS-ACB23 unable to be closed,
they unknowingly entered TS Condition 3.8.1.d.  TS Condition 3.8.1.d states that with"One required offsite circuit inoperable AND on required [E]DG inoperable," restore the
they unknowingly entered TS Condition 3.8.1.d.  TS Condition 3.8.1.d states that with
One required offsite circuit inoperable AND on required [E]DG inoperable, restore the
EDG or the offsite power supply to an operable status in 12 hours or place the plant in
EDG or the offsite power supply to an operable status in 12 hours or place the plant in
Mode 3 within the next 12 hours.  The Division I EDG was inoperable for 15 hours and
Mode 3 within the next 12 hours.  The Division I EDG was inoperable for 15 hours and
15 minutes.The inspectors found that the licensee's procedures did not require Breaker NNS-ACB23 to be cycled to verify proper operation after it was racked in on April 29. Procedure OSP-0022, "Operations General Administrative Guidelines," Revision 01,
15 minutes.
step 4.5.5, required that breakers be functionally tested "following any activity involving
The inspectors found that the licensees procedures did not require Breaker NNS-
safety related equipment which requires the breaker to be racked out." Because
ACB23 to be cycled to verify proper operation after it was racked in on April 29.  
Procedure OSP-0022, Operations General Administrative Guidelines, Revision 01,
step 4.5.5, required that breakers be functionally tested following any activity involving
safety related equipment which requires the breaker to be racked out.  Because
Breaker NNS-ACB23 is not classified as a safety-related breaker, it was not required to
Breaker NNS-ACB23 is not classified as a safety-related breaker, it was not required to
be functionally tested after it was racked in on April 29. Analysis:  The performance deficiency associated with this finding involved the failure ofoperators to identify that Breaker NNS-ACB23 was not functional on April 29, 2006.  Thefinding was more than minor because it was associated with the mitigating systemcornerstone attribute of configuration control and affected the associated cornerstone
be functionally tested after it was racked in on April 29.  
objective to ensure the availability, reliability, and capability of systems that res
Analysis:  The performance deficiency associated with this finding involved the failure of
pond toinitiating events to prevent undesirable consequences.  The Phase 1 worksheets in
operators to identify that Breaker NNS-ACB23 was not functional on April 29, 2006.  The
finding was more than minor because it was associated with the mitigating system
cornerstone attribute of configuration control and affected the associated cornerstone
objective to ensure the availability, reliability, and capability of systems that respond to
initiating events to prevent undesirable consequences.  The Phase 1 worksheets in
Manual Chapter (MC) 0609, "Significance Determination Process," were used to
Manual Chapter (MC) 0609, "Significance Determination Process," were used to
conclude that a Phase 2 analysis was required because both the mitigating systems andthe containment barrier cornerstones were affected.  In accordance with NRC Inspection Manual Chapter 0609, Appendix A, Attachment 1,"User Guidance for Determining the Significance of Reactor Inspection Findings for
conclude that a Phase 2 analysis was required because both the mitigating systems and
At-Power Situations," the inspectors estimated the risk of the subject finding using the  
the containment barrier cornerstones were affected.   
Enclosure-15-Risk-Informed Inspection Notebook for River Bend Station, Revision 2.  The inspectorsassumed that Division III power was available, but degraded, while Breaker NNS-ACB23was not properly installed for the 10 days that the plant was in Mode 3 or above, fromMay 12-22, 2006.  Therefore, the exposure window used was 3-30 days.  No operator
In accordance with NRC Inspection Manual Chapter 0609, Appendix A, Attachment 1,
"User Guidance for Determining the Significance of Reactor Inspection Findings for
At-Power Situations," the inspectors estimated the risk of the subject finding using the
 
Enclosure
-15-
Risk-Informed Inspection Notebook for River Bend Station, Revision 2.  The inspectors
assumed that Division III power was available, but degraded, while Breaker NNS-ACB23
was not properly installed for the 10 days that the plant was in Mode 3 or above, from
May 12-22, 2006.  Therefore, the exposure window used was 3-30 days.  No operator
recovery was credited because on two occasions, operators had proven incapable of
recovery was credited because on two occasions, operators had proven incapable of
properly positioning the breaker, ultimately requiring maintenance technicians to
properly positioning the breaker, ultimately requiring maintenance technicians to
properly install the breaker.  Using Manual Chapter 0609, Appendix A, Attachment 2,
properly install the breaker.  Using Manual Chapter 0609, Appendix A, Attachment 2,
Rule 2.1, "Inspection Finding that Degrades Mitigation Capability and Does Not ReduceRemaining Mitigation Capability Credit to a Value Less Than Full Mitigation Credit," theinspectors determined that all sequences containing the functions that would be affectedby a loss of Division III power, including the Division I standby service water loop(HPCS, LPI, CHR, HPCS/LC, and REC/SSW), should be quantified, giving full mitigationcapability credit to each of these functions.  Because the performance deficiencyaffected the electric power system, Table 2 of the risk-informed notebook required thatall worksheets be evaluated.  The resulting dominant sequences are provided in Table 1
Rule 2.1, Inspection Finding that Degrades Mitigation Capability and Does Not Reduce
below:Table 1Phase 2 Worksheet ResultsInitiatorSequenceIELMitigating FunctionsResultTNSW53SSW - REC/SSW7*43RCIC - HPCS - DEP9*LOOP13CHR - LDEP823CHR - SPCFAN8
Remaining Mitigation Capability Credit to a Value Less Than Full Mitigation Credit, the
43RCIC - HPCS - DEP9*63EAC1&2 - HPCS - REC6 - FPW 9*83EAC1&2 - HPCS - SBODG - REC4 9*
inspectors determined that all sequences containing the functions that would be affected
93EAC1&2 - REC1 - HPCS -RCIC9*SORV13CHR-LDEP823CHR - SPCFAN943RCIC - HPCS - DEP9*LOIA24CHR - SPCFAN814CHR-LDEP9TPCS42RCIC - HPCS - DEP8ATWS16CHR9    * Denotes sequences indicated as LERF contributors in the Phase 2 notebook.By application of the counting rule, the internal event risk contribution of this finding tothe change in core damage frequency (CDF) was determined to be of low to moderaterisk significance (WHITE).A senior reactor analyst performed further evaluation of the risk associated with thisissue (Phase 3/Modified Phase 2).  Because the assumptions made during the Phase 2
by a loss of Division III power, including the Division I standby service water loop
(HPCS, LPI, CHR, HPCS/LC, and REC/SSW), should be quantified, giving full mitigation
capability credit to each of these functions.  Because the performance deficiency
affected the electric power system, Table 2 of the risk-informed notebook required that
all worksheets be evaluated.  The resulting dominant sequences are provided in Table 1
below:
Table 1
Phase 2 Worksheet Results
Initiator
Sequence
IEL
Mitigating Functions
Result
TNSW
5
3
SSW - REC/SSW
7*
4
3
RCIC - HPCS - DEP
9*
LOOP
1
3
CHR - LDEP
8
2
3
CHR - SPCFAN
8
4
3
RCIC - HPCS - DEP
9*
6
3
EAC1&2 - HPCS - REC6 - FPW  
9*
8
3
EAC1&2 - HPCS - SBODG - REC4  
9*
9
3
EAC1&2 - REC1 - HPCS -RCIC
9*
SORV
1
3
CHR-LDEP
8
2
3
CHR - SPCFAN
9
4
3
RCIC - HPCS - DEP
9*
LOIA
2
4
CHR - SPCFAN
8
1
4
CHR-LDEP
9
TPCS
4
2
RCIC - HPCS - DEP
8
ATWS
1
6
CHR
9
    * Denotes sequences indicated as LERF contributors in the Phase 2 notebook.
By application of the counting rule, the internal event risk contribution of this finding to
the change in core damage frequency (CDF) was determined to be of low to moderate
risk significance (WHITE).
A senior reactor analyst performed further evaluation of the risk associated with this
issue (Phase 3/Modified Phase 2).  Because the assumptions made during the Phase 2
estimation process were overly conservative and did not completely represent the actual
estimation process were overly conservative and did not completely represent the actual
exposure time nor the actual affect the performance deficiency had on the availability ofpower to the Division III diesel generator, the senior reactor analyst modified these  
exposure time nor the actual affect the performance deficiency had on the availability of
Enclosure-16-assumptions to more precisely quantify the change in risk.  Specifically, the exposuretime was 10 days as opposed to the 30 days used in the risk-informed notebook.  
power to the Division III diesel generator, the senior reactor analyst modified these
 
Enclosure
-16-
assumptions to more precisely quantify the change in risk.  Specifically, the exposure
time was 10 days as opposed to the 30 days used in the risk-informed notebook.  
Additionally, the Phase 2 evaluation included loss of offsite power initiating events that
Additionally, the Phase 2 evaluation included loss of offsite power initiating events that
were not affected by the performance deficiency because offsite power to Division III
were not affected by the performance deficiency because offsite power to Division III
would in all likelihood be lost during a design basis loss of offsite power.  The senior
would in all likelihood be lost during a design basis loss of offsite power.  The senior
reactor analyst performed a modified Phase 2 estimation and determined that the
reactor analyst performed a modified Phase 2 estimation and determined that the
internal event risk contribution of the subject finding to the CDF was of very low risksignificance (Green).  The best estimate value of this probability (CDFINTERNAL) wascalculated by the senior reactor analyst to be 1.2 x 10
internal event risk contribution of the subject finding to the CDF was of very low risk
-7.  The analyst evaluated thecontribution of external initiating events to the risk and calculated a bounding risk
significance (Green).  The best estimate value of this probability (CDFINTERNAL) was
estimate of 2.9 x 10
calculated by the senior reactor analyst to be 1.2 x 10-7.  The analyst evaluated the
-7 as the CDF for internal fire events.Using Manual Chapter 0609, Appendix H, "Containment Integrity SignificanceDetermination Process," the analyst estimated that the potential risk contribution fromlarge early release frequency was 6.6 x 10
contribution of external initiating events to the risk and calculated a bounding risk
-8.Given the independence of each initiating event, the analyst determined that the bestestimate of the total risk related to the subject performance deficiency was the
estimate of 2.9 x 10-7 as the CDF for internal fire events.
summation of the CDF calculated for both internal and external initiators.  Therefore,the best estimate was 4.1 x 10
Using Manual Chapter 0609, Appendix H, Containment Integrity Significance
-7.  The change in risk related to large early releasefrequency was determined to be below 6.6 x 10
Determination Process, the analyst estimated that the potential risk contribution from
-8, corroborating that the finding was ofvery low risk significance.  The performance deficiency resulted in a finding that was of
large early release frequency was 6.6 x 10-8.
Given the independence of each initiating event, the analyst determined that the best
estimate of the total risk related to the subject performance deficiency was the
summation of the CDF calculated for both internal and external initiators.  Therefore,
the best estimate was 4.1 x 10-7.  The change in risk related to large early release
frequency was determined to be below 6.6 x 10-8, corroborating that the finding was of
very low risk significance.  The performance deficiency resulted in a finding that was of
very low risk significance (Green).  The cause of the finding was related to the
very low risk significance (Green).  The cause of the finding was related to the
crosscutting aspect of problem identification and resolution in that operators failed toidentify that Breaker NNS-ACB23 was not properly racked in.  Enforcement:  10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, inpart, that measures be established to assure that conditions adverse to quality are
crosscutting aspect of problem identification and resolution in that operators failed to
identify that Breaker NNS-ACB23 was not properly racked in.   
Enforcement:  10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in
part, that measures be established to assure that conditions adverse to quality are
promptly identified and corrected.  Contrary to this, from April 29 to May 22, 2006, the
promptly identified and corrected.  Contrary to this, from April 29 to May 22, 2006, the
licensee failed to identify that Breaker NNS-ACB23, which supplied one of the two
licensee failed to identify that Breaker NNS-ACB23, which supplied one of the two
required offsite power supplies to the Division III 4.16 kV ESF bus, was not properlyracked in to Switchgear NNS-SWGIC.  The root cause involved the licensee's lack of
required offsite power supplies to the Division III 4.16 kV ESF bus, was not properly
racked in to Switchgear NNS-SWGIC.  The root cause involved the licensees lack of
understanding that Breaker NNS-ACB23 was required to be functional to meet
understanding that Breaker NNS-ACB23 was required to be functional to meet
TS 3.8.1.a requirements for two offsite power circuits to the Division III 4.16 kV ESFbus.  The corrective actions to restore compliance included:  (1) changes to operations
TS 3.8.1.a requirements for two offsite power circuits to the Division III 4.16 kV ESF
bus.  The corrective actions to restore compliance included:  (1) changes to operations
section procedures to verify the white control power light, when applicable, after a circuit
section procedures to verify the white control power light, when applicable, after a circuit
breaker is racked in, (2) expansion of the requirement to functionally test safety-related
breaker is racked in, (2) expansion of the requirement to functionally test safety-related
breakers to the nonsafety-related breakers in the TS required offsite power circuits, and
breakers to the nonsafety-related breakers in the TS required offsite power circuits, and
(3) operator lessons learned training on the event and all of its ramifications.  Because
(3) operator lessons learned training on the event and all of its ramifications.  Because
the finding was of very low safety significance and has been entered into the licensee's
the finding was of very low safety significance and has been entered into the licensees
CAP as CR-RBS-2006-02402, this violation is being treated as an NCV consistent with
CAP as CR-RBS-2006-02402, this violation is being treated as an NCV consistent with
Section VI.A of the Enforcement Policy:  NCV 05000458/2006003-01, "Failure to identify
Section VI.A of the Enforcement Policy:  NCV 05000458/2006003-01, Failure to identify
Division III ESF bus supply breaker not racked in."
Division III ESF bus supply breaker not racked in.
Enclosure-17-1R19Postmaintenance Testing     a.Inspection ScopeFor the five postmaintenance test activities of risk significant systems or componentslisted below, the inspectors:  (1) reviewed the applicable licensing basis and/or design-
 
Enclosure
-17-
1R19
Postmaintenance Testing
    a.
Inspection Scope
For the five postmaintenance test activities of risk significant systems or components
listed below, the inspectors:  (1) reviewed the applicable licensing basis and/or design-
basis documents to determine the safety functions; (2) evaluated the safety functions
basis documents to determine the safety functions; (2) evaluated the safety functions
that may have been affected by the maintenance activity; and (3) reviewed the test
that may have been affected by the maintenance activity; and (3) reviewed the test
Line 335: Line 956:
affected.  The inspectors either witnessed or reviewed test data to verify that
affected.  The inspectors either witnessed or reviewed test data to verify that
acceptance criteria were met, plant impacts were evaluated, test equipment was
acceptance criteria were met, plant impacts were evaluated, test equipment was
calibrated, procedures were followed, jumpers were properly controlled, the test dataresults were complete and accurate, the test equipment was remo
calibrated, procedures were followed, jumpers were properly controlled, the test data
ved, the system wasproperly re-aligned, and deficiencies during testing were documented.  The inspectors
results were complete and accurate, the test equipment was removed, the system was
properly re-aligned, and deficiencies during testing were documented.  The inspectors
also reviewed the CAP to determine if the licensee identified and corrected problems
also reviewed the CAP to determine if the licensee identified and corrected problems
related to postmaintenance testing. *Work Order (WO) 50370422, Division II battery cell post seal replacement,reviewed during the week of May 8, 2006*WO 87721, replace control Rods 40-37, 44-41, and 48-25 and 12-25 individualscram test switches, reviewed May 19, 2006*WO 69816, low pressure core spray keep fill pump discharge check valve, E21-VF033 replacement, reviewed during the week of June 19, 2006*WO 85194, signature testing on high pressure core spray room unit coolerservice water outlet valve, SWP-MOV74B, reviewed during the week of June 19,
related to postmaintenance testing.  
2006*WO 90342, Division II EDG generator output Breaker ENS-SWG1B-ACB027charging springs failed to charge during tagout restoration, reviewed on June 23,
*
2006The inspectors completed five inspection samples.     g.FindingsNo findings of significance were identified.1R20Refueling and Other Outage Activities     a.Inspection ScopeThe inspectors reviewed the following risk important refueling outage activities to verifydefense in depth commensurate with the outage risk control plan and compliance with
Work Order (WO) 50370422, Division II battery cell post seal replacement,
reviewed during the week of May 8, 2006
*
WO 87721, replace control Rods 40-37, 44-41, and 48-25 and 12-25 individual
scram test switches, reviewed May 19, 2006
*
WO 69816, low pressure core spray keep fill pump discharge check valve, E21-
VF033 replacement, reviewed during the week of June 19, 2006
*
WO 85194, signature testing on high pressure core spray room unit cooler
service water outlet valve, SWP-MOV74B, reviewed during the week of June 19,
2006
*
WO 90342, Division II EDG generator output Breaker ENS-SWG1B-ACB027
charging springs failed to charge during tagout restoration, reviewed on June 23,
2006
The inspectors completed five inspection samples.
    g.
Findings
No findings of significance were identified.
1R20
Refueling and Other Outage Activities
    a.
Inspection Scope
The inspectors reviewed the following risk important refueling outage activities to verify
defense in depth commensurate with the outage risk control plan and compliance with
the TS during RFO-13 from April 23 to May 12, 2006:  (1) the risk control plan;
the TS during RFO-13 from April 23 to May 12, 2006:  (1) the risk control plan;
(2) tagging/clearance activities; (3) reactor coolant system instrumentation; (4) electrical  
(2) tagging/clearance activities; (3) reactor coolant system instrumentation; (4) electrical
Enclosure-18-power; (5) decay heat removal; (6) spent fuel pool cooling; (7) inventory control;(8) reactivity control; (9) containment closure; (10) reduced inventory conditions;
 
Enclosure
-18-
power; (5) decay heat removal; (6) spent fuel pool cooling; (7) inventory control;
(8) reactivity control; (9) containment closure; (10) reduced inventory conditions;
(11) refueling activities; (12) heatup and cooldown activities; (13) restart activities; and
(11) refueling activities; (12) heatup and cooldown activities; (13) restart activities; and
(14) licensee identification and implementation of appropriate corrective actions
(14) licensee identification and implementation of appropriate corrective actions
Line 349: Line 1,000:
observations of the containment sump for damage and debris, and supports, braces,
observations of the containment sump for damage and debris, and supports, braces,
and snubbers for evidence of excessive stress, water hammer, or aging.  Specific
and snubbers for evidence of excessive stress, water hammer, or aging.  Specific
outage activities observed and reviewed included:*Outage risk assessment team (ORAT) report to onsite safety review committee*Reactor shutdown, cooldown, and vessel disassembly
outage activities observed and reviewed included:
*Refueling operations, fuel sipping, and off loaded fuel inspections
*
*Daily/shiftly shutdown operations protection plan assessments
Outage risk assessment team (ORAT) report to onsite safety review committee
*Shutdown postscram report to onsite safety review committee
*
*Reactor recirculation pump trip logic modification installation and testing
Reactor shutdown, cooldown, and vessel disassembly
*Main steam line local leak rate testing
*
*Transformer RSS1 offsite power line equipment inspection and upgrade
Refueling operations, fuel sipping, and off loaded fuel inspections
*Division II to Division I protected division swap
*
*Infrequently performed test or evolution briefings for:- Divisional loss of offsite power/loss of coolant accident testing
Daily/shiftly shutdown operations protection plan assessments
*
Shutdown postscram report to onsite safety review committee
*
Reactor recirculation pump trip logic modification installation and testing
*
Main steam line local leak rate testing
*
Transformer RSS1 offsite power line equipment inspection and upgrade
*
Division II to Division I protected division swap
*
Infrequently performed test or evolution briefings for:
- Divisional loss of offsite power/loss of coolant accident testing
- Concurrent control rod mechanism and blade changeout
- Concurrent control rod mechanism and blade changeout
- Reactor vessel pressure test and scram time testing
- Reactor vessel pressure test and scram time testing
- Reactor startup, heatup, and power ascension
- Reactor startup, heatup, and power ascension
- Onsite safety review committee meeting to recommend startup
- Onsite safety review committee meeting to recommend startup
- Drywell 900 psi walkdown (after shutdown and during startup)Documents reviewed by the inspectors are listed in the attachment.
- Drywell 900 psi walkdown (after shutdown and during startup)
The inspectors completed one inspection sample.     b.FindingsIntroduction:  An NRC identified NCV of 10 CFR 50.65, "Maintenance Rule,"Section (a)(4) was identified for the failure of the licensee to provide prescribed
Documents reviewed by the inspectors are listed in the attachment.
The inspectors completed one inspection sample.
    b.
Findings
Introduction:  An NRC identified NCV of 10 CFR 50.65, Maintenance Rule,
Section (a)(4) was identified for the failure of the licensee to provide prescribed
compensatory measures for the highest shutdown risk condition during RFO-13.  
compensatory measures for the highest shutdown risk condition during RFO-13.  
Specifically, the preoutage risk assessment recommended that two WOs be in place for
Specifically, the preoutage risk assessment recommended that two WOs be in place for
maintenance electricians to provide power to one spent fuel pool cooling pump in the
maintenance electricians to provide power to one spent fuel pool cooling pump in the
event of problems with the running pump during periods of safety-related electrical bus
event of problems with the running pump during periods of safety-related electrical bus
maintenance.  The inspectors found that the WOs were not in place before enteringshutdown risk condition Orange on April 26, 2006, during the Division II ESF bus testing,
maintenance.  The inspectors found that the WOs were not in place before entering
and on May 3, 2006, during the Division I ESF bus outage.Description:  The inspectors observed the onsite safety review committee meeting todiscuss and approve the ORAT report for RFO-13.  The report noted two Orange
shutdown risk condition Orange on April 26, 2006, during the Division II ESF bus testing,
and on May 3, 2006, during the Division I ESF bus outage.
Description:  The inspectors observed the onsite safety review committee meeting to
discuss and approve the ORAT report for RFO-13.  The report noted two Orange
shutdown risk conditions for spent fuel pool cooling (SFC).  Only one SFC pump would
shutdown risk conditions for spent fuel pool cooling (SFC).  Only one SFC pump would
be available after the beginning of core offload:  (1) during the Division II ESF bus
be available after the beginning of core offload:  (1) during the Division II ESF bus
testing with the SFC-P1B breaker racked out, and (2) during the Division I ESF bus
testing with the SFC-P1B breaker racked out, and (2) during the Division I ESF bus
outage when SFC-P1A was without power.  As a result of the ORAT review of  
outage when SFC-P1A was without power.  As a result of the ORAT review of
Enclosure-19-Procedure AOP-0051, "Loss of Decay Heat Removal," Revision 17, they recommendedthat the planned maintenance optimization group develop WOs for maintenanceelectricians to provide alternate power from the station blackout diesel generator to the
 
deenergized SFC pump in the event of a failure of the running pump.In addition, Procedure OSP-0037, "Shutdown Operations Protection Plan," Revision 16,Section 4.7, "Fuel Pool Cooling," required that:  (1) if work was required on SFC during
Enclosure
the outage, then it should be done as early as possible in the outage and not after fueloffload (when heat load is the highest); and (2) if work was required after fuel offload,
-19-
then a contingency plan shall be in place prior to removing t
Procedure AOP-0051, Loss of Decay Heat Removal, Revision 17, they recommended
he system from service. The inspectors determined that this requirement applied to deenergizing an SFC pump
that the planned maintenance optimization group develop WOs for maintenance
for electrical bus maintenance.On May 3, 2006, during the Division I ESF bus outage, the inspectors asked theoperations shift manager if the required WO was available to provide alternate power to
electricians to provide alternate power from the station blackout diesel generator to the
SFC-P1A in the event that the running SFC-P1B failed.  He stated that he assumed thatthe WO was written and that he would check.  The inspectors then requested a copy of
deenergized SFC pump in the event of a failure of the running pump.
In addition, Procedure OSP-0037, Shutdown Operations Protection Plan, Revision 16,
Section 4.7, Fuel Pool Cooling, required that:  (1) if work was required on SFC during
the outage, then it should be done as early as possible in the outage and not after fuel
offload (when heat load is the highest); and (2) if work was required after fuel offload,
then a contingency plan shall be in place prior to removing the system from service.  
The inspectors determined that this requirement applied to deenergizing an SFC pump
for electrical bus maintenance.
On May 3, 2006, during the Division I ESF bus outage, the inspectors asked the
operations shift manager if the required WO was available to provide alternate power to
SFC-P1A in the event that the running SFC-P1B failed.  He stated that he assumed that
the WO was written and that he would check.  The inspectors then requested a copy of
the WO and a senior work planner reported that the WO was not available since it was
the WO and a senior work planner reported that the WO was not available since it was
not yet approved for use in the electronic work planning program.  Following discussions
not yet approved for use in the electronic work planning program.  Following discussions
with operators in the work management center, the licensee immediately took actions toensure that both WOs were processed and made ready for use.The inspectors reviewed AOP-0051, Attachment 1, "Spent Fuel Pool Curves," anddetermined that the approximate "time to boil" for the spent fuel pool at that time withoffload fuel in the pool was approximately 8 hours.  Based on that data and the time
with operators in the work management center, the licensee immediately took actions to
needed to generate the WOs, the inspectors determined that there was adequate timefor the licensee to connect an alternate power supply to the SFC pumps before the
ensure that both WOs were processed and made ready for use.
spent fuel pool water started to boil if there was a failure of the running pump.Analysis:  The performance deficiency associated with this finding involved the failure toestablish prescribed compensatory measures for the highest outage risk condition
The inspectors reviewed AOP-0051, Attachment 1, Spent Fuel Pool Curves, and
determined that the approximate time to boil for the spent fuel pool at that time with
offload fuel in the pool was approximately 8 hours.  Based on that data and the time
needed to generate the WOs, the inspectors determined that there was adequate time
for the licensee to connect an alternate power supply to the SFC pumps before the
spent fuel pool water started to boil if there was a failure of the running pump.
Analysis:  The performance deficiency associated with this finding involved the failure to
establish prescribed compensatory measures for the highest outage risk condition
during RFO-13 as required by the shutdown operations protection plan.  The finding was
during RFO-13 as required by the shutdown operations protection plan.  The finding was
more than minor because the licensee failed to implement prescribed compensatory
more than minor because the licensee failed to implement prescribed compensatory
measures and failed to effectively manage those measures.  The finding affected the
measures and failed to effectively manage those measures.  The finding affected the
mitigating system cornerstone because of the increased risk of a sustained loss of SFCduring core offloading operations.  The finding could not be evaluated using the
mitigating system cornerstone because of the increased risk of a sustained loss of SFC
during core offloading operations.  The finding could not be evaluated using the
significance determination process; therefore, the finding was reviewed by regional
significance determination process; therefore, the finding was reviewed by regional
management and determined to be of very low safety significance.  Factors that were
management and determined to be of very low safety significance.  Factors that were
Line 395: Line 1,086:
the task of providing alternate power to an SFC pump, (2) the necessary equipment was
the task of providing alternate power to an SFC pump, (2) the necessary equipment was
staged as part of the abnormal operating procedure for loss of decay heat removal, and
staged as part of the abnormal operating procedure for loss of decay heat removal, and
(3) the relatively long "time to boil" of the spent fuel storage pool at that time during the
(3) the relatively long time to boil of the spent fuel storage pool at that time during the
refueling outage.  The cause of the finding was related to the cro
refueling outage.  The cause of the finding was related to the crosscutting aspect of
sscutti ng aspect ofhuman performance because the licensee's planned maintenance activities and the
human performance because the licensees planned maintenance activities and the
predetermined increase in outage risk was not effectively managed by prescribed
predetermined increase in outage risk was not effectively managed by prescribed
compensatory measures.  
compensatory measures.
Enclosure-20-Enforcement:  10 CFR 50.65(a)(4) requires, in part, that before performing maintenanceactivities, the licensee shall assess and manage the increase in risk that may result from
 
Enclosure
-20-
Enforcement:  10 CFR 50.65(a)(4) requires, in part, that before performing maintenance
activities, the licensee shall assess and manage the increase in risk that may result from
the proposed maintenance activities.  Contrary to this, the licensee failed to properly
the proposed maintenance activities.  Contrary to this, the licensee failed to properly
manage the highest outage risk condition of RFO-13.  On April 26, 2006, the plant
manage the highest outage risk condition of RFO-13.  On April 26, 2006, the plant
Line 408: Line 1,103:
deenergized for a Division I ESF bus outage.  WOs were not written and ready for use
deenergized for a Division I ESF bus outage.  WOs were not written and ready for use
to have electricians provide alternate power to an SFC pump in the event the running
to have electricians provide alternate power to an SFC pump in the event the running
pump failed.  The root cause involved the failure of the licensee to ensure that the WOwas in place before the plant entered the Orange shutdown risk condition.  Corrective
pump failed.  The root cause involved the failure of the licensee to ensure that the WO
was in place before the plant entered the Orange shutdown risk condition.  Corrective
action was taken to process the WOs for immediate use.  Because the finding was of
action was taken to process the WOs for immediate use.  Because the finding was of
very low safety significance and was entered into the licensee's CAP as CR-RBS-2006-
very low safety significance and was entered into the licensees CAP as CR-RBS-2006-
01937, this violation is being treated as an NCV consistent with Section VI.A of the
01937, this violation is being treated as an NCV consistent with Section VI.A of the
Enforcement Policy:  NCV 05000458/2006003-02, "Failure to adequately manage an
Enforcement Policy:  NCV 05000458/2006003-02, "Failure to adequately manage an
increase in plant risk." 1R22Surveillance Testing     a.Inspection ScopeThe inspectors reviewed the USAR, procedure requirements, and TS to ensure that thesix surveillance activities listed below demonstrated that the SSCs tested were capable
increase in plant risk."  
1R22
Surveillance Testing
    a.
Inspection Scope
The inspectors reviewed the USAR, procedure requirements, and TS to ensure that the
six surveillance activities listed below demonstrated that the SSCs tested were capable
of performing their intended safety functions.  The inspectors either witnessed or
of performing their intended safety functions.  The inspectors either witnessed or
reviewed test data to verify that the following significant surveillance test attributes were
reviewed test data to verify that the following significant surveillance test attributes were
adequate:  (1) preconditioning; (2) evaluation of testing impact on the plant;
adequate:  (1) preconditioning; (2) evaluation of testing impact on the plant;
(3) acceptance criteria; (4) test equipment; (5) procedures; (6) jumper/lifted lead
(3) acceptance criteria; (4) test equipment; (5) procedures; (6) jumper/lifted lead
controls; (7) test data; (8) testing frequency and method demonstrated TS operability;(9) test equipment removal; (10) restoration of plant systems; (11) fulfillment of ASMECode requirements; (12) updating of performance indicator (PI) data; (13) engineering
controls; (7) test data; (8) testing frequency and method demonstrated TS operability;
(9) test equipment removal; (10) restoration of plant systems; (11) fulfillment of ASME
Code requirements; (12) updating of performance indicator (PI) data; (13) engineering
evaluations, root causes, and bases for returning tested SSCs not meeting the test
evaluations, root causes, and bases for returning tested SSCs not meeting the test
acceptance criteria were correct; (14) reference setting data; and (15) annunciator and
acceptance criteria were correct; (14) reference setting data; and (15) annunciator and
alarm setpoints.  The inspectors also verified that the licensee identified and
alarm setpoints.  The inspectors also verified that the licensee identified and
implemented any needed corrective actions associated with the surveillance testing. *STP-208-3601, "'A' Main Steam Line MSIV's and Outboard Drain Valve LeakRate Test and Inboard MSIV Inleakage Test," Revision 6, performed on May 2,
implemented any needed corrective actions associated with the surveillance testing.  
2006*STP-305-1606, "[Division I Battery] ENB-BAT1A Service Discharge Test,"Revision 17, performed on May 6, 2006*STP-050-3601, "Shutdown Margin Demonstration," Revision 27, performed onMay 12, 2006*STP-000-0102, "Power Distribution Alignment Check," Revision 5, performed onMay 14 and 15, 2006  
*
Enclosure-21-*STP-508-4543, "Turbine First Stage Pressure Channel Functional Test,"Revision 7, performed on June 4, 2006*Reactor coolant sample using Procedures COP-0001, "Sampling via VariousBalance-Of-Plant Systems," Attachment 8, "Reactor Sample Panel Routine
STP-208-3601, "A Main Steam Line MSIVs and Outboard Drain Valve Leak
Sample Points," Revision 14, and COP-0305, "Operation of the Countroom
Rate Test and Inboard MSIV Inleakage Test," Revision 6, performed on May 2,
Analysis Systems," Revision 2, performed on June 15, 2006Documents reviewed by the inspectors are listed in the attachment.
2006
The inspectors completed six inspection samples.     h.FindingsIntroduction:  The inspectors identified an NCV of TS 5.4.1.a for the failure of thelicensee to provide an adequate surveillance test procedure to perform TS SurveillanceRequirement (SR) 3.8.1.1.  Specifically, STP-000-0102, "Power Distribution AlignmentCheck," Revision 4, did not include steps to verify the required offsite power circuit
*
breaker alignment and indicated power availability for the Division III 4.16 kV ESF bus as required in Modes 1, 2, and 3. Description:  As discussed in Section 1R15 of this report, operators failed to properlyrack in Breaker NNS-ACB23 on April 29, 2006.  This condition was discovered on
STP-305-1606, [Division I Battery] ENB-BAT1A Service Discharge Test,
Revision 17, performed on May 6, 2006
*
STP-050-3601, Shutdown Margin Demonstration, Revision 27, performed on
May 12, 2006
*
STP-000-0102, Power Distribution Alignment Check, Revision 5, performed on
May 14 and 15, 2006
 
Enclosure
-21-
*
STP-508-4543, Turbine First Stage Pressure Channel Functional Test,
Revision 7, performed on June 4, 2006
*
Reactor coolant sample using Procedures COP-0001, Sampling via Various
Balance-Of-Plant Systems, Attachment 8, Reactor Sample Panel Routine
Sample Points, Revision 14, and COP-0305, Operation of the Countroom
Analysis Systems, Revision 2, performed on June 15, 2006
Documents reviewed by the inspectors are listed in the attachment.
The inspectors completed six inspection samples.
    h.
Findings
Introduction:  The inspectors identified an NCV of TS 5.4.1.a for the failure of the
licensee to provide an adequate surveillance test procedure to perform TS Surveillance
Requirement (SR) 3.8.1.1.  Specifically, STP-000-0102, Power Distribution Alignment
Check, Revision 4, did not include steps to verify the required offsite power circuit
breaker alignment and indicated power availability for the Division III 4.16 kV ESF bus  
as required in Modes 1, 2, and 3.  
Description:  As discussed in Section 1R15 of this report, operators failed to properly
rack in Breaker NNS-ACB23 on April 29, 2006.  This condition was discovered on
May 22, when the breaker failed to close.  During this period, on May 14, 2006, the
May 22, when the breaker failed to close.  During this period, on May 14, 2006, the
Division I EDG was removed from service to replace a leaking section of jacket cooling
Division I EDG was removed from service to replace a leaking section of jacket cooling
water vent tubing.  With the Division I EDG removed from service, TS Required
water vent tubing.  With the Division I EDG removed from service, TS Required
Action 3.8.1.a.1 required that operators perform TS SR 3.8.1.1 within one hour andonce every 8 hours until the EDG was operable.  TS SR 3.8.1.1 required operators toverify the correct breaker alignment and indicated power for each required offsite power
Action 3.8.1.a.1 required that operators perform TS SR 3.8.1.1 within one hour and
circuit.  Operators utilized Procedure STP-000-0102, "Power Distribution AlignmentCheck," Revision 4, to satisfy the requirements of TS SR 3.8.1.1; however, the
once every 8 hours until the EDG was operable.  TS SR 3.8.1.1 required operators to
verify the correct breaker alignment and indicated power for each required offsite power
circuit.  Operators utilized Procedure STP-000-0102, Power Distribution Alignment
Check, Revision 4, to satisfy the requirements of TS SR 3.8.1.1; however, the
inspectors identified that the procedure did not have steps to verify the correct breaker
inspectors identified that the procedure did not have steps to verify the correct breaker
alignment and indicated power availability to the Division III 4.16 kV ESF bus.  As aresult, the operators did not identify that Breaker NNS-ACB23 was not racked in.  During the period that the Division I EDG was removed from service, the plant wasactually in TS Condition 3.8.1.d.  TS Condition 3.8.1.d states that with "One requiredoffsite circuit inoperable AND one required [E]DG inoperable," restore the EDG or the
alignment and indicated power availability to the Division III 4.16 kV ESF bus.  As a
result, the operators did not identify that Breaker NNS-ACB23 was not racked in.   
During the period that the Division I EDG was removed from service, the plant was
actually in TS Condition 3.8.1.d.  TS Condition 3.8.1.d states that with One required
offsite circuit inoperable AND one required [E]DG inoperable, restore the EDG or the
offsite power supply to an operable status in 12 hours or place the plant in Mode 3 within
offsite power supply to an operable status in 12 hours or place the plant in Mode 3 within
the next 12 hours.  The Division I EDG was inoperable for 15 hours and 15 minutes.Procedure STP-000-0102, Section 1.1, states, in part, that its purpose is to verify thecorrect breaker alignment and indicated power availability for each required offsitepower circuit in accordance with TS SR 3.8.1.1 in Modes 1, 2, and 3.  TS 3.8.1 basesdefines an offsite power circuit as follows:  "Each offsite circuit consists of incoming
the next 12 hours.  The Division I EDG was inoperable for 15 hours and 15 minutes.
Procedure STP-000-0102, Section 1.1, states, in part, that its purpose is to verify the
correct breaker alignment and indicated power availability for each required offsite
power circuit in accordance with TS SR 3.8.1.1 in Modes 1, 2, and 3.  TS 3.8.1 bases
defines an offsite power circuit as follows:  Each offsite circuit consists of incoming
breakers and disconnects to the respective preferred station service Transformers 1C
breakers and disconnects to the respective preferred station service Transformers 1C
and 1D [RSS1 and RSS2], the 1C and 1D preferred station service transformers, and
and 1D [RSS1 and RSS2], the 1C and 1D preferred station service transformers, and
the respective circuit path including feeder breakers to the three 4.16 kV ESF buses.
the respective circuit path including feeder breakers to the three 4.16 kV ESF buses.  
Enclosure-22-NNS-ACB23 is one of the circuit breakers between preferred station serviceTransformer RTX-XSR1C and the Division III 4.16 kV ESF bus.Analysis:  The performance deficiency associated with this finding involved thelicensee's failure to provide operators with an adequate STP to meet the requirements
 
of TS SR 3.8.1.1 to verify correct breaker alignment and indicated power availability tothe Division III ESF bus for each required offsite circuit.  A review of previous revisionsof STP-000-0102 showed that the procedure has never verified the required offsite
Enclosure
power circuits for the Division III 4.16 kV ESF bus in Modes 1, 2, and 3.  Although thisperformance deficiency caused the failure to verify the offsite power circuit for an
-22-
NNS-ACB23 is one of the circuit breakers between preferred station service
Transformer RTX-XSR1C and the Division III 4.16 kV ESF bus.
Analysis:  The performance deficiency associated with this finding involved the
licensees failure to provide operators with an adequate STP to meet the requirements
of TS SR 3.8.1.1 to verify correct breaker alignment and indicated power availability to
the Division III ESF bus for each required offsite circuit.  A review of previous revisions
of STP-000-0102 showed that the procedure has never verified the required offsite
power circuits for the Division III 4.16 kV ESF bus in Modes 1, 2, and 3.  Although this
performance deficiency caused the failure to verify the offsite power circuit for an
extended period of time, the risk impact was limited to the 10 days from May 12-22,
extended period of time, the risk impact was limited to the 10 days from May 12-22,
2006.  Therefore, the risk characterization of this finding is the same as that described in
2006.  Therefore, the risk characterization of this finding is the same as that described in
Line 449: Line 1,203:
crosscutting aspect of human performance because the licensee did not provide the
crosscutting aspect of human performance because the licensee did not provide the
operators with an adequate STP to complete the TS SR to verify the required offsite
operators with an adequate STP to complete the TS SR to verify the required offsite
power circuits' breaker alignment to all three 4.16 kV ESF buses.  Additionally, the
power circuits breaker alignment to all three 4.16 kV ESF buses.  Additionally, the
cause of the finding was related to the cr
cause of the finding was related to the crosscutting aspect of problem identification and
osscutting aspect of problem identification andresolution in that on two occasions, June 18, 2005, and May 22, 2006, operatorsentered TS Condition 3.8.1.a for one inoperable offsite power circuit to the Division III
resolution in that on two occasions, June 18, 2005, and May 22, 2006, operators
entered TS Condition 3.8.1.a for one inoperable offsite power circuit to the Division III
4.16 kV ESF bus and performed STP-000-0102 to meet the Required Action to perform
4.16 kV ESF bus and performed STP-000-0102 to meet the Required Action to perform
SR 3.8.1.1, but did not recognize that STP-000-0102 did not verify the other offsitepower circuit breaker alignment to the Division III 4.16 kV ESF bus.Enforcement:  TS 5.4.1.a requires that written procedures be established, implemented,and maintained covering the activities specified in Appendix A, "Typical Procedures for
SR 3.8.1.1, but did not recognize that STP-000-0102 did not verify the other offsite
Pressurized Water Reactors and Boiling Water Reactors," of Regulatory Guide 1.33,"Quality Assurance Program Requirements (Operation)," dated February 1978.  
power circuit breaker alignment to the Division III 4.16 kV ESF bus.
Regulatory Guide 1.33, Appendix A, Section 8.a, requires procedures for all TS SRs. Procedure STP-000-0102 states that it verified the correct breaker alignment and power
Enforcement:  TS 5.4.1.a requires that written procedures be established, implemented,
availability for each required offsite circuit in accordance with TS SR 3.8.1.1 in Modes 1,2, and 3.  Contrary to this, Procedure STP-000-0102, Revision 4, did not require
and maintained covering the activities specified in Appendix A, "Typical Procedures for
Pressurized Water Reactors and Boiling Water Reactors," of Regulatory Guide 1.33,
"Quality Assurance Program Requirements (Operation)," dated February 1978.  
Regulatory Guide 1.33, Appendix A, Section 8.a, requires procedures for all TS SRs.  
Procedure STP-000-0102 states that it verified the correct breaker alignment and power
availability for each required offsite circuit in accordance with TS SR 3.8.1.1 in Modes 1,
2, and 3.  Contrary to this, Procedure STP-000-0102, Revision 4, did not require
verification of the correct breaker alignment for the offsite power circuits to the
verification of the correct breaker alignment for the offsite power circuits to the
Division III 4.16 kV ESF bus in Modes 1, 2, and 3.  The root cause involved the incorrectinterpretation of the Division III 4.16 kV bus SRs as they apply to the unique River BendStation ESF electrical distribution system.  The corrective actions to restore complianceincluded as an interim measure entering in the control room logs the breaker alignment
Division III 4.16 kV ESF bus in Modes 1, 2, and 3.  The root cause involved the incorrect
for and the bus voltage available to the Division III 4.16 kV ESF bus, until STP-000-0102could be revised.  Because the finding was of very low safety significance and has been
interpretation of the Division III 4.16 kV bus SRs as they apply to the unique River Bend
entered into the licensee's CAP as CR-RBS-2006-02675 and -02402, this violation is
Station ESF electrical distribution system.  The corrective actions to restore compliance
included as an interim measure entering in the control room logs the breaker alignment
for and the bus voltage available to the Division III 4.16 kV ESF bus, until STP-000-0102
could be revised.  Because the finding was of very low safety significance and has been
entered into the licensees CAP as CR-RBS-2006-02675 and -02402, this violation is
being treated as an NCV consistent with Section VI.A of the Enforcement Policy:  NCV
being treated as an NCV consistent with Section VI.A of the Enforcement Policy:  NCV
05000458/2006003-03, "Inadequate procedure to verify required offsite power breaker
05000458/2006003-03, Inadequate procedure to verify required offsite power breaker
alignment."
alignment.
Enclosure-23-1R23Temporary Plant Modifications     a.Inspection ScopeThe inspectors reviewed the USAR, plant drawings, procedure requirements, and TS toensure that Temporary Alteration 2006-0011, Off Gas Pretreatment Radiation MonitorSample Chamber Drain Line Modification, was properly implemented.  The inspectors:  
 
(1) verified that the modification did not have an affe
Enclosure
ct on system operability/availability;(2) verified that the installation was consistent with modification documents; (3) ensured
-23-
1R23
Temporary Plant Modifications
    a.
Inspection Scope
The inspectors reviewed the USAR, plant drawings, procedure requirements, and TS to
ensure that Temporary Alteration 2006-0011, Off Gas Pretreatment Radiation Monitor
Sample Chamber Drain Line Modification, was properly implemented.  The inspectors:  
(1) verified that the modification did not have an affect on system operability/availability;
(2) verified that the installation was consistent with modification documents; (3) ensured
that the postinstallation test results were satisfactory and that the impact of the
that the postinstallation test results were satisfactory and that the impact of the
temporary modification on the operation of the pretreatment radiation monitor weresupported by the test; (4) verified that the modification was identified on control roomdrawings and that appropriate identification tags were placed on the affected drawings;and (5) verified that appropriate safety evaluations were completed.  The inspectors
temporary modification on the operation of the pretreatment radiation monitor were
supported by the test; (4) verified that the modification was identified on control room
drawings and that appropriate identification tags were placed on the affected drawings;
and (5) verified that appropriate safety evaluations were completed.  The inspectors
verified that the licensee identified and implemented any needed corrective actions
verified that the licensee identified and implemented any needed corrective actions
associated with temporary modifications.The inspectors completed one inspection sample.   b.FindingsNo findings of significance were identified.
associated with temporary modifications.
Cornerstone:  Emergency Preparedness1EP6Drill Evaluation     a.Inspection ScopeOn June 20, 2006, the inspectors observed the full scope exercise dress rehearsal,which was used to contribute to "Drill/Exercise Performance" and "Emergency ResponseOrganization Drill Performance" PI.  The inspectors:  (1) observed the training evolutionto identify any weaknesses and deficiencies in classification, notification, and protective
The inspectors completed one inspection sample.
    b.
Findings
No findings of significance were identified.
Cornerstone:  Emergency Preparedness
1EP6 Drill Evaluation
    a.
Inspection Scope
On June 20, 2006, the inspectors observed the full scope exercise dress rehearsal,
which was used to contribute to Drill/Exercise Performance and Emergency Response
Organization Drill Performance PI.  The inspectors:  (1) observed the training evolution
to identify any weaknesses and deficiencies in classification, notification, and protective
action requirements development activities; (2) compared the identified weaknesses and
action requirements development activities; (2) compared the identified weaknesses and
deficiencies against licensee identified findings to determine whether the licensee was
deficiencies against licensee identified findings to determine whether the licensee was
properly identifying failures; and (3) determined whether licensee performance was in
properly identifying failures; and (3) determined whether licensee performance was in
accordance with the guidance of the NEI 99-02, "Voluntary Submission of Performance
accordance with the guidance of the NEI 99-02, "Voluntary Submission of Performance
Indicator Data," Revision 2, acceptance criteria.  The scenario used was RDRL-EP-0602, Tornado/Loss of Offsite Power/Main Steam Line Break, dated June 16, 2006.Emergency [plan] implementing procedures reviewed by the inspectors included:
Indicator Data," Revision 2, acceptance criteria.  The scenario used was RDRL-EP-
*EIP-2-001, "Classification of Emergencies," Revision 13*EIP-2-006, "Notifications," Revision 32
0602, Tornado/Loss of Offsite Power/Main Steam Line Break, dated June 16, 2006.
*EIP-2-007, "Protective Action Guidelines Recommendations," Revision 21The inspectors completed one inspection sample.  
Emergency [plan] implementing procedures reviewed by the inspectors included:
Enclosure-24-     b.FindingsNo findings of significance were identified.2.RADIATION SAFETYCornerstone:  Occupational Radiation Safety2OS1Access Control to Radiologically Significant Areas     a.Inspection ScopeThis area was inspected to assess the licensee's performance in implementing physicaland administrative controls for airborne radioactivity areas, radiation areas, high
*
EIP-2-001, Classification of Emergencies, Revision 13
*
EIP-2-006, Notifications, Revision 32
*
EIP-2-007, Protective Action Guidelines Recommendations, Revision 21
The inspectors completed one inspection sample.
 
Enclosure
-24-
    b.
Findings
No findings of significance were identified.
2.
RADIATION SAFETY
Cornerstone:  Occupational Radiation Safety
2OS1 Access Control to Radiologically Significant Areas
    a.
Inspection Scope
This area was inspected to assess the licensees performance in implementing physical
and administrative controls for airborne radioactivity areas, radiation areas, high
radiation areas, and worker adherence to these controls.  The inspector used the
radiation areas, and worker adherence to these controls.  The inspector used the
requirements in 10 CFR Part 20, TS, and the licensee's procedures required by TS as
requirements in 10 CFR Part 20, TS, and the licensees procedures required by TS as
criteria for determining compliance.  During the inspection, the inspector interviewed the
criteria for determining compliance.  During the inspection, the inspector interviewed the
radiation protection manager, radiation protection supervisors, and radiation workers.  
radiation protection manager, radiation protection supervisors, and radiation workers.  
The inspector performed independent radiation dose rate measurements and reviewed
The inspector performed independent radiation dose rate measurements and reviewed
the following items:*PI events and associated documentation packages reported by the licensee inthe occupational radiation safety cornerstone*Controls (surveys, posting, and barricades) of three radiation, high radiation, orairborne radioactivity areas*Radiation work permits, procedures, engineering controls, and air samplerlocations *Conformation of electronic personal dosimeter alarm setpoints with surveyindications and plant policy; workers' knowledge of required actions when their
the following items:
electronic personnel dosimeter noticeably malfunctions or alarms*Barrier integrity and performance of engineering controls in airborne radioactivityareas*Adequacy of the licensee's internal dose assessment for any actual internalexposure greater than 50 millirem committed effective dose equivalent*Physical and programmatic controls for highly activated or contaminatedmaterials (nonfuel) stored within spent fuel and other storage pools.  *Self-assessments, audits, licensee event reports (LER), and special reportsrelated to the access control program since the last inspection *Corrective action documents related to access controls
*
Enclosure-25-*Licensee actions in cases of repetitive deficiencies or significant individualdeficiencies *Radiation work permit briefings and worker instructions  
PI events and associated documentation packages reported by the licensee in
*Adequacy of radiological controls, such as required surveys, radiation protectionjob coverage, and contamination controls during job performance  *Dosimetry placement in high radiation work areas with significant dose rategradients *Changes in licensee procedural controls of high dose rate - high radiation areasand very high radiation areas*Controls for special areas that have the potential to become very high radiationareas during certain plant operations*Posting and locking of entrances to all accessible high dose rate - high radiationareas and very high radiation areas *Radiation worker and radiation protection technician performance with respect toradiation protection work requirements The inspector completed 21 of the required 21 samples.     b.Findings   1.Unguarded High Radiation Area BoundaryIntroduction:  The inspector reviewed a self-revealing NCV of TS 5.7.1, resulting fromthe licensee's failure to control access to a high radiation area.  The finding had very low
the occupational radiation safety cornerstone
safety significance.Description: On April 6, 2006, the licensee transferred reverse osmosis system filtersfrom one elevation of the radwaste building to another.  Because dose rates on the filter
*
barrels were as high as 600 millirem per hour, the licensee assigned personnel to guardthe elevator entrances to prevent workers from entering high radiation areas.  On this
Controls (surveys, posting, and barricades) of three radiation, high radiation, or
airborne radioactivity areas
*
Radiation work permits, procedures, engineering controls, and air sampler
locations
*
Conformation of electronic personal dosimeter alarm setpoints with survey
indications and plant policy; workers knowledge of required actions when their
electronic personnel dosimeter noticeably malfunctions or alarms
*
Barrier integrity and performance of engineering controls in airborne radioactivity
areas
*
Adequacy of the licensees internal dose assessment for any actual internal
exposure greater than 50 millirem committed effective dose equivalent
*
Physical and programmatic controls for highly activated or contaminated
materials (nonfuel) stored within spent fuel and other storage pools.   
*
Self-assessments, audits, licensee event reports (LER), and special reports
related to the access control program since the last inspection  
*
Corrective action documents related to access controls  
 
Enclosure
-25-
*
Licensee actions in cases of repetitive deficiencies or significant individual
deficiencies  
*
Radiation work permit briefings and worker instructions  
*
Adequacy of radiological controls, such as required surveys, radiation protection
job coverage, and contamination controls during job performance   
*
Dosimetry placement in high radiation work areas with significant dose rate
gradients
*
Changes in licensee procedural controls of high dose rate - high radiation areas
and very high radiation areas
*
Controls for special areas that have the potential to become very high radiation
areas during certain plant operations
*
Posting and locking of entrances to all accessible high dose rate - high radiation
areas and very high radiation areas  
*
Radiation worker and radiation protection technician performance with respect to
radiation protection work requirements  
The inspector completed 21 of the required 21 samples.
    b.
Findings
    1.
Unguarded High Radiation Area Boundary
Introduction:  The inspector reviewed a self-revealing NCV of TS 5.7.1, resulting from
the licensees failure to control access to a high radiation area.  The finding had very low
safety significance.
Description: On April 6, 2006, the licensee transferred reverse osmosis system filters
from one elevation of the radwaste building to another.  Because dose rates on the filter
barrels were as high as 600 millirem per hour, the licensee assigned personnel to guard
the elevator entrances to prevent workers from entering high radiation areas.  On this
occasion, the guards were not using radios, as was a common practice.  Because of the
occasion, the guards were not using radios, as was a common practice.  Because of the
lack of good communication, a guard prematurely left his post in front of the 123-foot
lack of good communication, a guard prematurely left his post in front of the 123-foot
elevation elevator door.  Coincidently, two workers attempted to board the elevator on
elevation elevator door.  Coincidently, two workers attempted to board the elevator on
the 123-foot elevation after the guard had left.  The elevator carrying the barrels ofradioactive filters stopped at the 123-foot elevation, the doors opened, and theelectronic dosimeters of the workers alarmed because of the high dose rates.  The
the 123-foot elevation after the guard had left.  The elevator carrying the barrels of
radioactive filters stopped at the 123-foot elevation, the doors opened, and the
electronic dosimeters of the workers alarmed because of the high dose rates.  The
guard returned and evacuated the workers before they accrued additional radiation
guard returned and evacuated the workers before they accrued additional radiation
dose.  The highest dose rate recorded by an electronic alarming dosimeter was 164
dose.  The highest dose rate recorded by an electronic alarming dosimeter was 164
millirem per hour.  Planned corrective action was still being evaluated by the licensee atthe conclusion of the inspection.  
millirem per hour.  Planned corrective action was still being evaluated by the licensee at
Enclosure-26-Analysis: The failure to control access to a high radiation area was a performancedeficiency.  The significance of the finding was greater than minor because it was
the conclusion of the inspection.
 
Enclosure
-26-
Analysis: The failure to control access to a high radiation area was a performance
deficiency.  The significance of the finding was greater than minor because it was
associated with the occupational radiation safety attribute of exposure control and
associated with the occupational radiation safety attribute of exposure control and
affected the cornerstone objective, in that not controlling access to a high radiation areacould increase personal exposure.  Using the Occupational Radiation Safety
affected the cornerstone objective, in that not controlling access to a high radiation area
Significance Determination Process, the inspector determined that the finding was ofvery low safety significance because it did not involve:  (1) an as low as is reasonably
could increase personal exposure.  Using the Occupational Radiation Safety
achievable (ALARA) finding, (2) an overexposure, (3) a substantial potential foroverexposure, or (4) an impaired ability to assess dose.  Additionally, this finding hadcrosscutting aspects associated with human performance in that the failure of the
Significance Determination Process, the inspector determined that the finding was of
individual to guard the elevator door directly contributed to the violation.Enforcement:  TS 5.7.1 requires each high radiation area, as defined in 10 CFR Part 20,in which the intensity of radiation is greater than 100 millirems per hour but less than1000 millirems per hour, be barricaded and conspicuously posted as a high radiationarea and entrance thereto shall be controlled by requiring issuance of a radiation work
very low safety significance because it did not involve:  (1) an as low as is reasonably
achievable (ALARA) finding, (2) an overexposure, (3) a substantial potential for
overexposure, or (4) an impaired ability to assess dose.  Additionally, this finding had
crosscutting aspects associated with human performance in that the failure of the
individual to guard the elevator door directly contributed to the violation.
Enforcement:  TS 5.7.1 requires each high radiation area, as defined in 10 CFR Part 20,
in which the intensity of radiation is greater than 100 millirems per hour but less than
1000 millirems per hour, be barricaded and conspicuously posted as a high radiation
area and entrance thereto shall be controlled by requiring issuance of a radiation work
permit.  The licensee violated TS 5.7.1 when it failed to barricade and conspicuously
permit.  The licensee violated TS 5.7.1 when it failed to barricade and conspicuously
post the elevator housing the radioactive filter barrels or maintain a guard to ensure
post the elevator housing the radioactive filter barrels or maintain a guard to ensure
workers did not enter a high radiation area.  Because this failure to control a high
workers did not enter a high radiation area.  Because this failure to control a high
radiation area was of very low safety significance and has been entered into the
radiation area was of very low safety significance and has been entered into the
licensee's CAP as CR-RBS-2006-01294, this violation is being treated as an NCV,
licensees CAP as CR-RBS-2006-01294, this violation is being treated as an NCV,
consistent with Section VI.A of the NRC Enforcement Policy:  
consistent with Section VI.A of the NRC Enforcement Policy:  
NCV 05000458/2006003-04, "Failure to control access to a high radiation area."    2.Unanalyzed Airborne Radioactivity SurveyIntroduction:  The inspector identified an NCV of 10 CFR 20.1501(a) because thelicensee failed to survey airborne radioactivity.  The finding had very low significance.Description:  On May 2, 2006, during the removal of local power range monitors, thelicensee started collecting an air sample of the work area.  The air sample spanned two
NCV 05000458/2006003-04, Failure to control access to a high radiation area.
    2.
Unanalyzed Airborne Radioactivity Survey
Introduction:  The inspector identified an NCV of 10 CFR 20.1501(a) because the
licensee failed to survey airborne radioactivity.  The finding had very low significance.
Description:  On May 2, 2006, during the removal of local power range monitors, the
licensee started collecting an air sample of the work area.  The air sample spanned two
shifts.  A health physics technician on the second shift discarded the sample because
shifts.  A health physics technician on the second shift discarded the sample because
the first shift had not documented a start time.  Therefore, the sample was never
the first shift had not documented a start time.  Therefore, the sample was never
analyzed.  However, all workers successfully passed through the portal monitors at the
analyzed.  However, all workers successfully passed through the portal monitors at the
exit of the controlled access area without alarm, confirming that no worker experienced
exit of the controlled access area without alarm, confirming that no worker experienced
an uptake of radioactive material.  Planned corrective action is still being evaluated.Analysis:  The failure to survey airborne radioactivity was a performance deficiency. This finding was greater than minor because it was associated with the occupational
an uptake of radioactive material.  Planned corrective action is still being evaluated.
Analysis:  The failure to survey airborne radioactivity was a performance deficiency.  
This finding was greater than minor because it was associated with the occupational
radiation safety program attribute of exposure control and affected the cornerstone
radiation safety program attribute of exposure control and affected the cornerstone
objective in that the lack of knowledge of radiological conditions could increase
objective in that the lack of knowledge of radiological conditions could increase
Line 521: Line 1,412:
Process, the inspector determined that the finding was of very low safety significance
Process, the inspector determined that the finding was of very low safety significance
because it did not involve:  (1) an ALARA finding, (2) an overexposure, (3) a substantial
because it did not involve:  (1) an ALARA finding, (2) an overexposure, (3) a substantial
potential for overexposure, or (4) an impaired ability to assess dose.  Additionally, thisfinding had crosscutting aspects associated with human performance in that the failureto maintain the sample for analysis directly contributed to the violation.  
potential for overexposure, or (4) an impaired ability to assess dose.  Additionally, this
Enclosure-27-Enforcement:  10 CFR 20.1501(a) requires that each licensee make or cause to bemade surveys that may be necessary for the licensee to comply with the regulations in
finding had crosscutting aspects associated with human performance in that the failure
10 CFR Part 20 and that are reasonable under the circumstances to evaluate the extentof radiation levels, concentrations or quantities of radioactive materials, and the potential
to maintain the sample for analysis directly contributed to the violation.
radiological hazards that could be present.  Pursuant to 10 CFR 20.1003, a "survey"
 
Enclosure
-27-
Enforcement:  10 CFR 20.1501(a) requires that each licensee make or cause to be
made surveys that may be necessary for the licensee to comply with the regulations in
10 CFR Part 20 and that are reasonable under the circumstances to evaluate the extent
of radiation levels, concentrations or quantities of radioactive materials, and the potential
radiological hazards that could be present.  Pursuant to 10 CFR 20.1003, a survey
means an evaluation of the radiological conditions and potential hazards incident to the
means an evaluation of the radiological conditions and potential hazards incident to the
production, use, transfer, release, disposal, or presence of radioactive material or other
production, use, transfer, release, disposal, or presence of radioactive material or other
sources of radiation.  In part, 10 CFR 20.1201(a) states that the licensee shall controlthe occupational dose to individual adults.  The licensee violated 10 CFR 20.1501(a)
sources of radiation.  In part, 10 CFR 20.1201(a) states that the licensee shall control
the occupational dose to individual adults.  The licensee violated 10 CFR 20.1501(a)
when it failed to perform an evaluation of airborne radioactivity to ensure compliance
when it failed to perform an evaluation of airborne radioactivity to ensure compliance
with 10 CFR 20.1201(a).  Because this failure to perform a radiological survey was of
with 10 CFR 20.1201(a).  Because this failure to perform a radiological survey was of
very low safety significance and has been entered into the licensee's CAP as
very low safety significance and has been entered into the licensees CAP as
CR-RBS-2006-01994, this violation is being treated as an NCV, consistent with
CR-RBS-2006-01994, this violation is being treated as an NCV, consistent with
Section VI.A of the NRC Enforcement Policy:  NCV 05000458/2006003-05, "Failure toperform airborne radiation survey."2OS2ALARA Planning and Controls     a.Inspection ScopeThe inspector assessed licensee performance with respect to maintaining individual andcollective radiation exposures ALARA.  The inspector used the requirements in 10 CFR
Section VI.A of the NRC Enforcement Policy:  NCV 05000458/2006003-05, Failure to
Part 20 and the licensee's procedures required by TS as criteria for determining
perform airborne radiation survey.
compliance.  The inspector interviewed licensee personnel and reviewed:*Current 3-year rolling average collective exposure  
2OS2 ALARA Planning and Controls
*Three outage or on-line maintenance work activities scheduled during theinspection period and associated work activity exposure estimates which were
    a.
likely to result in the highest personnel collective exposures *ALARA work activity evaluations, exposure estimates, and exposure mitigationrequirements*Intended versus actual work activity doses and the reasons for anyinconsistencies *Shielding requests and dose/benefit analyses
Inspection Scope
*Dose rate reduction activities in work planning  
The inspector assessed licensee performance with respect to maintaining individual and
*Use of engineering controls to achieve dose reductions and dose reductionbenefits afforded by shielding *Workers use of the low dose waiting areas
collective radiation exposures ALARA.  The inspector used the requirements in 10 CFR
*First-line job supervisors' contribution to ensuring work activities are conductedin a dose efficient manner
Part 20 and the licensees procedures required by TS as criteria for determining
Enclosure-28-*Radiation worker and radiation protection technician performance during workactivities in radiation areas, airborne radioactivity areas, or high radiation areas The inspector completed 6 of the required 15 samples and 4 of the optional samples.      b.FindingsNo findings of significance were identified.4.OTHER ACTIVITIES
compliance.  The inspector interviewed licensee personnel and reviewed:
4OA1Performance Indicator Verification     a.Inspection Scope   1.Barrier Integrity CornerstoneThe inspectors sampled licensee submittals for the two PIs listed below for the periodOctober 1, 2004, through March 31, 2006.  The definitions and guidance of NEI 99-02,
*
"Regulatory Assessment Indicator Guideline," Revision 4, were used to verify the
Current 3-year rolling average collective exposure  
licensee's basis for reporting each data element in order to verify the accuracy of PI
*
Three outage or on-line maintenance work activities scheduled during the
inspection period and associated work activity exposure estimates which were
likely to result in the highest personnel collective exposures  
*
ALARA work activity evaluations, exposure estimates, and exposure mitigation
requirements
*
Intended versus actual work activity doses and the reasons for any
inconsistencies
*
Shielding requests and dose/benefit analyses
*
Dose rate reduction activities in work planning  
*
Use of engineering controls to achieve dose reductions and dose reduction
benefits afforded by shielding  
*
Workers use of the low dose waiting areas
*
First-line job supervisors contribution to ensuring work activities are conducted
in a dose efficient manner  
 
Enclosure
-28-
*
Radiation worker and radiation protection technician performance during work
activities in radiation areas, airborne radioactivity areas, or high radiation areas  
The inspector completed 6 of the required 15 samples and 4 of the optional samples.  
     b.
Findings
No findings of significance were identified.
4.
OTHER ACTIVITIES
4OA1 Performance Indicator Verification
    a.
Inspection Scope
    1.
Barrier Integrity Cornerstone
The inspectors sampled licensee submittals for the two PIs listed below for the period
October 1, 2004, through March 31, 2006.  The definitions and guidance of NEI 99-02,
Regulatory Assessment Indicator Guideline, Revision 4, were used to verify the
licensees basis for reporting each data element in order to verify the accuracy of PI
data reported during the assessment period.  The inspectors:  (1) reviewed reactor
data reported during the assessment period.  The inspectors:  (1) reviewed reactor
coolant system (RCS) chemistry sample analyses for dose equivalent Iodine-131 andcompared the results to the TS limit; (2) observed a chemistry technician obtain and
coolant system (RCS) chemistry sample analyses for dose equivalent Iodine-131 and
analyze an RCS sample; (3) reviewed operating logs and surveillance results formeasurements of RCS identified leakage; and (4) observed a surveillance test thatdetermined RCS identified leakage.RCS Specific ActivityRCS LeakageThe inspectors completed two inspection samples.   2.Occupational Radiation Safety CornerstoneThe review included corrective action documentation that identified occurrences inlocked high radiation areas (as defined in the licensee's TS), very high radiation areas
compared the results to the TS limit; (2) observed a chemistry technician obtain and
analyze an RCS sample; (3) reviewed operating logs and surveillance results for
measurements of RCS identified leakage; and (4) observed a surveillance test that
determined RCS identified leakage.
C
RCS Specific Activity
C
RCS Leakage
The inspectors completed two inspection samples.
    2.
Occupational Radiation Safety Cornerstone
The review included corrective action documentation that identified occurrences in
locked high radiation areas (as defined in the licensees TS), very high radiation areas
(as defined in 10 CFR 20.1003), and unplanned personnel exposures (as defined in
(as defined in 10 CFR 20.1003), and unplanned personnel exposures (as defined in
NEI 99-02), specifically CR-RBS-2006-01910.  Additional records reviewed included
NEI 99-02), specifically CR-RBS-2006-01910.  Additional records reviewed included
ALARA records and whole-body counts of selected individual exposures.  The inspector
ALARA records and whole-body counts of selected individual exposures.  The inspector
interviewed licensee personnel that were accountable for collecting and evaluating the
interviewed licensee personnel that were accountable for collecting and evaluating the
PI data.  In addition, the inspector toured plant areas to verify that high radiation, lockedhigh radiation, and very high radiation areas were properly controlled.  PI definitions and
PI data.  In addition, the inspector toured plant areas to verify that high radiation, locked
high radiation, and very high radiation areas were properly controlled.  PI definitions and
guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"
guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"
Revision 3, were used to verify the basis in reporting for each data element.  
Revision 3, were used to verify the basis in reporting for each data element.
Enclosure-29-*Occupational Exposure Control EffectivenessThe inspector completed the one required sample in this cornerstone.   3.Public Radiation Safety CornerstoneThe inspector reviewed licensee documents from June 1, 2005, through March 31,2006. Licensee records reviewed included corrective action documentation that
 
Enclosure
-29-
*
Occupational Exposure Control Effectiveness
The inspector completed the one required sample in this cornerstone.
    3.
Public Radiation Safety Cornerstone
The inspector reviewed licensee documents from June 1, 2005, through March 31,
2006. Licensee records reviewed included corrective action documentation that
identified occurrences for liquid or gaseous effluent releases that exceeded PI
identified occurrences for liquid or gaseous effluent releases that exceeded PI
thresholds and those reported to the NRC.  The inspector interviewed licenseepersonnel that were accountable for collecting and evaluating the PI data.  PI definitionsand guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"
thresholds and those reported to the NRC.  The inspector interviewed licensee
Revision 3, were used to verify the basis in reporting for each data element.*Radiological Effluent Technical Specification/Offsite Dose Calculation Manual Radiological Effluent Occurrences The inspector completed the one required sample in this cornerstone.     f.FindingsNo findings of significance were identified.4OA2Identification and Resolution of Problems   1.Semiannual Trend Review     g.Inspection ScopeThe inspectors completed a semiannual trend review of repetitive or closely relatedissues related to identify trends that might indicate the existence of more safety
personnel that were accountable for collecting and evaluating the PI data.  PI definitions
significant issues.  The inspectors' review consisted of the 6-month period from
and guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"
Revision 3, were used to verify the basis in reporting for each data element.
*
Radiological Effluent Technical Specification/Offsite Dose Calculation Manual  
Radiological Effluent Occurrences  
The inspector completed the one required sample in this cornerstone.
    f.
Findings
No findings of significance were identified.
4OA2 Identification and Resolution of Problems
  1.
Semiannual Trend Review
    g.
Inspection Scope
The inspectors completed a semiannual trend review of repetitive or closely related
issues related to identify trends that might indicate the existence of more safety
significant issues.  The inspectors review consisted of the 6-month period from
January 1 to June 30, 2006, of CAP items associated with the three EDG starting air
January 1 to June 30, 2006, of CAP items associated with the three EDG starting air
systems documented in 42 CRs.  When warranted, some of the samples expandedbeyond those dates to fully assess the issue.  The inspectors compared and contrasted
systems documented in 42 CRs.  When warranted, some of the samples expanded
beyond those dates to fully assess the issue.  The inspectors compared and contrasted
their results with the results contained in adverse trend CRs for problems related to the
their results with the results contained in adverse trend CRs for problems related to the
starting air compressors and air dryers.  Corrective actions associated with a sample of
starting air compressors and air dryers.  Corrective actions associated with a sample of
the issues identified were reviewed for adequacy.  The CRs reviewed by the inspectors
the issues identified were reviewed for adequacy.  The CRs reviewed by the inspectors
are listed in the attachment.The inspectors completed one inspection sample.     b. Findings and ObservationsThere were no findings of significance identified associated with the CRs reviewed.
are listed in the attachment.
The inspectors noted that the licensee had identified a long-standing issue related to theperformance of the EDG starting air systems' air compressors.  Since January 1, 2006,  
The inspectors completed one inspection sample.
Enclosure-30-there were 18 CRs written for high metal wear products in monthly air compressor oilsamples.  Each of these CRs was closed to CR-RBS-2004-02165.  An additional
    b. Findings and Observations
There were no findings of significance identified associated with the CRs reviewed.
The inspectors noted that the licensee had identified a long-standing issue related to the
performance of the EDG starting air systems air compressors.  Since January 1, 2006,
 
Enclosure
-30-
there were 18 CRs written for high metal wear products in monthly air compressor oil
samples.  Each of these CRs was closed to CR-RBS-2004-02165.  An additional
28 CRs written since August 2, 2004, for high metal wear product concentrations and
28 CRs written since August 2, 2004, for high metal wear product concentrations and
high moisture content in monthly compressor oil samples were closed to CR-RBS-2004-
high moisture content in monthly compressor oil samples were closed to CR-RBS-2004-
Line 572: Line 1,560:
compressor problems, including excessive run times.  The inspectors determined that
compressor problems, including excessive run times.  The inspectors determined that
the licensee is taking appropriate actions to understand the problem with the EDG
the licensee is taking appropriate actions to understand the problem with the EDG
starting air compressors, including sending  
starting air compressors, including sending the system engineer to observe the vendors
the system engineer to observe the vendor'steardown and refurbishment of two of the starting air compressors.  Another four CRs have been written since January 1, 2006, describing problems withstarting air system dryers and dryer prefilters.  Following a June 29, 2006, meeting heldto discuss overall EDG starting air system maintenance problems, the licensee wroteCR-RBS-2006-02799, to look into the relationship between the prefilter and dryer
teardown and refurbishment of two of the starting air compressors.   
Another four CRs have been written since January 1, 2006, describing problems with
starting air system dryers and dryer prefilters.  Following a June 29, 2006, meeting held
to discuss overall EDG starting air system maintenance problems, the licensee wrote
CR-RBS-2006-02799, to look into the relationship between the prefilter and dryer
problems.  The inspectors noted that this meeting was the first discussion of the overall
problems.  The inspectors noted that this meeting was the first discussion of the overall
condition of the EDG starting air systems and to evaluate the interrelationship betweencompressor, dryer, and prefilter problems. 2.Occupational Radiation Safety     a.Inspection ScopeThe inspector evaluated the effectiveness of the licensee's problem identification andresolution process with respect to the following inspection areas:*Access Control to Radiologically Significant Areas (Section 2OS1)*ALARA Planning and Controls (Section 2OS2)     b. Findings and ObservationsNo findings of significance were identified. 3.Inservice Inspection Activities     a.Inspection ScopeThe inspector reviewed selected inservice inspection related CRs issued during thecurrent and past refueling outages.  The review served to verify that the licensee's CAP
condition of the EDG starting air systems and to evaluate the interrelationship between
was being correctly utilized to identify conditions adverse to quality and that thoseconditions were being adequately evaluated, corrected, and trended.     b.FindingsNo findings of significance were identified.  
compressor, dryer, and prefilter problems.
Enclosure-31-4OA3Event Followup   1.(Closed) LER 50-458/2004-003-01, Unplanned Automatic Start of Standby DieselGenerator Due to Loss of Division 1 Switchgear  On October 31, 2004, technicians caused an unexpected degraded voltage signal,which resulted in a loss of the Division I 4.16 kV ESF bus during preparations for the
  2.
Occupational Radiation Safety
    a.
Inspection Scope
The inspector evaluated the effectiveness of the licensees problem identification and
resolution process with respect to the following inspection areas:
*
Access Control to Radiologically Significant Areas (Section 2OS1)
*
ALARA Planning and Controls (Section 2OS2)
    b. Findings and Observations
No findings of significance were identified.
  3.
Inservice Inspection Activities
    a.
Inspection Scope
The inspector reviewed selected inservice inspection related CRs issued during the
current and past refueling outages.  The review served to verify that the licensees CAP
was being correctly utilized to identify conditions adverse to quality and that those
conditions were being adequately evaluated, corrected, and trended.
    b.
Findings
No findings of significance were identified.
 
Enclosure
-31-
4OA3 Event Followup
    1.
(Closed) LER 50-458/2004-003-01, Unplanned Automatic Start of Standby Diesel
Generator Due to Loss of Division 1 Switchgear   
On October 31, 2004, technicians caused an unexpected degraded voltage signal,
which resulted in a loss of the Division I 4.16 kV ESF bus during preparations for the
Division I loss of offsite power/loss of coolant accident test.  The Division I EDG
Division I loss of offsite power/loss of coolant accident test.  The Division I EDG
automatically started and powered the ESF bus and all equipment operated asexpected.  Initial inspection of this event was documented in NRC integrated inspection
automatically started and powered the ESF bus and all equipment operated as
expected.  Initial inspection of this event was documented in NRC integrated inspection
Report 05000458/2004005.  During this inspection period, the inspectors reviewed the
Report 05000458/2004005.  During this inspection period, the inspectors reviewed the
LER, the root cause analysis, and corrective actions documented in
LER, the root cause analysis, and corrective actions documented in
CR-RBS-2004-03518.  No additional findings of significance were identified.  This LER
CR-RBS-2004-03518.  No additional findings of significance were identified.  This LER
is closed.   2.(Closed) LER 50-458/2004-004-01, Unplanned Automatic Start of Standby DieselGenerator Due to Loss of Division 2 SwitchgearOn November 1, 2004, technicians inadvertently caused a trip of Transformer RSS2preferred station service Transformer RTX-XSR1F while troubleshooting a transformer
is closed.
    2.
(Closed) LER 50-458/2004-004-01, Unplanned Automatic Start of Standby Diesel
Generator Due to Loss of Division 2 Switchgear
On November 1, 2004, technicians inadvertently caused a trip of Transformer RSS2
preferred station service Transformer RTX-XSR1F while troubleshooting a transformer
sudden pressure relay trip circuit.  As a result, power was also lost to preferred station
sudden pressure relay trip circuit.  As a result, power was also lost to preferred station
Transformer RTX-XSR1D and the Division II 4.16 kV ESF bus.  The running shutdown
Transformer RTX-XSR1D and the Division II 4.16 kV ESF bus.  The running shutdown
cooling, alternate decay heat removal, and plant operating water cleanup systems lostpower until the Division II EDG started and restored power to the ESF bus.  Shutdown
cooling, alternate decay heat removal, and plant operating water cleanup systems lost
power until the Division II EDG started and restored power to the ESF bus.  Shutdown
cooling was restored in less than one hour.  Initial inspection of this event was
cooling was restored in less than one hour.  Initial inspection of this event was
documented in NRC integrated inspection Report 05000458/2004005.  During thisinspection period, the inspectors reviewed the LER, the root cause analysis, and
documented in NRC integrated inspection Report 05000458/2004005.  During this
inspection period, the inspectors reviewed the LER, the root cause analysis, and
corrective actions documented in CR-RBS-2004-03546.  No additional findings of
corrective actions documented in CR-RBS-2004-03546.  No additional findings of
significance were identified.  This LER is closed.   3.(Closed) LER 50-458/2004-005-01, Unplanned Automatic Scram Due to Loss ofNon-Vital 120 Volt Instrument BusOn December 10, 2004, an automatic scram occurred due to a loss of power tononsafety-related instrumentation Bus VBN-PNL01B1.  A capacitor on the control boardfor the nonsafety-related Inverter BYS-INV01B static switch failed, which caused a loss
significance were identified.  This LER is closed.
    3.
(Closed) LER 50-458/2004-005-01, Unplanned Automatic Scram Due to Loss of
Non-Vital 120 Volt Instrument Bus
On December 10, 2004, an automatic scram occurred due to a loss of power to
nonsafety-related instrumentation Bus VBN-PNL01B1.  A capacitor on the control board
for the nonsafety-related Inverter BYS-INV01B static switch failed, which caused a loss
of power to Bus VBN-PNL01B1, a subsequent downshift of the plant operating
of power to Bus VBN-PNL01B1, a subsequent downshift of the plant operating
recirculation pumps and a lockup of the main feedwater regulating valves.  The result
recirculation pumps and a lockup of the main feedwater regulating valves.  The result
was an automatic plant scram complicated by a loss of normal feedwater.  Inspection of
was an automatic plant scram complicated by a loss of normal feedwater.  Inspection of
this event was documented in NRC integrated inspection Report 05000458/2004005. Additional inspection was documented in  
this event was documented in NRC integrated inspection Report 05000458/2004005.  
NRC supplemental inspection Report05000458/2005012.  During this inspection period, the inspectors reviewed the LER, the
Additional inspection was documented in NRC supplemental inspection Report
05000458/2005012.  During this inspection period, the inspectors reviewed the LER, the
root cause analysis, and corrective actions documented in CR-RBS-2004-04289.  No
root cause analysis, and corrective actions documented in CR-RBS-2004-04289.  No
additional findings of significance were identified.  This LER is closed.  
additional findings of significance were identified.  This LER is closed.
Enclosure-32-   4.(Closed) LER 50-458 /2005-001-01, Unplanned Manual Scram Due to Indication ofGround Fault in Main GeneratorOn January 15, 2005, while the plant was at 100 percent power, a main generator fieldground fault alarm was received.  Control room operators tripped the turbine in
 
Enclosure
-32-
    4.
(Closed) LER 50-458 /2005-001-01, Unplanned Manual Scram Due to Indication of
Ground Fault in Main Generator
On January 15, 2005, while the plant was at 100 percent power, a main generator field
ground fault alarm was received.  Control room operators tripped the turbine in
accordance with alarm response Procedure ARP-680-09.  The licensee later determined
accordance with alarm response Procedure ARP-680-09.  The licensee later determined
that one of the five rectifier banks in the generator excitation control system was thesource of the ground and removed it from service.  In addition, the licensee tested the
that one of the five rectifier banks in the generator excitation control system was the
source of the ground and removed it from service.  In addition, the licensee tested the
relay that causes the main generator ground fault alarm and found it to be out of
relay that causes the main generator ground fault alarm and found it to be out of
calibration such that it alarmed before the ground current reached its setpoint.  The
calibration such that it alarmed before the ground current reached its setpoint.  The
alarm response procedure requirement to trip the turbine was revised to allow validation
alarm response procedure requirement to trip the turbine was revised to allow validation
of the alarm before tripping the main turbine.  Inspection of this event was documented
of the alarm before tripping the main turbine.  Inspection of this event was documented
in NRC integrated inspection Report 05000458/2005002.  Additional inspection wasdocumented in NRC supplemental inspection Report 05000458/2005012.  During thisinspection period, the inspectors reviewed the LER, the root cause analysis, and
in NRC integrated inspection Report 05000458/2005002.  Additional inspection was
documented in NRC supplemental inspection Report 05000458/2005012.  During this
inspection period, the inspectors reviewed the LER, the root cause analysis, and
corrective actions documented in CR-RBS-2005-00140.  No additional findings of
corrective actions documented in CR-RBS-2005-00140.  No additional findings of
significance were identified.  This LER is closed.4OA5Other ActivitiesImplementation of Temporary Instruction 2515/165 - Operational Readiness of OffsitePower and Impact on Plant Risk     a.Inspection ScopeThe objective of Temporary Instruction 2515/165, "Operational Readiness of OffsitePower and Impact on Plant Risk," was to gather information to support the assessment
significance were identified.  This LER is closed.
of nuclear power plant operational readiness of offsite power systems and impact onplant risk.  During this inspection, the inspectors interviewed licensee personnel,
4OA5 Other Activities
Implementation of Temporary Instruction 2515/165 - Operational Readiness of Offsite
Power and Impact on Plant Risk
    a.
Inspection Scope
The objective of Temporary Instruction 2515/165, "Operational Readiness of Offsite
Power and Impact on Plant Risk," was to gather information to support the assessment
of nuclear power plant operational readiness of offsite power systems and impact on
plant risk.  During this inspection, the inspectors interviewed licensee personnel,
reviewed licensee procedures, and gathered information for further evaluation by the
reviewed licensee procedures, and gathered information for further evaluation by the
Office of Nuclear Reactor Regulation.       b.FindingsNo findings of significance were identified.4OA6Meetings, Including ExitExit MeetingsOn May 5, 2006, the inspector presented the occupational radiation safety inspectionresults to Mr. D. Vinci, General Manager, Plant Operations, and other members of his
Office of Nuclear Reactor Regulation.  
    b.
Findings
No findings of significance were identified.
4OA6 Meetings, Including Exit
Exit Meetings
On May 5, 2006, the inspector presented the occupational radiation safety inspection
results to Mr. D. Vinci, General Manager, Plant Operations, and other members of his
staff who acknowledged the findings.  The inspector confirmed that proprietary
staff who acknowledged the findings.  The inspector confirmed that proprietary
information was not provided or examined during the inspection.On May 5, 2006, the inspector presented the results of this inspection of inserviceinspection activities to Mr. P. Russell, Manager, System Engineering, and other  
information was not provided or examined during the inspection.
Enclosure-33-members of licensee management.  The inspector confirmed that proprietaryinformation was not provided or examined during the inspection.On July 5, 2006, the resident inspectors presented the integrated baseline inspectionresults to Mr. P. Hinnenkamp, Vice President - Operations, and other members of
On May 5, 2006, the inspector presented the results of this inspection of inservice
inspection activities to Mr. P. Russell, Manager, System Engineering, and other
 
Enclosure
-33-
members of licensee management.  The inspector confirmed that proprietary
information was not provided or examined during the inspection.
On July 5, 2006, the resident inspectors presented the integrated baseline inspection
results to Mr. P. Hinnenkamp, Vice President - Operations, and other members of
licensee management.  The inspectors confirmed that proprietary information was not
licensee management.  The inspectors confirmed that proprietary information was not
provided or examined during the inspection.ATTACHMENT:  SUPPLEMENTAL INFORMATION  
provided or examined during the inspection.
AttachmentA-1SUPPLEMENTAL INFORMATIONKEY POINTS OF CONTACTLicensee PersonnelT. Baccus, Acting Supervisor, ALARA PlanningL. Ballard, Manager, Quality Programs
ATTACHMENT:  SUPPLEMENTAL INFORMATION
 
Attachment
A-1
SUPPLEMENTAL INFORMATION
KEY POINTS OF CONTACT
Licensee Personnel
T. Baccus, Acting Supervisor, ALARA Planning
L. Ballard, Manager, Quality Programs
D. Burnett, Superintendent, Chemistry
D. Burnett, Superintendent, Chemistry
C. Bush, Manager, Outage
C. Bush, Manager, Outage
Line 623: Line 1,702:
M. Davis, Manager, Radiation Protection
M. Davis, Manager, Radiation Protection
C. Forpahl, Manager, Corrective Action Program
C. Forpahl, Manager, Corrective Action Program
T. Gates, Manager, Equipment ReliabilityH. Goodman, Director, Engineering
T. Gates, Manager, Equipment Reliability
H. Goodman, Director, Engineering
K. Higginbotham, Assistant Operations Manager - Shift
K. Higginbotham, Assistant Operations Manager - Shift
P. Hinnenkamp, Vice President - Operations
P. Hinnenkamp, Vice President - Operations
Line 635: Line 1,715:
J. Maher, Superintendent, Reactor Engineering
J. Maher, Superintendent, Reactor Engineering
W. Mashburn, Manager, Design Engineering
W. Mashburn, Manager, Design Engineering
J. Miller, Manager, Training and DevelopmentP. Russell, Manager, System Engineering
J. Miller, Manager, Training and Development
P. Russell, Manager, System Engineering
C. Stafford, Manager, Operations
C. Stafford, Manager, Operations
D. Vinci, General Manager - Plant OperationsLIST OF ITEMS OPENED, CLOSED, AND DISCUSSEDOpened and Closed05000458/2006003-01NCVFailure to identify Division III ESF bus supply breaker notracked in05000458/2006003-02NCVFailure to adequately manage an increase in plant risk 05000458/2006003-03NCVInadequate procedure to verify required offsite powerbreaker alignment05000458/2006003-04NCVFailure to control access to a high radiation area
D. Vinci, General Manager - Plant Operations
05000458/2006003-05NCV Failure to perform airborne radiation survey  
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
AttachmentA-2Closed50-458/2004-003-01LERUnplanned Automatic Start of Standby Diesel GeneratorDue to Loss of Division 1 Switchgear50-458/2004-004-01LER Unplanned Automatic Start of Standby Diesel GeneratorDue to Loss of Division 2 Switchgear50-458/2004-005-01LERUnplanned Automatic Scram Due to Loss of Non-Vital 120Volt Instrument Bus50-458 /2005-001-01LERUnplanned Manual Scram Due to Indication of GroundFault in Main GeneratorLIST OF DOCUMENTS REVIEWEDThe following documents were selected and reviewed by the inspectors to accomplish theobjectives and scope of the inspection and to support any findings:Section 1R06:  Inservice Inspection ActivitiesProceduresCEP-NDE-0400, "Ultrasonic Examination," Revision 0CEP-NDE-0404, "Manual Ultrasonic Examination of Ferritic Piping Welds (ASME XI),"Revision 1CEP-NDE-0407, "Straight Beam Ultrasonic Examination of Bolts and Studs (ASME XI),"Revision 1CEP-NDE-0423, "Manual Ultrasonic Examination of Austenitic Piping Welds (ASME XI),"Revision 1CEP-NDE-0424, "Manual Ultrasonic Examination of the Reactor Vessel Flange Ligament Areas(ASME XI)," Revision 1CEP-NDE-0428, "Manual Ultrasonic Throughwall Sizing in Piping Welds (ASME XI)," Revision 1
Opened and Closed
CEP-NDE-0641, "Liquid Penetrant Examination for ASME Section XI," Revision 1
05000458/2006003-01
CEP-NDE-0731, "Magnetic Particle Examination (ASME Section XI)," Revision 0
NCV
SPP-7010, "Preparation of Weld Data Documents," Revision 9  
Failure to identify Division III ESF bus supply breaker not
AttachmentMiscellaneous Documents7228.000-701-131A, "Risk Informed Break Exclusion Region Evaluation for River BendStation," Revision 0Liquid Penetrant ExaminationsBOP-PT-06-024BOP-PT-06-025BOP-PT-06-026BOP-PT-06-029UT Calibration ReportsCAL -06-015CAL -06-016CAL-06-017UT Pipe Weld ExaminationsISI-UT-06-003ISI-UT-06-006ISI-UT-06-009ISI-UT-06-012ISI-UT-06-004ISI-UT-06-007ISI-UT-06-010ISI-UT-06-013
racked in
ISI-UT-06-005ISI-UT-06-008ISI-UT-06-011ISI-UT-06-014Condition ReportsCR-RBS-2005-00065CR-RBS-2005-00067CR-RBS-2005-00100CR-RBS-2005-01379Section 1R15:  Operability EvaluationsPrimary Containment Purge Exhaust Line OperabilityCR-RBS-2006-00964, primary containment purge exhaust line leak rate test results showingnegative trendADM-0050, "Primary Containment Leakage Rate Testing Program," Revision 8
05000458/2006003-02
SEP-APJ-001, "Primary containment Leakage Rate Testing (Appendix J) Program,"Revision 0GSTP-403-7301, "Containment Purge System Isolation Valve Leak Rate Test," Revisions 0, 1, 2, and 3RBS-ER-00-0589, "Post RF-09 LLRT Testing Interval Determination," dated January 25, 2001
NCV
Failure to adequately manage an increase in plant risk  
05000458/2006003-03
NCV
Inadequate procedure to verify required offsite power
breaker alignment
05000458/2006003-04
NCV
Failure to control access to a high radiation area
05000458/2006003-05
NCV
Failure to perform airborne radiation survey
 
Attachment
A-2
Closed
50-458/2004-003-01
LER
Unplanned Automatic Start of Standby Diesel Generator
Due to Loss of Division 1 Switchgear
50-458/2004-004-01
LER
Unplanned Automatic Start of Standby Diesel Generator
Due to Loss of Division 2 Switchgear
50-458/2004-005-01
LER
Unplanned Automatic Scram Due to Loss of Non-Vital 120
Volt Instrument Bus
50-458 /2005-001-01
LER
Unplanned Manual Scram Due to Indication of Ground
Fault in Main Generator
LIST OF DOCUMENTS REVIEWED
The following documents were selected and reviewed by the inspectors to accomplish the
objectives and scope of the inspection and to support any findings:
Section 1R06:  Inservice Inspection Activities
Procedures
CEP-NDE-0400, Ultrasonic Examination, Revision 0
CEP-NDE-0404, Manual Ultrasonic Examination of Ferritic Piping Welds (ASME XI),
Revision 1
CEP-NDE-0407, Straight Beam Ultrasonic Examination of Bolts and Studs (ASME XI),
Revision 1
CEP-NDE-0423, Manual Ultrasonic Examination of Austenitic Piping Welds (ASME XI),
Revision 1
CEP-NDE-0424, Manual Ultrasonic Examination of the Reactor Vessel Flange Ligament Areas
(ASME XI), Revision 1
CEP-NDE-0428, Manual Ultrasonic Throughwall Sizing in Piping Welds (ASME XI), Revision 1
CEP-NDE-0641, Liquid Penetrant Examination for ASME Section XI, Revision 1
CEP-NDE-0731, Magnetic Particle Examination (ASME Section XI), Revision 0
SPP-7010, Preparation of Weld Data Documents, Revision 9
 
Attachment
Miscellaneous Documents
7228.000-701-131A, Risk Informed Break Exclusion Region Evaluation for River Bend
Station, Revision 0
Liquid Penetrant Examinations
BOP-PT-06-024
BOP-PT-06-025
BOP-PT-06-026
BOP-PT-06-029
UT Calibration Reports
CAL -06-015
CAL -06-016
CAL-06-017
UT Pipe Weld Examinations
ISI-UT-06-003
ISI-UT-06-006
ISI-UT-06-009
ISI-UT-06-012
ISI-UT-06-004
ISI-UT-06-007
ISI-UT-06-010
ISI-UT-06-013
ISI-UT-06-005
ISI-UT-06-008
ISI-UT-06-011
ISI-UT-06-014
Condition Reports
CR-RBS-2005-00065
CR-RBS-2005-00067
CR-RBS-2005-00100
CR-RBS-2005-01379
Section 1R15:  Operability Evaluations
Primary Containment Purge Exhaust Line Operability
CR-RBS-2006-00964, primary containment purge exhaust line leak rate test results showing
negative trend
ADM-0050, Primary Containment Leakage Rate Testing Program, Revision 8
SEP-APJ-001, Primary containment Leakage Rate Testing (Appendix J) Program,
Revision 0G
STP-403-7301, Containment Purge System Isolation Valve Leak Rate Test, Revisions 0, 1, 2,
and 3
RBS-ER-00-0589, Post RF-09 LLRT Testing Interval Determination, dated January 25, 2001
RBS TS Amendment 81, dated July 20, 1995
RBS TS Amendment 81, dated July 20, 1995
RBS TS Bases Revision 126, dated March 31, 206  
RBS TS Bases Revision 126, dated March 31, 206
AttachmentA-4NNS-ACB23 Not FunctionalElectrical DrawingsEE-001AC, "Startup Electrical Distribution Chart," Revision 33ESK-05NNS03, "Elementary Diagram - 4.16 kV Switchgear Bus 1C Normal Supply ACB,"Revision 13Corrective Action DocumentsCR-RBS-2006-02402CR-RBS-2006-0235CR-RBS-2006-02337CR-RBS-1998-00190ProceduresOSP-0022, "Operations General Administrative Guidelines," Revision 01GOP-0001, "Plant Startup," Revision 47, performed on May 12, 2006STP-000-0102, "Power Distribution Alignment Check," Revision 4, performed on May 9, 2006
 
STP-000-0102, "Power Distribution Alignment Check," Revision 4, performed on May 22, 2006Work RequestsWR 76625WR 77441WR77478
Attachment
Miscellaneous DocumentsMain Control Room LogsTS LCO Records: 1-OPT-06-01871-TS-06-0694
A-4
RBS Tagout Record: 1-302-NNS-SWG1A-006-ASection 1R20:  Refueling and Other Outage ActivitiesProceduresRSP-0217, "Auxiliary Access Control Functions," Revision 27GOP-0003, "Scram Recovery," Revision 14A, post scram report, dated April 23, 2006
NNS-ACB23 Not Functional
OSP-0031, "Shutdown Operations Protection Plan," Revision 16OSP-0041, "Alternate Decay Heat Removal," Revision 8A
Electrical Drawings
AOP-0051, "Loss of Decay Heat Removal," Revision 18
EE-001AC, Startup Electrical Distribution Chart, Revision 33
OSP-0034, "Control of Obstructions for Primary Containment/Fuel Building Operability,"Revision 3  
ESK-05NNS03, Elementary Diagram - 4.16 kV Switchgear Bus 1C Normal Supply ACB,
AttachmentA-5GOP-0001, "Plant Startup," Revision 47, performed on May 12, 2006Corrective Action DocumentsCR-RBS-2006-00691CR-RBS-2006-01937
Revision 13
Miscellaneous DocumentsControl Room Logs
Corrective Action Documents
CR-RBS-2006-02402
CR-RBS-2006-0235
CR-RBS-2006-02337
CR-RBS-1998-00190
Procedures
OSP-0022, Operations General Administrative Guidelines, Revision 01
GOP-0001, Plant Startup, Revision 47, performed on May 12, 2006
STP-000-0102, Power Distribution Alignment Check, Revision 4, performed on May 9, 2006
STP-000-0102, Power Distribution Alignment Check, Revision 4, performed on May 22, 2006
Work Requests
WR 76625
WR 77441
WR77478
Miscellaneous Documents
Main Control Room Logs
TS LCO Records: 1-OPT-06-0187
1-TS-06-0694
RBS Tagout Record: 1-302-NNS-SWG1A-006-A
Section 1R20:  Refueling and Other Outage Activities
Procedures
RSP-0217, Auxiliary Access Control Functions, Revision 27
GOP-0003, Scram Recovery, Revision 14A, post scram report, dated April 23, 2006
OSP-0031, Shutdown Operations Protection Plan, Revision 16
OSP-0041, Alternate Decay Heat Removal, Revision 8A
AOP-0051, Loss of Decay Heat Removal, Revision 18
OSP-0034, Control of Obstructions for Primary Containment/Fuel Building Operability,
Revision 3
 
Attachment
A-5
GOP-0001, Plant Startup, Revision 47, performed on May 12, 2006
Corrective Action Documents
CR-RBS-2006-00691
CR-RBS-2006-01937
Miscellaneous Documents
Control Room Logs
TS LCO Logs
TS LCO Logs
Daily Refueling Outage Updates
Daily Refueling Outage Updates
ORAT Report
ORAT Report
WO 50340401 and 81284
WO 50340401 and 81284
ER-RB-2005-0157-000, "Install new relays on the output of EOC-RPT optical output cardsC71A-AT17 and C71A-AT18," dated May 16, 2006WO 5034041's task outline to configure the station blackout diesel to supply power to spent fuelpool cooling Pump SFC-P1AWO 5034041, Configure the station blackout diesel to supply power to spent fuel pool coolingPump SFC-P1A, written May 3, 2006Section 1R22:  Surveillance TestingDrawing EE-001AC, "Startup Electrical Distribution Chart," Revision 33TS Section 3.8.1 and Bases 3.8.1, Revision 0
ER-RB-2005-0157-000, Install new relays on the output of EOC-RPT optical output cards
USAR Section 8.2.1.2.1, "General Design Criteria," Revision 16
C71A-AT17 and C71A-AT18, dated May 16, 2006
NUREG-0989, "Safety Evaluation Report Related to the Operation of River Bend Station,"dated May 1984TS LCO Logs1-TS-06-0694I-TS-06-06851-TS-05-0386
WO 5034041's task outline to configure the station blackout diesel to supply power to spent fuel
Corrective Action DocumentsCR-RBS-2006-02675CR-RBS-2006-02402CR-RBS-2005-02331  
pool cooling Pump SFC-P1A
AttachmentA-6Section 4OA2:  Identification and Resolution of ProblemsSemiannual Trend ReviewCR-RBS-2004-02165CR-RBS-2006-00159
WO 5034041, Configure the station blackout diesel to supply power to spent fuel pool cooling
Pump SFC-P1A, written May 3, 2006
Section 1R22:  Surveillance Testing
Drawing EE-001AC, Startup Electrical Distribution Chart, Revision 33
TS Section 3.8.1 and Bases 3.8.1, Revision 0
USAR Section 8.2.1.2.1, General Design Criteria, Revision 16
NUREG-0989, Safety Evaluation Report Related to the Operation of River Bend Station,
dated May 1984
TS LCO Logs
1-TS-06-0694
I-TS-06-0685
1-TS-05-0386
Corrective Action Documents
CR-RBS-2006-02675
CR-RBS-2006-02402
CR-RBS-2005-02331
 
Attachment
A-6
Section 4OA2:  Identification and Resolution of Problems
Semiannual Trend Review
CR-RBS-2004-02165
CR-RBS-2006-00159
CR-RBS-2006-00226
CR-RBS-2006-00226
CR-RBS-2006-00279
CR-RBS-2006-00279
Line 678: Line 1,908:
CR-RBS-2006-01132
CR-RBS-2006-01132
CR-RBS-2006-01205
CR-RBS-2006-01205
CR-RBS-2006-01261CR-RBS-2006-01270CR-RBS-2006-01324
CR-RBS-2006-01261
CR-RBS-2006-01270
CR-RBS-2006-01324
CR-RBS-2006-01333
CR-RBS-2006-01333
CR-RBS-2006-01429
CR-RBS-2006-01429
Line 690: Line 1,922:
CR-RBS-2006-02375
CR-RBS-2006-02375
CR-RBS-2006-02406
CR-RBS-2006-02406
CR-RBS-2006-02407CR-RBS-2006-02469CR-RBS-2006-02484
CR-RBS-2006-02407
CR-RBS-2006-02469
CR-RBS-2006-02484
CR-RBS-2006-02540
CR-RBS-2006-02540
CR-RBS-2006-02544
CR-RBS-2006-02544
Line 702: Line 1,936:
CR-RBS-2006-02732
CR-RBS-2006-02732
CR-RBS-2006-02733
CR-RBS-2006-02733
CR-RBS-2006-02799Section 2OS1:  Access Controls to Radiologically Significant Areas
CR-RBS-2006-02799
Corrective Action DocumentsCR-RBS-2006-00090  CR-RBS- 2006-01294  CR-RBS-2006-01787  CR-RBS- 2006-01950Radiation Work Permits2006-1915RFO-13, Remove and Replace LPRMs, Including Support Activities2006-1921RFO-13, Flow Control Valve Maintenance, Including Support Activities
Section 2OS1:  Access Controls to Radiologically Significant Areas  
2006-1929RFO-13, Recirc Pump Work, Including Support ActivitiesProceduresRP-103Access Control, Revision 2RP-106Radiological Survey Documentation, Revision 1
Corrective Action Documents
RP-108Radiation Protection Posting, Revision 2
CR-RBS-2006-00090  CR-RBS- 2006-01294  CR-RBS-2006-01787  CR-RBS- 2006-01950
RPP-0006Performance of Radiological Surveys, Revision 19Section 2OS2:  ALARA Planning and Controls (71121.02)Corrective Action DocumentsCR-RBS-2006-01746ProceduresENS-RP-105Radiation Work Permits, Revision 7  
Radiation Work Permits
AttachmentA-7LIST OF ACRONYMSCDFcore damage frequencyALARAas low as is reasonably achievable
2006-1915
ASMEAmerican Society of Mechanical Engineers
RFO-13, Remove and Replace LPRMs, Including Support Activities
CAPcorrective action program
2006-1921
RFO-13, Flow Control Valve Maintenance, Including Support Activities
2006-1929
RFO-13, Recirc Pump Work, Including Support Activities
Procedures
RP-103
Access Control, Revision 2
RP-106
Radiological Survey Documentation, Revision 1
RP-108
Radiation Protection Posting, Revision 2
RPP-0006
Performance of Radiological Surveys, Revision 19
Section 2OS2:  ALARA Planning and Controls (71121.02)
Corrective Action Documents
CR-RBS-2006-01746
Procedures
ENS-RP-105 Radiation Work Permits, Revision 7


CFRCode of Federal RegulationsCR-RBSRiver Bend Station condition report
Attachment
EDGemergency diesel generator
A-7
LERlicensee event report
LIST OF ACRONYMS
MCinspection manual chapter
CDF
NCVnoncited violation
core damage frequency
NDEnondestructive examination
ALARA
NEINuclear Energy Institute
as low as is reasonably achievable
NRCU.S. Nuclear Regulatory Commission
ASME
ORAToutage risk assessment team
American Society of Mechanical Engineers
PIperformance indicators
CAP
RCSreactor coolant system
corrective action program
RFOrefueling outage
CFR
SFCspent fuel pool cooli ng syst emSOPsystem operating proceduresSRsurveillance requirement
Code of Federal Regulations
SSCstructures, systems, or componentsSTPsurveillance test procedure
CR-RBS
TSTechnical Specifications
River Bend Station condition report
USARUpdated Safety Analysis Report
EDG
WOwork order
emergency diesel generator
WRwork request
LER
licensee event report
MC
inspection manual chapter
NCV
noncited violation
NDE
nondestructive examination
NEI
Nuclear Energy Institute
NRC
U.S. Nuclear Regulatory Commission
ORAT
outage risk assessment team
PI
performance indicators
RCS
reactor coolant system
RFO
refueling outage
SFC
spent fuel pool cooling system
SOP
system operating procedures
SR
surveillance requirement
SSC
structures, systems, or components
STP
surveillance test procedure
TS
Technical Specifications
USAR
Updated Safety Analysis Report
WO
work order
WR
work request
}}
}}

Latest revision as of 07:23, 15 January 2025

IR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations, Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety
ML062260238
Person / Time
Site: River Bend Entergy icon.png
Issue date: 08/14/2006
From: Kennedy K
NRC/RGN-IV/DRP/RPB-C
To: Hinnenkamp P
Entergy Operations
References
IR-06-003
Download: ML062260238 (45)


See also: IR 05000458/2006003

Text

August 14, 2006

Paul D. Hinnenkamp

Vice President - Operations

Entergy Operations, Inc.

River Bend Station

5485 US Highway 61N

St. Francisville, LA 70775

SUBJECT:

RIVER BEND STATION - NRC INTEGRATED INSPECTION

REPORT 05000458/2006003

Dear Mr. Hinnenkamp:

On June 30, 2006, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at

your River Bend Station. The enclosed integrated inspection report documents the inspection

results, which were discussed on July 5, 2006, with you and other members of your staff.

The inspection examined 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.

The inspectors reviewed selected procedures and records, observed activities, and interviewed

personnel.

The report documents three NRC-identified findings and two self-revealing findings of very low

safety significance (Green). The NRC has also determined that violations are associated with

these findings. However, because these violations were of very low safety significance and

were entered into your corrective action program, the NRC is treating these violations as

noncited violations, consistent with Section VI.A.1 of the NRC Enforcement Policy. If you

contest the violations or the significance of the violations, you should provide a response within

30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear

Regulatory Commission, ATTN: document Control Desk, Washington, DC 20555-0001, with

copies to the Regional Administrator, U.S. Nuclear Regulatory Commission, Region IV, 611

Ryan Plaza Drive, Suite 400, Arlington, Texas 76011-4005; the Director, Office of Enforcement,

U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident

Inspector at the River Bend Station facility.

In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter, its

enclosure, and your response (if any) will be available electronically for public inspection in the

NRC Public Document Room or from the Publicly Available Records (PARS) component of

NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at

http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Entergy Operations, Inc.

-2-

Should you have any questions concerning this inspection, we will be pleased to discuss them

with you.

Sincerely,

/RA/

Kriss M. Kennedy, Chief

Project Branch C

Division of Reactor Projects

Docket: 50-458

License: NPF-47

Enclosure:

NRC Inspection Report 05000458/2006003

w/Attachment: Supplemental Information

cc w/enclosure:

Senior Vice President and

Chief Operating Officer

Entergy Operations, Inc.

P.O. Box 31995

Jackson, MS 39286-1995

Vice President

Operations Support

Entergy Operations, Inc.

P.O. Box 31995

Jackson, MS 39286-1995

General Manager

Plant Operations

Entergy Operations, Inc.

River Bend Station

5485 US Highway 61N

St. Francisville, LA 70775

Director - Nuclear Safety

Entergy Operations, Inc.

River Bend Station

5485 US Highway 61N

St. Francisville, LA 70775

Wise, Carter, Child & Caraway

P.O. Box 651

Jackson, MS 39205

Entergy Operations, Inc.

-3-

Winston & Strawn LLP

1700 K Street, N.W.

Washington, DC 20006-3817

Manager - Licensing

Entergy Operations, Inc.

River Bend Station

5485 US Highway 61N

St. Francisville, LA 70775

The Honorable Charles C. Foti, Jr.

Attorney General

Department of Justice

State of Louisiana

P.O. Box 94005

Baton Rouge, LA 70804-9005

H. Anne Plettinger

3456 Villa Rose Drive

Baton Rouge, LA 70806

Bert Babers, President

West Feliciana Parish Police Jury

P.O. Box 1921

St. Francisville, LA 70775

Richard Penrod, Senior Environmental

Scientist

Office of Environmental Services

Northwestern State University

Russell Hall, Room 201

Natchitoches, LA 71497

Brian Almon

Public Utility Commission

William B. Travis Building

P.O. Box 13326

1701 North Congress Avenue

Austin, TX 78711-3326

Entergy Operations, Inc.

-4-

Chairperson

Denton Field Office

Chemical and Nuclear Preparedness

and Protection Division

Office of Infrastructure Protection

Preparedness Directorate

Dept. of Homeland Security

800 North Loop 288

Federal Regional Center

Denton, TX 76201-3698

Entergy Operations, Inc.

-5-

Electronic distribution by RIV:

Regional Administrator (BSM1)

DRP Director (ATH)

DRS Director (DDC)

DRS Deputy Director (RJC1)

Senior Resident Inspector (PJA)

Branch Chief, DRP/C (KMK)

Senior Project Engineer, DRP/C (WCW)

Team Leader, DRP/TSS (RLN1)

RITS Coordinator (KEG)

DRS STA (DAP)

J. Lamb, OEDO RIV Coordinator (JGL1)

ROPreports

RBS Site Secretary (LGD)

W. A. Maier, RSLO (WAM)

SUNSI Review Completed: __wcw_ ADAMS:  : Yes

G No Initials: __wcw___

Publicly Available G Non-Publicly Available G Sensitive
Non-Sensitive

R:\\_REACTORS\\_RB\\2006\\RB2006-03RP-PJA.wpd

RIV:SRI:DRP/C

RI:DRP/C

C:DRS/OB

C:DRS/EB1

C:DRS/PSB

PJAlter

MOMiller

ATGody

JAClark

MPShannon

T - WCWalker

E - WCWalker

/RA/

/RA/

/RA/

8/10/06

8/10/06

8/11/06

8/10/06

8/10/06

C:DRS/EB2

SRA:DRS

C:DRP/C

LJSmith

DPLoveless

KMKennedy

/RA/

/RA/

/RA/

8/10/06

8/14/06

8/14/06

OFFICIAL RECORD COPY

T=Telephone E=E-mail F=Fax

Enclosure

-1-

U.S. NUCLEAR REGULATORY COMMISSION

REGION IV

Docket:

50-458

License:

NPF-47

Report:

05000458/2006003

Licensee:

Entergy Operations, Inc.

Facility:

River Bend Station

Location:

5485 U.S. Highway 61

St. Francisville, Louisiana

Dates:

April 1 to June 30, 2006

Inspectors:

P. Alter, Senior Resident Inspector, Project Branch C

M. Miller, Resident Inspector, Project Branch C

G. Werner, Senior Project Engineer, Project Branch D

L. Ricketson, P.E., Senior Health Physicist, Plant Support Branch

W. Sifre, Senior Reactor Inspector, Engineering Branch 1

Approved By:

Kriss M. Kennedy, Chief

Project Branch C

Division of Reactor Projects

Enclosure

-2-

TABLE OF CONTENTS

SUMMARY OF FINDINGS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3

REPORT DETAILS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6

REACTOR SAFETY . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6

1R01

Adverse Weather Protection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6

1R04

Equipment Alignment . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7

1R05

Fire Protection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7

1R08

Inservice Inspection Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8

1R11

Licensed Operator Requalification Program . . . . . . . . . . . . . . . . . . . . . . . . . . . 9

1R12

Maintenance Effectiveness . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10

1R13

Maintenance Risk Assessments and Emergent Work Control . . . . . . . . . . . . . 10

1R14

Operator Performance During Nonroutine Evolutions and Events . . . . . . . . . . 11

1R15

Operability Evaluations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 12

1R19

Postmaintenance Testing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17

1R20

Refueling and Other Outage Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17

1R22

Surveillance Testing

. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 20

1R23

Temporary Plant Modifications

. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 23

1EP6 Drill Evaluation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 23

RADIATION SAFETY . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 24

2OS1 Access Control to Radiologically Significant Areas . . . . . . . . . . . . . . . . . . . . . 24

2OS2 ALARA Planning and Controls . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 27

OTHER ACTIVITIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28

4OA1 Performance Indicator (PI) Verification . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28

4OA2 Identification and Resolution of Problems . . . . . . . . . . . . . . . . . . . . . . . . . . . . 29

4OA3 Event Followup . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31

4OA5 Other Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 32

4OA6 Meetings, Including Exit . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 32

SUPPLEMENTAL INFORMATION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1

KEY POINTS OF CONTACT . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1

LIST OF DOCUMENTS REVIEWED . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-2

LIST OF ACRONYMS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-7

Enclosure

-3-

SUMMARY OF FINDINGS

IR 05000458/2006003; 04/01/2006 - 06/30/2006; River Bend Station; Operability Evaluations,

Refueling and Other Outage Activities, Surveillance Testing, Occupational Radiation Safety.

The report covered a 3-month period of routine baseline inspections by resident inspectors and

announced baseline inspections by regional engineering and radiation protection inspectors.

Five Green noncited violations were identified. The significance of most findings is indicated by

their color (Green, White, Yellow, Red) using Inspection Manual Chapter 0609, Significance

Determination Process. Findings for which the significance determination process does not

apply may be Green or be assigned a severity level after NRC management review. The

NRCs program for overseeing the safe operation of commercial nuclear power reactors is

described in NUREG-1649, Reactor Oversight Process, Revision 3, dated July 2000.

A.

NRC-Identified and Self-Revealing Findings

Cornerstone: Mitigating Systems

Green. A self-revealing noncited violation of 10 CFR Part 50, Appendix B, Criterion XVI,

"Corrective Action," was reviewed involving the failure of the licensee to identify that the

normal supply breaker to the Division III 4.16 kV engineered safety features bus was not

properly racked in for a period of 24 days following maintenance. This issue was

entered into the licensee's corrective action program as CR-RBS-2006-02402.

The finding was more than minor because it was associated with the mitigating system

cornerstone attribute of configuration control and affected the associated cornerstone

objective to ensure the availability, reliability, and capability of systems that respond to

initiating events to prevent undesirable consequences. Utilizing Manual Chapter 0609,

"Significance Determination Process," a Phase 3 analysis concluded that the finding

was of very low safety significance. The cause of the finding was related to the

crosscutting aspect of problem identification and resolution in that the licensee failed to

properly evaluate available indications to identify that the breaker was not properly

racked in. (Section 1R15).

Green. An NRC identified noncited violation of 10 CFR 50.65 Maintenance Rule

Section (a)(4) was identified for the failure of the licensee to provide prescribed

compensatory measures for two Orange shutdown risk conditions during Refueling

Outage 13. Specifically, the preoutage risk assessment recommended that two work

orders be in place for maintenance electricians to provide power to one spent fuel pool

cooling pump in the event of problems with the running pump during periods of electrical

bus maintenance. The inspectors found that the work packages were not in place

before entering shutdown risk condition Orange on April 26, 2006, during the Division II

engineering safety features bus testing, and May 3, 2006, during the Division I

engineered safety features bus outage. This issue was entered into the licensee's

corrective action program as CR-RBS-2006-01937.

The finding was more than minor because the licensee failed to implement a prescribed

compensatory measure during the highest risk condition of Refueling Outage 13. The

Enclosure

-4-

specific compensatory measures were called for in the preoutage risk assessment and

the shutdown operations protection plan. The finding affected the mitigating system

cornerstone because of the increased risk of a sustained loss of spent fuel pool cooling

during core offloading operations. The finding could not be evaluated using the

significance determination process, therefore the finding was reviewed by regional

management and determined to be of very low safety significance. Factors that were

considered included: (1) electrical maintenance technicians had previously performed

the task of providing alternate power to a spent fuel pool cooling pump, (2) the

necessary equipment was staged as part of the abnormal operating procedure for loss

of decay heat removal, and (3) the relatively long time to boil of the spent fuel storage

pool at that time during the refueling outage. The cause of the finding was related to the

crosscutting aspect of human performance because the licensees planned

maintenance activities and the predetermined increase in outage risk was not effectively

managed by prescribed compensatory measures (Section 1R20).

Green. An NRC identified noncited violation of Technical Specification 5.4.1.a was

identified for the failure of the licensee to provide an adequate surveillance test

procedure to perform Technical Specification Surveillance Requirement 3.8.1.1.

Specifically, STP-000-0102, Power Distribution Alignment Check, Revision 4, did not

verify the required offsite power circuit breaker alignment and indicated power

availability for the Division III 4.16 kV engineered safety features bus as required in

Modes 1, 2, and 3. This issue was entered into the licensee's corrective action program

as CR-RBS-2006-02675 and -02402.

The finding was more than minor because it was associated with the mitigating system

cornerstone attribute of configuration control and affected the associated cornerstone

objective to ensure the availability, reliability, and capability of systems that respond to

initiating events to prevent undesirable consequences. Utilizing Manual Chapter 0609,

"Significance Determination Process," a Phase 3 analysis concluded that the finding

was of very low safety significance. (Section 1R22).

Cornerstone: Occupational Radiation Safety

Green. The inspector reviewed a self-revealing noncited violation of Technical Specification 5.7.1, resulting from the licensees failure to control access to a high

radiation area. While transferring reverse osmosis system filters in the radwaste

building, the licensee allowed two workers to inadvertently enter a high radiation area.

This occurred after a guard prematurely left his post in front of the 123 foot elevation

elevator door. The highest dose rate recorded by an electronic alarming dosimeter was

164 millirem per hour. The guard returned and evacuated the workers before they

accrued additional radiation dose. Planned corrective action was still being evaluated by

the licensee at the conclusion of the inspection.

The finding was more than minor because it was associated with the occupational

radiation safety attribute of exposure control and affected the cornerstone objective in

that not controlling a high radiation area could increase personal exposure. Using the

Occupational Radiation Safety Significance Determination Process, the inspector

determined that the finding was of very low safety significance because it did not

Enclosure

-5-

involve: (1) an as low as is reasonably achievable finding, (2) an overexposure, (3) a

substantial potential for overexposure, or (4) an impaired ability to assess dose.

Additionally, this finding had crosscutting aspects associated with human performance

in that the failure of the individual to guard the elevator door directly contributed to the

violation. (Section 2OS1)

Green. The inspector identified a noncited violation of 10 CFR 20.1501(a) because the

license failed to survey airborne radioactivity. During the removal of local power range

monitors, the licensee started collecting an air sample of the work area, but discarded

the sample before analyzing it. Successful passage through the portal monitors at the

exit of the controlled access area confirmed that no worker experienced an uptake of

radioactive material. Planned corrective action is still being evaluated.

The finding was more than minor because it was associated with the occupational

radiation safety program attribute of exposure control and affected the cornerstone

objective in that the lack of knowledge of radiological conditions could increase

personnel dose. Using the Occupational Radiation Safety Significance Determination

Process, the inspector determined that the finding was of very low safety significance

because it did not involve: (1) an as low as is reasonably achievable finding, (2) an

overexposure, (3) a substantial potential for overexposure, or (4) an impaired ability to

assess dose. Additionally, this finding had crosscutting aspects associated with human

performance in that the failure to maintain the sample for analysis directly contributed to

the violation. (Section 2OS1)

B.

Licensee-Identified Violations

None.

Enclosure

-6-

REPORT DETAILS

Summary of Plant Status: The reactor was operated at 100 percent power from April 1-15,

2006, when the reactor scrammed due to a control circuit failure which caused both reactor

recirculation pumps to shift to slow speed. The reactor was restarted on April 17 and attained

100 percent power on April 18. On April 23, the reactor was shut down for Refueling Outage

(RFO) -13. On May 12, the reactor was restarted and attained 100 percent power on May 18.

On June 15, reactor power was reduced to 23 percent because of a problem with the main

turbine bypass valves. The reactor was returned to 100 percent power on June 18. The

reactor remained at 100 percent power for the remainder of the inspection period, with the

exception of regularly scheduled power reductions for control rod pattern adjustments and

turbine testing.

1.

REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity, Emergency

Preparedness

1R01

Adverse Weather Protection

a.

Inspection Scope

Hurricane Season Preparations

During the week of June 12, 2006, the inspectors completed a review of the licensee's

readiness for seasonal susceptibilities involving high winds at the beginning of hurricane

season. The inspectors reviewed Procedure ENS-EP-302, Severe Weather

Response, Revision 4. The inspectors: (1) reviewed plant procedures, the Updated

Safety Analysis Report (USAR), and Technical Specifications (TS) to verify that operator

actions defined in adverse weather procedures maintained the readiness of essential

systems; (2) walked down portions of the protected area to verify that hurricane season

preparations were sufficient to support operability of essential systems, including the

ability to perform safe shutdown functions; (3) evaluated operator staffing levels to verify

the licensee could maintain the readiness of essential systems required by plant

procedures; and (4) reviewed the corrective action program (CAP) to determine if the

licensee identified and corrected problems related to adverse weather conditions.

The inspectors completed one inspection sample.

b.

Findings

No findings of significance were identified.

Enclosure

-7-

1R04

Equipment Alignment

Partial System Walkdowns

a.

Inspection Scope

The inspectors: (1) walked down portions of the three risk important systems listed

below and reviewed system operating procedures (SOPs), piping and instrument

diagrams, and other documents to verify that critical portions of the selected systems

were correctly aligned; and (2) compared deficiencies identified during the walkdown to

the licensee's USAR and CAP to verify problems were being identified and corrected.

Alternate decay heat removal system, which was the backup to the inservice

shutdown cooling system during refueling operations, on May 2, 2006

Reactor core isolation cooling system, while the high pressure core spray diesel

was out of service for maintenance, on June 12, 2006

Division I emergency diesel generator (EDG), while Division II EDG was out of

service for planned maintenance, on June 21, 2006

Documents reviewed by the inspectors included:

SOP-0140, Suppression Pool Cleanup and Alternate Decay Heat Removal,

Revision 16

SOP-0035, Reactor Core Isolation Cooling System, Revision 8A

SOP-0053, Standby Diesel Generator and Auxiliaries, Revision 44A

The inspectors completed three inspection samples.

h.

Findings

No findings of significance were identified.

1R05

Fire Protection

b.

Inspection Scope

The inspectors walked down the six plant areas listed below to assess the material

condition of active and passive fire protection features and their operational lineup and

readiness. The inspectors: (1) verified that transient combustibles were controlled in

accordance with plant procedures; (2) observed the condition of fire detection devices to

verify they remained functional; (3) observed fire suppression systems to verify they

remained functional and that access to manual actuators was unobstructed; (4) verified

that fire extinguishers and hose stations were provided at their designated locations and

Enclosure

-8-

that they were in a satisfactory condition; (5) verified that passive fire protection features

(electrical raceway barriers, fire doors, fire dampers, steel fire proofing, penetration

seals, and oil collection systems) were in a satisfactory material condition; (6) verified

that adequate compensatory measures were established for degraded or inoperable fire

protection features and that the compensatory measures were commensurate with the

significance of the deficiency; and (7) reviewed the CAP to determine if the licensee

identified and corrected fire protection problems.

Auxiliary building piping Tunnel D, Fire Area AB-7, on May 9, 2006

Low pressure core spray pump room, Fire Area AB-6/Z-1, on May 9, 2006

High pressure core spray pump room, Fire Area AB-2/Z-1, on May 9, 2006

Control building standby switchgear Room 1A, Fire Area C-15, on June 22, 2006

Control building safety related cable tray area and stairway Number 3, Fire Area

C-16 and C-29, on June 22, 2006

Division I EDG control and diesel engine rooms, Fire Area DG-6/Z-1, on June 22,

2006

Documents reviewed by the inspectors included:

Pre-Fire Plan/Strategy Book

USAR Section 9A.2, Fire Hazards Analysis, Revision 10

River Bend Station postfire safe shutdown analysis

RBNP-038, Site Fire Protection Program, Revision 6B

The inspectors completed six inspection samples.

b.

Findings

No findings of significance were identified.

1R08

Inservice Inspection Activities

a.

Inspection Scope

The inspector witnessed the performance of 12 volumetric (ultrasonic) and four surface

(liquid penetrant) examinations. The sample of nondestructive examination (NDE)

activities is listed in the attachment.

For each of the NDE activities reviewed, the inspector verified that the examinations

were performed in accordance with American Society of Mechanical Engineers (ASME)

Code requirements.

Enclosure

-9-

During the review of each examination, the inspector verified that appropriate NDE

procedures were used, that examinations and conditions were as specified in the

procedure, and that test instrumentation or equipment was properly calibrated and within

the allowable calibration period. The inspector also reviewed documentation to verify

that indications revealed by the examinations were dispositioned in accordance with the

ASME Code specified acceptance standards.

The inspector verified the certifications of the NDE personnel observed performing

examinations or identified during review of completed examination packages.

The inspection procedure requires review of one or two examinations from the previous

outage with recordable indications that were accepted for continued service to ensure

that the disposition was done in accordance with the ASME Code. There were no

recordable indications that required evaluation during the last outage.

If the licensee completed welding on the pressure boundary for Class 1 or 2 systems

since the beginning of the previous outage, the procedure requires verification that

acceptance and preservice examinations were done in accordance with the ASME Code

for one to three welds. There were no welds available for review.

The procedure also requires verification that one or two ASME Code Section XI repairs

or replacements meet code requirements. There were no code repairs or replacements

available at the time of this inspection.

The inspectors completed 16 inspection samples.

b.

Findings

No findings of significance were identified.

1R11

Licensed Operator Requalification Program

a.

Inspection Scope

On June 13, 2006, the inspectors observed testing and training of senior reactor

operators and reactor operators to verify the adequacy of training, to assess operator

performance, and to assess the evaluators critique. The training evaluation scenario

observed was RSMS-OPS-422, Loss of Circ Water Pump, Failure of Steam Flow

Transmitter and Instrument Air System Leak, Revision 4.

The inspectors completed one inspection sample.

b.

Findings

No findings of significance were identified.

Enclosure

-10-

1R12

Maintenance Effectiveness

a.

Inspection Scope

The inspectors reviewed the condition reports (CR) listed below which documented

equipment problems to: (1) verify the appropriate handling of structure, system, and

component (SSC) performance or condition problems; (2) verify the appropriate

handling of degraded SSC functional performance; (3) evaluate the role of work

practices and common cause problems; and (4) evaluate the handling of SSC issues

reviewed under the requirements of the maintenance rule; 10 CFR Part 50, Appendix B;

and TS.

CR-RBS-2006-1898, main steam stop Valve B21-MOVF098C leakage, reviewed

on June 2, 2006, and CR-RBS-2004-4338, main steam stop Valve B21-

MOVF098C high leakage during RFO-11 and -12, reviewed on June 26, 2006.

CR-RBS-2006-2302, primary containment integrity maintenance rule repetitive

functional failure, reviewed on June 26, 2006.

Documents reviewed by the inspectors included:

NUMARC 93-01, Nuclear Energy Institute Industry (NEI) Guideline for Monitoring

the Effectiveness of Maintenance at Nuclear Power Plants, Revision 2

Maintenance rule function list

Maintenance rule performance criteria list

Main steam stop valve maintenance rule performance evaluations

The inspectors completed two inspection samples.

b.

Findings

No findings of significance were identified.

1R13

Maintenance Risk Assessments and Emergent Work Control

a.

Inspection Scope

.1

Risk Assessment and Management of Risk

The inspectors reviewed the planned work weeks listed below to verify: (1) that the

licensee performed risk assessments when required by 10 CFR 50.65 (a)(4) and

administrative Procedure ADM-096, Risk Management Program Implementation and

On-Line Maintenance Risk Assessment, Revision 4B, prior to changes in plant

configuration for maintenance activities and plant operations; (2) the accuracy,

adequacy, and completeness of the information considered in the risk assessment;

Enclosure

-11-

(3) that the licensee recognized, and entered as applicable, the appropriate licensee

established risk category according to the risk assessment results and Procedure ADM-

096; and (4) that the licensee identified and corrected problems related to maintenance

risk assessments. Specific work activities evaluated included planned and emergent

work for the weeks of:

June 5, 2006, Division I work week and preferred station service Transformer

RTX-ESR1F cooling oil dehydration

June 19, 2006, planned Division II EDG outage week

June 26, 2006, nondivisional work week and potential labor work stoppage

.2

Emergent Work Control

For the two emergent work activities listed below, the inspectors: (1) verified that the

licensee performed actions to minimize the probability of initiating events and

maintained the functional capability of mitigating systems and barrier integrity systems;

(2) verified that emergent work related activities such as troubleshooting, work

planning/scheduling, establishing plant conditions, aligning equipment, tagging,

temporary modifications, and equipment restoration did not place the plant in an

unacceptable configuration; and (3) reviewed the CAP to determine if the licensee

identified and corrected risk assessment and emergent work control problems.

Preferred station service Transformer RTX-ESR1F sudden pressure relay failure

on May 30, 2006

Main turbine bypass valves inoperable due to hydraulic oil leak on June 2, 2006

The inspectors completed five inspection samples.

c.

Findings

No findings of significance were identified.

1R14

Operator Performance During Nonroutine Evolutions and Events

a.

Inspection Scope

1.

April 4, 2006, Automatic Initiation of Standby Service Water

The inspectors: (1) reviewed operator logs, plant computer data, and strip charts for the

April 4, 2006, unexpected initiation of Division II standby service water that occurred

while swapping the running normal service water pumps to evaluate operator

performance in coping with the event; (2) verified that operator actions were in

accordance with the response required by plant procedures and training; and (3) verified

that the licensee identified and implemented appropriate corrective actions associated

with personnel performance problems that occurred during the transient. In addition, the

Enclosure

-12-

inspectors reviewed CR-RBS-2006-01257, which documented the procedural problems

that led to the event and reviewed the following procedures used by the operators:

AOP-53, Initiation of Standby Service Water With Normal Service Water

Running, Revision 8

SOP-42, Standby Service Water System, Revision 25

SOP-66, Control Building HVAC Chilled Water System, Revision 33B

2.

April 15, 2006, Reactor Scram

The inspectors: (1) reviewed operator logs, plant computer data, and strip charts for the

April 15, 2006, unexpected reactor recirculation pump downshift and subsequent reactor

scram to evaluate operator performance in coping with the event; (2) verified that

operator actions were in accordance with the response required by plant procedures

and training; and (3) verified that the licensee identified and implemented appropriate

corrective actions associated with personnel performance problems that occurred during

the transient. In addition the inspectors reviewed the postscram report documented in

Procedure GOP-003, Scram Recovery, Revision 16A, and observed the onsite safety

review committee review of the postscram report.

The inspectors completed two inspection samples.

e.

Findings

No findings of significance were identified.

1R15

Operability Evaluations

a.

Inspection Scope

For the operability evaluations associated with the documents listed below, the

inspectors: (1) reviewed plants status documents such as operator shift logs, emergent

work documentation, deferred modifications, and standing orders, to determine if an

operability evaluation was warranted for degraded components; (2) referred to the

USAR and design basis documents to review the technical adequacy of licensee

operability evaluations; (3) evaluated compensatory measures associated with

operability evaluations; (4) determined degraded component impact on any TS; (5) used

the significance determination process to evaluate the risk significance of degraded or

inoperable equipment; and (6) verified that the licensee identified and implemented

appropriate corrective actions associated with degraded components.

CR-RBS-2006-01207 and -01215, Primary containment purge exhaust line fails

to meet leak rate acceptance criteria, reviewed during the week of April 3, 2006

Enclosure

-13-

CR-RBS-2005-02805, Inserted control Rod 24-29 control blade lifetime

calculation revised for extended operating cycle, reviewed during the week of

April 17, 2006

Work Request (WR) 76625, NNS-ACB23 control power light out, suspect bad

socket, reviewed during the week of May 29, 2006

TS-LCO-06-0711, Division II EDG Generator Output Breaker charging springs

did not charge during tagout restoration, reviewed on June 23, 2006

CR-RBS-2006-01257, Division II standby service water start on low service water

pressure, reviewed on June 28, 2006

CR-RBS-2006-02632, turbine bypass valves hydraulic oil leak, reviewed on

June 28, 2006

Other documents reviewed by the inspectors are listed in the attachment.

The inspectors completed six inspection samples.

b.

Findings

Introduction: The inspectors reviewed a self-revealing noncited violation (NCV) of

10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," involving the failure of

the licensee to identify that the normal supply breaker to the Division III 4.16 kV

engineered safety features (ESF) bus was not properly racked in following maintenance.

Description: Following the completion of planned maintenance on Switchgear NNS-

SWG1A on April 29, 2006, operators were assigned to clear equipment tags and restore

the system alignment. As part of this task, operators racked in Breaker NNS-ACB23,

the normal supply breaker to 4.16 kV Switchgear NNS-SWG1C. No actions, such as

cycling the breaker, were required to verify that the breaker was properly racked in.

On May 9, 2006, after noting that the control power light associated with Breaker NNS-

ACB23 was not lit, operators wrote WR 76625 to repair the light. The WR stated that

the white control power light on Control Room Panel H13-P808 was out with the breaker

racked in and the control power fuses installed. The WR also indicated that the

suspected cause was a bad socket and that position Switch 52H had failed in the past to

make up during closure. A work control center senior reactor operator determined that

an operability evaluation was not required for the condition described in WR 76625. The

WR was classified 4D, which indicated that it should be scheduled as resources

allowed within the normal 16-week work planning schedule. The inspectors noted the

licensee did not write a CR. The white control power light provides indication that the

breaker is functional, specifically, that: (1) there is no electrical fault on the line or load

side of the breaker, (2) the breaker Lockout button is not depressed on Panel 808, and

(3) the breaker is fully racked into the switchgear. On May 9, 2006, there were no

electrical faults on Breaker NNS-ACB23 and the Lockout was reset on Panel 808.

Enclosure

-14-

On May 22, 2006, while aligning Switchgear NNS-SWG1C and the Division III 4.16 kV

ESF bus to the Transformer RSS1 offsite power supply, Breaker NNS-ACB23 failed to

close. Operators racked the breaker out and in, but the breaker failed to close on the

second attempt. Subsequent troubleshooting identified that the breaker had not been

fully racked in as electricians were able to rotate the racking device one additional turn.

The white light on Panel 808 came on and the breaker was successfully closed. The

operators and electricians determined that Breaker NNS-ACB23 had not been not

properly racked in, wrote CR-RBS-2006-02325 and -02337 and initiated WR 77478 to

investigate the problem with racking in Breaker NNS-ACB23.

On May 25, 2006, the inspectors questioned the impact that the failure of the breaker to

close had on the licensees compliance with TS. Specifically, TS 3.8.1.a requires two

qualified circuits between the offsite transmission network and the onsite Class 1E ac

electrical power distribution system when the plant is in Modes 1, 2, and 3. On May 12,

the plant was taken from Mode 4 to Mode 2 without two qualified offsite power sources

available to the Division III 4.16 kV ESF bus. The licensee wrote CR-RBS-2006-2402

and determined that they did not comply with TS 3.8.1.a when they changed modes on

May 12. In addition, the Division III 4.16 kV ESF bus was inoperable for a period of

10 days (May 12-22), which exceeded the allowed outage time of 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> specified in

TS Condition 3.8.1.A. The licensee also discovered that, on May 14 during the conduct

of maintenance on the Division I EDG, with Breaker NNS-ACB23 unable to be closed,

they unknowingly entered TS Condition 3.8.1.d. TS Condition 3.8.1.d states that with

One required offsite circuit inoperable AND on required [E]DG inoperable, restore the

EDG or the offsite power supply to an operable status in 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> or place the plant in

Mode 3 within the next 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br />. The Division I EDG was inoperable for 15 hours1.736111e-4 days <br />0.00417 hours <br />2.480159e-5 weeks <br />5.7075e-6 months <br /> and

15 minutes.

The inspectors found that the licensees procedures did not require Breaker NNS-

ACB23 to be cycled to verify proper operation after it was racked in on April 29.

Procedure OSP-0022, Operations General Administrative Guidelines, Revision 01,

step 4.5.5, required that breakers be functionally tested following any activity involving

safety related equipment which requires the breaker to be racked out. Because

Breaker NNS-ACB23 is not classified as a safety-related breaker, it was not required to

be functionally tested after it was racked in on April 29.

Analysis: The performance deficiency associated with this finding involved the failure of

operators to identify that Breaker NNS-ACB23 was not functional on April 29, 2006. The

finding was more than minor because it was associated with the mitigating system

cornerstone attribute of configuration control and affected the associated cornerstone

objective to ensure the availability, reliability, and capability of systems that respond to

initiating events to prevent undesirable consequences. The Phase 1 worksheets in

Manual Chapter (MC) 0609, "Significance Determination Process," were used to

conclude that a Phase 2 analysis was required because both the mitigating systems and

the containment barrier cornerstones were affected.

In accordance with NRC Inspection Manual Chapter 0609, Appendix A, Attachment 1,

"User Guidance for Determining the Significance of Reactor Inspection Findings for

At-Power Situations," the inspectors estimated the risk of the subject finding using the

Enclosure

-15-

Risk-Informed Inspection Notebook for River Bend Station, Revision 2. The inspectors

assumed that Division III power was available, but degraded, while Breaker NNS-ACB23

was not properly installed for the 10 days that the plant was in Mode 3 or above, from

May 12-22, 2006. Therefore, the exposure window used was 3-30 days. No operator

recovery was credited because on two occasions, operators had proven incapable of

properly positioning the breaker, ultimately requiring maintenance technicians to

properly install the breaker. Using Manual Chapter 0609, Appendix A, Attachment 2,

Rule 2.1, Inspection Finding that Degrades Mitigation Capability and Does Not Reduce

Remaining Mitigation Capability Credit to a Value Less Than Full Mitigation Credit, the

inspectors determined that all sequences containing the functions that would be affected

by a loss of Division III power, including the Division I standby service water loop

(HPCS, LPI, CHR, HPCS/LC, and REC/SSW), should be quantified, giving full mitigation

capability credit to each of these functions. Because the performance deficiency

affected the electric power system, Table 2 of the risk-informed notebook required that

all worksheets be evaluated. The resulting dominant sequences are provided in Table 1

below:

Table 1

Phase 2 Worksheet Results

Initiator

Sequence

IEL

Mitigating Functions

Result

TNSW

5

3

SSW - REC/SSW

7*

4

3

RCIC - HPCS - DEP

9*

LOOP

1

3

CHR - LDEP

8

2

3

CHR - SPCFAN

8

4

3

RCIC - HPCS - DEP

9*

6

3

EAC1&2 - HPCS - REC6 - FPW

9*

8

3

EAC1&2 - HPCS - SBODG - REC4

9*

9

3

EAC1&2 - REC1 - HPCS -RCIC

9*

SORV

1

3

CHR-LDEP

8

2

3

CHR - SPCFAN

9

4

3

RCIC - HPCS - DEP

9*

LOIA

2

4

CHR - SPCFAN

8

1

4

CHR-LDEP

9

TPCS

4

2

RCIC - HPCS - DEP

8

ATWS

1

6

CHR

9

  • Denotes sequences indicated as LERF contributors in the Phase 2 notebook.

By application of the counting rule, the internal event risk contribution of this finding to

the change in core damage frequency (CDF) was determined to be of low to moderate

risk significance (WHITE).

A senior reactor analyst performed further evaluation of the risk associated with this

issue (Phase 3/Modified Phase 2). Because the assumptions made during the Phase 2

estimation process were overly conservative and did not completely represent the actual

exposure time nor the actual affect the performance deficiency had on the availability of

power to the Division III diesel generator, the senior reactor analyst modified these

Enclosure

-16-

assumptions to more precisely quantify the change in risk. Specifically, the exposure

time was 10 days as opposed to the 30 days used in the risk-informed notebook.

Additionally, the Phase 2 evaluation included loss of offsite power initiating events that

were not affected by the performance deficiency because offsite power to Division III

would in all likelihood be lost during a design basis loss of offsite power. The senior

reactor analyst performed a modified Phase 2 estimation and determined that the

internal event risk contribution of the subject finding to the CDF was of very low risk

significance (Green). The best estimate value of this probability (CDFINTERNAL) was

calculated by the senior reactor analyst to be 1.2 x 10-7. The analyst evaluated the

contribution of external initiating events to the risk and calculated a bounding risk

estimate of 2.9 x 10-7 as the CDF for internal fire events.

Using Manual Chapter 0609, Appendix H, Containment Integrity Significance

Determination Process, the analyst estimated that the potential risk contribution from

large early release frequency was 6.6 x 10-8.

Given the independence of each initiating event, the analyst determined that the best

estimate of the total risk related to the subject performance deficiency was the

summation of the CDF calculated for both internal and external initiators. Therefore,

the best estimate was 4.1 x 10-7. The change in risk related to large early release

frequency was determined to be below 6.6 x 10-8, corroborating that the finding was of

very low risk significance. The performance deficiency resulted in a finding that was of

very low risk significance (Green). The cause of the finding was related to the

crosscutting aspect of problem identification and resolution in that operators failed to

identify that Breaker NNS-ACB23 was not properly racked in.

Enforcement: 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in

part, that measures be established to assure that conditions adverse to quality are

promptly identified and corrected. Contrary to this, from April 29 to May 22, 2006, the

licensee failed to identify that Breaker NNS-ACB23, which supplied one of the two

required offsite power supplies to the Division III 4.16 kV ESF bus, was not properly

racked in to Switchgear NNS-SWGIC. The root cause involved the licensees lack of

understanding that Breaker NNS-ACB23 was required to be functional to meet

TS 3.8.1.a requirements for two offsite power circuits to the Division III 4.16 kV ESF

bus. The corrective actions to restore compliance included: (1) changes to operations

section procedures to verify the white control power light, when applicable, after a circuit

breaker is racked in, (2) expansion of the requirement to functionally test safety-related

breakers to the nonsafety-related breakers in the TS required offsite power circuits, and

(3) operator lessons learned training on the event and all of its ramifications. Because

the finding was of very low safety significance and has been entered into the licensees

CAP as CR-RBS-2006-02402, this violation is being treated as an NCV consistent with

Section VI.A of the Enforcement Policy: NCV 05000458/2006003-01, Failure to identify

Division III ESF bus supply breaker not racked in.

Enclosure

-17-

1R19

Postmaintenance Testing

a.

Inspection Scope

For the five postmaintenance test activities of risk significant systems or components

listed below, the inspectors: (1) reviewed the applicable licensing basis and/or design-

basis documents to determine the safety functions; (2) evaluated the safety functions

that may have been affected by the maintenance activity; and (3) reviewed the test

procedure to verify that it adequately tested the safety function that may have been

affected. The inspectors either witnessed or reviewed test data to verify that

acceptance criteria were met, plant impacts were evaluated, test equipment was

calibrated, procedures were followed, jumpers were properly controlled, the test data

results were complete and accurate, the test equipment was removed, the system was

properly re-aligned, and deficiencies during testing were documented. The inspectors

also reviewed the CAP to determine if the licensee identified and corrected problems

related to postmaintenance testing.

Work Order (WO) 50370422, Division II battery cell post seal replacement,

reviewed during the week of May 8, 2006

WO 87721, replace control Rods 40-37, 44-41, and 48-25 and 12-25 individual

scram test switches, reviewed May 19, 2006

WO 69816, low pressure core spray keep fill pump discharge check valve, E21-

VF033 replacement, reviewed during the week of June 19, 2006

WO 85194, signature testing on high pressure core spray room unit cooler

service water outlet valve, SWP-MOV74B, reviewed during the week of June 19,

2006

WO 90342, Division II EDG generator output Breaker ENS-SWG1B-ACB027

charging springs failed to charge during tagout restoration, reviewed on June 23,

2006

The inspectors completed five inspection samples.

g.

Findings

No findings of significance were identified.

1R20

Refueling and Other Outage Activities

a.

Inspection Scope

The inspectors reviewed the following risk important refueling outage activities to verify

defense in depth commensurate with the outage risk control plan and compliance with

the TS during RFO-13 from April 23 to May 12, 2006: (1) the risk control plan;

(2) tagging/clearance activities; (3) reactor coolant system instrumentation; (4) electrical

Enclosure

-18-

power; (5) decay heat removal; (6) spent fuel pool cooling; (7) inventory control;

(8) reactivity control; (9) containment closure; (10) reduced inventory conditions;

(11) refueling activities; (12) heatup and cooldown activities; (13) restart activities; and

(14) licensee identification and implementation of appropriate corrective actions

associated with RFO activities. The inspectors' containment inspections included

observations of the containment sump for damage and debris, and supports, braces,

and snubbers for evidence of excessive stress, water hammer, or aging. Specific

outage activities observed and reviewed included:

Outage risk assessment team (ORAT) report to onsite safety review committee

Reactor shutdown, cooldown, and vessel disassembly

Refueling operations, fuel sipping, and off loaded fuel inspections

Daily/shiftly shutdown operations protection plan assessments

Shutdown postscram report to onsite safety review committee

Reactor recirculation pump trip logic modification installation and testing

Main steam line local leak rate testing

Transformer RSS1 offsite power line equipment inspection and upgrade

Division II to Division I protected division swap

Infrequently performed test or evolution briefings for:

- Divisional loss of offsite power/loss of coolant accident testing

- Concurrent control rod mechanism and blade changeout

- Reactor vessel pressure test and scram time testing

- Reactor startup, heatup, and power ascension

- Onsite safety review committee meeting to recommend startup

- Drywell 900 psi walkdown (after shutdown and during startup)

Documents reviewed by the inspectors are listed in the attachment.

The inspectors completed one inspection sample.

b.

Findings

Introduction: An NRC identified NCV of 10 CFR 50.65, Maintenance Rule,

Section (a)(4) was identified for the failure of the licensee to provide prescribed

compensatory measures for the highest shutdown risk condition during RFO-13.

Specifically, the preoutage risk assessment recommended that two WOs be in place for

maintenance electricians to provide power to one spent fuel pool cooling pump in the

event of problems with the running pump during periods of safety-related electrical bus

maintenance. The inspectors found that the WOs were not in place before entering

shutdown risk condition Orange on April 26, 2006, during the Division II ESF bus testing,

and on May 3, 2006, during the Division I ESF bus outage.

Description: The inspectors observed the onsite safety review committee meeting to

discuss and approve the ORAT report for RFO-13. The report noted two Orange

shutdown risk conditions for spent fuel pool cooling (SFC). Only one SFC pump would

be available after the beginning of core offload: (1) during the Division II ESF bus

testing with the SFC-P1B breaker racked out, and (2) during the Division I ESF bus

outage when SFC-P1A was without power. As a result of the ORAT review of

Enclosure

-19-

Procedure AOP-0051, Loss of Decay Heat Removal, Revision 17, they recommended

that the planned maintenance optimization group develop WOs for maintenance

electricians to provide alternate power from the station blackout diesel generator to the

deenergized SFC pump in the event of a failure of the running pump.

In addition, Procedure OSP-0037, Shutdown Operations Protection Plan, Revision 16,

Section 4.7, Fuel Pool Cooling, required that: (1) if work was required on SFC during

the outage, then it should be done as early as possible in the outage and not after fuel

offload (when heat load is the highest); and (2) if work was required after fuel offload,

then a contingency plan shall be in place prior to removing the system from service.

The inspectors determined that this requirement applied to deenergizing an SFC pump

for electrical bus maintenance.

On May 3, 2006, during the Division I ESF bus outage, the inspectors asked the

operations shift manager if the required WO was available to provide alternate power to

SFC-P1A in the event that the running SFC-P1B failed. He stated that he assumed that

the WO was written and that he would check. The inspectors then requested a copy of

the WO and a senior work planner reported that the WO was not available since it was

not yet approved for use in the electronic work planning program. Following discussions

with operators in the work management center, the licensee immediately took actions to

ensure that both WOs were processed and made ready for use.

The inspectors reviewed AOP-0051, Attachment 1, Spent Fuel Pool Curves, and

determined that the approximate time to boil for the spent fuel pool at that time with

offload fuel in the pool was approximately 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br />. Based on that data and the time

needed to generate the WOs, the inspectors determined that there was adequate time

for the licensee to connect an alternate power supply to the SFC pumps before the

spent fuel pool water started to boil if there was a failure of the running pump.

Analysis: The performance deficiency associated with this finding involved the failure to

establish prescribed compensatory measures for the highest outage risk condition

during RFO-13 as required by the shutdown operations protection plan. The finding was

more than minor because the licensee failed to implement prescribed compensatory

measures and failed to effectively manage those measures. The finding affected the

mitigating system cornerstone because of the increased risk of a sustained loss of SFC

during core offloading operations. The finding could not be evaluated using the

significance determination process; therefore, the finding was reviewed by regional

management and determined to be of very low safety significance. Factors that were

considered included: (1) electrical maintenance technicians had previously performed

the task of providing alternate power to an SFC pump, (2) the necessary equipment was

staged as part of the abnormal operating procedure for loss of decay heat removal, and

(3) the relatively long time to boil of the spent fuel storage pool at that time during the

refueling outage. The cause of the finding was related to the crosscutting aspect of

human performance because the licensees planned maintenance activities and the

predetermined increase in outage risk was not effectively managed by prescribed

compensatory measures.

Enclosure

-20-

Enforcement: 10 CFR 50.65(a)(4) requires, in part, that before performing maintenance

activities, the licensee shall assess and manage the increase in risk that may result from

the proposed maintenance activities. Contrary to this, the licensee failed to properly

manage the highest outage risk condition of RFO-13. On April 26, 2006, the plant

entered an Orange outage risk condition for SFC during core offload, when SFC-P1B

was deenergized for Division II ESF bus testing. On May 3, 2006, the plant entered an

Orange outage risk condition for SFC during core offload, when SFC-P1A was

deenergized for a Division I ESF bus outage. WOs were not written and ready for use

to have electricians provide alternate power to an SFC pump in the event the running

pump failed. The root cause involved the failure of the licensee to ensure that the WO

was in place before the plant entered the Orange shutdown risk condition. Corrective

action was taken to process the WOs for immediate use. Because the finding was of

very low safety significance and was entered into the licensees CAP as CR-RBS-2006-

01937, this violation is being treated as an NCV consistent with Section VI.A of the

Enforcement Policy: NCV 05000458/2006003-02, "Failure to adequately manage an

increase in plant risk."

1R22

Surveillance Testing

a.

Inspection Scope

The inspectors reviewed the USAR, procedure requirements, and TS to ensure that the

six surveillance activities listed below demonstrated that the SSCs tested were capable

of performing their intended safety functions. The inspectors either witnessed or

reviewed test data to verify that the following significant surveillance test attributes were

adequate: (1) preconditioning; (2) evaluation of testing impact on the plant;

(3) acceptance criteria; (4) test equipment; (5) procedures; (6) jumper/lifted lead

controls; (7) test data; (8) testing frequency and method demonstrated TS operability;

(9) test equipment removal; (10) restoration of plant systems; (11) fulfillment of ASME

Code requirements; (12) updating of performance indicator (PI) data; (13) engineering

evaluations, root causes, and bases for returning tested SSCs not meeting the test

acceptance criteria were correct; (14) reference setting data; and (15) annunciator and

alarm setpoints. The inspectors also verified that the licensee identified and

implemented any needed corrective actions associated with the surveillance testing.

STP-208-3601, "A Main Steam Line MSIVs and Outboard Drain Valve Leak

Rate Test and Inboard MSIV Inleakage Test," Revision 6, performed on May 2,

2006

STP-305-1606, [Division I Battery] ENB-BAT1A Service Discharge Test,

Revision 17, performed on May 6, 2006

STP-050-3601, Shutdown Margin Demonstration, Revision 27, performed on

May 12, 2006

STP-000-0102, Power Distribution Alignment Check, Revision 5, performed on

May 14 and 15, 2006

Enclosure

-21-

STP-508-4543, Turbine First Stage Pressure Channel Functional Test,

Revision 7, performed on June 4, 2006

Reactor coolant sample using Procedures COP-0001, Sampling via Various

Balance-Of-Plant Systems, Attachment 8, Reactor Sample Panel Routine

Sample Points, Revision 14, and COP-0305, Operation of the Countroom

Analysis Systems, Revision 2, performed on June 15, 2006

Documents reviewed by the inspectors are listed in the attachment.

The inspectors completed six inspection samples.

h.

Findings

Introduction: The inspectors identified an NCV of TS 5.4.1.a for the failure of the

licensee to provide an adequate surveillance test procedure to perform TS Surveillance

Requirement (SR) 3.8.1.1. Specifically, STP-000-0102, Power Distribution Alignment

Check, Revision 4, did not include steps to verify the required offsite power circuit

breaker alignment and indicated power availability for the Division III 4.16 kV ESF bus

as required in Modes 1, 2, and 3.

Description: As discussed in Section 1R15 of this report, operators failed to properly

rack in Breaker NNS-ACB23 on April 29, 2006. This condition was discovered on

May 22, when the breaker failed to close. During this period, on May 14, 2006, the

Division I EDG was removed from service to replace a leaking section of jacket cooling

water vent tubing. With the Division I EDG removed from service, TS Required

Action 3.8.1.a.1 required that operators perform TS SR 3.8.1.1 within one hour and

once every 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br /> until the EDG was operable. TS SR 3.8.1.1 required operators to

verify the correct breaker alignment and indicated power for each required offsite power

circuit. Operators utilized Procedure STP-000-0102, Power Distribution Alignment

Check, Revision 4, to satisfy the requirements of TS SR 3.8.1.1; however, the

inspectors identified that the procedure did not have steps to verify the correct breaker

alignment and indicated power availability to the Division III 4.16 kV ESF bus. As a

result, the operators did not identify that Breaker NNS-ACB23 was not racked in.

During the period that the Division I EDG was removed from service, the plant was

actually in TS Condition 3.8.1.d. TS Condition 3.8.1.d states that with One required

offsite circuit inoperable AND one required [E]DG inoperable, restore the EDG or the

offsite power supply to an operable status in 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> or place the plant in Mode 3 within

the next 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br />. The Division I EDG was inoperable for 15 hours1.736111e-4 days <br />0.00417 hours <br />2.480159e-5 weeks <br />5.7075e-6 months <br /> and 15 minutes.

Procedure STP-000-0102, Section 1.1, states, in part, that its purpose is to verify the

correct breaker alignment and indicated power availability for each required offsite

power circuit in accordance with TS SR 3.8.1.1 in Modes 1, 2, and 3. TS 3.8.1 bases

defines an offsite power circuit as follows: Each offsite circuit consists of incoming

breakers and disconnects to the respective preferred station service Transformers 1C

and 1D [RSS1 and RSS2], the 1C and 1D preferred station service transformers, and

the respective circuit path including feeder breakers to the three 4.16 kV ESF buses.

Enclosure

-22-

NNS-ACB23 is one of the circuit breakers between preferred station service

Transformer RTX-XSR1C and the Division III 4.16 kV ESF bus.

Analysis: The performance deficiency associated with this finding involved the

licensees failure to provide operators with an adequate STP to meet the requirements

of TS SR 3.8.1.1 to verify correct breaker alignment and indicated power availability to

the Division III ESF bus for each required offsite circuit. A review of previous revisions

of STP-000-0102 showed that the procedure has never verified the required offsite

power circuits for the Division III 4.16 kV ESF bus in Modes 1, 2, and 3. Although this

performance deficiency caused the failure to verify the offsite power circuit for an

extended period of time, the risk impact was limited to the 10 days from May 12-22,

2006. Therefore, the risk characterization of this finding is the same as that described in

Section 1R15 of this inspection report. The cause of the finding was related to the

crosscutting aspect of human performance because the licensee did not provide the

operators with an adequate STP to complete the TS SR to verify the required offsite

power circuits breaker alignment to all three 4.16 kV ESF buses. Additionally, the

cause of the finding was related to the crosscutting aspect of problem identification and

resolution in that on two occasions, June 18, 2005, and May 22, 2006, operators

entered TS Condition 3.8.1.a for one inoperable offsite power circuit to the Division III

4.16 kV ESF bus and performed STP-000-0102 to meet the Required Action to perform

SR 3.8.1.1, but did not recognize that STP-000-0102 did not verify the other offsite

power circuit breaker alignment to the Division III 4.16 kV ESF bus.

Enforcement: TS 5.4.1.a requires that written procedures be established, implemented,

and maintained covering the activities specified in Appendix A, "Typical Procedures for

Pressurized Water Reactors and Boiling Water Reactors," of Regulatory Guide 1.33,

"Quality Assurance Program Requirements (Operation)," dated February 1978.

Regulatory Guide 1.33, Appendix A, Section 8.a, requires procedures for all TS SRs.

Procedure STP-000-0102 states that it verified the correct breaker alignment and power

availability for each required offsite circuit in accordance with TS SR 3.8.1.1 in Modes 1,

2, and 3. Contrary to this, Procedure STP-000-0102, Revision 4, did not require

verification of the correct breaker alignment for the offsite power circuits to the

Division III 4.16 kV ESF bus in Modes 1, 2, and 3. The root cause involved the incorrect

interpretation of the Division III 4.16 kV bus SRs as they apply to the unique River Bend

Station ESF electrical distribution system. The corrective actions to restore compliance

included as an interim measure entering in the control room logs the breaker alignment

for and the bus voltage available to the Division III 4.16 kV ESF bus, until STP-000-0102

could be revised. Because the finding was of very low safety significance and has been

entered into the licensees CAP as CR-RBS-2006-02675 and -02402, this violation is

being treated as an NCV consistent with Section VI.A of the Enforcement Policy: NCV 05000458/2006003-03, Inadequate procedure to verify required offsite power breaker

alignment.

Enclosure

-23-

1R23

Temporary Plant Modifications

a.

Inspection Scope

The inspectors reviewed the USAR, plant drawings, procedure requirements, and TS to

ensure that Temporary Alteration 2006-0011, Off Gas Pretreatment Radiation Monitor

Sample Chamber Drain Line Modification, was properly implemented. The inspectors:

(1) verified that the modification did not have an affect on system operability/availability;

(2) verified that the installation was consistent with modification documents; (3) ensured

that the postinstallation test results were satisfactory and that the impact of the

temporary modification on the operation of the pretreatment radiation monitor were

supported by the test; (4) verified that the modification was identified on control room

drawings and that appropriate identification tags were placed on the affected drawings;

and (5) verified that appropriate safety evaluations were completed. The inspectors

verified that the licensee identified and implemented any needed corrective actions

associated with temporary modifications.

The inspectors completed one inspection sample.

b.

Findings

No findings of significance were identified.

Cornerstone: Emergency Preparedness

1EP6 Drill Evaluation

a.

Inspection Scope

On June 20, 2006, the inspectors observed the full scope exercise dress rehearsal,

which was used to contribute to Drill/Exercise Performance and Emergency Response

Organization Drill Performance PI. The inspectors: (1) observed the training evolution

to identify any weaknesses and deficiencies in classification, notification, and protective

action requirements development activities; (2) compared the identified weaknesses and

deficiencies against licensee identified findings to determine whether the licensee was

properly identifying failures; and (3) determined whether licensee performance was in

accordance with the guidance of the NEI 99-02, "Voluntary Submission of Performance

Indicator Data," Revision 2, acceptance criteria. The scenario used was RDRL-EP-

0602, Tornado/Loss of Offsite Power/Main Steam Line Break, dated June 16, 2006.

Emergency [plan] implementing procedures reviewed by the inspectors included:

EIP-2-001, Classification of Emergencies, Revision 13

EIP-2-006, Notifications, Revision 32

EIP-2-007, Protective Action Guidelines Recommendations, Revision 21

The inspectors completed one inspection sample.

Enclosure

-24-

b.

Findings

No findings of significance were identified.

2.

RADIATION SAFETY

Cornerstone: Occupational Radiation Safety

2OS1 Access Control to Radiologically Significant Areas

a.

Inspection Scope

This area was inspected to assess the licensees performance in implementing physical

and administrative controls for airborne radioactivity areas, radiation areas, high

radiation areas, and worker adherence to these controls. The inspector used the

requirements in 10 CFR Part 20, TS, and the licensees procedures required by TS as

criteria for determining compliance. During the inspection, the inspector interviewed the

radiation protection manager, radiation protection supervisors, and radiation workers.

The inspector performed independent radiation dose rate measurements and reviewed

the following items:

PI events and associated documentation packages reported by the licensee in

the occupational radiation safety cornerstone

Controls (surveys, posting, and barricades) of three radiation, high radiation, or

airborne radioactivity areas

Radiation work permits, procedures, engineering controls, and air sampler

locations

Conformation of electronic personal dosimeter alarm setpoints with survey

indications and plant policy; workers knowledge of required actions when their

electronic personnel dosimeter noticeably malfunctions or alarms

Barrier integrity and performance of engineering controls in airborne radioactivity

areas

Adequacy of the licensees internal dose assessment for any actual internal

exposure greater than 50 millirem committed effective dose equivalent

Physical and programmatic controls for highly activated or contaminated

materials (nonfuel) stored within spent fuel and other storage pools.

Self-assessments, audits, licensee event reports (LER), and special reports

related to the access control program since the last inspection

Corrective action documents related to access controls

Enclosure

-25-

Licensee actions in cases of repetitive deficiencies or significant individual

deficiencies

Radiation work permit briefings and worker instructions

Adequacy of radiological controls, such as required surveys, radiation protection

job coverage, and contamination controls during job performance

Dosimetry placement in high radiation work areas with significant dose rate

gradients

Changes in licensee procedural controls of high dose rate - high radiation areas

and very high radiation areas

Controls for special areas that have the potential to become very high radiation

areas during certain plant operations

Posting and locking of entrances to all accessible high dose rate - high radiation

areas and very high radiation areas

Radiation worker and radiation protection technician performance with respect to

radiation protection work requirements

The inspector completed 21 of the required 21 samples.

b.

Findings

1.

Unguarded High Radiation Area Boundary

Introduction: The inspector reviewed a self-revealing NCV of TS 5.7.1, resulting from

the licensees failure to control access to a high radiation area. The finding had very low

safety significance.

Description: On April 6, 2006, the licensee transferred reverse osmosis system filters

from one elevation of the radwaste building to another. Because dose rates on the filter

barrels were as high as 600 millirem per hour, the licensee assigned personnel to guard

the elevator entrances to prevent workers from entering high radiation areas. On this

occasion, the guards were not using radios, as was a common practice. Because of the

lack of good communication, a guard prematurely left his post in front of the 123-foot

elevation elevator door. Coincidently, two workers attempted to board the elevator on

the 123-foot elevation after the guard had left. The elevator carrying the barrels of

radioactive filters stopped at the 123-foot elevation, the doors opened, and the

electronic dosimeters of the workers alarmed because of the high dose rates. The

guard returned and evacuated the workers before they accrued additional radiation

dose. The highest dose rate recorded by an electronic alarming dosimeter was 164

millirem per hour. Planned corrective action was still being evaluated by the licensee at

the conclusion of the inspection.

Enclosure

-26-

Analysis: The failure to control access to a high radiation area was a performance

deficiency. The significance of the finding was greater than minor because it was

associated with the occupational radiation safety attribute of exposure control and

affected the cornerstone objective, in that not controlling access to a high radiation area

could increase personal exposure. Using the Occupational Radiation Safety

Significance Determination Process, the inspector determined that the finding was of

very low safety significance because it did not involve: (1) an as low as is reasonably

achievable (ALARA) finding, (2) an overexposure, (3) a substantial potential for

overexposure, or (4) an impaired ability to assess dose. Additionally, this finding had

crosscutting aspects associated with human performance in that the failure of the

individual to guard the elevator door directly contributed to the violation.

Enforcement: TS 5.7.1 requires each high radiation area, as defined in 10 CFR Part 20,

in which the intensity of radiation is greater than 100 millirems per hour but less than

1000 millirems per hour, be barricaded and conspicuously posted as a high radiation

area and entrance thereto shall be controlled by requiring issuance of a radiation work

permit. The licensee violated TS 5.7.1 when it failed to barricade and conspicuously

post the elevator housing the radioactive filter barrels or maintain a guard to ensure

workers did not enter a high radiation area. Because this failure to control a high

radiation area was of very low safety significance and has been entered into the

licensees CAP as CR-RBS-2006-01294, this violation is being treated as an NCV,

consistent with Section VI.A of the NRC Enforcement Policy:

NCV 05000458/2006003-04, Failure to control access to a high radiation area.

2.

Unanalyzed Airborne Radioactivity Survey

Introduction: The inspector identified an NCV of 10 CFR 20.1501(a) because the

licensee failed to survey airborne radioactivity. The finding had very low significance.

Description: On May 2, 2006, during the removal of local power range monitors, the

licensee started collecting an air sample of the work area. The air sample spanned two

shifts. A health physics technician on the second shift discarded the sample because

the first shift had not documented a start time. Therefore, the sample was never

analyzed. However, all workers successfully passed through the portal monitors at the

exit of the controlled access area without alarm, confirming that no worker experienced

an uptake of radioactive material. Planned corrective action is still being evaluated.

Analysis: The failure to survey airborne radioactivity was a performance deficiency.

This finding was greater than minor because it was associated with the occupational

radiation safety program attribute of exposure control and affected the cornerstone

objective in that the lack of knowledge of radiological conditions could increase

personnel dose. Using the Occupational Radiation Safety Significance Determination

Process, the inspector determined that the finding was of very low safety significance

because it did not involve: (1) an ALARA finding, (2) an overexposure, (3) a substantial

potential for overexposure, or (4) an impaired ability to assess dose. Additionally, this

finding had crosscutting aspects associated with human performance in that the failure

to maintain the sample for analysis directly contributed to the violation.

Enclosure

-27-

Enforcement: 10 CFR 20.1501(a) requires that each licensee make or cause to be

made surveys that may be necessary for the licensee to comply with the regulations in

10 CFR Part 20 and that are reasonable under the circumstances to evaluate the extent

of radiation levels, concentrations or quantities of radioactive materials, and the potential

radiological hazards that could be present. Pursuant to 10 CFR 20.1003, a survey

means an evaluation of the radiological conditions and potential hazards incident to the

production, use, transfer, release, disposal, or presence of radioactive material or other

sources of radiation. In part, 10 CFR 20.1201(a) states that the licensee shall control

the occupational dose to individual adults. The licensee violated 10 CFR 20.1501(a)

when it failed to perform an evaluation of airborne radioactivity to ensure compliance

with 10 CFR 20.1201(a). Because this failure to perform a radiological survey was of

very low safety significance and has been entered into the licensees CAP as

CR-RBS-2006-01994, this violation is being treated as an NCV, consistent with

Section VI.A of the NRC Enforcement Policy: NCV 05000458/2006003-05, Failure to

perform airborne radiation survey.

2OS2 ALARA Planning and Controls

a.

Inspection Scope

The inspector assessed licensee performance with respect to maintaining individual and

collective radiation exposures ALARA. The inspector used the requirements in 10 CFR Part 20 and the licensees procedures required by TS as criteria for determining

compliance. The inspector interviewed licensee personnel and reviewed:

Current 3-year rolling average collective exposure

Three outage or on-line maintenance work activities scheduled during the

inspection period and associated work activity exposure estimates which were

likely to result in the highest personnel collective exposures

ALARA work activity evaluations, exposure estimates, and exposure mitigation

requirements

Intended versus actual work activity doses and the reasons for any

inconsistencies

Shielding requests and dose/benefit analyses

Dose rate reduction activities in work planning

Use of engineering controls to achieve dose reductions and dose reduction

benefits afforded by shielding

Workers use of the low dose waiting areas

First-line job supervisors contribution to ensuring work activities are conducted

in a dose efficient manner

Enclosure

-28-

Radiation worker and radiation protection technician performance during work

activities in radiation areas, airborne radioactivity areas, or high radiation areas

The inspector completed 6 of the required 15 samples and 4 of the optional samples.

b.

Findings

No findings of significance were identified.

4.

OTHER ACTIVITIES

4OA1 Performance Indicator Verification

a.

Inspection Scope

1.

Barrier Integrity Cornerstone

The inspectors sampled licensee submittals for the two PIs listed below for the period

October 1, 2004, through March 31, 2006. The definitions and guidance of NEI 99-02,

Regulatory Assessment Indicator Guideline, Revision 4, were used to verify the

licensees basis for reporting each data element in order to verify the accuracy of PI

data reported during the assessment period. The inspectors: (1) reviewed reactor

coolant system (RCS) chemistry sample analyses for dose equivalent Iodine-131 and

compared the results to the TS limit; (2) observed a chemistry technician obtain and

analyze an RCS sample; (3) reviewed operating logs and surveillance results for

measurements of RCS identified leakage; and (4) observed a surveillance test that

determined RCS identified leakage.

C

RCS Specific Activity

C

RCS Leakage

The inspectors completed two inspection samples.

2.

Occupational Radiation Safety Cornerstone

The review included corrective action documentation that identified occurrences in

locked high radiation areas (as defined in the licensees TS), very high radiation areas

(as defined in 10 CFR 20.1003), and unplanned personnel exposures (as defined in

NEI 99-02), specifically CR-RBS-2006-01910. Additional records reviewed included

ALARA records and whole-body counts of selected individual exposures. The inspector

interviewed licensee personnel that were accountable for collecting and evaluating the

PI data. In addition, the inspector toured plant areas to verify that high radiation, locked

high radiation, and very high radiation areas were properly controlled. PI definitions and

guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"

Revision 3, were used to verify the basis in reporting for each data element.

Enclosure

-29-

Occupational Exposure Control Effectiveness

The inspector completed the one required sample in this cornerstone.

3.

Public Radiation Safety Cornerstone

The inspector reviewed licensee documents from June 1, 2005, through March 31,

2006. Licensee records reviewed included corrective action documentation that

identified occurrences for liquid or gaseous effluent releases that exceeded PI

thresholds and those reported to the NRC. The inspector interviewed licensee

personnel that were accountable for collecting and evaluating the PI data. PI definitions

and guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"

Revision 3, were used to verify the basis in reporting for each data element.

Radiological Effluent Technical Specification/Offsite Dose Calculation Manual

Radiological Effluent Occurrences

The inspector completed the one required sample in this cornerstone.

f.

Findings

No findings of significance were identified.

4OA2 Identification and Resolution of Problems

1.

Semiannual Trend Review

g.

Inspection Scope

The inspectors completed a semiannual trend review of repetitive or closely related

issues related to identify trends that might indicate the existence of more safety

significant issues. The inspectors review consisted of the 6-month period from

January 1 to June 30, 2006, of CAP items associated with the three EDG starting air

systems documented in 42 CRs. When warranted, some of the samples expanded

beyond those dates to fully assess the issue. The inspectors compared and contrasted

their results with the results contained in adverse trend CRs for problems related to the

starting air compressors and air dryers. Corrective actions associated with a sample of

the issues identified were reviewed for adequacy. The CRs reviewed by the inspectors

are listed in the attachment.

The inspectors completed one inspection sample.

b. Findings and Observations

There were no findings of significance identified associated with the CRs reviewed.

The inspectors noted that the licensee had identified a long-standing issue related to the

performance of the EDG starting air systems air compressors. Since January 1, 2006,

Enclosure

-30-

there were 18 CRs written for high metal wear products in monthly air compressor oil

samples. Each of these CRs was closed to CR-RBS-2004-02165. An additional

28 CRs written since August 2, 2004, for high metal wear product concentrations and

high moisture content in monthly compressor oil samples were closed to CR-RBS-2004-

02165. In addition, operators wrote adverse trend CR-RBS-2006-02407 to detail

compressor problems, including excessive run times. The inspectors determined that

the licensee is taking appropriate actions to understand the problem with the EDG

starting air compressors, including sending the system engineer to observe the vendors

teardown and refurbishment of two of the starting air compressors.

Another four CRs have been written since January 1, 2006, describing problems with

starting air system dryers and dryer prefilters. Following a June 29, 2006, meeting held

to discuss overall EDG starting air system maintenance problems, the licensee wrote

CR-RBS-2006-02799, to look into the relationship between the prefilter and dryer

problems. The inspectors noted that this meeting was the first discussion of the overall

condition of the EDG starting air systems and to evaluate the interrelationship between

compressor, dryer, and prefilter problems.

2.

Occupational Radiation Safety

a.

Inspection Scope

The inspector evaluated the effectiveness of the licensees problem identification and

resolution process with respect to the following inspection areas:

Access Control to Radiologically Significant Areas (Section 2OS1)

ALARA Planning and Controls (Section 2OS2)

b. Findings and Observations

No findings of significance were identified.

3.

Inservice Inspection Activities

a.

Inspection Scope

The inspector reviewed selected inservice inspection related CRs issued during the

current and past refueling outages. The review served to verify that the licensees CAP

was being correctly utilized to identify conditions adverse to quality and that those

conditions were being adequately evaluated, corrected, and trended.

b.

Findings

No findings of significance were identified.

Enclosure

-31-

4OA3 Event Followup

1.

(Closed) LER 50-458/2004-003-01, Unplanned Automatic Start of Standby Diesel

Generator Due to Loss of Division 1 Switchgear

On October 31, 2004, technicians caused an unexpected degraded voltage signal,

which resulted in a loss of the Division I 4.16 kV ESF bus during preparations for the

Division I loss of offsite power/loss of coolant accident test. The Division I EDG

automatically started and powered the ESF bus and all equipment operated as

expected. Initial inspection of this event was documented in NRC integrated inspection

Report 05000458/2004005. During this inspection period, the inspectors reviewed the

LER, the root cause analysis, and corrective actions documented in

CR-RBS-2004-03518. No additional findings of significance were identified. This LER

is closed.

2.

(Closed) LER 50-458/2004-004-01, Unplanned Automatic Start of Standby Diesel

Generator Due to Loss of Division 2 Switchgear

On November 1, 2004, technicians inadvertently caused a trip of Transformer RSS2

preferred station service Transformer RTX-XSR1F while troubleshooting a transformer

sudden pressure relay trip circuit. As a result, power was also lost to preferred station

Transformer RTX-XSR1D and the Division II 4.16 kV ESF bus. The running shutdown

cooling, alternate decay heat removal, and plant operating water cleanup systems lost

power until the Division II EDG started and restored power to the ESF bus. Shutdown

cooling was restored in less than one hour. Initial inspection of this event was

documented in NRC integrated inspection Report 05000458/2004005. During this

inspection period, the inspectors reviewed the LER, the root cause analysis, and

corrective actions documented in CR-RBS-2004-03546. No additional findings of

significance were identified. This LER is closed.

3.

(Closed) LER 50-458/2004-005-01, Unplanned Automatic Scram Due to Loss of

Non-Vital 120 Volt Instrument Bus

On December 10, 2004, an automatic scram occurred due to a loss of power to

nonsafety-related instrumentation Bus VBN-PNL01B1. A capacitor on the control board

for the nonsafety-related Inverter BYS-INV01B static switch failed, which caused a loss

of power to Bus VBN-PNL01B1, a subsequent downshift of the plant operating

recirculation pumps and a lockup of the main feedwater regulating valves. The result

was an automatic plant scram complicated by a loss of normal feedwater. Inspection of

this event was documented in NRC integrated inspection Report 05000458/2004005.

Additional inspection was documented in NRC supplemental inspection Report

05000458/2005012. During this inspection period, the inspectors reviewed the LER, the

root cause analysis, and corrective actions documented in CR-RBS-2004-04289. No

additional findings of significance were identified. This LER is closed.

Enclosure

-32-

4.

(Closed) LER 50-458 /2005-001-01, Unplanned Manual Scram Due to Indication of

Ground Fault in Main Generator

On January 15, 2005, while the plant was at 100 percent power, a main generator field

ground fault alarm was received. Control room operators tripped the turbine in

accordance with alarm response Procedure ARP-680-09. The licensee later determined

that one of the five rectifier banks in the generator excitation control system was the

source of the ground and removed it from service. In addition, the licensee tested the

relay that causes the main generator ground fault alarm and found it to be out of

calibration such that it alarmed before the ground current reached its setpoint. The

alarm response procedure requirement to trip the turbine was revised to allow validation

of the alarm before tripping the main turbine. Inspection of this event was documented

in NRC integrated inspection Report 05000458/2005002. Additional inspection was

documented in NRC supplemental inspection Report 05000458/2005012. During this

inspection period, the inspectors reviewed the LER, the root cause analysis, and

corrective actions documented in CR-RBS-2005-00140. No additional findings of

significance were identified. This LER is closed.

4OA5 Other Activities

Implementation of Temporary Instruction 2515/165 - Operational Readiness of Offsite

Power and Impact on Plant Risk

a.

Inspection Scope

The objective of Temporary Instruction 2515/165, "Operational Readiness of Offsite

Power and Impact on Plant Risk," was to gather information to support the assessment

of nuclear power plant operational readiness of offsite power systems and impact on

plant risk. During this inspection, the inspectors interviewed licensee personnel,

reviewed licensee procedures, and gathered information for further evaluation by the

Office of Nuclear Reactor Regulation.

b.

Findings

No findings of significance were identified.

4OA6 Meetings, Including Exit

Exit Meetings

On May 5, 2006, the inspector presented the occupational radiation safety inspection

results to Mr. D. Vinci, General Manager, Plant Operations, and other members of his

staff who acknowledged the findings. The inspector confirmed that proprietary

information was not provided or examined during the inspection.

On May 5, 2006, the inspector presented the results of this inspection of inservice

inspection activities to Mr. P. Russell, Manager, System Engineering, and other

Enclosure

-33-

members of licensee management. The inspector confirmed that proprietary

information was not provided or examined during the inspection.

On July 5, 2006, the resident inspectors presented the integrated baseline inspection

results to Mr. P. Hinnenkamp, Vice President - Operations, and other members of

licensee management. The inspectors confirmed that proprietary information was not

provided or examined during the inspection.

ATTACHMENT: SUPPLEMENTAL INFORMATION

Attachment

A-1

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee Personnel

T. Baccus, Acting Supervisor, ALARA Planning

L. Ballard, Manager, Quality Programs

D. Burnett, Superintendent, Chemistry

C. Bush, Manager, Outage

J. Clark, Assistant Operations Manager - Training

T. Coleman, Manager, Planning and Scheduling/Outage

M. Davis, Manager, Radiation Protection

C. Forpahl, Manager, Corrective Action Program

T. Gates, Manager, Equipment Reliability

H. Goodman, Director, Engineering

K. Higginbotham, Assistant Operations Manager - Shift

P. Hinnenkamp, Vice President - Operations

B. Houston, Manager, Plant Maintenance

A. James, Superintendent, Plant Security

K. Jenks, Supervisor, Engineering Codes and Standards

N. Johnson, Manager, Engineering Programs & Components

R. King, Director, Nuclear Safety Assurance

J. Leavines, Manager, Emergency Planning

D. Lorfing, Manager, Licensing

J. Maher, Superintendent, Reactor Engineering

W. Mashburn, Manager, Design Engineering

J. Miller, Manager, Training and Development

P. Russell, Manager, System Engineering

C. Stafford, Manager, Operations

D. Vinci, General Manager - Plant Operations

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED

Opened and Closed

05000458/2006003-01

NCV

Failure to identify Division III ESF bus supply breaker not

racked in

05000458/2006003-02

NCV

Failure to adequately manage an increase in plant risk 05000458/2006003-03

NCV

Inadequate procedure to verify required offsite power

breaker alignment

05000458/2006003-04

NCV

Failure to control access to a high radiation area

05000458/2006003-05

NCV

Failure to perform airborne radiation survey

Attachment

A-2

Closed

50-458/2004-003-01

LER

Unplanned Automatic Start of Standby Diesel Generator

Due to Loss of Division 1 Switchgear

50-458/2004-004-01

LER

Unplanned Automatic Start of Standby Diesel Generator

Due to Loss of Division 2 Switchgear

50-458/2004-005-01

LER

Unplanned Automatic Scram Due to Loss of Non-Vital 120

Volt Instrument Bus

50-458 /2005-001-01

LER

Unplanned Manual Scram Due to Indication of Ground

Fault in Main Generator

LIST OF DOCUMENTS REVIEWED

The following documents were selected and reviewed by the inspectors to accomplish the

objectives and scope of the inspection and to support any findings:

Section 1R06: Inservice Inspection Activities

Procedures

CEP-NDE-0400, Ultrasonic Examination, Revision 0

CEP-NDE-0404, Manual Ultrasonic Examination of Ferritic Piping Welds (ASME XI),

Revision 1

CEP-NDE-0407, Straight Beam Ultrasonic Examination of Bolts and Studs (ASME XI),

Revision 1

CEP-NDE-0423, Manual Ultrasonic Examination of Austenitic Piping Welds (ASME XI),

Revision 1

CEP-NDE-0424, Manual Ultrasonic Examination of the Reactor Vessel Flange Ligament Areas

(ASME XI), Revision 1

CEP-NDE-0428, Manual Ultrasonic Throughwall Sizing in Piping Welds (ASME XI), Revision 1

CEP-NDE-0641, Liquid Penetrant Examination for ASME Section XI, Revision 1

CEP-NDE-0731, Magnetic Particle Examination (ASME Section XI), Revision 0

SPP-7010, Preparation of Weld Data Documents, Revision 9

Attachment

Miscellaneous Documents

7228.000-701-131A, Risk Informed Break Exclusion Region Evaluation for River Bend

Station, Revision 0

Liquid Penetrant Examinations

BOP-PT-06-024

BOP-PT-06-025

BOP-PT-06-026

BOP-PT-06-029

UT Calibration Reports

CAL -06-015

CAL -06-016

CAL-06-017

UT Pipe Weld Examinations

ISI-UT-06-003

ISI-UT-06-006

ISI-UT-06-009

ISI-UT-06-012

ISI-UT-06-004

ISI-UT-06-007

ISI-UT-06-010

ISI-UT-06-013

ISI-UT-06-005

ISI-UT-06-008

ISI-UT-06-011

ISI-UT-06-014

Condition Reports

CR-RBS-2005-00065

CR-RBS-2005-00067

CR-RBS-2005-00100

CR-RBS-2005-01379

Section 1R15: Operability Evaluations

Primary Containment Purge Exhaust Line Operability

CR-RBS-2006-00964, primary containment purge exhaust line leak rate test results showing

negative trend

ADM-0050, Primary Containment Leakage Rate Testing Program, Revision 8

SEP-APJ-001, Primary containment Leakage Rate Testing (Appendix J) Program,

Revision 0G

STP-403-7301, Containment Purge System Isolation Valve Leak Rate Test, Revisions 0, 1, 2,

and 3

RBS-ER-00-0589, Post RF-09 LLRT Testing Interval Determination, dated January 25, 2001

RBS TS Amendment 81, dated July 20, 1995

RBS TS Bases Revision 126, dated March 31, 206

Attachment

A-4

NNS-ACB23 Not Functional

Electrical Drawings

EE-001AC, Startup Electrical Distribution Chart, Revision 33

ESK-05NNS03, Elementary Diagram - 4.16 kV Switchgear Bus 1C Normal Supply ACB,

Revision 13

Corrective Action Documents

CR-RBS-2006-02402

CR-RBS-2006-0235

CR-RBS-2006-02337

CR-RBS-1998-00190

Procedures

OSP-0022, Operations General Administrative Guidelines, Revision 01

GOP-0001, Plant Startup, Revision 47, performed on May 12, 2006

STP-000-0102, Power Distribution Alignment Check, Revision 4, performed on May 9, 2006

STP-000-0102, Power Distribution Alignment Check, Revision 4, performed on May 22, 2006

Work Requests

WR 76625

WR 77441

WR77478

Miscellaneous Documents

Main Control Room Logs

TS LCO Records: 1-OPT-06-0187

1-TS-06-0694

RBS Tagout Record: 1-302-NNS-SWG1A-006-A

Section 1R20: Refueling and Other Outage Activities

Procedures

RSP-0217, Auxiliary Access Control Functions, Revision 27

GOP-0003, Scram Recovery, Revision 14A, post scram report, dated April 23, 2006

OSP-0031, Shutdown Operations Protection Plan, Revision 16

OSP-0041, Alternate Decay Heat Removal, Revision 8A

AOP-0051, Loss of Decay Heat Removal, Revision 18

OSP-0034, Control of Obstructions for Primary Containment/Fuel Building Operability,

Revision 3

Attachment

A-5

GOP-0001, Plant Startup, Revision 47, performed on May 12, 2006

Corrective Action Documents

CR-RBS-2006-00691

CR-RBS-2006-01937

Miscellaneous Documents

Control Room Logs

TS LCO Logs

Daily Refueling Outage Updates

ORAT Report

WO 50340401 and 81284

ER-RB-2005-0157-000, Install new relays on the output of EOC-RPT optical output cards

C71A-AT17 and C71A-AT18, dated May 16, 2006

WO 5034041's task outline to configure the station blackout diesel to supply power to spent fuel

pool cooling Pump SFC-P1A

WO 5034041, Configure the station blackout diesel to supply power to spent fuel pool cooling

Pump SFC-P1A, written May 3, 2006

Section 1R22: Surveillance Testing

Drawing EE-001AC, Startup Electrical Distribution Chart, Revision 33

TS Section 3.8.1 and Bases 3.8.1, Revision 0

USAR Section 8.2.1.2.1, General Design Criteria, Revision 16

NUREG-0989, Safety Evaluation Report Related to the Operation of River Bend Station,

dated May 1984

TS LCO Logs

1-TS-06-0694

I-TS-06-0685

1-TS-05-0386

Corrective Action Documents

CR-RBS-2006-02675

CR-RBS-2006-02402

CR-RBS-2005-02331

Attachment

A-6

Section 4OA2: Identification and Resolution of Problems

Semiannual Trend Review

CR-RBS-2004-02165

CR-RBS-2006-00159

CR-RBS-2006-00226

CR-RBS-2006-00279

CR-RBS-2006-00296

CR-RBS-2006-00434

CR-RBS-2006-00663

CR-RBS-2006-00798

CR-RBS-2006-00799

CR-RBS-2006-00928

CR-RBS-2006-00993

CR-RBS-2006-01131

CR-RBS-2006-01132

CR-RBS-2006-01205

CR-RBS-2006-01261

CR-RBS-2006-01270

CR-RBS-2006-01324

CR-RBS-2006-01333

CR-RBS-2006-01429

CR-RBS-2006-01464

CR-RBS-2006-01489

CR-RBS-2006-01490

CR-RBS-2006-02269

CR-RBS-2006-02348

CR-RBS-2006-02349

CR-RBS-2006-02356

CR-RBS-2006-02375

CR-RBS-2006-02406

CR-RBS-2006-02407

CR-RBS-2006-02469

CR-RBS-2006-02484

CR-RBS-2006-02540

CR-RBS-2006-02544

CR-RBS-2006-02550

CR-RBS-2006-02558

CR-RBS-2006-02559

CR-RBS-2006-02651

CR-RBS-2006-02661

CR-RBS-2006-02682

CR-RBS-2006-02683

CR-RBS-2006-02732

CR-RBS-2006-02733

CR-RBS-2006-02799

Section 2OS1: Access Controls to Radiologically Significant Areas

Corrective Action Documents

CR-RBS-2006-00090 CR-RBS- 2006-01294 CR-RBS-2006-01787 CR-RBS- 2006-01950

Radiation Work Permits

2006-1915

RFO-13, Remove and Replace LPRMs, Including Support Activities

2006-1921

RFO-13, Flow Control Valve Maintenance, Including Support Activities

2006-1929

RFO-13, Recirc Pump Work, Including Support Activities

Procedures

RP-103

Access Control, Revision 2

RP-106

Radiological Survey Documentation, Revision 1

RP-108

Radiation Protection Posting, Revision 2

RPP-0006

Performance of Radiological Surveys, Revision 19

Section 2OS2: ALARA Planning and Controls (71121.02)

Corrective Action Documents

CR-RBS-2006-01746

Procedures

ENS-RP-105 Radiation Work Permits, Revision 7

Attachment

A-7

LIST OF ACRONYMS

CDF

core damage frequency

ALARA

as low as is reasonably achievable

ASME

American Society of Mechanical Engineers

CAP

corrective action program

CFR

Code of Federal Regulations

CR-RBS

River Bend Station condition report

EDG

emergency diesel generator

LER

licensee event report

MC

inspection manual chapter

NCV

noncited violation

NDE

nondestructive examination

NEI

Nuclear Energy Institute

NRC

U.S. Nuclear Regulatory Commission

ORAT

outage risk assessment team

PI

performance indicators

RCS

reactor coolant system

RFO

refueling outage

SFC

spent fuel pool cooling system

SOP

system operating procedures

SR

surveillance requirement

SSC

structures, systems, or components

STP

surveillance test procedure

TS

Technical Specifications

USAR

Updated Safety Analysis Report

WO

work order

WR

work request