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| issue date = 08/14/1986
| issue date = 08/14/1986
| title = Responds to Violations Noted in Insp Rept 50-220/86-08. Corrective Actions:Formal Memo Issued to Radiation Protection Technicians Describing Survey Requirements to Ensure Adequate Evaluation of Surfaces
| title = Responds to Violations Noted in Insp Rept 50-220/86-08. Corrective Actions:Formal Memo Issued to Radiation Protection Technicians Describing Survey Requirements to Ensure Adequate Evaluation of Surfaces
| author name = LEMPGES T E
| author name = Lempges T
| author affiliation = NIAGARA MOHAWK POWER CORP.
| author affiliation = NIAGARA MOHAWK POWER CORP.
| addressee name = MURLEY T E
| addressee name = Murley T
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
| docket = 05000220
| docket = 05000220
Line 14: Line 14:
| page count = 6
| page count = 6
}}
}}
See also: [[followed by::IR 05000220/1986008]]


=Text=
=Text=
{{#Wiki_filter:r1NMP-19742
{{#Wiki_filter:r 1
NIAGARAMOHAWKPOWERCORPORATION
NMP-19742 NIAGARA MOHAWKPOWER CORPORATION
.iihhhTih,
.iihhhTih, NIAGARA i~~iiMOHAWK THOMAS E. LEMPGES VCR PRESOENl~lf AR CENtllATAM 300 ERIK BQULEVAR0 WCST SYRACUSE, N.Y. i3202 August 14, 1986 Dr. Thomas E. Murley Regional Administrator United States Nuclear Regulatory Commission 631 Park Avenue King Of Prussia, PA 19406
NIAGARAi~~iiMOHAWKTHOMASE.LEMPGESVCRPRESOENl~lf
 
ARCENtllATAM
==Subject:==
300ERIKBQULEVAR0
===Response===
WCSTSYRACUSE,
to Inspection Report No. 50-220/86-08
N.Y.i3202August14,1986Dr.ThomasE.MurleyRegionalAdministrator
 
UnitedStatesNuclearRegulatory
==Dear Sir:==
Commission
Niagara Mohawk herein submits responses to each of two violations described in NRC Inspection 86-08 conducted at the Nine Mile Point Unit I Facility on May 19-24, 1986.
631ParkAvenueKingOfPrussia,PA19406Subject:ResponsetoInspection
t Notice Of Violation Item 1
ReportNo.50-220/86-08
50-220/86-04-03)
DearSir:NiagaraMohawkhereinsubmitsresponses
The Inspection Report states:
toeachoftwoviolations
"10 CFR 20.201 requires, in part, that each licensee make or cause to be made such surveys that are necessary and reasonable to comply with 10 CFR 20.
described
10 CFR 20.201 defines a survey as, among other items, an evaluation of the radiation hazards incident to the presence of radioactive materials
inNRCInspection
: and, when appropriate, includes a physical survey of materials and measure-ments of concentrations of radioactive material present.
86-08conducted
10 CFR 20.103 requires among other items, that respiratory protection equipment be used as specified therein.
attheNineMilePointUnitIFacilityonMay19-24,1986.tNoticeOfViolation
10 CFR 20.103 also requires the use of engineering controls to minimize airborne radioactivity concentrations.
Item150-220/86-04-03)
Contrary to the above, at about 4:30 p.m.
TheInspection
on March 28, 1986 necessary and reasonable surveys to ensure compliance with 10 CFR 20.103 were not made during lapping operations on 815 discharge bypass valve.
Reportstates:"10CFR20.201requires,
As a result appropriate respiratory protection equipment was not selected and used consistent with 10 CFR 20.103 (c)(1) requirements.
inpart,thateachlicenseemakeorcausetobemadesuchsurveysthatarenecessary
The two workers lapping the valve generated airborne radioactivity with a peak concentration of about 420 times the applicable concentration specified in 10 CFR 20 Appendix B exceeding the protection factor (50) of respirators used by the workers.
andreasonable
In addition, appropriate engineering controls, as required by 10 CFR 20.103(b)(1),
tocomplywith10CFR20.10CFR20.201definesasurveyas,amongotheritems,anevaluation
were not used."
oftheradiation
8b082b0081 Sb0814 PDR ADOCK 05000220 8
hazardsincidenttothepresenceofradioactive
<DR
materials
 
and,whenappropriate,
a Ji
includesaphysicalsurveyofmaterials
 
andmeasure-mentsofconcentrations
Pagy NMP-19742 Niagara Mohawk response:
ofradioactive
In our review of this violation, we concur that the cause was the inadequate contamination survey performed prior to permitting flapping operations on f115 Recirculation Loop Bypass valve, though Radiation Protection Procedure S-RP-3 provides adequate instructions.
materialpresent.10CFR20.103requiresamongotheritems,thatrespiratory
As a result of this, the following actions have been taken to prevent recurrence of an incident of this nature:
protection
A formal memorandum was issued to all Unit I Radiation Protection Techni-cians on 5/21/86 describing the survey requirements contained in S-RP-3 relative to insuring adequate evaluation of contaminated surfaces prior to permitting flapping or similar operations.
equipment
In addition, the memoran-dum provided instructions related to decontamination activities, fixed contamination assessment methods, criteria for requiring respirators, and the proper use of engineering controls.
beusedasspecified
This memo has been read and understood by all of the above indicated technicians in accordance with Radiation Protection Instruction RPI-1.
therein.10CFR20.103alsorequirestheuseofengineering
2.
controlstominimizeairborneradioactivity
On 5/21/86, a Radiological Incident Report (RIR-21) was issued to sum-marize the investigation of this incident including appropriate measures to prevent recurrence.
concentrations.
This RIR was completed on 5/23/86.
Contrarytotheabove,atabout4:30p.m.onMarch28,1986necessary
3.
andreasonable
On 5/23/86, Radiation Protection Instruction RPI-1, "In House Radiation Protection Technician Reading Assignments and Training", was revised to require Chief and Backshift Radiation Protection Technicians to read, understand and initial the "RP Supervisor Log Book" prior to beginning activities on a tour of duty.
surveystoensurecompliance
4.
with10CFR20.103werenotmadeduringlappingoperations
The contractor technician responsible for the radiological control of this flapping operation failed'to follow approved procedures that specify survey requirements and conditions requiring the use of each type of respirator.
on815discharge
As a corrective measure, the technician was dismissed from the site and placed on 2 year probation by his employer.
bypassvalve.Asaresultappropriate
Notice of Violation Item 2 50-220/86-08-01)
respiratory
The Inspection Report staes:
protection
"10 CFR 19.12 requires in part, that all individuals,working in or frequent-ing any portion of a restricted area be instructed in precautions and pro-cedures to minimize exposure and the purpose and function of protective devices employed.
equipment
Contrary to the above, on April 28,
wasnotselectedandusedconsistent
: 1986, two workers, performing grinding and lapping operations in preparation for replacing reactor water clean-up'uction valve 33-02 (highly radioactively contaminated),
with10CFR20.103(c)(1)requirements.
were provided inadequate instructions for the installation: and use of a glove bag.
Thetwoworkerslappingthevalvegenerated
As a result, air tools were used within the'ag. "'Air'exhausting into the bag caused the bag to lose,its integrity thereby subjecting the workers to airborne radioactivity concentrations of about 800.times the applicable 10 CFR 20 concentration values.
airborneradioactivity
In.addition, -and as a.result, one of the workers sustained a,limited unplanned intake of airborne radioactive material."
withapeakconcentration
 
ofabout420timestheapplicable
r
concentration
 
specified
~
in10CFR20AppendixBexceeding
~ Page NMP-19742 Niagara Mohawk response:
theprotection
l<e have reviewed the details of this violation and concur with your general finding that the cause can be attributed to the insufficiency of oversight and control of contractors.
factor(50)ofrespirators
As a result of.this, the following corrective actions have been completed to prevent recurrence of this incident:
usedbytheworkers.Inaddition,
1.
appropriate
Site Radiation Protection Procedure S-RP-2, "Radiation Work Permit Pro-cedure",
engineering
and'-RP-7, "Incorporating ALARA Requirements into l(ork Planning and Instruction"; have been revised to require that essential job radio-logical controls specified by the ALARA Review are incorporated into the RNP as a condition for performing the specified work.
controls,
These procedure revisions also included requirements to insure uniform ALARA radiological controls were incorporated into Rl(P's as well as requirements strengthening the oversight and control of all station radiological control.activities.
asrequiredby10CFR20.103(b)(1),
2.
werenotused."8b082b0081
A review has been performed to insure that all Radiation Protection Chief Technicians are cognizant of the memorandum issued to them on 4/30/86 concerning the incorporation of essential job radiological controls into applicable Rl)P's.
Sb0814PDRADOCK050002208<DR  
This review has concluded that these personnel have
.aJi
: read, and understand, the memorandum.
Pagy-2-NMP-19742
All active RWP's issued prior to this incident were reviewed and revised, as applicable, to insure essential,job radiological controls were incorporated into the Rl(P as a condition for the specified work.
NiagaraMohawkresponse:
In addition to the above completed actions, additional actions are being taken or evaluated to further reduce the potential for incident recurrence.
Inourreviewofthisviolation,
Each of these items will be completed by December 31, 1986.
weconcurthatthecausewastheinadequate
1.
contamination
Glove bags will not be used without proper ventilation and exhaust.
surveyperformed
Pro-cedures for use have been drafted.
priortopermitting
2.
flappingoperations
The contractor's Health Physics liason position will be evaluated to determine whether it aids, or interferes with, the communication link between NMPC Radiation Protection and the contractor.
onf115Recirculation
3.
LoopBypassvalve,thoughRadiation
This construction contractor's performance is being reviewed relative to continued use in nuclear station activities.
Protection
In summary, we believe we have taken all practicable corrective actions to insure these violations will not recur.
Procedure
If there are additional concerns relative to these actions, please notify my office or Mr.
S-RP-3providesadequateinstructions.
Ed Leach at 315-349-2439.
Asaresultofthis,thefollowing
Very truly yours, Thomas ED Lempges Vice President Nuclear Generation
actionshavebeentakentopreventrecurrence
 
ofanincidentofthisnature:Aformalmemorandum
4),
wasissuedtoallUnitIRadiation
~
Protection
~
Techni-cianson5/21/86describing
8S:i] ]y Gl gny 888/
thesurveyrequirements
""">>-m.~eg~}}
contained
inS-RP-3relativetoinsuringadequateevaluation
ofcontaminated
surfacespriortopermitting
flappingorsimilaroperations.
Inaddition,
thememoran-dumprovidedinstructions
relatedtodecontamination
activities,
fixedcontamination
assessment
methods,criteriaforrequiring
respirators,
andtheproperuseofengineering
controls.
Thismemohasbeenreadandunderstood
byalloftheaboveindicated
technicians
inaccordance
withRadiation
Protection
Instruction
RPI-1.2.On5/21/86,aRadiological
IncidentReport(RIR-21)wasissuedtosum-marizetheinvestigation
ofthisincidentincluding
appropriate
measurestopreventrecurrence.
ThisRIRwascompleted
on5/23/86.3.On5/23/86,Radiation
Protection
Instruction
RPI-1,"InHouseRadiation
Protection
Technician
ReadingAssignments
andTraining",
wasrevisedtorequireChiefandBackshift
Radiation
Protection
Technicians
toread,understand
andinitialthe"RPSupervisor
LogBook"priortobeginning
activities
onatourofduty.4.Thecontractor
technician
responsible
fortheradiological
controlofthisflappingoperation
failed'to
followapprovedprocedures
thatspecifysurveyrequirements
andconditions
requiring
theuseofeachtypeofrespirator.
Asacorrective
measure,thetechnician
wasdismissed
fromthesiteandplacedon2yearprobation
byhisemployer.
NoticeofViolation
Item250-220/86-08-01)
TheInspection
Reportstaes:"10CFR19.12requiresinpart,thatallindividuals,
workinginorfrequent-
inganyportionofarestricted
areabeinstructed
inprecautions
andpro-cedurestominimizeexposureandthepurposeandfunctionofprotective
devicesemployed.
Contrarytotheabove,onApril28,1986,twoworkers,performing
grindingandlappingoperations
inpreparation
forreplacing
reactorwaterclean-up'uction
valve33-02(highlyradioactively
contaminated),
wereprovidedinadequate
instructions
fortheinstallation:
anduseofaglovebag.Asaresult,airtoolswereusedwithinthe'ag."'Air'exhausting
intothebagcausedthebagtolose,itsintegrity
therebysubjecting
theworkerstoairborneradioactivity
concentrations
ofabout800.times
theapplicable
10CFR20concentration
values.In.addition,
-andasa.result,
oneoftheworkerssustained
a,limited
unplanned
intakeofairborneradioactive
material."  
r  
~~Page-3-NMP-19742
NiagaraMohawkresponse:
l<ehavereviewedthedetailsofthisviolation
andconcurwithyourgeneralfindingthatthecausecanbeattributed
totheinsufficiency
ofoversight
andcontrolofcontractors.
Asaresultof.this,thefollowing
corrective
actionshavebeencompleted
topreventrecurrence
ofthisincident:
1.SiteRadiation
Protection
Procedure
S-RP-2,"Radiation
WorkPermitPro-cedure",and'-RP-7,
"Incorporating
ALARARequirements
intol(orkPlanningandInstruction";
havebeenrevisedtorequirethatessential
jobradio-logicalcontrolsspecified
bytheALARAReviewareincorporated
intotheRNPasacondition
forperforming
thespecified
work.Theseprocedure
revisions
alsoincludedrequirements
toinsureuniformALARAradiological
controlswereincorporated
intoRl(P'saswellasrequirements
strengthening
theoversight
andcontrolofallstationradiological
control.activities.
2.Areviewhasbeenperformed
toinsurethatallRadiation
Protection
ChiefTechnicians
arecognizant
ofthememorandum
issuedtothemon4/30/86concerning
theincorporation
ofessential
jobradiological
controlsintoapplicable
Rl)P's.Thisreviewhasconcluded
thatthesepersonnel
haveread,andunderstand,
thememorandum.
AllactiveRWP'sissuedpriortothisincidentwerereviewedandrevised,asapplicable,
toinsureessential,job
radiological
controlswereincorporated
intotheRl(Pasacondition
forthespecified
work.Inadditiontotheabovecompleted
actions,additional
actionsarebeingtakenorevaluated
tofurtherreducethepotential
forincidentrecurrence.
Eachoftheseitemswillbecompleted
byDecember31,1986.1.Glovebagswillnotbeusedwithoutproperventilation
andexhaust.Pro-ceduresforusehavebeendrafted.2.Thecontractor's
HealthPhysicsliasonpositionwillbeevaluated
todetermine
whetheritaids,orinterferes
with,thecommunication
linkbetweenNMPCRadiation
Protection
andthecontractor.
3.Thisconstruction
contractor's
performance
isbeingreviewedrelativetocontinued
useinnuclearstationactivities.
Insummary,webelievewehavetakenallpracticable
corrective
actionstoinsuretheseviolations
willnotrecur.Ifthereareadditional
concernsrelativetotheseactions,pleasenotifymyofficeorMr.EdLeachat315-349-2439.
Verytrulyyours,ThomasEDLempgesVicePresident
NuclearGeneration
4),~~8S:i]]yGlgny888/""">>-m.~eg~
}}

Latest revision as of 01:08, 7 January 2025

Responds to Violations Noted in Insp Rept 50-220/86-08. Corrective Actions:Formal Memo Issued to Radiation Protection Technicians Describing Survey Requirements to Ensure Adequate Evaluation of Surfaces
ML18038A199
Person / Time
Site: Nine Mile Point Constellation icon.png
Issue date: 08/14/1986
From: Lempges T
NIAGARA MOHAWK POWER CORP.
To: Murley T
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
References
NMP-19742, NUDOCS 8608260081
Download: ML18038A199 (6)


Text

r 1

NMP-19742 NIAGARA MOHAWKPOWER CORPORATION

.iihhhTih, NIAGARA i~~iiMOHAWK THOMAS E. LEMPGES VCR PRESOENl~lf AR CENtllATAM 300 ERIK BQULEVAR0 WCST SYRACUSE, N.Y. i3202 August 14, 1986 Dr. Thomas E. Murley Regional Administrator United States Nuclear Regulatory Commission 631 Park Avenue King Of Prussia, PA 19406

Subject:

Response

to Inspection Report No. 50-220/86-08

Dear Sir:

Niagara Mohawk herein submits responses to each of two violations described in NRC Inspection 86-08 conducted at the Nine Mile Point Unit I Facility on May 19-24, 1986.

t Notice Of Violation Item 1

50-220/86-04-03)

The Inspection Report states:

"10 CFR 20.201 requires, in part, that each licensee make or cause to be made such surveys that are necessary and reasonable to comply with 10 CFR 20.

10 CFR 20.201 defines a survey as, among other items, an evaluation of the radiation hazards incident to the presence of radioactive materials

and, when appropriate, includes a physical survey of materials and measure-ments of concentrations of radioactive material present.

10 CFR 20.103 requires among other items, that respiratory protection equipment be used as specified therein.

10 CFR 20.103 also requires the use of engineering controls to minimize airborne radioactivity concentrations.

Contrary to the above, at about 4:30 p.m.

on March 28, 1986 necessary and reasonable surveys to ensure compliance with 10 CFR 20.103 were not made during lapping operations on 815 discharge bypass valve.

As a result appropriate respiratory protection equipment was not selected and used consistent with 10 CFR 20.103 (c)(1) requirements.

The two workers lapping the valve generated airborne radioactivity with a peak concentration of about 420 times the applicable concentration specified in 10 CFR 20 Appendix B exceeding the protection factor (50) of respirators used by the workers.

In addition, appropriate engineering controls, as required by 10 CFR 20.103(b)(1),

were not used."

8b082b0081 Sb0814 PDR ADOCK 05000220 8

<DR

a Ji

Pagy NMP-19742 Niagara Mohawk response:

In our review of this violation, we concur that the cause was the inadequate contamination survey performed prior to permitting flapping operations on f115 Recirculation Loop Bypass valve, though Radiation Protection Procedure S-RP-3 provides adequate instructions.

As a result of this, the following actions have been taken to prevent recurrence of an incident of this nature:

A formal memorandum was issued to all Unit I Radiation Protection Techni-cians on 5/21/86 describing the survey requirements contained in S-RP-3 relative to insuring adequate evaluation of contaminated surfaces prior to permitting flapping or similar operations.

In addition, the memoran-dum provided instructions related to decontamination activities, fixed contamination assessment methods, criteria for requiring respirators, and the proper use of engineering controls.

This memo has been read and understood by all of the above indicated technicians in accordance with Radiation Protection Instruction RPI-1.

2.

On 5/21/86, a Radiological Incident Report (RIR-21) was issued to sum-marize the investigation of this incident including appropriate measures to prevent recurrence.

This RIR was completed on 5/23/86.

3.

On 5/23/86, Radiation Protection Instruction RPI-1, "In House Radiation Protection Technician Reading Assignments and Training", was revised to require Chief and Backshift Radiation Protection Technicians to read, understand and initial the "RP Supervisor Log Book" prior to beginning activities on a tour of duty.

4.

The contractor technician responsible for the radiological control of this flapping operation failed'to follow approved procedures that specify survey requirements and conditions requiring the use of each type of respirator.

As a corrective measure, the technician was dismissed from the site and placed on 2 year probation by his employer.

Notice of Violation Item 2 50-220/86-08-01)

The Inspection Report staes:

"10 CFR 19.12 requires in part, that all individuals,working in or frequent-ing any portion of a restricted area be instructed in precautions and pro-cedures to minimize exposure and the purpose and function of protective devices employed.

Contrary to the above, on April 28,

1986, two workers, performing grinding and lapping operations in preparation for replacing reactor water clean-up'uction valve 33-02 (highly radioactively contaminated),

were provided inadequate instructions for the installation: and use of a glove bag.

As a result, air tools were used within the'ag. "'Air'exhausting into the bag caused the bag to lose,its integrity thereby subjecting the workers to airborne radioactivity concentrations of about 800.times the applicable 10 CFR 20 concentration values.

In.addition, -and as a.result, one of the workers sustained a,limited unplanned intake of airborne radioactive material."

r

~

~ Page NMP-19742 Niagara Mohawk response:

l<e have reviewed the details of this violation and concur with your general finding that the cause can be attributed to the insufficiency of oversight and control of contractors.

As a result of.this, the following corrective actions have been completed to prevent recurrence of this incident:

1.

Site Radiation Protection Procedure S-RP-2, "Radiation Work Permit Pro-cedure",

and'-RP-7, "Incorporating ALARA Requirements into l(ork Planning and Instruction"; have been revised to require that essential job radio-logical controls specified by the ALARA Review are incorporated into the RNP as a condition for performing the specified work.

These procedure revisions also included requirements to insure uniform ALARA radiological controls were incorporated into Rl(P's as well as requirements strengthening the oversight and control of all station radiological control.activities.

2.

A review has been performed to insure that all Radiation Protection Chief Technicians are cognizant of the memorandum issued to them on 4/30/86 concerning the incorporation of essential job radiological controls into applicable Rl)P's.

This review has concluded that these personnel have

read, and understand, the memorandum.

All active RWP's issued prior to this incident were reviewed and revised, as applicable, to insure essential,job radiological controls were incorporated into the Rl(P as a condition for the specified work.

In addition to the above completed actions, additional actions are being taken or evaluated to further reduce the potential for incident recurrence.

Each of these items will be completed by December 31, 1986.

1.

Glove bags will not be used without proper ventilation and exhaust.

Pro-cedures for use have been drafted.

2.

The contractor's Health Physics liason position will be evaluated to determine whether it aids, or interferes with, the communication link between NMPC Radiation Protection and the contractor.

3.

This construction contractor's performance is being reviewed relative to continued use in nuclear station activities.

In summary, we believe we have taken all practicable corrective actions to insure these violations will not recur.

If there are additional concerns relative to these actions, please notify my office or Mr.

Ed Leach at 315-349-2439.

Very truly yours, Thomas ED Lempges Vice President Nuclear Generation

4),

~

~

8S:i] ]y Gl gny 888/

""">>-m.~eg~