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{{#Wiki_filter:UNITED STATES
{{#Wiki_filter:UNITED STATES  
                          NUCLEAR REGULATORY COMMISSION
NUCLEAR REGULATORY COMMISSION  
                                          REGION I
REGION I  
                                  2100 RENAISSANCE BLVD.
2100 RENAISSANCE BLVD.  
                                KING OF PRUSSIA, PA 19406-2713
KING OF PRUSSIA, PA 19406-2713  
                                          August 30, 2016
Mr. Anthony J. Vitale
Site Vice President
Entergy Nuclear Operations, Inc.
August 30, 2016  
Indian Point Energy Center
450 Broadway, GSB
Mr. Anthony J. Vitale  
P.O. Box 249
Site Vice President  
Buchanan, NY 10511-0249
Entergy Nuclear Operations, Inc.  
SUBJECT:       INDIAN POINT NUCLEAR GENERATING - INTEGRATED INSPECTION
Indian Point Energy Center  
                REPORT 05000247/2016002 AND 05000286/2016002
450 Broadway, GSB  
Dear Mr. Vitale:
P.O. Box 249  
On June 30, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at
Buchanan, NY 10511-0249  
your Indian Point Nuclear Generating (Indian Point), Units 2 and 3. The enclosed inspection
report documents the inspection results, which were discussed on August 4, 2016, with Larry
SUBJECT:  
Coyle and other members of your staff. Based on additional information provided, the
INDIAN POINT NUCLEAR GENERATING - INTEGRATED INSPECTION  
inspectors conducted an updated exit meeting on August 30, 2016 with John Kirkpatrick, Plant
REPORT 05000247/2016002 AND 05000286/2016002  
Operations General Manager and other members of your staff.
The inspection examined activities conducted under your license as they relate to safety and
Dear Mr. Vitale:  
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
On June 30, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at  
personnel.
your Indian Point Nuclear Generating (Indian Point), Units 2 and 3. The enclosed inspection  
This report documents three NRC-identified findings of very low safety significance (Green).
report documents the inspection results, which were discussed on August 4, 2016, with Larry  
These findings involved violations of NRC requirements. However, because of the very low
Coyle and other members of your staff. Based on additional information provided, the  
safety significance, and because they are entered into your corrective action program, the NRC
inspectors conducted an updated exit meeting on August 30, 2016 with John Kirkpatrick, Plant  
is treating these findings as non-cited violations, consistent with Section 2.3.2.a of the NRC
Operations General Manager and other members of your staff.  
Enforcement Policy. If you contest any non-cited violation in this report, you should provide a
response within 30 days of the date of this inspection report, with the basis for your denial, to
The inspection examined activities conducted under your license as they relate to safety and  
the Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC
compliance with the Commissions rules and regulations and with the conditions of your license.
20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of
The inspectors reviewed selected procedures and records, observed activities, and interviewed  
Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the
personnel.  
NRC Senior Resident Inspector at Indian Point. In addition, if you disagree with the
cross-cutting aspect assigned to any finding in this report, you should provide a response within
This report documents three NRC-identified findings of very low safety significance (Green).
30 days of the date of this inspection report, with the basis for your disagreement, to the
These findings involved violations of NRC requirements. However, because of the very low  
Regional Administrator, Region I, and the NRC Senior Resident Inspector at Indian Point.
safety significance, and because they are entered into your corrective action program, the NRC  
is treating these findings as non-cited violations, consistent with Section 2.3.2.a of the NRC  
Enforcement Policy. If you contest any non-cited violation in this report, you should provide a  
response within 30 days of the date of this inspection report, with the basis for your denial, to  
the Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC  
20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of  
Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the  
NRC Senior Resident Inspector at Indian Point. In addition, if you disagree with the  
cross-cutting aspect assigned to any finding in this report, you should provide a response within  
30 days of the date of this inspection report, with the basis for your disagreement, to the  
Regional Administrator, Region I, and the NRC Senior Resident Inspector at Indian Point.  


A. Vitale                                       -2-
A. Vitale  
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390 of the NRCs
-2-  
Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be
available electronically for public inspection in the NRCs Public Document Room or from the
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390 of the NRCs  
Publicly Available Records component of the NRCs Agencywide Documents Access and
Rules of Practice, a copy of this letter, its enclosure, and your response (if any) will be  
Management System (ADAMS). ADAMS is accessible from the NRC website at
available electronically for public inspection in the NRCs Public Document Room or from the  
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
Publicly Available Records component of the NRCs Agencywide Documents Access and  
                                                  Sincerely,
Management System (ADAMS). ADAMS is accessible from the NRC website at  
                                                  /RA/
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).  
                                                  Glenn T. Dentel, Chief
                                                  Reactor Projects Branch 2
                                                  Division of Reactor Projects
Docket Nos. 50-247 and 50-286
License Nos. DPR-26 and DPR-64
Enclosure:
Inspection Report 05000247/2016002 and 05000286/2016002
   w/Attachment: Supplementary Information
Sincerely,  
cc w/encl: Distribution via ListServ
/RA/  
Glenn T. Dentel, Chief  
Reactor Projects Branch 2  
Division of Reactor Projects  
Docket Nos.  
50-247 and 50-286  
License Nos. DPR-26 and DPR-64  
Enclosure:  
Inspection Report 05000247/2016002 and 05000286/2016002  
   w/Attachment: Supplementary Information  
cc w/encl: Distribution via ListServ  




  ML16243A245
  ML16243A245  
                                              Non-Sensitive                              Publicly Available
      SUNSI Review
SUNSI Review  
                                              Sensitive                                  Non-Publicly Available
  OFFICE          RI/DRP                RI/DRP                RI/DRS              RI/DRP                  RI/DRP
  Non-Sensitive
                  BHaagensen/bh
  Sensitive
  NAME                                  NFloyd/nf              MGray/mg            GDentel/gtd              MScott/dlp for
   
  DATE            8/29/16              8/24/16                8/30/16              8/30/16                  8/30/16
                                           
                                      1
              U.S. NUCLEAR REGULATORY COMMISSION
                                  REGION I
Docket Nos. 50-247 and 50-286
License Nos. DPR-26 and DPR-64
Report Nos. 05000247/2016002 and 05000286/2016002
Licensee:    Entergy Nuclear Northeast (Entergy)
Facility:    Indian Point Nuclear Generating Units 2 and 3
Location:    450 Broadway, GSB
            Buchanan, NY 10511-0249
Dates:      April 1, 2016, through June 30, 2016
Inspectors: B. Haagensen, Senior Resident Inspector
            G. Newman, Resident Inspector
            S. Rich, Resident Inspector
            S. Galbreath, Reactor Inspector
            J. Furia, Senior Health Physicist
            N. Floyd, Senior Project Engineer
            K. Mangan, Senior Reactor Inspector
            J. Poehler, Senior Materials Engineer
Approved By: Glenn T. Dentel, Chief
            Reactor Projects Branch 2
            Division of Reactor Projects
                                                          Enclosure


                                                                2
Publicly Available
                                              TABLE OF CONTENTS
 
Non-Publicly Available
OFFICE
RI/DRP
RI/DRP
RI/DRS
RI/DRP
RI/DRP
NAME
BHaagensen/bh
NFloyd/nf
MGray/mg
GDentel/gtd
MScott/dlp for
DATE
8/29/16
8/24/16
8/30/16
8/30/16
8/30/16
 
1
Enclosure
U.S. NUCLEAR REGULATORY COMMISSION
REGION I
Docket Nos.
50-247 and 50-286
License Nos. 
DPR-26 and DPR-64
Report Nos.
05000247/2016002 and 05000286/2016002
Licensee:
Entergy Nuclear Northeast (Entergy)
Facility:
Indian Point Nuclear Generating Units 2 and 3
Location:
450 Broadway, GSB
Buchanan, NY 10511-0249
Dates: 
April 1, 2016, through June 30, 2016
Inspectors:
B. Haagensen, Senior Resident Inspector
G. Newman, Resident Inspector
S. Rich, Resident Inspector
S. Galbreath, Reactor Inspector
J. Furia, Senior Health Physicist
N. Floyd, Senior Project Engineer
K. Mangan, Senior Reactor Inspector
J. Poehler, Senior Materials Engineer
Approved By: 
Glenn T. Dentel, Chief
Reactor Projects Branch 2  
Division of Reactor Projects
 
2
TABLE OF CONTENTS  
SUMMARY .................................................................................................................................... 3
SUMMARY .................................................................................................................................... 3
REPORT DETAILS ....................................................................................................................... 5
REPORT DETAILS ....................................................................................................................... 5
1.   REACTOR SAFETY .............................................................................................................. 5
1.
  1R04   Equipment Alignment .................................................................................................. 5
REACTOR SAFETY .............................................................................................................. 5
  1R05   Fire Protection ............................................................................................................. 6
1R04
  1R07   Heat Sink Performance ............................................................................................... 7
Equipment Alignment .................................................................................................. 5
  1R08   Inservice Inspection Activities ..................................................................................... 7
1R05
  1R11   Licensed Operator Requalification Program ............................................................... 8
Fire Protection ............................................................................................................. 6
  1R12   Maintenance Effectiveness ....................................................................................... 10
1R07
  1R13   Maintenance Risk Assessments and Emergent Work Control .................................. 13
Heat Sink Performance ............................................................................................... 7
  1R15   Operability Determinations and Functionality Assessments ..................................... 14
1R08
  1R18   Plant Modifications .................................................................................................... 19
Inservice Inspection Activities ..................................................................................... 7
  1R19   Post-Maintenance Testing ........................................................................................ 20
1R11
  1R20   Refueling and Other Outage Activities ...................................................................... 21
Licensed Operator Requalification Program ............................................................... 8
  1R22   Surveillance Testing .................................................................................................. 24
1R12
  1EP6   Drill Evaluation .......................................................................................................... 25
Maintenance Effectiveness ....................................................................................... 10
2.   RADIATION SAFETY .......................................................................................................... 25
1R13
  2RS1   Radiological Hazard Assessment and Exposure Controls ........................................ 25
Maintenance Risk Assessments and Emergent Work Control .................................. 13
  2RS2   Occupational As Low As Is Reasonably Achievable (ALARA) Planning
1R15
          and Controls .............................................................................................................. 26
Operability Determinations and Functionality Assessments ..................................... 14
  2RS7   Radiological Environmental Monitoring Program (REMP) ........................................ 26
1R18
4.   OTHER ACTIVITIES ............................................................................................................ 27
Plant Modifications .................................................................................................... 19
  4OA1   Performance Indicator Verification ............................................................................ 27
1R19
  4OA2   Problem Identification and Resolution ....................................................................... 28
Post-Maintenance Testing ........................................................................................ 20
  4OA3   Follow Up of Events and Notices of Enforcement Discretion .................................... 34
1R20
  4OA5   Other Activities .......................................................................................................... 37
Refueling and Other Outage Activities ...................................................................... 21
  4OA6   Meetings, Including Exit ............................................................................................ 39
1R22
Surveillance Testing .................................................................................................. 24
1EP6
Drill Evaluation .......................................................................................................... 25
2.
RADIATION SAFETY .......................................................................................................... 25
2RS1
Radiological Hazard Assessment and Exposure Controls ........................................ 25
2RS2
Occupational As Low As Is Reasonably Achievable (ALARA) Planning  
and Controls .............................................................................................................. 26
2RS7
Radiological Environmental Monitoring Program (REMP) ........................................ 26
4.
OTHER ACTIVITIES ............................................................................................................ 27
4OA1
Performance Indicator Verification ............................................................................ 27
4OA2
Problem Identification and Resolution ....................................................................... 28
4OA3
Follow Up of Events and Notices of Enforcement Discretion .................................... 34
4OA5
Other Activities .......................................................................................................... 37
4OA6
Meetings, Including Exit ............................................................................................ 39
SUPPLEMENTARY INFORMATION ........................................................................................ A-1
SUPPLEMENTARY INFORMATION ........................................................................................ A-1
KEY POINTS OF CONTACT .................................................................................................... A-1
KEY POINTS OF CONTACT .................................................................................................... A-1
Line 144: Line 300:
LIST OF DOCUMENTS REVIEWED ........................................................................................ A-3
LIST OF DOCUMENTS REVIEWED ........................................................................................ A-3
LIST OF ACRONYMS ............................................................................................................. A-12
LIST OF ACRONYMS ............................................................................................................. A-12


                                                    3
3  
                                              SUMMARY
Inspection Report 05000247/2016002 and 05000286/2016002; 04/01/2016 - 06/30/2016; Indian
Point Nuclear Generating (Indian Point), Units 2 and 3; Operability Determinations and
SUMMARY  
Functionality Assessments, Refueling and Other Outage Activities, and Follow Up of Events and
Notices of Enforcement Discretion.
Inspection Report 05000247/2016002 and 05000286/2016002; 04/01/2016 - 06/30/2016; Indian  
This report covered a three-month period of inspection by resident inspectors and announced
Point Nuclear Generating (Indian Point), Units 2 and 3; Operability Determinations and  
inspections performed by regional inspectors. The inspectors identified three findings of very
Functionality Assessments, Refueling and Other Outage Activities, and Follow Up of Events and  
low safety significance (Green), which were non-cited violations (NCVs). The significance of
Notices of Enforcement Discretion.  
most findings is indicated by their color (i.e., greater than Green, or Green, White, Yellow, Red)
and determined using Inspection Manual Chapter (IMC) 0609, Significance Determination
This report covered a three-month period of inspection by resident inspectors and announced  
Process, dated April 29, 2015. Cross-cutting aspects are determined using IMC 0310,
inspections performed by regional inspectors. The inspectors identified three findings of very  
Aspects within the Cross-Cutting Areas, dated December 4, 2014. All violations of
low safety significance (Green), which were non-cited violations (NCVs). The significance of  
U.S. Nuclear Regulatory Commission (NRC) requirements are dispositioned in accordance with
most findings is indicated by their color (i.e., greater than Green, or Green, White, Yellow, Red)  
the NRCs Enforcement Policy, dated February 4, 2015. The NRCs program for overseeing the
and determined using Inspection Manual Chapter (IMC) 0609, Significance Determination  
safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor
Process, dated April 29, 2015. Cross-cutting aspects are determined using IMC 0310,  
Oversight Process, Revision 6.
Aspects within the Cross-Cutting Areas, dated December 4, 2014. All violations of  
Cornerstone: Mitigating Systems
U.S. Nuclear Regulatory Commission (NRC) requirements are dispositioned in accordance with  
  Green. The inspectors identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,
the NRCs Enforcement Policy, dated February 4, 2015. The NRCs program for overseeing the  
    "Instructions, Procedures, and Drawings," because Entergy did not adequately accomplish
safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor  
    the actions prescribed by procedure EN-OP-104, Operability Determination Process, for a
Oversight Process, Revision 6.  
    degraded condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy
    incorrectly concluded that no degraded or non-conforming condition existed related to the
Cornerstone: Mitigating Systems  
    Unit 3 baffle-former bolts and exited the operability determination procedure. Entergy
    subsequently performed the remaining steps in the procedure and provided appropriate
    justification for their plans to examine the baffle-former bolts at the next Unit 3 refueling
Green. The inspectors identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,  
    outage (RFO). Entergys immediate corrective actions included entering the issue into its
"Instructions, Procedures, and Drawings," because Entergy did not adequately accomplish  
    corrective action program (CAP) as CR-IP3-2016-01961 and documenting an operability
the actions prescribed by procedure EN-OP-104, Operability Determination Process, for a  
    evaluation to support the basis for operability of the baffle-former bolts and the emergency
degraded condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy  
    core cooling system (ECCS).
incorrectly concluded that no degraded or non-conforming condition existed related to the  
    This performance deficiency is more than minor because it was associated with the
Unit 3 baffle-former bolts and exited the operability determination procedure. Entergy  
    equipment performance attribute of the Mitigating Systems cornerstone and affected the
subsequently performed the remaining steps in the procedure and provided appropriate  
    cornerstone objective to ensure the availability, reliability, and capability of systems that
justification for their plans to examine the baffle-former bolts at the next Unit 3 refueling  
    respond to initiating events to prevent undesirable consequences (i.e., core damage). In
outage (RFO). Entergys immediate corrective actions included entering the issue into its  
    accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of
corrective action program (CAP) as CR-IP3-2016-01961 and documenting an operability  
    IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power,
evaluation to support the basis for operability of the baffle-former bolts and the emergency  
    issued June 19, 2012, the inspectors screened the finding for safety significance and
core cooling system (ECCS).
    determined it to be of very low safety significance (Green), because the finding did not
    represent an actual loss of system or function. After inspector questioning, Entergy
This performance deficiency is more than minor because it was associated with the  
    performed an operability evaluation, which provided sufficient bases to conclude the Unit 3
equipment performance attribute of the Mitigating Systems cornerstone and affected the  
    baffle assembly would support ECCS operability. This finding is related to the cross-cutting
cornerstone objective to ensure the availability, reliability, and capability of systems that  
    aspect of Problem Identification and Resolution, Operating Experience, because Entergy did
respond to initiating events to prevent undesirable consequences (i.e., core damage). In  
    not effectively evaluate relevant internal and external operating experience. Specifically,
accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of  
    Entergy did not adequately evaluate the impact of degraded baffle bolts at Unit 3 when
IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power,  
    relevant operating experience was identified at Unit 2. [P.5 - Operating Experience]
issued June 19, 2012, the inspectors screened the finding for safety significance and  
    (Section 1R15)
determined it to be of very low safety significance (Green), because the finding did not  
represent an actual loss of system or function. After inspector questioning, Entergy  
performed an operability evaluation, which provided sufficient bases to conclude the Unit 3  
baffle assembly would support ECCS operability. This finding is related to the cross-cutting  
aspect of Problem Identification and Resolution, Operating Experience, because Entergy did  
not effectively evaluate relevant internal and external operating experience. Specifically,  
Entergy did not adequately evaluate the impact of degraded baffle bolts at Unit 3 when  
relevant operating experience was identified at Unit 2. [P.5 - Operating Experience]  
(Section 1R15)  


                                                  4
4  
  Green. The inspectors identified a Green NCV of Technical Specification (TS) 5.4.1,
  Procedures, for Entergys failure to implement procedure OAP-007, Containment Entry
  and Egress. Specifically, workers transiting the inner and outer crane wall sections of
  containment failed to maintain at least one (of two) flow channeling gate closed to ensure
  availability of the containment sumps to provide suction for the ECCS. Entergy immediately
Green. The inspectors identified a Green NCV of Technical Specification (TS) 5.4.1,  
  coached the gate monitor and restored the gates to an acceptable position. Entergy
Procedures, for Entergys failure to implement procedure OAP-007, Containment Entry  
  generated CR-IP2-2016-04036 to address this issue.
and Egress. Specifically, workers transiting the inner and outer crane wall sections of  
  This performance deficiency is more than minor because it was associated with the
containment failed to maintain at least one (of two) flow channeling gate closed to ensure  
  configuration control (shutdown equipment lineup) attribute of the Mitigating Systems
availability of the containment sumps to provide suction for the ECCS. Entergy immediately  
  cornerstone and affected the cornerstone objective to ensure the availability, reliability, and
coached the gate monitor and restored the gates to an acceptable position. Entergy  
  capability of systems that respond to initiating events to prevent undesirable consequences
generated CR-IP2-2016-04036 to address this issue.  
  (i.e., core damage). A detailed risk assessment was conducted and determined that the
  change in core damage frequency was determined to be 7E-9, therefore, this issue
This performance deficiency is more than minor because it was associated with the  
  represents a Green finding. This finding had a cross-cutting aspect in the area of Human
configuration control (shutdown equipment lineup) attribute of the Mitigating Systems  
  Performance, Avoid Complacency, because Entergy did not consider potential undesired
cornerstone and affected the cornerstone objective to ensure the availability, reliability, and  
  consequences of actions before performing work and implement appropriate error-reduction
capability of systems that respond to initiating events to prevent undesirable consequences  
  tools. Specifically, the work crew did not understand the requirements and potential
(i.e., core damage). A detailed risk assessment was conducted and determined that the  
  consequences prior to commencing work and the gate monitor did not enforce these
change in core damage frequency was determined to be 7E-9, therefore, this issue  
  requirements to maintain at least one gate locked or pinned closed as required by OAP-007.
represents a Green finding. This finding had a cross-cutting aspect in the area of Human  
  [H.12 - Avoid Complacency] (Section 1R20)
Performance, Avoid Complacency, because Entergy did not consider potential undesired  
Cornerstone: Barrier Integrity
consequences of actions before performing work and implement appropriate error-reduction  
  Green. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys failure to
tools. Specifically, the work crew did not understand the requirements and potential  
  include a function of a safety-related system within the scope of the maintenance rule
consequences prior to commencing work and the gate monitor did not enforce these  
  program. Specifically, Entergy failed to include the feedwater isolation function performed
requirements to maintain at least one gate locked or pinned closed as required by OAP-007.
  by the main boiler feedwater pumps (MBFPs) discharge valves, MBFPs, and feedwater
[H.12 - Avoid Complacency] (Section 1R20)  
  regulating valves, which are required to remain functional during and following a design
  basis event to mitigate the consequence of the accident within the scope of the maintenance
Cornerstone: Barrier Integrity  
  rule monitoring program. Entergy initiated corrective actions to include the feedwater
  isolation function performed by the MBFP discharge valves, MBFPs, and feedwater
  regulating valves within the maintenance rule monitoring program. Entergy entered this
Green. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys failure to  
  issue into the CAP as CR-IP2-2016-03963.
include a function of a safety-related system within the scope of the maintenance rule  
  This performance deficiency is more than minor because it was associated with barrier
program. Specifically, Entergy failed to include the feedwater isolation function performed  
  performance attribute of the Barrier Integrity cornerstone and adversely affected the
by the main boiler feedwater pumps (MBFPs) discharge valves, MBFPs, and feedwater  
  cornerstone objective to provide reasonable assurance that physical design barriers protect
regulating valves, which are required to remain functional during and following a design  
  the public from radionuclide releases caused by accidents or events. Specifically, the failure
basis event to mitigate the consequence of the accident within the scope of the maintenance  
  to properly scope the feedwater isolation function prevented Entergy from identifying that
rule monitoring program. Entergy initiated corrective actions to include the feedwater  
  equipment reliability was no longer effectively controlled through preventive maintenance.
isolation function performed by the MBFP discharge valves, MBFPs, and feedwater  
  In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC
regulating valves within the maintenance rule monitoring program. Entergy entered this  
  0609, Appendix A, The Significance Determination Process for Findings At-Power, issued
issue into the CAP as CR-IP2-2016-03963.  
  June 19, 2012, the inspectors determined that the finding was of very low safety significance
  (Green) because the finding did not represent an actual open pathway in the physical
This performance deficiency is more than minor because it was associated with barrier  
  integrity of reactor containment, containment isolation system, and heat removal
performance attribute of the Barrier Integrity cornerstone and adversely affected the  
  components. This finding does not have a cross-cutting aspect since the failure to scope
cornerstone objective to provide reasonable assurance that physical design barriers protect  
  this equipment into the maintenance rule program was not recognized when Entergy
the public from radionuclide releases caused by accidents or events. Specifically, the failure  
  combined the maintenance rule basis documents for Units 2 and 3 in 2012 and, as a result,
to properly scope the feedwater isolation function prevented Entergy from identifying that  
  is not indicative of current licensee performance. (Section 4OA3)
equipment reliability was no longer effectively controlled through preventive maintenance.
In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC  
0609, Appendix A, The Significance Determination Process for Findings At-Power, issued  
June 19, 2012, the inspectors determined that the finding was of very low safety significance  
(Green) because the finding did not represent an actual open pathway in the physical  
integrity of reactor containment, containment isolation system, and heat removal  
components. This finding does not have a cross-cutting aspect since the failure to scope  
this equipment into the maintenance rule program was not recognized when Entergy  
combined the maintenance rule basis documents for Units 2 and 3 in 2012 and, as a result,  
is not indicative of current licensee performance. (Section 4OA3)  


                                                5
5  
                                      REPORT DETAILS
Summary of Plant Status
Unit 2 began the inspection period during RFO 2R22 which lasted 102 days. Upon completion
REPORT DETAILS  
of the outage, the operators restarted Unit 2 on June 14, 2016, and increased power slowly to
93 percent for fuel preconditioning. On June 23, 2016, the operators shutdown the reactor to
Summary of Plant Status  
repair a service water leak on the 21 component cooling water (CCW) heat exchanger (Hx) inlet
line and replace switchyard breaker 9. Unit 2 returned to 100 percent power on June 29, 2016.
Unit 2 began the inspection period during RFO 2R22 which lasted 102 days. Upon completion  
Unit 2 remained at or near 100 percent power for the remainder of the inspection period.
of the outage, the operators restarted Unit 2 on June 14, 2016, and increased power slowly to  
Unit 3 began the inspection period at 100 percent power. On April 26, 2016, a failed controller
93 percent for fuel preconditioning. On June 23, 2016, the operators shutdown the reactor to  
caused both heater drain pumps to trip; and the operators reduced power rapidly, stabilizing the
repair a service water leak on the 21 component cooling water (CCW) heat exchanger (Hx) inlet  
unit at 48 percent power. Operators returned Unit 3 to 100 percent power on April 27, 2016,
line and replace switchyard breaker 9. Unit 2 returned to 100 percent power on June 29, 2016.
and remained at or near 100 percent power for the remainder of the inspection period.
Unit 2 remained at or near 100 percent power for the remainder of the inspection period.  
1.     REACTOR SAFETY
        Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
Unit 3 began the inspection period at 100 percent power. On April 26, 2016, a failed controller  
1R04 Equipment Alignment
caused both heater drain pumps to trip; and the operators reduced power rapidly, stabilizing the  
        Partial System Walkdowns (71111.04Q - 5 samples)
unit at 48 percent power. Operators returned Unit 3 to 100 percent power on April 27, 2016,  
    a. Inspection Scope
and remained at or near 100 percent power for the remainder of the inspection period.  
        The inspectors performed partial walkdowns of the following systems:
        Unit 2
1.  
          Spent fuel pool cooling system following core offload on May 19, 2016
REACTOR SAFETY  
          Shutdown cooling system following core reload on June 6, 2016
          CCW system following maintenance on June 28, 2016
        Unit 3
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity  
          32 emergency diesel generator (EDG) following maintenance on May 9, 2016 (this
            sample was part of an in-depth review of the EDG system)
1R04 Equipment Alignment
          Residual heat removal pumps following CCW system testing on May 20, 2016
        The inspectors selected these systems based on their risk-significance relative to the
        reactor safety cornerstones at the time they were inspected. The inspectors reviewed
Partial System Walkdowns (71111.04Q - 5 samples)  
        applicable operating procedures, system diagrams, the updated final safety analysis
        report (UFSAR), TSs, work orders (WOs), condition reports (CRs), and the impact of
a. Inspection Scope  
        ongoing work activities on redundant trains of equipment in order to identify conditions
        that could have impacted system performance of their intended safety functions. The
The inspectors performed partial walkdowns of the following systems:  
        inspectors also performed field walkdowns of accessible portions of the systems to verify
        system components and support equipment were aligned correctly and were operable.
Unit 2  
        The inspectors examined the material condition of the components and observed
        operating parameters of equipment to verify that there were no deficiencies. The
Spent fuel pool cooling system following core offload on May 19, 2016  
Shutdown cooling system following core reload on June 6, 2016  
CCW system following maintenance on June 28, 2016  
Unit 3  
32 emergency diesel generator (EDG) following maintenance on May 9, 2016 (this  
sample was part of an in-depth review of the EDG system)  
Residual heat removal pumps following CCW system testing on May 20, 2016  
The inspectors selected these systems based on their risk-significance relative to the  
reactor safety cornerstones at the time they were inspected. The inspectors reviewed  
applicable operating procedures, system diagrams, the updated final safety analysis  
report (UFSAR), TSs, work orders (WOs), condition reports (CRs), and the impact of  
ongoing work activities on redundant trains of equipment in order to identify conditions  
that could have impacted system performance of their intended safety functions. The  
inspectors also performed field walkdowns of accessible portions of the systems to verify  
system components and support equipment were aligned correctly and were operable.
The inspectors examined the material condition of the components and observed  
operating parameters of equipment to verify that there were no deficiencies. The  


                                                6
6  
      inspectors also reviewed whether Entergy had properly identified equipment issues and
      entered them into the CAP for resolution with the appropriate significance
      characterization. Documents reviewed for each section of this inspection report are
inspectors also reviewed whether Entergy had properly identified equipment issues and  
      listed in the Attachment.
entered them into the CAP for resolution with the appropriate significance  
  b. Findings
characterization. Documents reviewed for each section of this inspection report are  
      No findings were identified.
listed in the Attachment.  
1R05 Fire Protection
      Resident Inspector Quarterly Walkdowns (71111.05Q - 6 samples)
b. Findings  
  a. Inspection Scope
      The inspectors conducted tours of the areas listed below to assess the material
      condition and operational status of fire protection features. The inspectors verified that
No findings were identified.  
      Entergy controlled combustible materials and ignition sources in accordance with
      administrative procedures. The inspectors verified that fire protection and suppression
1R05 Fire Protection  
      equipment were available for use as specified in the area pre-fire plan (PFP) and
      passive fire barriers were maintained in good material condition. The inspectors also
      verified that station personnel implemented compensatory measures for out-of-service
Resident Inspector Quarterly Walkdowns (71111.05Q - 6 samples)  
      (OOS), degraded, or inoperable fire protection equipment, as applicable, in accordance
      with procedures.
a. Inspection Scope  
      Unit 2
          Containment, 95-foot elevation, during baffle bolt repair activities with hot work in
The inspectors conducted tours of the areas listed below to assess the material  
          progress (PFP-203 was reviewed) on June 2, 2016
condition and operational status of fire protection features. The inspectors verified that  
          Residual heat removal pump rooms in primary auxiliary building (PAB), 15-foot
Entergy controlled combustible materials and ignition sources in accordance with  
          elevation (PFP-204 was reviewed), on June 6, 2016
administrative procedures. The inspectors verified that fire protection and suppression  
          CCW pump room, 68-foot elevation (PFP-209 was reviewed), on June 25, 2016
equipment were available for use as specified in the area pre-fire plan (PFP) and  
          PAB, 80-foot elevation, CCW heat exchanger area with hot work in progress
passive fire barriers were maintained in good material condition. The inspectors also  
          (PFP-211 was reviewed) on June 25, 2016
verified that station personnel implemented compensatory measures for out-of-service  
      Unit 3
(OOS), degraded, or inoperable fire protection equipment, as applicable, in accordance  
          32 EDG room, 10-foot elevation (PFP-354 was reviewed), on May 9, 2016
with procedures.  
          480V switchgear room, 15-foot elevation (PFP-351 was reviewed), on June 30, 2016
  b. Findings
Unit 2  
      No findings were identified.
Containment, 95-foot elevation, during baffle bolt repair activities with hot work in  
progress (PFP-203 was reviewed) on June 2, 2016  
Residual heat removal pump rooms in primary auxiliary building (PAB), 15-foot  
elevation (PFP-204 was reviewed), on June 6, 2016  
CCW pump room, 68-foot elevation (PFP-209 was reviewed), on June 25, 2016  
PAB, 80-foot elevation, CCW heat exchanger area with hot work in progress  
(PFP-211 was reviewed) on June 25, 2016  
Unit 3  
32 EDG room, 10-foot elevation (PFP-354 was reviewed), on May 9, 2016  
480V switchgear room, 15-foot elevation (PFP-351 was reviewed), on June 30, 2016  
b. Findings  
No findings were identified.  


                                                  7
7  
1R07 Heat Sink Performance (71111.07A - 1 sample)
  a. Inspection Scope
      The inspectors reviewed the 32 EDG jacket water and lube oil heat exchanger to
      determine its readiness and availability to perform its safety functions. The inspectors
1R07 Heat Sink Performance (71111.07A - 1 sample)  
      reviewed the design basis for the component and verified Entergys commitments to
      NRC Generic Letter 89-13, Service Water System Requirements Affecting
a. Inspection Scope  
      Safety-Related Equipment. The inspectors observed the annual cleaning and
      inspection of the heat exchangers and reviewed the results of previous inspections of
The inspectors reviewed the 32 EDG jacket water and lube oil heat exchanger to  
      the Unit 3 EDG heat exchangers. The inspectors discussed the results of the most
determine its readiness and availability to perform its safety functions. The inspectors  
      recent inspection with engineering staff. The inspectors verified that Entergy initiated
reviewed the design basis for the component and verified Entergys commitments to  
      appropriate corrective actions for identified deficiencies. The inspectors also verified
NRC Generic Letter 89-13, Service Water System Requirements Affecting  
      that the number of tubes plugged within the heat exchanger did not exceed the
Safety-Related Equipment. The inspectors observed the annual cleaning and  
      maximum amount allowed.
inspection of the heat exchangers and reviewed the results of previous inspections of  
  b. Findings
the Unit 3 EDG heat exchangers. The inspectors discussed the results of the most  
      No findings were identified.
recent inspection with engineering staff. The inspectors verified that Entergy initiated  
1R08 Inservice Inspection Activities (71111.08P - 1 sample)
appropriate corrective actions for identified deficiencies. The inspectors also verified  
  a. Inspection Scope
that the number of tubes plugged within the heat exchanger did not exceed the  
      Inspectors from the NRC Region I Office, specializing in materials and inservice
maximum amount allowed.  
      examination activities, observed portions of Entergys activities involving baffle-former
      bolt examinations and replacements during Unit 2 RFO 2R22. The inspectors reviewed
b. Findings  
      work documentation and examination procedures and results, and discussed these
      activities with Entergy. The inspectors were on-site from April 27 to April 28, 2016, and
No findings were identified.  
      on May 23, 2016. The inspectors verified that Entergy completed baffle-former bolt
      examinations in accordance with their approved procedures which implemented
1R08 Inservice Inspection Activities (71111.08P - 1 sample)  
      activities described in the Materials Reliability Program (MRP)-227-A, Pressurized
      Water Reactor Internals Inspection and Evaluation Guidelines, as they relate to this
a. Inspection Scope  
      component. Specifically, the inspectors reviewed the results of the visual and volumetric
      examinations of the baffle-former bolts, including capabilities, limitations, and
Inspectors from the NRC Region I Office, specializing in materials and inservice  
      acceptance criteria that were performed during the current RFO.
examination activities, observed portions of Entergys activities involving baffle-former  
      Non-Destructive Examination Activities
bolt examinations and replacements during Unit 2 RFO 2R22. The inspectors reviewed  
      The inspectors reviewed the ultrasonic testing (UT) procedure used for the examination
work documentation and examination procedures and results, and discussed these  
      of the Unit 2 baffle-former bolts to verify the procedure was in accordance with the
activities with Entergy. The inspectors were on-site from April 27 to April 28, 2016, and  
      applicable guidance in MRP-227-A and MRP-228. The inspectors reviewed the UT data
on May 23, 2016. The inspectors verified that Entergy completed baffle-former bolt  
      records and the detailed UT channel analysis for a sample of baffle-former bolts to verify
examinations in accordance with their approved procedures which implemented  
      the examinations and evaluations were performed in accordance with approved
activities described in the Materials Reliability Program (MRP)-227-A, Pressurized  
      procedures and applicable guidance. The inspectors reviewed video recordings of the
Water Reactor Internals Inspection and Evaluation Guidelines, as they relate to this  
      visual examinations of the baffle-former bolts during the current RFO. The inspectors
component. Specifically, the inspectors reviewed the results of the visual and volumetric  
      also reviewed recorded video of visual examinations performed in 2006 at Unit 2,
examinations of the baffle-former bolts, including capabilities, limitations, and  
      completed as part of the existing inservice inspection program for the 10-year reactor
acceptance criteria that were performed during the current RFO.  
      vessel examinations, to independently assess the past conditions of the baffle-former
      bolts and assembly.
Non-Destructive Examination Activities  
The inspectors reviewed the ultrasonic testing (UT) procedure used for the examination  
of the Unit 2 baffle-former bolts to verify the procedure was in accordance with the  
applicable guidance in MRP-227-A and MRP-228. The inspectors reviewed the UT data  
records and the detailed UT channel analysis for a sample of baffle-former bolts to verify  
the examinations and evaluations were performed in accordance with approved  
procedures and applicable guidance. The inspectors reviewed video recordings of the  
visual examinations of the baffle-former bolts during the current RFO. The inspectors  
also reviewed recorded video of visual examinations performed in 2006 at Unit 2,  
completed as part of the existing inservice inspection program for the 10-year reactor  
vessel examinations, to independently assess the past conditions of the baffle-former  
bolts and assembly.


                                                8
8  
      The inspectors reviewed certifications of the UT technicians performing the ultrasonic
      examinations to verify the examinations were performed by qualified individuals and to
      verify the results were reviewed and evaluated by certified level III non-destructive
The inspectors reviewed certifications of the UT technicians performing the ultrasonic  
      examination personnel.
examinations to verify the examinations were performed by qualified individuals and to  
      Baffle-Former Bolt Replacement Activities
verify the results were reviewed and evaluated by certified level III non-destructive  
      The inspectors reviewed the baffle-former bolt replacement activities performed as part
examination personnel.  
      of a corrective action to resolve the degraded condition identified at Unit 2. The
      inspectors observed a sample of in-process bolt removal activities, which included lock
Baffle-Former Bolt Replacement Activities  
      bar milling and bolt hole machining. The inspectors reviewed the documentation for
      in-process and completed bolt installation activities and verified that loose parts
The inspectors reviewed the baffle-former bolt replacement activities performed as part  
      generated as part of the bolt replacements were properly tracked. The inspectors
of a corrective action to resolve the degraded condition identified at Unit 2. The  
      verified that bolt replacement activities were performed in accordance with approved
inspectors observed a sample of in-process bolt removal activities, which included lock  
      procedures. The inspectors also reviewed the Engineering Change (EC) package
bar milling and bolt hole machining. The inspectors reviewed the documentation for  
      associated with the new baffle-former bolt design. This review is documented in
in-process and completed bolt installation activities and verified that loose parts  
      Section 1R18 of this report. After completion of the bolt replacement activities, the
generated as part of the bolt replacements were properly tracked. The inspectors  
      inspectors reviewed the video of the final visual examination of the baffle assembly to
verified that bolt replacement activities were performed in accordance with approved  
      verify that the baffle-former bolt work was accomplished as planned and that there were
procedures. The inspectors also reviewed the Engineering Change (EC) package  
      no visual indications of deficiencies.
associated with the new baffle-former bolt design. This review is documented in  
  b. Findings
Section 1R18 of this report. After completion of the bolt replacement activities, the  
      No findings were identified.
inspectors reviewed the video of the final visual examination of the baffle assembly to  
      Update to URI 05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies
verify that the baffle-former bolt work was accomplished as planned and that there were  
      This inspection was conducted to follow-up on NRC Unresolved Item (URI)
no visual indications of deficiencies.  
      05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies, to determine
      whether there was a performance deficiency associated with the degraded baffle-former
b. Findings  
      bolt condition discovered at Unit 2. The inspectors plan to review additional technical
      information from Entergy as it becomes available, including any revisions to the root
No findings were identified.  
      cause evaluation. The URI remains open until review of this additional information is
      completed. (URI 05000247/2016001-01, Baffle-Former Bolts with Identified
Update to URI 05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies  
      Anomalies)
1R11 Licensed Operator Requalification Program (71111.11Q - 5 samples)
This inspection was conducted to follow-up on NRC Unresolved Item (URI)  
      Unit 2
05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies, to determine  
.1   Quarterly Review of Unit 2 Licensed Operator Requalification Testing and Training
whether there was a performance deficiency associated with the degraded baffle-former  
      (71111.11Q - 1 sample)
bolt condition discovered at Unit 2. The inspectors plan to review additional technical  
  a. Inspection Scope
information from Entergy as it becomes available, including any revisions to the root  
      The inspectors observed Unit 2 licensed operator simulator training on May 24, 2016,
cause evaluation. The URI remains open until review of this additional information is  
      which included reactor coolant pump seal failure with loss of normal heat sink requiring
completed. (URI 05000247/2016001-01, Baffle-Former Bolts with Identified  
      implementation of feed and bleed cooling. The inspectors evaluated operator
Anomalies)  
      performance during the simulated event and verified completion of risk significant
      operator actions, including the use of abnormal and emergency operating procedures.
1R11 Licensed Operator Requalification Program (71111.11Q - 5 samples)  
      The inspectors assessed the clarity and effectiveness of communications,
Unit 2  
.1  
Quarterly Review of Unit 2 Licensed Operator Requalification Testing and Training  
(71111.11Q - 1 sample)  
a. Inspection Scope  
The inspectors observed Unit 2 licensed operator simulator training on May 24, 2016,  
which included reactor coolant pump seal failure with loss of normal heat sink requiring  
implementation of feed and bleed cooling. The inspectors evaluated operator  
performance during the simulated event and verified completion of risk significant  
operator actions, including the use of abnormal and emergency operating procedures.  
The inspectors assessed the clarity and effectiveness of communications,  


                                                  9
9  
      implementation of actions in response to alarms and degrading plant conditions, and the
      oversight and direction provided by the control room supervisor. The inspectors verified
      the accuracy and timeliness of the emergency classification made by the shift manager
implementation of actions in response to alarms and degrading plant conditions, and the  
      and the TS action statements entered by the shift technical advisor. Additionally, the
oversight and direction provided by the control room supervisor. The inspectors verified  
      inspectors assessed the ability of the crew and training staff to identify and document
the accuracy and timeliness of the emergency classification made by the shift manager  
      crew performance problems.
and the TS action statements entered by the shift technical advisor. Additionally, the  
  b. Findings
inspectors assessed the ability of the crew and training staff to identify and document  
      No findings were identified.
crew performance problems.  
.2   Quarterly Review of Unit 3 Licensed Operator Requalification Testing and Training
      (71111.11Q - 1 sample)
b. Findings  
  a. Inspection Scope
      The inspectors observed a Unit 3 licensed operator simulator requalification training
      evaluated scenario on May 24, 2016, which included failure of a pressurizer pressure
No findings were identified.  
      instrument, charging pump trip, loss of 480V safety bus 5A, a small break loss-of-coolant
      accident (LOCA), and entry into FR-C.2 core cooling. The inspectors evaluated operator
.2  
      performance during the simulated event and verified completion of risk significant
Quarterly Review of Unit 3 Licensed Operator Requalification Testing and Training  
      operator actions, including the use of abnormal and emergency operating procedures.
(71111.11Q - 1 sample)  
      The inspectors assessed the clarity and effectiveness of communications,
      implementation of actions in response to alarms and degrading plant conditions, and the
a. Inspection Scope  
      oversight and direction provided by the control room supervisor. The inspectors verified
      the accuracy and timeliness of the emergency classification made by the shift manager
The inspectors observed a Unit 3 licensed operator simulator requalification training  
      and the TS action statements entered by the shift technical advisor. Additionally, the
evaluated scenario on May 24, 2016, which included failure of a pressurizer pressure  
      inspectors assessed the ability of the crew and training staff to identify and document
instrument, charging pump trip, loss of 480V safety bus 5A, a small break loss-of-coolant  
      crew performance problems.
accident (LOCA), and entry into FR-C.2 core cooling. The inspectors evaluated operator  
  b. Findings
performance during the simulated event and verified completion of risk significant  
      No findings were identified.
operator actions, including the use of abnormal and emergency operating procedures.  
.3   Quarterly Review of Licensed Operator Performance (71111.11Q - 3 samples)
The inspectors assessed the clarity and effectiveness of communications,  
  a. Inspection Scope
implementation of actions in response to alarms and degrading plant conditions, and the  
      The inspectors conducted a focused observation of operator performance in the main
oversight and direction provided by the control room supervisor. The inspectors verified  
      control room. The inspectors observed pre-job briefings and control room
the accuracy and timeliness of the emergency classification made by the shift manager  
      communications to verify they met the criteria specified in Entergys administrative
and the TS action statements entered by the shift technical advisor. Additionally, the  
      procedure EN-OP-115, Conduct of Operations. Additionally, the inspectors observed
inspectors assessed the ability of the crew and training staff to identify and document  
      restoration activities to verify that procedure use, crew communications, and
crew performance problems.  
      coordination of activities between work groups similarly met established expectations
      and standards.
b. Findings  
No findings were identified.  
.3  
Quarterly Review of Licensed Operator Performance (71111.11Q - 3 samples)  
a. Inspection Scope  
The inspectors conducted a focused observation of operator performance in the main  
control room. The inspectors observed pre-job briefings and control room  
communications to verify they met the criteria specified in Entergys administrative  
procedure EN-OP-115, Conduct of Operations. Additionally, the inspectors observed  
restoration activities to verify that procedure use, crew communications, and  
coordination of activities between work groups similarly met established expectations  
and standards.  


                                                10
10  
      Unit 2
        Plant startup from RFO 2R22 on June 16, 2016 including response to a turbine trip
          without a reactor trip and the subsequent turbine-generator synchronization and
Unit 2  
          transfer of plant electrical loads from offsite power to the unit auxiliary transformer.
        Reactor startup and grid synchronization conducted on June 27, 2016.
      Unit 3
Plant startup from RFO 2R22 on June 16, 2016 including response to a turbine trip  
        Operator response to the feedwater transient which occurred on April 26, 2016
without a reactor trip and the subsequent turbine-generator synchronization and  
  b. Findings
transfer of plant electrical loads from offsite power to the unit auxiliary transformer.  
      No findings were identified.
1R12 Maintenance Effectiveness (71111.12Q - 4 samples)
Reactor startup and grid synchronization conducted on June 27, 2016.  
.1   Routine Maintenance Effectiveness
  a. Inspection Scope
Unit 3  
      The inspectors reviewed the samples listed below to assess the effectiveness of
      maintenance activities on SSCs performance and reliability. The inspectors reviewed
      system health reports, CAP documents, maintenance WOs, and maintenance rule basis
Operator response to the feedwater transient which occurred on April 26, 2016  
      documents to ensure that Entergy was identifying and properly evaluating performance
      problems within the scope of the maintenance rule. For each SSC sample selected, the
b. Findings  
      inspectors verified that the SSC was properly scoped into the maintenance rule in
      accordance with 10 CFR 50.65 and verified that the (a)(2) performance criteria
      established by Entergy was reasonable. As applicable, for SSCs classified as (a)(1), the
No findings were identified.  
      inspectors assessed the adequacy of goals and corrective actions to return these SSCs
      to (a)(2). Additionally, the inspectors ensured that Entergy was identifying and
1R12 Maintenance Effectiveness (71111.12Q - 4 samples)  
      addressing common cause failures that occurred within and across maintenance rule
      system boundaries.
.1  
        Unit 2 EDGs
Routine Maintenance Effectiveness  
        Unit 3 EDGs (this sample was part of an in-depth review of the EDG system)
        Units 2 and 3 CVCS
a. Inspection Scope  
  b. Findings
      No findings were identified.
The inspectors reviewed the samples listed below to assess the effectiveness of  
      URI Opened, CVCS Goal Monitoring Under the Maintenance Rule
maintenance activities on SSCs performance and reliability. The inspectors reviewed  
      Introduction
system health reports, CAP documents, maintenance WOs, and maintenance rule basis  
      The inspectors identified issues of potential concern with Entergys application of
documents to ensure that Entergy was identifying and properly evaluating performance  
      10 CFR 50.65(a)(1), Requirements for Monitoring the Effectiveness of Maintenance at
problems within the scope of the maintenance rule. For each SSC sample selected, the  
      Nuclear Plants, (the maintenance rule) in regards to the reliability of the Unit 2 CVCS
inspectors verified that the SSC was properly scoped into the maintenance rule in  
      system. These concerns included the establishment of appropriate (a)(1) goals and
accordance with 10 CFR 50.65 and verified that the (a)(2) performance criteria  
established by Entergy was reasonable. As applicable, for SSCs classified as (a)(1), the  
inspectors assessed the adequacy of goals and corrective actions to return these SSCs  
to (a)(2). Additionally, the inspectors ensured that Entergy was identifying and  
addressing common cause failures that occurred within and across maintenance rule  
system boundaries.  
Unit 2 EDGs  
Unit 3 EDGs (this sample was part of an in-depth review of the EDG system)  
Units 2 and 3 CVCS  
b. Findings  
No findings were identified.  
URI Opened, CVCS Goal Monitoring Under the Maintenance Rule  
Introduction  
The inspectors identified issues of potential concern with Entergys application of  
10 CFR 50.65(a)(1), Requirements for Monitoring the Effectiveness of Maintenance at  
Nuclear Plants, (the maintenance rule) in regards to the reliability of the Unit 2 CVCS  
system. These concerns included the establishment of appropriate (a)(1) goals and  


                                        11
11  
whether appropriate justification was established that the corrective actions to address
identified maintenance weaknesses were effective prior to removal from (a)(1) status.
Specifically, Entergy may have established restrictive goals without defensible
whether appropriate justification was established that the corrective actions to address  
justification and may not have demonstrated their chosen goal before ending the goal
identified maintenance weaknesses were effective prior to removal from (a)(1) status.
monitoring interval.
Specifically, Entergy may have established restrictive goals without defensible  
Description
justification and may not have demonstrated their chosen goal before ending the goal  
The maintenance rule requires that licensees shall monitor the performance or condition
monitoring interval.  
of structures, systems, or components, against licensee-established goals, in a manner
sufficient to provide reasonable assurance that these structures, systems, and
Description  
components are capable of fulfilling their intended functions. These goals shall be
established commensurate with safety and, where practical, take into account
The maintenance rule requires that licensees shall monitor the performance or condition  
industrywide operating experience. When the performance or condition of a structure,
of structures, systems, or components, against licensee-established goals, in a manner  
system, or component does not meet established goals, appropriate corrective action
sufficient to provide reasonable assurance that these structures, systems, and  
shall be taken. EN-DC-206, Maintenance Rule (a)(1) Process, provides the
components are capable of fulfilling their intended functions. These goals shall be  
requirements and processes for managing SSCs for which (a)(2) monitoring has not
established commensurate with safety and, where practical, take into account  
demonstrated effective maintenance. EN-DC-206 specifies that (a)(1) action plans
industrywide operating experience. When the performance or condition of a structure,  
should not be closed until effectiveness of all corrective actions has been demonstrated
system, or component does not meet established goals, appropriate corrective action  
by meeting performance goals through the monitoring period (or by other means
shall be taken. EN-DC-206, Maintenance Rule (a)(1) Process, provides the  
specified in the action plan).
requirements and processes for managing SSCs for which (a)(2) monitoring has not  
Since 2013, there have been several repeat functional failures of equipment in the
demonstrated effective maintenance. EN-DC-206 specifies that (a)(1) action plans  
CVCS resulting in a failure to meet the performance criterion for reliability. These
should not be closed until effectiveness of all corrective actions has been demonstrated  
failures included:
by meeting performance goals through the monitoring period (or by other means  
    A failure of the 23 charging pump on August 6, 2013, after the internal oil pump
specified in the action plan).  
    discharge tubing broke causing the pump to trip on low oil pressure and a loss of
    charging. The 21 charging pump had tripped for the same reason in 2010.
Since 2013, there have been several repeat functional failures of equipment in the  
    A failure of the 22 charging pump on January 14, 2014, due to cracked internal
CVCS resulting in a failure to meet the performance criterion for reliability. These  
    check valves caused by an inadequate fill-and-vent that left air in the pump following
failures included:  
    maintenance. The 21 charging pump had failed due to the same cause in 2013.
    A failure of the Unit 2 valve FCV-110A, boric acid flow control valve, to fully open on
    January 5, 2015. The valve had insufficient insulation; and as a result, boron
A failure of the 23 charging pump on August 6, 2013, after the internal oil pump  
    crystalized above the valve plug and blocked its movement. The Unit 3 FCV-110A
discharge tubing broke causing the pump to trip on low oil pressure and a loss of  
    had failed in the same way in 2011, with earlier failures of other valves for the same
charging. The 21 charging pump had tripped for the same reason in 2010.  
    cause going back to 1997.
In each case, the CVCS for Unit 2 was already (a)(1), so Entergy either updated the
A failure of the 22 charging pump on January 14, 2014, due to cracked internal  
existing (a)(1) action plan or created another one to operate in parallel with the existing
check valves caused by an inadequate fill-and-vent that left air in the pump following  
one. Upon reviewing the associated (a)(1) action plans, the inspectors noted that in
maintenance. The 21 charging pump had failed due to the same cause in 2013.  
each example Entergys goals may not have been in accordance with EN-DC-206(a)(1)
Process. It specifies that monitoring intervals should be at least six months for normally
A failure of the Unit 2 valve FCV-110A, boric acid flow control valve, to fully open on  
operating SSCs, at least three surveillances for SSCs monitored by surveillance and
January 5, 2015. The valve had insufficient insulation; and as a result, boron  
long enough to detect recurrence of the applicable failure mechanism. It also states that
crystalized above the valve plug and blocked its movement. The Unit 3 FCV-110A  
performance goals that provide reasonable assurance that the SSC is capable of
had failed in the same way in 2011, with earlier failures of other valves for the same  
performing its intended functions should be monitored throughout the time the SSC is
cause going back to 1997.  
classified (a)(1). EN-DC-206 defines an SSC as any discreet component grouping that
has caused a monitoring failure, including any applicable extent of condition. In the
In each case, the CVCS for Unit 2 was already (a)(1), so Entergy either updated the  
examples provided, NRC inspectors challenged whether Entergy either chose a shorter
existing (a)(1) action plan or created another one to operate in parallel with the existing  
one. Upon reviewing the associated (a)(1) action plans, the inspectors noted that in  
each example Entergys goals may not have been in accordance with EN-DC-206(a)(1)  
Process. It specifies that monitoring intervals should be at least six months for normally  
operating SSCs, at least three surveillances for SSCs monitored by surveillance and  
long enough to detect recurrence of the applicable failure mechanism. It also states that  
performance goals that provide reasonable assurance that the SSC is capable of  
performing its intended functions should be monitored throughout the time the SSC is  
classified (a)(1). EN-DC-206 defines an SSC as any discreet component grouping that  
has caused a monitoring failure, including any applicable extent of condition. In the  
examples provided, NRC inspectors challenged whether Entergy either chose a shorter  


                                                12
12  
      monitoring interval or a goal that did not include the applicable extent of condition.
      Specifically:
        The (a)(1) action plan for the broken oil tubing had a goal of no noticeable decrease
monitoring interval or a goal that did not include the applicable extent of condition.
          in 23 charging pumps running oil pressure for the next three quarterly surveillances.
Specifically:  
          The chosen monitoring interval met the procedural expectation, but Entergy limited
          the monitoring to the 23 charging pump without written justification, when the 21
          charging pump had failed previously for the same reason and the other pumps were
          susceptible to the same failure mechanism. During the monitoring interval, the 21
The (a)(1) action plan for the broken oil tubing had a goal of no noticeable decrease  
          charging pump experienced low oil pressure. When Entergy performed repairs on
in 23 charging pumps running oil pressure for the next three quarterly surveillances.
          the 21 charging pump for an unrelated issue, they discovered that the oil tubing had
The chosen monitoring interval met the procedural expectation, but Entergy limited  
          failed in the same way the 23 charging pump oil tubing had failed, although it had not
the monitoring to the 23 charging pump without written justification, when the 21  
          yet caused a pump trip.
charging pump had failed previously for the same reason and the other pumps were  
        The (a)(1) action plan for the cracked check valves had a goal of no check valve
susceptible to the same failure mechanism.   During the monitoring interval, the 21  
          failure for six months for the next charging pump that underwent maintenance. This
charging pump experienced low oil pressure. When Entergy performed repairs on  
          happened to be the 22 charging pump. Entergy chose a six-month monitoring
the 21 charging pump for an unrelated issue, they discovered that the oil tubing had  
          interval, even though only one of the three charging pumps is in service at any given
failed in the same way the 23 charging pump oil tubing had failed, although it had not  
          time, and the 22 charging pump only ran for four out of the six months it was
yet caused a pump trip.  
          monitored. Additionally, the action plan did not justify why a single successful fill-
          and-vent demonstrated adequate corrective actions. On November 19, 2014, during
The (a)(1) action plan for the cracked check valves had a goal of no check valve  
          the six month monitoring interval, the 21 charging pump underwent maintenance
failure for six months for the next charging pump that underwent maintenance. This  
          requiring a fill-and-vent, and experienced check valve failure two weeks later on
happened to be the 22 charging pump. Entergy chose a six-month monitoring  
          December 4. Entergy documented this as a maintenance rule functional failure, and
interval, even though only one of the three charging pumps is in service at any given  
          discussed the possibility that it could be due to an inadequate fill-and-vent, but did
time, and the 22 charging pump only ran for four out of the six months it was  
          not change the (a)(1) action plan.
monitored. Additionally, the action plan did not justify why a single successful fill-
        The (a)(1) action plan for FCV-110A specified a monitoring interval of six months to
and-vent demonstrated adequate corrective actions. On November 19, 2014, during  
          include the winter because the previous valve failures had all occurred during the
the six month monitoring interval, the 21 charging pump underwent maintenance  
          winter months. However, the actual monitoring interval documented in the corrective
requiring a fill-and-vent, and experienced check valve failure two weeks later on  
          action was from April to October 2015, and therefore did not cover the winter months
December 4. Entergy documented this as a maintenance rule functional failure, and  
          as intended. In January 2016, Entergy performed maintenance on valve CH-297 on
discussed the possibility that it could be due to an inadequate fill-and-vent, but did  
          Unit 3, which is a heat-traced boric acid valve, and did not properly restore the
not change the (a)(1) action plan.  
          insulation. The valve function was not impacted because it does not often contain
          high concentrations of boric acid.
The (a)(1) action plan for FCV-110A specified a monitoring interval of six months to  
      The (a)(1) action plans described above were all reviewed and approved by the
include the winter because the previous valve failures had all occurred during the  
      maintenance rule expert panel.
winter months. However, the actual monitoring interval documented in the corrective  
      Further information regarding the performance of these SSCs is required to determine
action was from April to October 2015, and therefore did not cover the winter months  
      whether these issues of concern represent performance deficiencies and whether they
as intended. In January 2016, Entergy performed maintenance on valve CH-297 on  
      are more than minor. (URI 05000247/2016002-01, CVCS Goal Monitoring Under the
Unit 3, which is a heat-traced boric acid valve, and did not properly restore the  
      Maintenance Rule)
insulation. The valve function was not impacted because it does not often contain  
.2   Quality Control
high concentrations of boric acid.  
  a. Inspection Scope
      The inspectors reviewed the weld repair performed on the 21 CCW heat exchanger
The (a)(1) action plans described above were all reviewed and approved by the  
      service water inlet nozzle for Unit 2 to verify Entergy was properly applying quality
maintenance rule expert panel.  
      controls specified in their quality assurance program. The inspectors reviewed CAP
      documents, maintenance WOs, ECs, and engineering procedures associated with the
Further information regarding the performance of these SSCs is required to determine  
      weld repair. The inspectors verified Entergy specified quality control hold points in
whether these issues of concern represent performance deficiencies and whether they  
are more than minor. (URI 05000247/2016002-01, CVCS Goal Monitoring Under the  
Maintenance Rule)  
.2  
Quality Control  
a. Inspection Scope  
The inspectors reviewed the weld repair performed on the 21 CCW heat exchanger  
service water inlet nozzle for Unit 2 to verify Entergy was properly applying quality  
controls specified in their quality assurance program. The inspectors reviewed CAP  
documents, maintenance WOs, ECs, and engineering procedures associated with the  
weld repair. The inspectors verified Entergy specified quality control hold points in  


                                              13
13  
      accordance with their procedures, properly controlled the quality of materials used
      during the repair, and adequately justified deviations from the existing design.
      Additionally, the inspectors reviewed the welding procedure specification qualification by
accordance with their procedures, properly controlled the quality of materials used  
      the vendor to ensure it was in accordance with American Society of Mechanical
during the repair, and adequately justified deviations from the existing design.
      Engineers code.
Additionally, the inspectors reviewed the welding procedure specification qualification by  
  b. Findings
the vendor to ensure it was in accordance with American Society of Mechanical  
      No findings were identified.
Engineers code.
1R13 Maintenance Risk Assessments and Emergent Work Control (71111.13 - 7 samples)
  a. Inspection Scope
b. Findings  
      The inspectors reviewed station evaluation and management of plant risk for the
      maintenance and emergent work activities listed below to verify that Entergy performed
      the appropriate risk assessments prior to removing equipment for work. The inspectors
No findings were identified.  
      selected these activities based on potential risk significance relative to the reactor safety
      cornerstones. As applicable for each activity, the inspectors verified that Entergy
1R13 Maintenance Risk Assessments and Emergent Work Control (71111.13 - 7 samples)  
      performed risk assessments as required by 10 CFR 50.65(a)(4) and that the
      assessments were accurate and complete. When Entergy performed emergent work,
a. Inspection Scope  
      the inspectors verified that operations personnel promptly assessed and managed plant
      risk. The inspectors reviewed the scope of maintenance work and discussed the results
The inspectors reviewed station evaluation and management of plant risk for the  
      of the assessment with the stations probabilistic risk analyst to verify plant conditions
maintenance and emergent work activities listed below to verify that Entergy performed  
      were consistent with the risk assessment. The inspectors also reviewed the TS
the appropriate risk assessments prior to removing equipment for work. The inspectors  
      requirements and inspected portions of redundant safety systems, when applicable, to
selected these activities based on potential risk significance relative to the reactor safety  
      verify risk analysis assumptions were valid and applicable requirements were met.
cornerstones. As applicable for each activity, the inspectors verified that Entergy  
      Unit 2
performed risk assessments as required by 10 CFR 50.65(a)(4) and that the  
        Temporary loss of spent fuel pool cooling due to 345-kilovolt disturbance on
assessments were accurate and complete. When Entergy performed emergent work,  
          April 3, 2016
the inspectors verified that operations personnel promptly assessed and managed plant  
        Equipment hatch closure plug seal demonstration for outage risk on April 5, 2016
risk. The inspectors reviewed the scope of maintenance work and discussed the results  
        Reduced inventory operations during vessel reassembly on June 7, 2016
of the assessment with the stations probabilistic risk analyst to verify plant conditions  
        21 CCW heat exchanger OOS during mode 4 on June 25, 2016
were consistent with the risk assessment. The inspectors also reviewed the TS  
      Unit 3
requirements and inspected portions of redundant safety systems, when applicable, to  
        32 EDG OOS while Bus Tie BT 4-5 was OOS on May 4, 2016 (this sample was part
verify risk analysis assumptions were valid and applicable requirements were met.  
          of an in-depth review of the EDG system)
        33 EDG OOS while Bus Tie BT 4-5 was OOS on June 2, 2016
Unit 2  
        31 EDG OOS while Bus Tie BT 4-5 was OOS on June 21, 2016
  b. Findings
      No findings were identified.
Temporary loss of spent fuel pool cooling due to 345-kilovolt disturbance on  
April 3, 2016  
Equipment hatch closure plug seal demonstration for outage risk on April 5, 2016  
Reduced inventory operations during vessel reassembly on June 7, 2016  
21 CCW heat exchanger OOS during mode 4 on June 25, 2016  
Unit 3  
32 EDG OOS while Bus Tie BT 4-5 was OOS on May 4, 2016 (this sample was part  
of an in-depth review of the EDG system)
33 EDG OOS while Bus Tie BT 4-5 was OOS on June 2, 2016  
31 EDG OOS while Bus Tie BT 4-5 was OOS on June 21, 2016  
b. Findings  
No findings were identified.  


                                                14
14  
1R15 Operability Determinations and Functionality Assessments (71111.15 - 7 samples)
  a. Inspection Scope
      The inspectors reviewed operability determinations for the following degraded or
1R15 Operability Determinations and Functionality Assessments (71111.15 - 7 samples)  
      non-conforming conditions:
      Unit 2
a. Inspection Scope  
        23 EDG failure to run on March 7, 2016, and subsequent failure to pass the
          surveillance test on March 10, 2016, as identified in CR-IP2-2016-01260
The inspectors reviewed operability determinations for the following degraded or  
        Operability determination for N33 gamma metrics wide range nuclear instrument
non-conforming conditions:  
          channel in CR-IP2-2016-03660 on June 13, 2016
        Pressurizer level transmitter LT-461 reads high in CR-IP-2016-3806 on June 14,
Unit 2  
          2016
        Through-wall leak in line 411, service water inlet to the 21 CCW heat exchanger, on
          June 15, 2016
23 EDG failure to run on March 7, 2016, and subsequent failure to pass the  
      Unit 3
surveillance test on March 10, 2016, as identified in CR-IP2-2016-01260  
        Immediate operability determination of the degraded condition of the baffle-former
          bolts identified from Unit 2 operating experience in CR-IP3-2016-01035 on April 1,
Operability determination for N33 gamma metrics wide range nuclear instrument  
          2016
channel in CR-IP2-2016-03660 on June 13, 2016  
        Anomalies noted during digital metal impact monitoring system self-test in
          CR-IP3-2015-03468 on April 1, 2016
Pressurizer level transmitter LT-461 reads high in CR-IP-2016-3806 on June 14,  
        Prompt operability determination of the degraded condition of the baffle-former bolts
2016  
          identified from Unit 2 operating experience in CR-IP2-2016-03660 on June 30, 2016
      The inspectors selected these issues based on the risk significance of the associated
Through-wall leak in line 411, service water inlet to the 21 CCW heat exchanger, on  
      components and systems. The inspectors evaluated the technical adequacy of the
June 15, 2016  
      operability determinations to assess whether TS operability was properly justified and
      the subject component or system remained available such that no unrecognized
Unit 3  
      increase in risk occurred. The inspectors compared the operability and design criteria in
      the appropriate sections of the TSs and UFSAR to Entergys evaluations to determine
      whether the components or systems were operable.
Immediate operability determination of the degraded condition of the baffle-former  
      The inspectors confirmed, where appropriate, compliance with bounding limitations
bolts identified from Unit 2 operating experience in CR-IP3-2016-01035 on April 1,  
      associated with the evaluations. Where compensatory measures were required to
2016  
      maintain operability, the inspectors determined whether the measures in place would
      function as intended and were properly controlled by Entergy. The inspectors
Anomalies noted during digital metal impact monitoring system self-test in  
      determined, where appropriate, compliance with bounding limitations associated with the
CR-IP3-2015-03468 on April 1, 2016  
      evaluations.
  b. Findings
Prompt operability determination of the degraded condition of the baffle-former bolts  
      Introduction. The inspectors identified a Green NCV of 10 CFR 50, Appendix B,
identified from Unit 2 operating experience in CR-IP2-2016-03660 on June 30, 2016  
      Criterion V, "Instructions, Procedures, and Drawings," because Entergy did not
      adequately accomplish the actions prescribed by procedure EN-OP-104 for a degraded
The inspectors selected these issues based on the risk significance of the associated  
      condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly
components and systems. The inspectors evaluated the technical adequacy of the  
      concluded that no degraded or non-conforming condition existed related to the Unit 3
operability determinations to assess whether TS operability was properly justified and  
the subject component or system remained available such that no unrecognized  
increase in risk occurred. The inspectors compared the operability and design criteria in  
the appropriate sections of the TSs and UFSAR to Entergys evaluations to determine  
whether the components or systems were operable.  
The inspectors confirmed, where appropriate, compliance with bounding limitations  
associated with the evaluations. Where compensatory measures were required to  
maintain operability, the inspectors determined whether the measures in place would  
function as intended and were properly controlled by Entergy. The inspectors  
determined, where appropriate, compliance with bounding limitations associated with the  
evaluations.  
b. Findings  
Introduction. The inspectors identified a Green NCV of 10 CFR 50, Appendix B,  
Criterion V, "Instructions, Procedures, and Drawings," because Entergy did not  
adequately accomplish the actions prescribed by procedure EN-OP-104 for a degraded  
condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly  
concluded that no degraded or non-conforming condition existed related to the Unit 3  


                                          15
15  
baffle-former bolts and exited the operability determination procedure. Entergy
subsequently performed the remaining steps in the procedure and provided appropriate
justification for their plans to examine the baffle-former bolts at the next Unit 3 RFO.
baffle-former bolts and exited the operability determination procedure. Entergy  
Description. On March 29, 2016, Entergy identified baffle-former (baffle) bolt
subsequently performed the remaining steps in the procedure and provided appropriate  
degradation at Indian Point Unit 2 that was determined to be unanalyzed because it did
justification for their plans to examine the baffle-former bolts at the next Unit 3 RFO.  
not meet the minimum acceptable bolt pattern analysis developed to support plant
startup. Entergy staff identified a total of 227 baffle bolts out of a population of 832 that
Description. On March 29, 2016, Entergy identified baffle-former (baffle) bolt  
were potentially degraded (182 bolts had UT indications; 31 had visual indications of
degradation at Indian Point Unit 2 that was determined to be unanalyzed because it did  
failure; and 14 were inaccessible for testing and conservatively assumed to be
not meet the minimum acceptable bolt pattern analysis developed to support plant  
degraded). Entergy staff entered this problem into the CAP as CR-IP2-2016-02081,
startup. Entergy staff identified a total of 227 baffle bolts out of a population of 832 that  
performed a root cause evaluation, and replaced the degraded bolts on Unit 2. Due to
were potentially degraded (182 bolts had UT indications; 31 had visual indications of  
failure; and 14 were inaccessible for testing and conservatively assumed to be  
degraded). Entergy staff entered this problem into the CAP as CR-IP2-2016-02081,  
performed a root cause evaluation, and replaced the degraded bolts on Unit 2. Due to  
the number of baffle bolt indications discovered on Unit 2, Entergy staff initiated CR-IP3-
the number of baffle bolt indications discovered on Unit 2, Entergy staff initiated CR-IP3-
2016-01035 on April 21, 2016, and performed an immediate operability determination
2016-01035 on April 21, 2016, and performed an immediate operability determination  
(IOD) in accordance with Entergy procedure EN-OP-104 Section 5.3, to evaluate the
(IOD) in accordance with Entergy procedure EN-OP-104 Section 5.3, to evaluate the  
baffle bolts and baffle-former assembly structure on Unit 3. Entergy staff planned further
baffle bolts and baffle-former assembly structure on Unit 3. Entergy staff planned further  
corrective actions to move up the planned Unit 3 baffle bolt ultrasonic examinations to
corrective actions to move up the planned Unit 3 baffle bolt ultrasonic examinations to  
the next RFO in spring 2017.
the next RFO in spring 2017.  
The inspectors reviewed the design basis and current licensing basis documents for
Indian Point Unit 3 to identify the specific safety functions of the baffle bolts. The baffle
The inspectors reviewed the design basis and current licensing basis documents for  
bolts are part of the baffle former assembly structure located in the reactor pressure
Indian Point Unit 3 to identify the specific safety functions of the baffle bolts. The baffle  
vessel. The bolts secure a series of vertical metal plates called baffle plates, which help
bolts are part of the baffle former assembly structure located in the reactor pressure  
direct water up through the nuclear fuel assemblies to ensure proper cooling of the fuel.
vessel. The bolts secure a series of vertical metal plates called baffle plates, which help  
A sufficient number of baffle bolts are required to secure the plates to ensure proper
direct water up through the nuclear fuel assemblies to ensure proper cooling of the fuel.
core flow during normal and postulated accident conditions, and also to ensure that
A sufficient number of baffle bolts are required to secure the plates to ensure proper  
control rods can be inserted to shut down the reactor.
core flow during normal and postulated accident conditions, and also to ensure that  
The inspectors reviewed Entergys IOD issued on April 21, 2016, and concluded the
control rods can be inserted to shut down the reactor.  
immediate determination was completed in accordance with Section 5.3 of procedure
EN-OP-104. The IOD provided sufficient technical detail to support the initial conclusion,
The inspectors reviewed Entergys IOD issued on April 21, 2016, and concluded the  
based on limited information, that the Unit 3 baffle bolts would retain sufficient capability
immediate determination was completed in accordance with Section 5.3 of procedure  
to perform their intended functions. Specifically, the IOD stated that Unit 2 baffle bolt
EN-OP-104. The IOD provided sufficient technical detail to support the initial conclusion,  
failures were likely due to irradiation-assisted stress corrosion cracking (IASCC) and that
based on limited information, that the Unit 3 baffle bolts would retain sufficient capability  
the Unit 3 baffle bolts were also susceptible because they both utilize a baffle bolt design
to perform their intended functions. Specifically, the IOD stated that Unit 2 baffle bolt  
with similar geometry and material to other plants with bolt failures. The IOD concluded
failures were likely due to irradiation-assisted stress corrosion cracking (IASCC) and that  
that Unit 3 baffle bolt degradation would likely not be as significant as Unit 2, and that
the Unit 3 baffle bolts were also susceptible because they both utilize a baffle bolt design  
the Unit 3 baffle former assembly was currently operable pending further evaluation
with similar geometry and material to other plants with bolt failures. The IOD concluded  
because of the following differences with Unit 2: (1) less effective full power years of
that Unit 3 baffle bolt degradation would likely not be as significant as Unit 2, and that  
operation; (2) less neutron fluence levels (i.e., irradiation); (3) less pressure differential
the Unit 3 baffle former assembly was currently operable pending further evaluation  
across the baffle plates; and (4) less fatigue-induced loading cycles on the bolts over the
because of the following differences with Unit 2: (1) less effective full power years of  
operating life of the plant. The inspectors concluded that there was no immediate safety
operation; (2) less neutron fluence levels (i.e., irradiation); (3) less pressure differential  
concern.
across the baffle plates; and (4) less fatigue-induced loading cycles on the bolts over the  
On May 5, 2016, Entergy staff revised the operability input for CR-IP3-2016-01035 under
operating life of the plant. The inspectors concluded that there was no immediate safety  
corrective action #2. The inspectors noted that Entergy staff concluded an operability
concern.  
evaluation was not needed, in part, because the baffle-former bolts are not required by
TS and are not described in the UFSAR. The inspectors noted that while the baffle
On May 5, 2016, Entergy staff revised the operability input for CR-IP3-2016-01035 under  
bolts are not described in these documents, their failure in sufficient numbers could have
corrective action #2. The inspectors noted that Entergy staff concluded an operability  
consequential effects on the TS-controlled ECCS if the baffle plates were to become
evaluation was not needed, in part, because the baffle-former bolts are not required by  
detached or deformed. This was described in Entergys bolt pattern analysis report
TS and are not described in the UFSAR. The inspectors noted that while the baffle  
bolts are not described in these documents, their failure in sufficient numbers could have  
consequential effects on the TS-controlled ECCS if the baffle plates were to become  
detached or deformed. This was described in Entergys bolt pattern analysis report  


                                          16
16  
documenting an acceptable bolt pattern prior to the spring 2016 RFO. The inspectors
reviewed Unit 3 TS 3.5.2, ECCS - Operating, which requires multiple trains of ECCS to
be operable. The inspectors concluded that since the baffle bolts support the ECCS,
documenting an acceptable bolt pattern prior to the spring 2016 RFO. The inspectors  
which is subject to TS, Entergys decision to not perform further evaluation of the
reviewed Unit 3 TS 3.5.2, ECCS - Operating, which requires multiple trains of ECCS to  
operability determination was inconsistent with EN-OP-104. Specifically, Section 5.1(7)
be operable. The inspectors concluded that since the baffle bolts support the ECCS,  
of Entergys procedure EN-OP-104 requires that an operability determination be
which is subject to TS, Entergys decision to not perform further evaluation of the  
performed whenever a condition exists in the supporting SCC that may affect the ability
operability determination was inconsistent with EN-OP-104. Specifically, Section 5.1(7)  
of the TS-controlled SSC to perform its specified safety function.
of Entergys procedure EN-OP-104 requires that an operability determination be  
Further, the inspectors noted that Entergy staff concluded a degraded condition did not
performed whenever a condition exists in the supporting SCC that may affect the ability  
exist in Unit 3, and therefore, an operability evaluation was not required as a follow-up to
of the TS-controlled SSC to perform its specified safety function.  
the immediate determination. The documented basis provided was the differences
between the two units, plant operating data, and fuel performance. The inspectors noted
Further, the inspectors noted that Entergy staff concluded a degraded condition did not  
that plant operating data and fuel performance from Unit 2 did not result in identification
exist in Unit 3, and therefore, an operability evaluation was not required as a follow-up to  
of the bolt degradation; therefore, the absence of indications for these problems on Unit
the immediate determination. The documented basis provided was the differences  
3 was technically insufficient to support Entergys conclusion that there was no degraded
between the two units, plant operating data, and fuel performance. The inspectors noted  
condition on Unit 3.
that plant operating data and fuel performance from Unit 2 did not result in identification  
The inspectors review of procedure EN-OP-104, Section 3.0, identified that examples of
of the bolt degradation; therefore, the absence of indications for these problems on Unit  
the effects of equipment aging and operating experience can be sources of information
3 was technically insufficient to support Entergys conclusion that there was no degraded  
considered to enter the operability or functionality process. The inspectors
condition on Unit 3.  
acknowledged that licensees apply judgment in these decisions. In this particular
instance, the inspectors considered that operating experience was available that showed
The inspectors review of procedure EN-OP-104, Section 3.0, identified that examples of  
the Unit 3 baffle bolts were subject to IASCC and that plants of similar design (4-loop
the effects of equipment aging and operating experience can be sources of information  
Westinghouse pressurized water reactors with a down-flow configuration and baffle bolts
considered to enter the operability or functionality process. The inspectors  
of 347 material and similar dimensions) were subject to greater amounts of bolt
acknowledged that licensees apply judgment in these decisions. In this particular  
degradation compared to other reactor designs. Furthermore, the inspectors noted the
instance, the inspectors considered that operating experience was available that showed  
baffle bolts had experienced levels of neutron radiation exposure above the threshold for
the Unit 3 baffle bolts were subject to IASCC and that plants of similar design (4-loop  
IASCC initiation as referenced in NUREG/CR-7027, Degradation of LWR Core Internal
Westinghouse pressurized water reactors with a down-flow configuration and baffle bolts  
Materials due to Neutron Irradiation.
of 347 material and similar dimensions) were subject to greater amounts of bolt  
Based on the above information available to Entergy staff, the inspectors concluded that
degradation compared to other reactor designs. Furthermore, the inspectors noted the  
Entergys basis for determining that a degraded condition did not exist on Unit 3 was not
baffle bolts had experienced levels of neutron radiation exposure above the threshold for  
technically supported. The inspectors noted that in completing an IOD in EN-OP-104,
IASCC initiation as referenced in NUREG/CR-7027, Degradation of LWR Core Internal  
Step 5.3.2 states determine if there is an ongoing degradation mechanism that may
Materials due to Neutron Irradiation.  
impact future operability based on changing conditions, specifically consider the SSCs
specified safety function and mission time. On May 5, 2016, Entergys basis for
Based on the above information available to Entergy staff, the inspectors concluded that  
concluding an operability evaluation was not required and exiting the operability
Entergys basis for determining that a degraded condition did not exist on Unit 3 was not  
determination procedure at Step 5.3.3 was inconsistent with this procedural requirement
technically supported. The inspectors noted that in completing an IOD in EN-OP-104,  
because their IOD concluded Unit 3 was susceptible to baffle bolt degradation, which is
Step 5.3.2 states determine if there is an ongoing degradation mechanism that may  
time based and subject to changing conditions including fatigue inducing loading cycles
impact future operability based on changing conditions, specifically consider the SSCs  
and neutron fluence. As a result, the inspectors concluded Entergy staff did not
specified safety function and mission time. On May 5, 2016, Entergys basis for  
complete the additional actions prescribed by EN-OP-104 to perform an operability
concluding an operability evaluation was not required and exiting the operability  
evaluation. Specifically, Step 5.3.9 states in part if an Operability Evaluation is required
determination procedure at Step 5.3.3 was inconsistent with this procedural requirement  
then perform the following: Proceed to Subsection 5.5, Operability Evaluation.
because their IOD concluded Unit 3 was susceptible to baffle bolt degradation, which is  
On July 11, 2016, Entergy staff subsequently completed the steps in EN-OP-104 and
time based and subject to changing conditions including fatigue inducing loading cycles  
and neutron fluence. As a result, the inspectors concluded Entergy staff did not  
complete the additional actions prescribed by EN-OP-104 to perform an operability  
evaluation. Specifically, Step 5.3.9 states in part if an Operability Evaluation is required  
then perform the following: Proceed to Subsection 5.5, Operability Evaluation.  
On July 11, 2016, Entergy staff subsequently completed the steps in EN-OP-104 and  
performed an operability evaluation, which assumed an estimated number of baffle-
performed an operability evaluation, which assumed an estimated number of baffle-
former bolt failures based on the degradation found in Unit 2, and adjusted to take credit
former bolt failures based on the degradation found in Unit 2, and adjusted to take credit  
for the small number of inaccessible bolts and a sample of bolts extracted with high
for the small number of inaccessible bolts and a sample of bolts extracted with high  
removal torque that indicated residual structural capacity. The inspectors determined
removal torque that indicated residual structural capacity. The inspectors determined  


                                            17
17  
this estimated number of bolt failures was conservative because the evaluation did not
credit the baffle-edge bolts or the differences in operational history between the two units
such as neutron fluence levels or fatigue from thermal cycles. The operability evaluation
this estimated number of bolt failures was conservative because the evaluation did not  
concluded that the Unit 3 baffle bolts would perform as intended to secure the baffle
credit the baffle-edge bolts or the differences in operational history between the two units  
plates from being dislodged. The inspectors concluded that Entergys operability
such as neutron fluence levels or fatigue from thermal cycles. The operability evaluation  
evaluation provided appropriate basis to conclude that the Unit 3 baffle assembly would
concluded that the Unit 3 baffle bolts would perform as intended to secure the baffle  
support ECCS operability until the planned Unit 3 RFO in spring 2017.
plates from being dislodged. The inspectors concluded that Entergys operability  
Analysis. The inspectors determined that Entergys failure to adequately accomplish the
evaluation provided appropriate basis to conclude that the Unit 3 baffle assembly would  
actions prescribed in EN-OP-104 for a degraded condition and perform an operability
support ECCS operability until the planned Unit 3 RFO in spring 2017.  
evaluation associated with the Unit 3 baffle-former bolts was a performance deficiency.
Specifically, Entergy incorrectly concluded that no degraded or non-conforming condition
Analysis. The inspectors determined that Entergys failure to adequately accomplish the  
existed related to the Unit 3 baffle-former bolts and exited the operability determination
actions prescribed in EN-OP-104 for a degraded condition and perform an operability  
procedure. As a result, Entergys initial documentation did not provide sufficient basis
evaluation associated with the Unit 3 baffle-former bolts was a performance deficiency.
for operability and continued operation until questioned by NRC inspectors.
Specifically, Entergy incorrectly concluded that no degraded or non-conforming condition  
This finding is more than minor because it is associated with the equipment performance
existed related to the Unit 3 baffle-former bolts and exited the operability determination  
attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to
procedure. As a result, Entergys initial documentation did not provide sufficient basis  
ensure the availability, reliability, and capability of systems that respond to initiating
for operability and continued operation until questioned by NRC inspectors.  
events to prevent undesirable consequences (i.e., core damage). This issue was also
similar to example 3.j of IMC 0612, Appendix E, Examples of Minor Issues, because
This finding is more than minor because it is associated with the equipment performance  
the condition resulted in reasonable doubt of operability of the ECCS and additional
attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to  
analysis was necessary to verify operability. In accordance with IMC 0609.04, Initial
ensure the availability, reliability, and capability of systems that respond to initiating  
Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix A, The Significance
events to prevent undesirable consequences (i.e., core damage). This issue was also  
Determination Process for Findings At-Power, issued June 19, 2012, the inspectors
similar to example 3.j of IMC 0612, Appendix E, Examples of Minor Issues, because  
screened the finding for safety significance and determined it to be of very low safety
the condition resulted in reasonable doubt of operability of the ECCS and additional  
significance (Green), since the finding did not represent an actual loss of system or
analysis was necessary to verify operability. In accordance with IMC 0609.04, Initial  
function. After inspector questioning, Entergy performed an operability evaluation, which
Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix A, The Significance  
provided sufficient bases to conclude the Unit 3 baffle assembly would support ECCS
Determination Process for Findings At-Power, issued June 19, 2012, the inspectors  
operability. This finding is related to the cross-cutting aspect of Problem Identification
screened the finding for safety significance and determined it to be of very low safety  
and Resolution, Operating Experience, because Entergy did not effectively evaluate
significance (Green), since the finding did not represent an actual loss of system or  
relevant internal and external operating experience. Specifically, Entergy did not
function. After inspector questioning, Entergy performed an operability evaluation, which  
adequately evaluate the impact of degraded baffle bolts at Unit 3 when relevant
provided sufficient bases to conclude the Unit 3 baffle assembly would support ECCS  
operating experience was identified at Unit 2. [P.5]
operability. This finding is related to the cross-cutting aspect of Problem Identification  
Enforcement. 10 CFR 50, Appendix B, Criterion V, Instructions, Procedures, and
and Resolution, Operating Experience, because Entergy did not effectively evaluate  
Drawings, states, in part, that activities affecting quality shall be prescribed by
relevant internal and external operating experience. Specifically, Entergy did not  
documented procedures of a type appropriate to the circumstances and shall be
adequately evaluate the impact of degraded baffle bolts at Unit 3 when relevant  
accomplished in accordance with those procedures. The introduction to Appendix B
operating experience was identified at Unit 2. [P.5]
states that quality assurance comprises all those planned and systematic actions
necessary to provide adequate confidence that a structure, system, or component (SSC)
Enforcement. 10 CFR 50, Appendix B, Criterion V, Instructions, Procedures, and  
will perform satisfactorily in service. Procedure EN-OP-104, Step 5.3[2], related to
Drawings, states, in part, that activities affecting quality shall be prescribed by  
immediate operability, states Determine if there is an ongoing degradation mechanism
documented procedures of a type appropriate to the circumstances and shall be  
that may impact future operability based on changing conditions, specifically consider
accomplished in accordance with those procedures. The introduction to Appendix B  
the SSCs specified safety function and mission time. Step 5.3(3) follows with, in part If
states that quality assurance comprises all those planned and systematic actions  
no Degraded or Non-conforming Condition exists, then perform the following as the
necessary to provide adequate confidence that a structure, system, or component (SSC)  
Immediate Determination: Declare the SSC Operable and Exit this procedure.
will perform satisfactorily in service. Procedure EN-OP-104, Step 5.3[2], related to  
Contrary to the above, from May 5, 2016 until July 11, 2016, Entergy did not adequately
immediate operability, states Determine if there is an ongoing degradation mechanism  
accomplish actions as prescribed by EN-OP-104 for a degraded condition associated
that may impact future operability based on changing conditions, specifically consider  
with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly concluded that no
the SSCs specified safety function and mission time. Step 5.3(3) follows with, in part If  
no Degraded or Non-conforming Condition exists, then perform the following as the  
Immediate Determination: Declare the SSC Operable and Exit this procedure.  
Contrary to the above, from May 5, 2016 until July 11, 2016, Entergy did not adequately  
accomplish actions as prescribed by EN-OP-104 for a degraded condition associated  
with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly concluded that no  


                                          18
18  
degraded or non-conforming condition existed related to the Unit 3 baffle-former bolts
and exited the operability determination procedure. The NRC determined this is contrary
to EN-OP-104 because a comparison of Unit 2 and 3 operational factors resulted in
degraded or non-conforming condition existed related to the Unit 3 baffle-former bolts  
Entergy concluding that the Unit 3 baffle bolts would likely be affected due to the same
and exited the operability determination procedure. The NRC determined this is contrary  
degradation mechanism. Entergys corrective actions included entering the issue into
to EN-OP-104 because a comparison of Unit 2 and 3 operational factors resulted in  
the CAP and documenting an operability evaluation to support the basis for operability of
Entergy concluding that the Unit 3 baffle bolts would likely be affected due to the same  
the baffle bolts and ECCS. Because this issue is of very low safety significance (Green)
degradation mechanism. Entergys corrective actions included entering the issue into  
and Entergy entered this into their CAP as CR-IP3-2016-01961, this finding is being
the CAP and documenting an operability evaluation to support the basis for operability of  
treated as an NCV consistent with Section 2.3.2.a of the Enforcement Policy. (NCV
the baffle bolts and ECCS. Because this issue is of very low safety significance (Green)  
05000286/2016002-02, Failure to Follow Operability Determination Procedure for
and Entergy entered this into their CAP as CR-IP3-2016-01961, this finding is being  
Unit 3 Baffle-Former Bolts)
treated as an NCV consistent with Section 2.3.2.a of the Enforcement Policy. (NCV  
Update to URI 05000247/2016001-06, 23 Emergency Diesel Generator Automatic
05000286/2016002-02, Failure to Follow Operability Determination Procedure for  
Voltage Regulator Failure
Unit 3 Baffle-Former Bolts)  
Introduction. The NRC opened a URI in Inspection Report 05000247/2016001 related to
two failures of the 23 EDG to run and maintain bus voltage on March 7, 2016, and to
Update to URI 05000247/2016001-06, 23 Emergency Diesel Generator Automatic  
provide adequate control of bus voltage on March 10, 2016. This report provides an
Voltage Regulator Failure  
update of the status of this URI.
Description. On March 7, 2016, approximately one hour after the trip of the 3A normal
Introduction. The NRC opened a URI in Inspection Report 05000247/2016001 related to  
feed breaker, the 23 EDG tripped on overcurrent while powering the 6A 480V safety bus.
two failures of the 23 EDG to run and maintain bus voltage on March 7, 2016, and to  
The 6A bus remained de-energized for approximately one hour until the crew restored
provide adequate control of bus voltage on March 10, 2016. This report provides an  
the 6A bus via off-site power. The 23 EDG was declared inoperable. All four 480V
update of the status of this URI.  
safety buses were restored to off-site power. Entergy replaced the overcurrent relays
and retested the 23 EDG satisfactorily on March 8, 2016. However, bench testing of the
Description. On March 7, 2016, approximately one hour after the trip of the 3A normal  
overcurrent relays demonstrated that they were accurately calibrated.
feed breaker, the 23 EDG tripped on overcurrent while powering the 6A 480V safety bus.
Subsequently, on March 10, 2016, during performance of PT-R14, Automatic Safety
The 6A bus remained de-energized for approximately one hour until the crew restored  
Injection System Electrical Load and Blackout Test, the 23 EDG exhibited anomalous
the 6A bus via off-site power. The 23 EDG was declared inoperable. All four 480V  
behavior during the train B load sequencing. During this test, the voltage on safety bus
safety buses were restored to off-site power. Entergy replaced the overcurrent relays  
6A dropped to approximately 200V when the 23 auxiliary feedwater pump was
and retested the 23 EDG satisfactorily on March 8, 2016. However, bench testing of the  
sequenced onto the bus (CR-IP2-2016-01430) and the sequencer failed to complete the
overcurrent relays demonstrated that they were accurately calibrated.  
first two sequences. The 23 EDG was again declared inoperable and the period of
inoperability was backdated to March 7, 2016, when it originally tripped. Further
Subsequently, on March 10, 2016, during performance of PT-R14, Automatic Safety  
troubleshooting and additional failure modes analysis by Entergy initially determined that
Injection System Electrical Load and Blackout Test, the 23 EDG exhibited anomalous  
the cause of both events may have been a degraded resistor (R25) on the 23 EDG
behavior during the train B load sequencing. During this test, the voltage on safety bus  
automatic voltage regulator (AVR) card.
6A dropped to approximately 200V when the 23 auxiliary feedwater pump was  
The 23 EDG AVR card was replaced, and the 23 EDG was again tested satisfactorily.
sequenced onto the bus (CR-IP2-2016-01430) and the sequencer failed to complete the  
The voltage anomaly issues exhibited during the March 10, 2016, test were documented
first two sequences. The 23 EDG was again declared inoperable and the period of  
in CR-IP2-2016-01430 which was closed in CR-IP2-2016-01260 to be included in the
inoperability was backdated to March 7, 2016, when it originally tripped. Further  
causal assessment associated with the tripping of 23 EDG breaker on March 7, 2016.
troubleshooting and additional failure modes analysis by Entergy initially determined that  
Entergy assigned a vendor to perform laboratory bench testing and failure analysis of
the cause of both events may have been a degraded resistor (R25) on the 23 EDG  
the 23 EDG AVR card. The vendor report attributed the cause of the March 10, 2016,
automatic voltage regulator (AVR) card.  
loss of voltage control to a degraded solder joint on the AVR card. However, the vendor
report explicitly did not attribute the event on March 7, 2016, to the same cause.
The 23 EDG AVR card was replaced, and the 23 EDG was again tested satisfactorily.
Entergy assigned a corrective action in CR-IP2-2016-01260 to review the cause of the
The voltage anomaly issues exhibited during the March 10, 2016, test were documented  
in CR-IP2-2016-01430 which was closed in CR-IP2-2016-01260 to be included in the  
causal assessment associated with the tripping of 23 EDG breaker on March 7, 2016.
Entergy assigned a vendor to perform laboratory bench testing and failure analysis of  
the 23 EDG AVR card. The vendor report attributed the cause of the March 10, 2016,  
loss of voltage control to a degraded solder joint on the AVR card. However, the vendor  
report explicitly did not attribute the event on March 7, 2016, to the same cause.
Entergy assigned a corrective action in CR-IP2-2016-01260 to review the cause of the


                                                19
19  
      23 EDG overcurrent trip on March 7, 2016, in light of the vendor report. The inspectors
      determined that the issue of concern remains open as a URI until this causal
      assessment has been completed by Entergy and assessed by NRC. (URI
23 EDG overcurrent trip on March 7, 2016, in light of the vendor report. The inspectors  
      05000247/2016001-06, 23 Emergency Diesel Generator Automatic Voltage
determined that the issue of concern remains open as a URI until this causal  
      Regulator Failure)
assessment has been completed by Entergy and assessed by NRC. (URI  
1R18 Plant Modifications (71111.18 - 2 samples)
05000247/2016001-06, 23 Emergency Diesel Generator Automatic Voltage  
      Permanent Modifications
Regulator Failure)  
.1   Control Rod Guide Tube Repairs in Location E-9
  a. Inspection Scope
1R18 Plant Modifications (71111.18 - 2 samples)  
      The inspectors evaluated a modification to the reactor vessel upper internals to swap
      damaged control rod guide tube in location E-9 with abandoned guide tube in location
      D-10. The inspectors verified that the design bases, licensing bases, and performance
Permanent Modifications  
      capability of the affected systems were not degraded by the modification. In addition,
      the inspectors reviewed modification documents associated with the design change,
.1  
      including evaluation of equivalency and core flow changes, and post-modification
Control Rod Guide Tube Repairs in Location E-9
      testing. The inspectors also reviewed revisions to the affected drawings and interviewed
      refueling and engineering personnel.
a. Inspection Scope  
  b. Findings
      No findings were identified.
The inspectors evaluated a modification to the reactor vessel upper internals to swap  
.2   Core Baffle-Former Bolt EC 64038
damaged control rod guide tube in location E-9 with abandoned guide tube in location  
  a. Inspection Scope
D-10. The inspectors verified that the design bases, licensing bases, and performance  
      The inspectors reviewed EC 64038, IP2 Reactor Vessel Equivalent Replacement
capability of the affected systems were not degraded by the modification. In addition,  
      Baffle-to-Former Bolt. This modification was completed during RFO 2R22 and involved
the inspectors reviewed modification documents associated with the design change,  
      the replacement of 278 baffle-former bolts out of a total of 832 located in the Unit 2
including evaluation of equivalency and core flow changes, and post-modification  
      reactor vessel. Entergy replaced all of the bolts that were potentially degraded as
testing. The inspectors also reviewed revisions to the affected drawings and interviewed  
      observed by visual indications of a protruding bolt head or lock bar problem, bolts that
refueling and engineering personnel.  
      did not pass UT, and bolts inaccessible for UT. Entergy staff also replaced 51 additional
      bolts that passed ultrasonic and visual examinations to increase the structural margin of
b. Findings  
      the baffle-former assembly for future operating cycles.
      The inspectors reviewed the equivalency evaluation completed by Entergy staff to install
No findings were identified.  
      baffle-former bolts of a different material and configuration than the original bolts. The
      inspectors reviewed the associated EC package to determine whether the replacement
.2  
      bolts form, fit, and function were maintained compared to the original bolts and whether
Core Baffle-Former Bolt EC 64038  
      the change conformed to the design and licensing bases of the baffle-former assembly.
      Specifically, this change involved replacing the original baffle-former bolts made of
a. Inspection Scope  
      type 347 stainless steel with bolts made of type 316 stainless steel. The baffle-former
      bolt head configuration was also changed from an original internal hex and slot design
The inspectors reviewed EC 64038, IP2 Reactor Vessel Equivalent Replacement  
      (secured with a welded lock bar) to an external hex configuration with an integral locking
Baffle-to-Former Bolt. This modification was completed during RFO 2R22 and involved  
      cup design. The design change document further evaluated a more gradual fillet
the replacement of 278 baffle-former bolts out of a total of 832 located in the Unit 2  
reactor vessel. Entergy replaced all of the bolts that were potentially degraded as  
observed by visual indications of a protruding bolt head or lock bar problem, bolts that  
did not pass UT, and bolts inaccessible for UT. Entergy staff also replaced 51 additional  
bolts that passed ultrasonic and visual examinations to increase the structural margin of  
the baffle-former assembly for future operating cycles.  
The inspectors reviewed the equivalency evaluation completed by Entergy staff to install  
baffle-former bolts of a different material and configuration than the original bolts. The  
inspectors reviewed the associated EC package to determine whether the replacement  
bolts form, fit, and function were maintained compared to the original bolts and whether  
the change conformed to the design and licensing bases of the baffle-former assembly.
Specifically, this change involved replacing the original baffle-former bolts made of  
type 347 stainless steel with bolts made of type 316 stainless steel. The baffle-former  
bolt head configuration was also changed from an original internal hex and slot design  
(secured with a welded lock bar) to an external hex configuration with an integral locking  
cup design. The design change document further evaluated a more gradual fillet  


                                              20
20  
      geometry between the bolt head and shank intended to reduce the stress concentration
      at that transition and provide for improved fatigue resistance.
  b. Findings
geometry between the bolt head and shank intended to reduce the stress concentration  
      No findings were identified.
at that transition and provide for improved fatigue resistance.  
1R19 Post-Maintenance Testing (71111.19 - 8 samples)
  a. Inspection Scope
b. Findings  
      The inspectors reviewed the post-maintenance tests for the maintenance activities listed
      below to verify that procedures and test activities ensured system operability and
No findings were identified.  
      functional capability. The inspectors reviewed the test procedure to verify that the
      procedure adequately tested the safety functions that may have been affected by the
1R19 Post-Maintenance Testing (71111.19 - 8 samples)  
      maintenance activity, that the acceptance criteria in the procedure was consistent with
      the information in the applicable licensing basis and/or design basis documents, and that
a. Inspection Scope  
      the test results were properly reviewed and accepted and problems were appropriately
      documented. The inspectors also walked down the affected job site, observed the
The inspectors reviewed the post-maintenance tests for the maintenance activities listed  
      pre-job brief and post-job critique where possible, confirmed work site cleanliness was
below to verify that procedures and test activities ensured system operability and  
      maintained, witnessed the test or reviewed test data to verify quality control hold points
functional capability. The inspectors reviewed the test procedure to verify that the  
      were performed and checked, and that results adequately demonstrated restoration of
procedure adequately tested the safety functions that may have been affected by the  
      the affected safety functions.
maintenance activity, that the acceptance criteria in the procedure was consistent with  
      Unit 2
the information in the applicable licensing basis and/or design basis documents, and that  
        21 EDG fuel oil transfer pump after planned maintenance on May 5, 2016
the test results were properly reviewed and accepted and problems were appropriately  
        Replacement of pressurizer level transmitters LT-459 and LT-460 on May 25, 2016
documented. The inspectors also walked down the affected job site, observed the  
        21 CCW heat exchanger service water outlet weld repair on June 26, 2016
pre-job brief and post-job critique where possible, confirmed work site cleanliness was  
        Flux mapping system drive repairs following motor failures on June 28, 2016
maintained, witnessed the test or reviewed test data to verify quality control hold points  
      Unit 3
were performed and checked, and that results adequately demonstrated restoration of  
        Maintenance on service water components associated with the 32 EDG on May 5,
the affected safety functions.  
          2016 (this sample was part of an in-depth review of the EDG system)
        Modification of the 32 EDG space heaters on May 5, 2016 (this sample was part of
Unit 2  
          an in-depth review of the EDG system)
        Maintenance on the 32 EDG air start system on May 6, 2016 (this sample was part
          of an in-depth review of the EDG system)
21 EDG fuel oil transfer pump after planned maintenance on May 5, 2016
        Replacement of failed bistable LC-427K, steam generator 32 low level mismatch trip
          interlock, on May 18, 2016
Replacement of pressurizer level transmitters LT-459 and LT-460 on May 25, 2016  
  b. Findings
      No findings were identified.
21 CCW heat exchanger service water outlet weld repair on June 26, 2016  
Flux mapping system drive repairs following motor failures on June 28, 2016  
Unit 3  
Maintenance on service water components associated with the 32 EDG on May 5,  
2016 (this sample was part of an in-depth review of the EDG system)  
Modification of the 32 EDG space heaters on May 5, 2016 (this sample was part of  
an in-depth review of the EDG system)  
Maintenance on the 32 EDG air start system on May 6, 2016 (this sample was part  
of an in-depth review of the EDG system)  
Replacement of failed bistable LC-427K, steam generator 32 low level mismatch trip  
interlock, on May 18, 2016  
b. Findings  
No findings were identified.  


                                                  21
21  
1R20 Refueling and Other Outage Activities (71111.20 - 2 samples)
.1   Unit 2 RFO 2R22
  a. Inspection Scope
1R20 Refueling and Other Outage Activities (71111.20 - 2 samples)  
      The inspectors reviewed the stations work schedule and outage risk plan for the Unit 2
      maintenance during RFO 2R22, which was conducted from March 7, 2016, to June 16,
.1  
      2016. The inspectors reviewed Entergys development and implementation of outage
Unit 2 RFO 2R22  
      plans and schedules to verify that risk, industry experience, previous site-specific
      problems, and defense-in-depth were considered. During the outage, the inspectors
a. Inspection Scope  
      observed portions of the shutdown and cooldown processes and monitored controls
      associated with the following outage activities:
The inspectors reviewed the stations work schedule and outage risk plan for the Unit 2  
        Configuration management, including maintenance of defense-in-depth,
maintenance during RFO 2R22, which was conducted from March 7, 2016, to June 16,  
          commensurate with the outage plan for the key safety functions and compliance with
2016. The inspectors reviewed Entergys development and implementation of outage  
          the applicable TSs when taking equipment OOS
plans and schedules to verify that risk, industry experience, previous site-specific  
        Implementation of clearance activities and confirmation that tags were properly hung
problems, and defense-in-depth were considered. During the outage, the inspectors  
          and that equipment was appropriately configured to safely support the associated
observed portions of the shutdown and cooldown processes and monitored controls  
          work or testing
associated with the following outage activities:  
        Installation and configuration of reactor coolant pressure, level, and temperature
          instruments to provide accurate indication and instrument error accounting
        Status and configuration of electrical systems and switchyard activities to ensure that
Configuration management, including maintenance of defense-in-depth,  
          TSs were met
commensurate with the outage plan for the key safety functions and compliance with  
        Monitoring of decay heat removal operations
the applicable TSs when taking equipment OOS  
        Impact of outage work on the ability of the operators to operate the spent fuel pool
          cooling system
Implementation of clearance activities and confirmation that tags were properly hung  
        Reactor water inventory controls, including flow paths, configurations, alternative
and that equipment was appropriately configured to safely support the associated  
          means for inventory additions, and controls to prevent inventory loss
work or testing  
        Activities that could affect reactivity
        Maintenance of secondary containment as required by TSs
Installation and configuration of reactor coolant pressure, level, and temperature  
        Refueling activities, including fuel handling and fuel receipt inspections
instruments to provide accurate indication and instrument error accounting  
        Fatigue management
        Tracking of startup prerequisites, walkdown of the primary containment to verify that
Status and configuration of electrical systems and switchyard activities to ensure that  
          debris had not been left which could block the ECCS suction strainers, and startup
TSs were met  
          and ascension to full power operation
        Foreign Object Search and Retrieval for missing baffle bolts and locking tabs
Monitoring of decay heat removal operations  
        Identification and resolution of problems related to RFO activities
      During this outage, Entergy replaced 278 degraded baffle bolts in the Unit 2 reactor
Impact of outage work on the ability of the operators to operate the spent fuel pool  
      vessel baffle assembly. This emergent project resulted in the extension of the outage
cooling system  
      schedule from 30 days to 102 days.
  b. Findings
Reactor water inventory controls, including flow paths, configurations, alternative  
      Introduction. The inspectors identified a Green NCV of TS 5.4.1 for Entergys failure to
means for inventory additions, and controls to prevent inventory loss  
      implement procedure OAP-007, Containment Entry and Egress. Specifically, workers
      transiting the inner and outer crane wall sections of containment on June 11, 2016, failed
Activities that could affect reactivity  
      to maintain at least one (of two) flow channeling gate closed to ensure availability of the
      containment sumps to provide suction for the ECCS.
Maintenance of secondary containment as required by TSs  
Refueling activities, including fuel handling and fuel receipt inspections  
Fatigue management  
Tracking of startup prerequisites, walkdown of the primary containment to verify that  
debris had not been left which could block the ECCS suction strainers, and startup  
and ascension to full power operation  
Foreign Object Search and Retrieval for missing baffle bolts and locking tabs  
Identification and resolution of problems related to RFO activities  
During this outage, Entergy replaced 278 degraded baffle bolts in the Unit 2 reactor  
vessel baffle assembly. This emergent project resulted in the extension of the outage  
schedule from 30 days to 102 days.  
b. Findings  
Introduction. The inspectors identified a Green NCV of TS 5.4.1 for Entergys failure to  
implement procedure OAP-007, Containment Entry and Egress. Specifically, workers  
transiting the inner and outer crane wall sections of containment on June 11, 2016, failed  
to maintain at least one (of two) flow channeling gate closed to ensure availability of the  
containment sumps to provide suction for the ECCS.  


                                          22
22  
Description. On June 11, 2016, in mode 4, in preparation for reactor startup, Entergy
was performing maintenance in containment required prior to mode 3, such as reactor
coolant pump motor balancing and steam flow transmitter troubleshooting. These
activities required scaffolds to be temporarily erected for workers to safely perform
Description. On June 11, 2016, in mode 4, in preparation for reactor startup, Entergy  
maintenance. While transiting from the inner to outer section of containment, the
was performing maintenance in containment required prior to mode 3, such as reactor  
inspectors noted that both flow channeling gates were maintained open simultaneously
coolant pump motor balancing and steam flow transmitter troubleshooting. These  
as workers carried scaffold poles and hardware out of the area.
activities required scaffolds to be temporarily erected for workers to safely perform  
In the event of a postulated LOCA, Unit 2 relies on two sumps to provide a suction
maintenance. While transiting from the inner to outer section of containment, the  
source for the internal recirculation pumps and residual heat removal pumps,
inspectors noted that both flow channeling gates were maintained open simultaneously  
respectively, after the injection phase of the accident. The sumps have cylindrical
as workers carried scaffold poles and hardware out of the area.  
screens with large surface area and small holes to filter small debris and maintain
adequate net positive suction head for the associated pumps. The reactor cavity sump
In the event of a postulated LOCA, Unit 2 relies on two sumps to provide a suction  
and large intervening barriers prevent large debris generated from the accident, such as
source for the internal recirculation pumps and residual heat removal pumps,  
insulation, from reaching and blocking the recirculation and containment sump screens.
respectively, after the injection phase of the accident. The sumps have cylindrical  
Entergy procedure OAP-007, Containment Entry and Egress, precaution and limitation
screens with large surface area and small holes to filter small debris and maintain  
step 2.30.2, states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the
adequate net positive suction head for the associated pumps. The reactor cavity sump  
double gate entry point via gates 17 and 23. One gate shall remain shut and secured at
and large intervening barriers prevent large debris generated from the accident, such as  
all times to maintain flow channeling and sump operability. Securing gates requires a
insulation, from reaching and blocking the recirculation and containment sump screens.  
padlock or nut and bolt closure from the outside. This will require posting a gate monitor
to allow exit. The inspectors noted, while a gate monitor was posted, both gates were
Entergy procedure OAP-007, Containment Entry and Egress, precaution and limitation  
maintained open during passage and not secured with a padlock or nut and bolt closure.
step 2.30.2, states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the  
Upon questioning by the inspectors, Entergy immediately coached the gate monitor and
double gate entry point via gates 17 and 23. One gate shall remain shut and secured at  
restored the gates to an acceptable position. Entergy generated CR-IP2-2016-04036 to
all times to maintain flow channeling and sump operability. Securing gates requires a  
address this issue.
padlock or nut and bolt closure from the outside. This will require posting a gate monitor  
Analysis. The inspectors determined that Energys failure to maintain either gate 17 or
to allow exit. The inspectors noted, while a gate monitor was posted, both gates were  
gate 23 closed during passage in accordance with OAP-007 was a performance
maintained open during passage and not secured with a padlock or nut and bolt closure.
deficiency. The performance deficiency was more than minor because it is associated
Upon questioning by the inspectors, Entergy immediately coached the gate monitor and  
with the configuration control (shutdown equipment lineup) attribute and adversely
restored the gates to an acceptable position. Entergy generated CR-IP2-2016-04036 to  
affected the Mitigating Systems cornerstone objective to ensure the availability,
address this issue.  
reliability, and capability of systems that respond to initiating events to prevent
undesirable consequences (i.e., core damage). The inspectors evaluated the finding in
Analysis. The inspectors determined that Energys failure to maintain either gate 17 or  
accordance with IMC 0609, Appendix G, Attachment 1, Exhibit 3, and determined that a
gate 23 closed during passage in accordance with OAP-007 was a performance  
detailed risk evaluation was necessary because the finding represented a loss of system
deficiency. The performance deficiency was more than minor because it is associated  
safety function. A detailed risk assessment was conducted conservatively assuming
with the configuration control (shutdown equipment lineup) attribute and adversely  
complete failure of the recirculation and containment sumps due to the performance
affected the Mitigating Systems cornerstone objective to ensure the availability,  
deficiency. Given that Unit 2 was in mode 4, in plant operating state 1, with a late time
reliability, and capability of systems that respond to initiating events to prevent  
window, the at-power simplified plant analysis risk model for large-break LOCAs was
undesirable consequences (i.e., core damage). The inspectors evaluated the finding in  
determined to best model the degrade condition and plant response. An exposure time
accordance with IMC 0609, Appendix G, Attachment 1, Exhibit 3, and determined that a  
of one day was assumed. No credit was assumed for the decrease in energy that would
detailed risk evaluation was necessary because the finding represented a loss of system  
be anticipated in a release during a LOCA in mode 4, nor the corresponding reduction in
safety function. A detailed risk assessment was conducted conservatively assuming  
debris generation. This was also considered conservative. Utilizing Systems Analysis
complete failure of the recirculation and containment sumps due to the performance  
Program for Hands-On Integrated Reliability Evaluation, version 8.13, with Indian Point
deficiency. Given that Unit 2 was in mode 4, in plant operating state 1, with a late time  
Unit 2 Simplified Plant Analysis Risk Model, version 8.19, for the assumed conditions,
window, the at-power simplified plant analysis risk model for large-break LOCAs was  
the change in core damage frequency was determined to be 7E-9. Therefore, this issue
determined to best model the degrade condition and plant response. An exposure time  
represents a Green finding.
of one day was assumed. No credit was assumed for the decrease in energy that would  
be anticipated in a release during a LOCA in mode 4, nor the corresponding reduction in  
debris generation. This was also considered conservative. Utilizing Systems Analysis  
Program for Hands-On Integrated Reliability Evaluation, version 8.13, with Indian Point  
Unit 2 Simplified Plant Analysis Risk Model, version 8.19, for the assumed conditions,  
the change in core damage frequency was determined to be 7E-9. Therefore, this issue  
represents a Green finding.  


                                                  23
23  
      This finding had a cross-cutting aspect in the area of Human Performance, Avoid
      Complacency, because Entergy did not consider potential undesired consequences of
      actions before performing work and implement appropriate error-reduction tools.
This finding had a cross-cutting aspect in the area of Human Performance, Avoid  
      Specifically, the work crew did not understand the requirements and potential
Complacency, because Entergy did not consider potential undesired consequences of  
      consequences prior to commencing work and the gate monitor did not enforce these
actions before performing work and implement appropriate error-reduction tools.
      requirements to maintain at least one gate locked or pinned closed as required by
Specifically, the work crew did not understand the requirements and potential  
      OAP-007. [H.12]
consequences prior to commencing work and the gate monitor did not enforce these  
      Enforcement. Unit 2 TS 5.4.1.a requires that the procedures listed in Attachment A to
requirements to maintain at least one gate locked or pinned closed as required by  
      Regulatory Guide 1.33, Quality Assurance Program Requirements, Revision 2, be
OAP-007. [H.12]  
      established and implemented. Attachment A states that instructions should be prepared,
      as appropriate, for access to containment and changing modes of operation of the
Enforcement. Unit 2 TS 5.4.1.a requires that the procedures listed in Attachment A to  
      ECCS. Entergy procedure OAP-007, Containment Entry and Egress, Step 2.30.2,
Regulatory Guide 1.33, Quality Assurance Program Requirements, Revision 2, be  
      states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the double gate entry
established and implemented. Attachment A states that instructions should be prepared,  
      point via gates 17 and 23. One gate shall remain shut and secured at all times to
as appropriate, for access to containment and changing modes of operation of the  
      maintain flow channeling and sump operability. Securing gates requires a padlock or nut
ECCS. Entergy procedure OAP-007, Containment Entry and Egress, Step 2.30.2,  
      and bolt closure from the outside. Contrary to the above, on June 11, 2016, Entergy did
states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the double gate entry  
      not maintain one gate secured at all times with a padlock or nut and bolt closure.
point via gates 17 and 23. One gate shall remain shut and secured at all times to  
      Entergy entered this issue into the CAP as CR-IP2-2016-04036. Because this violation
maintain flow channeling and sump operability. Securing gates requires a padlock or nut  
      was of very low safety significance (Green), and Entergy entered this performance
and bolt closure from the outside. Contrary to the above, on June 11, 2016, Entergy did  
      deficiency into the CAP, the NRC is treating this as a NCV in accordance with
not maintain one gate secured at all times with a padlock or nut and bolt closure.
      Section 2.3.2.a of the NRC Enforcement Policy. (NCV 05000247/2016002-03, Failure
Entergy entered this issue into the CAP as CR-IP2-2016-04036. Because this violation  
      to Maintain Flow Channeling Gates Closed in Accordance with the Containment
was of very low safety significance (Green), and Entergy entered this performance  
      Procedure)
deficiency into the CAP, the NRC is treating this as a NCV in accordance with  
.2   Unit 2 Forced Outage
Section 2.3.2.a of the NRC Enforcement Policy. (NCV 05000247/2016002-03, Failure  
  a. Inspection Scope
to Maintain Flow Channeling Gates Closed in Accordance with the Containment  
      Unit 2 conducted a forced outage from June 24 to 27, 2016, in order to complete weld
Procedure)  
      repairs on a through-wall leak on the service water inlet line to the 21 CCW heat
      exchanger. These repairs required shutting down to mode 4 in order to meet the
.2  
      TS 3.7.7, Component Cooling Water (CCW) System, limiting condition for operations
Unit 2 Forced Outage  
      for CCW operability. While these repairs were being completed, the grid operator
      completed repairs to breaker 9 in the offsite switchyard. During the outage, the
a. Inspection Scope  
      inspectors observed portions of the shutdown and cooldown processes and monitored
      controls associated with the following outage activities:
Unit 2 conducted a forced outage from June 24 to 27, 2016, in order to complete weld  
        Configuration management, including maintenance of defense-in-depth,
repairs on a through-wall leak on the service water inlet line to the 21 CCW heat  
          commensurate with the outage plan for the key safety functions and compliance with
exchanger. These repairs required shutting down to mode 4 in order to meet the  
          the applicable TSs when taking equipment OOS
TS 3.7.7, Component Cooling Water (CCW) System, limiting condition for operations  
        Implementation of clearance activities and confirmation that tags were properly hung
for CCW operability. While these repairs were being completed, the grid operator  
          and that equipment was appropriately configured to safely support the associated
completed repairs to breaker 9 in the offsite switchyard. During the outage, the  
          work or testing
inspectors observed portions of the shutdown and cooldown processes and monitored  
        Status and configuration of electrical systems and switchyard activities to ensure that
controls associated with the following outage activities:  
          TSs were met
        Monitoring of decay heat removal operations
        Reactor water inventory controls, including flow paths, configurations, alternative
Configuration management, including maintenance of defense-in-depth,  
          means for inventory additions, and controls to prevent inventory loss
commensurate with the outage plan for the key safety functions and compliance with  
        Activities that could affect reactivity
the applicable TSs when taking equipment OOS  
Implementation of clearance activities and confirmation that tags were properly hung  
and that equipment was appropriately configured to safely support the associated  
work or testing  
Status and configuration of electrical systems and switchyard activities to ensure that  
TSs were met  
Monitoring of decay heat removal operations  
Reactor water inventory controls, including flow paths, configurations, alternative  
means for inventory additions, and controls to prevent inventory loss  
Activities that could affect reactivity  


                                                24
24  
          Tracking of startup prerequisites
          Identification and resolution of problems related to RFO activities
      When all repairs had been completed, Entergy restarted Unit 2 on June 27, 2016.
  b. Findings
Tracking of startup prerequisites
      No findings were identified.
1R22 Surveillance Testing (71111.22 - 6 samples)
Identification and resolution of problems related to RFO activities  
  a. Inspection Scope
      The inspectors observed performance of surveillance tests and/or reviewed test data of
When all repairs had been completed, Entergy restarted Unit 2 on June 27, 2016.  
      selected risk-significant SSCs to assess whether test results satisfied TSs, the UFSAR,
      and Entergys procedure requirements. The inspectors verified that test acceptance
b. Findings  
      criteria were clear, tests demonstrated operational readiness and were consistent with
      design documentation, test instrumentation had current calibrations and the range and
      accuracy for the application, tests were performed as written, and applicable test
No findings were identified.  
      prerequisites were satisfied. Upon test completion, the inspectors considered whether
      the test results supported that equipment was capable of performing the required safety
1R22 Surveillance Testing (71111.22 - 6 samples)  
      functions. The inspectors reviewed the following surveillance tests:
      Unit 2
a. Inspection Scope  
          WO 446385, 21 EDG AVR card inspection, on May 24, 2016
          2-PT-Q013 for containment isolation valve 851B (22 safety injection (SI) pump tie to
The inspectors observed performance of surveillance tests and/or reviewed test data of  
          23 SI pump discharge) on June 6, 2016
selected risk-significant SSCs to assess whether test results satisfied TSs, the UFSAR,  
          2-PT-Q029B quarterly in-service surveillance test for the 22 SI pump on June 6,
and Entergys procedure requirements. The inspectors verified that test acceptance  
          2016
criteria were clear, tests demonstrated operational readiness and were consistent with  
      Unit 3
design documentation, test instrumentation had current calibrations and the range and  
          3-PT-M079B 32 EDG monthly surveillance on May 30, 2016 (this sample was part of
accuracy for the application, tests were performed as written, and applicable test  
          an in-depth review of the EDG system)
prerequisites were satisfied. Upon test completion, the inspectors considered whether  
          34 steam generator pressure instrument channel check on June 21, 2016
the test results supported that equipment was capable of performing the required safety  
          0-SOP-LEAKRATE-001, RCS Leakrate Surveillance, Evaluation and Leak
functions. The inspectors reviewed the following surveillance tests:  
          Identification, beginning on June 28, 2016
  b. Findings
Unit 2  
      No findings were identified.
      Cornerstone: Emergency Preparedness
WO 446385, 21 EDG AVR card inspection, on May 24, 2016  
2-PT-Q013 for containment isolation valve 851B (22 safety injection (SI) pump tie to  
23 SI pump discharge) on June 6, 2016  
2-PT-Q029B quarterly in-service surveillance test for the 22 SI pump on June 6,  
2016  
Unit 3  
3-PT-M079B 32 EDG monthly surveillance on May 30, 2016 (this sample was part of  
an in-depth review of the EDG system)  
34 steam generator pressure instrument channel check on June 21, 2016  
0-SOP-LEAKRATE-001, RCS Leakrate Surveillance, Evaluation and Leak  
Identification, beginning on June 28, 2016  
b. Findings  
No findings were identified.  
Cornerstone: Emergency Preparedness  


                                                25
25  
1EP6 Drill Evaluation (71114.06 - 1 sample)
      Training Observations
  a. Inspection Scope
1EP6 Drill Evaluation (71114.06 - 1 sample)  
      The inspectors evaluated the conduct of Entergys ingestion pathway emergency
      preparedness drill on April 19, 2016, to identify any weaknesses and deficiencies in the
      classification, notification, and protective action recommendation development activities.
Training Observations  
      The inspectors observed emergency response operations in the emergency operations
      facility to determine whether the event classification, notifications, and protective action
a. Inspection Scope  
      recommendations were performed in accordance with procedures. The inspectors also
      attended the facility drill critique to compare inspector observations with those identified
The inspectors evaluated the conduct of Entergys ingestion pathway emergency  
      by Entergy staff in order to evaluate Entergys critique and to verify whether the staff was
preparedness drill on April 19, 2016, to identify any weaknesses and deficiencies in the  
      properly identifying weaknesses and entering them into the CAP.
classification, notification, and protective action recommendation development activities.
  b. Findings
The inspectors observed emergency response operations in the emergency operations  
      No findings were identified.
facility to determine whether the event classification, notifications, and protective action  
2.   RADIATION SAFETY
recommendations were performed in accordance with procedures. The inspectors also  
      Cornerstone: Public Radiation Safety and Occupational Radiation Safety
attended the facility drill critique to compare inspector observations with those identified  
2RS1 Radiological Hazard Assessment and Exposure Controls (71124.01)
by Entergy staff in order to evaluate Entergys critique and to verify whether the staff was  
  a. Inspection Scope
properly identifying weaknesses and entering them into the CAP.  
      During May 10-12 and June 13-17, 2016, the inspectors reviewed Entergys
      performance in assessing the radiological hazards and exposure control in the
b. Findings  
      workplace. The inspectors used the requirements in 10 CFR 20, TSs, applicable
      industry standards, and procedures required by TSs as criteria for determining
No findings were identified.  
      compliance.
      Radiological Hazards Control and Work Coverage
2.  
      The inspectors reviewed:
RADIATION SAFETY  
        Ambient radiological conditions during tours of the radiological controlled area,
          posted surveys, radiation work permits, adequacy of radiological controls, radiation
          protection job coverage, and contamination controls
Cornerstone: Public Radiation Safety and Occupational Radiation Safety  
        Controls for highly activated or contaminated materials stored within spent fuel pools
        Posting and physical controls for high radiation areas and very high radiation areas
2RS1 Radiological Hazard Assessment and Exposure Controls (71124.01)  
  b. Findings
      No findings were identified.
a. Inspection Scope  
During May 10-12 and June 13-17, 2016, the inspectors reviewed Entergys  
performance in assessing the radiological hazards and exposure control in the  
workplace. The inspectors used the requirements in 10 CFR 20, TSs, applicable  
industry standards, and procedures required by TSs as criteria for determining  
compliance.
Radiological Hazards Control and Work Coverage  
The inspectors reviewed:  
Ambient radiological conditions during tours of the radiological controlled area,  
posted surveys, radiation work permits, adequacy of radiological controls, radiation  
protection job coverage, and contamination controls  
Controls for highly activated or contaminated materials stored within spent fuel pools  
Posting and physical controls for high radiation areas and very high radiation areas  
b. Findings  
No findings were identified.


                                              26
26  
2RS2 Occupational As Low As Is Reasonably Achievable (ALARA) Planning and Controls
      (71124.02)
  a. Inspection Scope
2RS2 Occupational As Low As Is Reasonably Achievable (ALARA) Planning and Controls  
      During May 10-12 and June 13-17, 2016, the inspectors assessed performance with
(71124.02)  
      respect to maintaining occupational individual and collective radiation exposures ALARA.
      The inspectors used the requirements in 10 CFR 20, TSs, applicable industry standards,
a. Inspection Scope
      and procedures required by TSs as criteria for determining compliance.
      Radiological Work Planning
During May 10-12 and June 13-17, 2016, the inspectors assessed performance with  
      The inspectors reviewed:
respect to maintaining occupational individual and collective radiation exposures ALARA.
        ALARA work activity evaluations, exposure estimates, and exposure mitigation
The inspectors used the requirements in 10 CFR 20, TSs, applicable industry standards,  
          requirements
and procedures required by TSs as criteria for determining compliance.
        ALARA work planning, use of dose mitigation features and dose goals
        Work planning and the integration of ALARA requirements
Radiological Work Planning  
  b. Findings
      No findings were identified.
The inspectors reviewed:  
2RS7 Radiological Environmental Monitoring Program (REMP) (71124.07 - 3 samples)
  a. Inspection Scope
      The inspectors reviewed the REMP to validate the effectiveness of the radioactive
ALARA work activity evaluations, exposure estimates, and exposure mitigation  
      gaseous and liquid effluent release program and implementation of the groundwater
requirements  
      protection initiative (GPI). The inspectors used the requirements in 10 CFR 20,
      40 CFR 190, 10 CFR 50, Appendix I, TSs, offsite dose calculation manual (ODCM),
ALARA work planning, use of dose mitigation features and dose goals  
      Nuclear Energy Institute 07-07, and procedures required by TSs as criteria for
      determining compliance.
Work planning and the integration of ALARA requirements
      Inspection Planning
      The inspectors reviewed Entergys 2014 and 2015 annual radiological environmental
b. Findings  
      and effluent monitoring reports, REMP program audits, ODCM changes, land use
      census, the UFSAR, and inter-laboratory comparison program results.
No findings were identified.
      Site Inspection
      The inspectors walked down various thermoluminescent dosimeter and air and water
2RS7 Radiological Environmental Monitoring Program (REMP) (71124.07 - 3 samples)  
      sampling locations and reviewed associated calibration and maintenance records. The
      inspectors observed the sampling of various environmental media as specified in the
a. Inspection Scope  
      ODCM and reviewed any anomalous environmental sampling events including
      assessment of any positive radioactivity results. The inspectors reviewed any changes
The inspectors reviewed the REMP to validate the effectiveness of the radioactive  
      to the ODCM. The inspectors verified the operability and calibration of the
gaseous and liquid effluent release program and implementation of the groundwater  
      meteorological tower instruments and meteorological data readouts. The inspectors
protection initiative (GPI). The inspectors used the requirements in 10 CFR 20,  
      reviewed environmental sample laboratory analysis results, laboratory instrument
40 CFR 190, 10 CFR 50, Appendix I, TSs, offsite dose calculation manual (ODCM),  
      measurement detection sensitivities, laboratory quality control program audit results, and
Nuclear Energy Institute 07-07, and procedures required by TSs as criteria for  
determining compliance.  
Inspection Planning  
The inspectors reviewed Entergys 2014 and 2015 annual radiological environmental  
and effluent monitoring reports, REMP program audits, ODCM changes, land use  
census, the UFSAR, and inter-laboratory comparison program results.  
Site Inspection
The inspectors walked down various thermoluminescent dosimeter and air and water  
sampling locations and reviewed associated calibration and maintenance records. The  
inspectors observed the sampling of various environmental media as specified in the  
ODCM and reviewed any anomalous environmental sampling events including  
assessment of any positive radioactivity results. The inspectors reviewed any changes  
to the ODCM. The inspectors verified the operability and calibration of the  
meteorological tower instruments and meteorological data readouts. The inspectors  
reviewed environmental sample laboratory analysis results, laboratory instrument  
measurement detection sensitivities, laboratory quality control program audit results, and  


                                                27
27  
      the inter- and intra-laboratory comparison program results. The inspectors reviewed the
      groundwater monitoring program as it applies to selected potential leaking SSCs.
      GPI Implementation
the inter- and intra-laboratory comparison program results. The inspectors reviewed the  
      The inspectors reviewed groundwater monitoring results, changes to the GPI program
groundwater monitoring program as it applies to selected potential leaking SSCs.  
      since the last inspection, anomalous results or missed groundwater samples, leakage or
      spill events including entries made into the decommissioning files (10 CFR 50.75(g)),
GPI Implementation
      evaluations of surface water discharges, and Entergys evaluation of any positive
The inspectors reviewed groundwater monitoring results, changes to the GPI program  
      groundwater sample results including appropriate stakeholder notifications and effluent
since the last inspection, anomalous results or missed groundwater samples, leakage or  
      reporting requirements.
spill events including entries made into the decommissioning files (10 CFR 50.75(g)),  
      Identification and Resolution of Problems
evaluations of surface water discharges, and Entergys evaluation of any positive  
      The inspectors evaluated whether problems associated with the REMP were identified at
groundwater sample results including appropriate stakeholder notifications and effluent  
      an appropriate threshold and properly addressed in Entergys CAP.
reporting requirements.  
    b. Findings
      No findings were identified.
4.     OTHER ACTIVITIES
Identification and Resolution of Problems
4OA1 Performance Indicator Verification (71151 - 6 samples)
      Initiating Events Performance Indicators
The inspectors evaluated whether problems associated with the REMP were identified at  
  a. Inspection Scope
an appropriate threshold and properly addressed in Entergys CAP.  
      The inspectors reviewed Entergys submittals for the following Initiating Events
      cornerstone performance indicators for the period April 1, 2015, to March 31, 2016:
b. Findings  
      Unit 2
          Unplanned scrams per 7000 critical hours (IE01)
No findings were identified.  
          Unplanned power changes per 7000 critical hours (IE03)
          Unplanned scrams with complications (IE04)
4.  
      Unit 3
OTHER ACTIVITIES  
          Unplanned scrams (IE01)
          Unplanned power changes (IE03)
4OA1 Performance Indicator Verification (71151 - 6 samples)  
          Unplanned scrams with complications (IE04)
      To determine the accuracy of the performance indicator data reported during those
      periods, inspectors used definitions and guidance contained in Nuclear Energy
Initiating Events Performance Indicators  
      Institute 99-02, Regulatory Assessment Performance Indicator Guideline, Revision 7.
      The inspectors reviewed Entergys operator narrative logs, maintenance planning
a.  
      schedules, CRs, event reports, and NRC integrated inspection reports to validate the
Inspection Scope  
The inspectors reviewed Entergys submittals for the following Initiating Events  
cornerstone performance indicators for the period April 1, 2015, to March 31, 2016:  
Unit 2  
Unplanned scrams per 7000 critical hours (IE01)  
Unplanned power changes per 7000 critical hours (IE03)  
Unplanned scrams with complications (IE04)  
Unit 3  
Unplanned scrams (IE01)  
Unplanned power changes (IE03)  
Unplanned scrams with complications (IE04)  
To determine the accuracy of the performance indicator data reported during those  
periods, inspectors used definitions and guidance contained in Nuclear Energy  
Institute 99-02, Regulatory Assessment Performance Indicator Guideline, Revision 7.
The inspectors reviewed Entergys operator narrative logs, maintenance planning  
schedules, CRs, event reports, and NRC integrated inspection reports to validate the  


                                                28
28  
      accuracy of the submittals. There were no unplanned power changes or scrams with
      complications during the review period.
  b. Findings
accuracy of the submittals. There were no unplanned power changes or scrams with  
      No findings were identified.
complications during the review period.  
4OA2 Problem Identification and Resolution (71152 - 4 samples)
.1   Routine Review of Problem Identification and Resolution Activities
b. Findings  
  a. Inspection Scope
      As required by Inspection Procedure 71152, Problem Identification and Resolution, the
No findings were identified.  
      inspectors routinely reviewed issues during baseline inspection activities and plant
      status reviews to verify that Entergy entered issues into the CAP at an appropriate
4OA2 Problem Identification and Resolution (71152 - 4 samples)  
      threshold, gave adequate attention to timely corrective actions, and identified and
      addressed adverse trends. In order to assist with the identification of repetitive
.1  
      equipment failures and specific human performance issues for follow up, the inspectors
Routine Review of Problem Identification and Resolution Activities  
      performed a daily screening of items entered into the CAP and periodically attended CR
      screening meetings. The inspectors also confirmed, on a sampling basis, that, as
a. Inspection Scope  
      applicable, for identified defects and non-conformances, Entergy performed an
      evaluation in accordance with 10 CFR 21.
As required by Inspection Procedure 71152, Problem Identification and Resolution, the  
  b. Findings
inspectors routinely reviewed issues during baseline inspection activities and plant  
      No findings were identified.
status reviews to verify that Entergy entered issues into the CAP at an appropriate  
.2   Semi-Annual Trend Review
threshold, gave adequate attention to timely corrective actions, and identified and  
  a. Inspection Scope
addressed adverse trends. In order to assist with the identification of repetitive  
      The inspectors performed a semi-annual review of site issues, as required by Inspection
equipment failures and specific human performance issues for follow up, the inspectors  
      Procedure 71152, Problem Identification and Resolution, to identify trends that might
performed a daily screening of items entered into the CAP and periodically attended CR  
      indicate the existence of more significant safety issues. In this review, the inspectors
screening meetings. The inspectors also confirmed, on a sampling basis, that, as  
      included repetitive or closely-related issues that may have been documented by Entergy
applicable, for identified defects and non-conformances, Entergy performed an  
      outside of the CAP, such as trend reports, performance indicators, major equipment
evaluation in accordance with 10 CFR 21.  
      problem lists, system health reports, maintenance rule assessments, and maintenance
      or CAP backlogs. The inspectors also reviewed Entergys CAP database for the first
b. Findings
      and second quarters of 2016 to assess CRs written in various subject areas (equipment
      problems, human performance issues, etc.), as well as individual issues identified during
No findings were identified.  
      the NRCs daily CR review (Section 4OA2.1). The inspectors reviewed the Entergy
      quarterly trend report for the first quarter of 2016 to verify that Entergy was appropriately
.2  
      evaluating and trending adverse conditions in accordance with applicable procedures.
Semi-Annual Trend Review  
  b. Findings and Observations
      No findings were identified.
a. Inspection Scope  
      The inspectors identified a trend in work being performed that was contrary to written
      work instructions and procedures, and work packages had been closed out without
The inspectors performed a semi-annual review of site issues, as required by Inspection  
Procedure 71152, Problem Identification and Resolution, to identify trends that might  
indicate the existence of more significant safety issues. In this review, the inspectors  
included repetitive or closely-related issues that may have been documented by Entergy  
outside of the CAP, such as trend reports, performance indicators, major equipment  
problem lists, system health reports, maintenance rule assessments, and maintenance  
or CAP backlogs. The inspectors also reviewed Entergys CAP database for the first  
and second quarters of 2016 to assess CRs written in various subject areas (equipment  
problems, human performance issues, etc.), as well as individual issues identified during  
the NRCs daily CR review (Section 4OA2.1). The inspectors reviewed the Entergy  
quarterly trend report for the first quarter of 2016 to verify that Entergy was appropriately  
evaluating and trending adverse conditions in accordance with applicable procedures.  
b. Findings and Observations  
No findings were identified.  
The inspectors identified a trend in work being performed that was contrary to written  
work instructions and procedures, and work packages had been closed out without  


                                            29
29  
documenting the deviation from the work order. While reviewing completed work order
WO 447966 Task 10, Internal Coating Repair for 21 CCW HX, the inspectors found a
note in the work order stating that the internal coating repair to the pipe had not been
documenting the deviation from the work order. While reviewing completed work order  
done in accordance with the engineering change. The engineering change had been
WO 447966 Task 10, Internal Coating Repair for 21 CCW HX, the inspectors found a  
written when the coating repair was expected to be small, but the actual area that was
note in the work order stating that the internal coating repair to the pipe had not been  
recoated was much larger. A larger area of coating increases the impact on the heat
done in accordance with the engineering change. The engineering change had been  
exchanger if the coating were to flake off and block the flow of service water. The work
written when the coating repair was expected to be small, but the actual area that was  
package was closed and no condition report was written. This performance deficiency is
recoated was much larger. A larger area of coating increases the impact on the heat  
minor because the coating was applied with procedurally directed quality controls and
exchanger if the coating were to flake off and block the flow of service water. The work  
the likelihood that it would flake off is very small; and is the same as the original smaller
package was closed and no condition report was written. This performance deficiency is  
area specified in the work package. However, the work package was closed without
minor because the coating was applied with procedurally directed quality controls and  
documenting the deviation and no CR was written.
the likelihood that it would flake off is very small; and is the same as the original smaller  
In another example, the inspectors noted that WO 412920 Task 15 to perform a surge
area specified in the work package. However, the work package was closed without  
test on 11 centrifugal air compressor (CENTAC) after overhaul was completed on
documenting the deviation and no CR was written.  
December 22, 2015. However, the completion notes and documentation for the task
showed that the test was unable to be performed due to a test equipment problem. The
In another example, the inspectors noted that WO 412920 Task 15 to perform a surge  
work package was closed and no CR was written. Subsequently, after being returned to
test on 11 centrifugal air compressor (CENTAC) after overhaul was completed on  
service, the compressor failed in service due to multiple surging events on January 7,
December 22, 2015. However, the completion notes and documentation for the task  
2016. Troubleshooting under WO 433939 revealed that the motor high load limit had not
showed that the test was unable to be performed due to a test equipment problem. The  
been adjusted to account for the increased load due to reduced compressor clearances
work package was closed and no CR was written. Subsequently, after being returned to  
introduced by the overhaul. This performance deficiency is screened to minor because
service, the compressor failed in service due to multiple surging events on January 7,  
the 11 CENTAC is not a safety-related piece of equipment and would not affect the MC
2016. Troubleshooting under WO 433939 revealed that the motor high load limit had not  
0609 cornerstone thresholds or other generic criteria. Unit 2 and Unit 3 have dedicated
been adjusted to account for the increased load due to reduced compressor clearances  
instrument air compressors that are credited in the FSAR to respond to a loss of
introduced by the overhaul. This performance deficiency is screened to minor because  
instrument air event. If the 11 CENTAC (located in Unit 1) were to fail, the unit-specific
the 11 CENTAC is not a safety-related piece of equipment and would not affect the MC  
IACs would automatically start to prevent a loss of instrument air at both Units 2 and 3.
0609 cornerstone thresholds or other generic criteria. Unit 2 and Unit 3 have dedicated  
A third recent example of work being performed contrary to written instructions occurred
instrument air compressors that are credited in the FSAR to respond to a loss of  
during 2RFO22 when the inspectors identified that the workers deviated from the
instrument air event. If the 11 CENTAC (located in Unit 1) were to fail, the unit-specific  
surveillance procedure by demonstrating the installation of the emergency containment
IACs would automatically start to prevent a loss of instrument air at both Units 2 and 3.  
hatch plug without properly inflating the plug seals as directed by the procedure. This
A third recent example of work being performed contrary to written instructions occurred  
during 2RFO22 when the inspectors identified that the workers deviated from the  
surveillance procedure by demonstrating the installation of the emergency containment  
hatch plug without properly inflating the plug seals as directed by the procedure. This  
performance deficiency was previously documented in a prior inspection report as non-
performance deficiency was previously documented in a prior inspection report as non-
cited violation 05000247/05000286/2016001-02, Failure to Adequately Implement Risk
cited violation 05000247/05000286/2016001-02, Failure to Adequately Implement Risk  
Management Actions for the Containment Key Safety Function.
Management Actions for the Containment Key Safety Function.  
In all cases, the deviations from written work instructions were directed by Entergy
supervision. In addition, the inspectors noted that Entergy had self-identified similar
In all cases, the deviations from written work instructions were directed by Entergy  
observations where work packages or condition reports had been closed without fully
supervision. In addition, the inspectors noted that Entergy had self-identified similar  
completing the specified actions including CR-IP2-2015-05833, CR-IP2-2016-00103,
observations where work packages or condition reports had been closed without fully  
completing the specified actions including CR-IP2-2015-05833, CR-IP2-2016-00103,  
CR-IP3-2015-04729, CR-IP3-2016-00072, CR-IP3-2016-00075, and CR-IP3-2015-
CR-IP3-2015-04729, CR-IP3-2016-00072, CR-IP3-2016-00075, and CR-IP3-2015-
04019. These CRs are further examples of work orders that were closed with deviations
04019. These CRs are further examples of work orders that were closed with deviations  
that were not documented or resolved. Nuclear Oversight had identified several of these
that were not documented or resolved. Nuclear Oversight had identified several of these  
condition reports. Entergy has taking immediate corrective action in response to these
condition reports. Entergy has taking immediate corrective action in response to these  
performance deficiencies.
performance deficiencies.


                                                30
30  
.3   Annual Sample: Maintenance Rule Self-Assessment of Corrective Actions
  a. Inspection Scope
      The inspectors performed an in-depth review of Entergys corrective actions associated
.3  
      with self-assessment LO-IP3LO-2015-72, Maintenance Rule (a)(3) Assessment. The
Annual Sample: Maintenance Rule Self-Assessment of Corrective Actions  
      self-assessment was performed to satisfy both the self-assessment criteria in EN-LI-104,
      Self-Assessment and Benchmark Process, and the maintenance rule periodic
a. Inspection Scope  
      assessment criteria in EN-DC-207.
      The inspectors assessed Entergys problem identification threshold, extent of condition
The inspectors performed an in-depth review of Entergys corrective actions associated  
      reviews, and the prioritization and timeliness of Entergy corrective actions to determine
with self-assessment LO-IP3LO-2015-72, Maintenance Rule (a)(3) Assessment. The  
      whether Entergy was appropriately identifying, characterizing, and correcting problems
self-assessment was performed to satisfy both the self-assessment criteria in EN-LI-104,  
      associated with this issue and whether the planned or completed corrective actions were
Self-Assessment and Benchmark Process, and the maintenance rule periodic  
      appropriate. The inspectors compared the actions taken to the requirements of
assessment criteria in EN-DC-207.  
      Entergys CAP and 10 CFR 50, Appendix B. In addition, the inspectors interviewed
      engineering personnel to assess the effectiveness of the implemented corrective
The inspectors assessed Entergys problem identification threshold, extent of condition  
      actions.
reviews, and the prioritization and timeliness of Entergy corrective actions to determine  
  b. Findings and Observations
whether Entergy was appropriately identifying, characterizing, and correcting problems  
      No findings were identified.
associated with this issue and whether the planned or completed corrective actions were  
      Entergy identified three standard deficiencies during their self-assessment and wrote
appropriate. The inspectors compared the actions taken to the requirements of  
      CRs to document each one. One of the standard deficiencies was that the maintenance
Entergys CAP and 10 CFR 50, Appendix B. In addition, the inspectors interviewed  
      rule basis documents were not being reviewed at least once every two years as required
engineering personnel to assess the effectiveness of the implemented corrective  
      by procedure EN-DC-204, Maintenance Rule Scope and Basis. The purpose of this
actions.  
      review was to ensure that the documents were updated if the configuration of the system
      changed or if the performance criteria needed to be adjusted. Entergy wrote CR-IP3-
b. Findings and Observations  
      2015-03628 and assigned a corrective action to create work trackers to perform the
      basis document reviews. They chose to use work trackers instead of corrective actions
No findings were identified.
      under the CAP because the work had historically been assigned using work trackers.
      However, because work trackers do not receive the same priority as corrective actions,
Entergy identified three standard deficiencies during their self-assessment and wrote  
      some of the maintenance rule basis documents had still not been reviewed at the time of
CRs to document each one. One of the standard deficiencies was that the maintenance  
      this inspection, over a year after the completion of the self-assessment. The inspectors
rule basis documents were not being reviewed at least once every two years as required  
      determined that this was not a more than minor issue because the systems in question
by procedure EN-DC-204, Maintenance Rule Scope and Basis. The purpose of this  
      did not show signs of inadequate maintenance.
review was to ensure that the documents were updated if the configuration of the system  
.4   Annual Sample: Unit 2 Reactor Trip on December 5, 2015
changed or if the performance criteria needed to be adjusted. Entergy wrote CR-IP3-
  a. Inspection Scope
2015-03628 and assigned a corrective action to create work trackers to perform the  
      The inspectors performed an in-depth review of Entergys evaluations and corrective
basis document reviews. They chose to use work trackers instead of corrective actions  
      actions associated with CR-IP2-2015-05484 and the related apparent cause evaluation
under the CAP because the work had historically been assigned using work trackers.
      for the December 5, 2015, manual reactor trip in response to indications of multiple
However, because work trackers do not receive the same priority as corrective actions,  
      dropped control rods caused by the loss of control rod power due to a power supply
some of the maintenance rule basis documents had still not been reviewed at the time of  
      failure. Entergy performed an apparent cause evaluation and determined the direct
this inspection, over a year after the completion of the self-assessment. The inspectors  
      cause of the event was the loss of motor control center (MCC)-24 due to an internal fault
determined that this was not a more than minor issue because the systems in question  
      at the line side leads at cubicle 2H where they connect to the bucket stab assemblies.
did not show signs of inadequate maintenance.  
      The apparent cause was an unanticipated loss of power to the control rod system due to
      the degradation of the primary control rod power supply (PS1) which failed to function for
.4  
Annual Sample: Unit 2 Reactor Trip on December 5, 2015  
a. Inspection Scope  
The inspectors performed an in-depth review of Entergys evaluations and corrective  
actions associated with CR-IP2-2015-05484 and the related apparent cause evaluation  
for the December 5, 2015, manual reactor trip in response to indications of multiple  
dropped control rods caused by the loss of control rod power due to a power supply  
failure. Entergy performed an apparent cause evaluation and determined the direct  
cause of the event was the loss of motor control center (MCC)-24 due to an internal fault  
at the line side leads at cubicle 2H where they connect to the bucket stab assemblies.
The apparent cause was an unanticipated loss of power to the control rod system due to  
the degradation of the primary control rod power supply (PS1) which failed to function for  


                                                31
31  
      more than 10 minutes when the operating alternate power supply (PS2) was
      deenergized.
      The inspectors assessed Entergys problem identification threshold, problem analysis,
more than 10 minutes when the operating alternate power supply (PS2) was  
      extent of condition reviews, compensatory actions, and the prioritization and timeliness
deenergized.
      of Entergy's corrective actions to determine whether Entergy was appropriately
      identifying, characterizing, and correcting problems associated with this issue and
The inspectors assessed Entergys problem identification threshold, problem analysis,  
      whether the planned or completed corrective actions were appropriate. The inspectors
extent of condition reviews, compensatory actions, and the prioritization and timeliness  
      compared the actions taken to the requirements of Entergy's CAP and 10 CFR 50,
of Entergy's corrective actions to determine whether Entergy was appropriately  
      Appendix B, Criterion XVI, Corrective Action.
identifying, characterizing, and correcting problems associated with this issue and  
  b. Findings and Observations
whether the planned or completed corrective actions were appropriate. The inspectors  
      No findings were identified.
compared the actions taken to the requirements of Entergy's CAP and 10 CFR 50,  
      The inspectors found that Entergy took appropriate actions to identify the direct and
Appendix B, Criterion XVI, Corrective Action.  
      apparent cause of the issue. The direct cause of the event was the loss of MCC-24 due
      to an internal fault at the line side leads at cubicle 2H where they connect to the bucket
b. Findings and Observations  
      stab assemblies. The apparent cause was an unanticipated loss of power to the control
      rod system due to the degradation of the primary control rod PS1, which failed to
No findings were identified.  
      function when PS2 was lost. Entergy replaced the degraded rod control PS1; and the
      MCC-24 compartments were removed to facilitate inspection and testing of the MCC
The inspectors found that Entergy took appropriate actions to identify the direct and  
      bus, control wires, and MCC internal. PS2 was also restored to operation after the fault
apparent cause of the issue. The direct cause of the event was the loss of MCC-24 due  
      was cleared.
to an internal fault at the line side leads at cubicle 2H where they connect to the bucket  
      The inspector determined that the internal electrical fault that deenergized PS2 and the
stab assemblies. The apparent cause was an unanticipated loss of power to the control  
      prior degradation in PS1 was not within Entergys ability to foresee and prevent.
rod system due to the degradation of the primary control rod PS1, which failed to  
      Therefore, there was no performance deficiency identified. Entergys overall response to
function when PS2 was lost. Entergy replaced the degraded rod control PS1; and the  
      the issue was commensurate with the safety significance, was timely, and the actions
MCC-24 compartments were removed to facilitate inspection and testing of the MCC  
      taken and planned were reasonable to resolve the failure of the primary control rod PS1.
bus, control wires, and MCC internal. PS2 was also restored to operation after the fault  
.5   Annual Sample: Unexpected Number of Degraded Baffle-Former Bolts Discovered in
was cleared.  
      the Unit 2 Reactor Pressure Vessel
  a. Inspection Scope
The inspector determined that the internal electrical fault that deenergized PS2 and the  
      The inspectors performed an in-depth review of Entergys root cause evaluation and
prior degradation in PS1 was not within Entergys ability to foresee and prevent.
      corrective actions associated with CR-IP2-2016-02348 for baffle-former (baffle) bolts
Therefore, there was no performance deficiency identified. Entergys overall response to  
      found with indications of degradation during the Indian Point Unit 2 RFO 2R22. Entergy
the issue was commensurate with the safety significance, was timely, and the actions  
      performed ultrasonic examinations of the baffle bolts in accordance with their procedures
taken and planned were reasonable to resolve the failure of the primary control rod PS1.  
      as part of a planned activity. After an unexpected number of degraded baffle bolts were
      discovered, Entergy staff reported the issue to the NRC as Event Notification No. 51829
.5  
      on March 29, 2016, because the as-found number and location of degraded bolts
Annual Sample: Unexpected Number of Degraded Baffle-Former Bolts Discovered in  
      represented an unanalyzed condition. Entergy staff completed corrective actions to
the Unit 2 Reactor Pressure Vessel  
      replace all of the potentially degraded baffle bolts on Unit 2. Entergy staff further
      replaced a population of additional bolts that exhibited no indications of degradation and
a. Inspection Scope  
      performed an evaluation to determine the potential for baffle bolt failures at Unit 3.
      The baffle-former bolts help secure vertical plates (also referred to as baffle plates)
The inspectors performed an in-depth review of Entergys root cause evaluation and  
      inside the reactor vessel, which then forms a structure surrounding the reactor fuel
corrective actions associated with CR-IP2-2016-02348 for baffle-former (baffle) bolts  
      assemblies to orient the fuel and to direct coolant flow through the core. A sufficient
found with indications of degradation during the Indian Point Unit 2 RFO 2R22. Entergy  
performed ultrasonic examinations of the baffle bolts in accordance with their procedures  
as part of a planned activity. After an unexpected number of degraded baffle bolts were  
discovered, Entergy staff reported the issue to the NRC as Event Notification No. 51829  
on March 29, 2016, because the as-found number and location of degraded bolts  
represented an unanalyzed condition. Entergy staff completed corrective actions to  
replace all of the potentially degraded baffle bolts on Unit 2. Entergy staff further  
replaced a population of additional bolts that exhibited no indications of degradation and  
performed an evaluation to determine the potential for baffle bolt failures at Unit 3.  
The baffle-former bolts help secure vertical plates (also referred to as baffle plates)  
inside the reactor vessel, which then forms a structure surrounding the reactor fuel  
assemblies to orient the fuel and to direct coolant flow through the core. A sufficient  


                                              32
32  
  number of baffle bolts are required to remain intact to secure the baffle plates in place so
  as to not affect control rod insertion or impede emergency core cooling flow during
  postulated accident conditions. Bolt heads that separate and are no longer held in place
number of baffle bolts are required to remain intact to secure the baffle plates in place so  
  by bolt lock-tabs can also become a loose parts concern.
as to not affect control rod insertion or impede emergency core cooling flow during  
  The inspectors determined whether Entergys acceptable baffle bolt pattern analysis for
postulated accident conditions. Bolt heads that separate and are no longer held in place  
  Unit 2 was completed in accordance with the NRC-approved methodology and provided
by bolt lock-tabs can also become a loose parts concern.  
  appropriate structural margin for the next cycle of operation to ensure the Unit 2 baffle
  plates will remain in place during both normal operation and limiting postulated accident
The inspectors determined whether Entergys acceptable baffle bolt pattern analysis for  
  conditions. The inspectors further determined whether Entergys evaluations of the
Unit 2 was completed in accordance with the NRC-approved methodology and provided  
  baffle bolts installed in Indian Point Unit 3 were technically sufficient to conclude the
appropriate structural margin for the next cycle of operation to ensure the Unit 2 baffle  
  Unit 3 baffle assembly will perform as intended until the next planned RFO, at which time
plates will remain in place during both normal operation and limiting postulated accident  
  Entergy plans to examine the bolts. The inspectors reviewed Entergys procedures for
conditions. The inspectors further determined whether Entergys evaluations of the  
  determining the functionality and operability of degraded SSC as they relate to Unit 3.
baffle bolts installed in Indian Point Unit 3 were technically sufficient to conclude the  
  The inspectors further interviewed Entergy engineering personnel and contractor staff to
Unit 3 baffle assembly will perform as intended until the next planned RFO, at which time  
  discuss the results of Entergys technical evaluations and to assess the effectiveness of
Entergy plans to examine the bolts. The inspectors reviewed Entergys procedures for  
  the implemented and planned corrective actions.
determining the functionality and operability of degraded SSC as they relate to Unit 3.
  The inspectors assessed Entergys problem identification threshold, cause analyses,
The inspectors further interviewed Entergy engineering personnel and contractor staff to  
  extent of condition, compensatory actions, and the prioritization and timeliness of
discuss the results of Entergys technical evaluations and to assess the effectiveness of  
  Entergys corrective actions to determine whether Entergy staff were properly identifying,
the implemented and planned corrective actions.  
  characterizing, and correcting problems associated with this issue and whether the
  planned or completed corrective actions were appropriate. The inspectors compared the
The inspectors assessed Entergys problem identification threshold, cause analyses,  
  actions taken to Entergys CAP, operability determination process, and the requirements
extent of condition, compensatory actions, and the prioritization and timeliness of  
  of 10 CFR 50, Appendix B. The inspectors observed portions of baffle bolt replacement
Entergys corrective actions to determine whether Entergy staff were properly identifying,  
  activities at Unit 2 and reviewed the final visual examination of the baffle bolts and plates
characterizing, and correcting problems associated with this issue and whether the  
  once the work was completed.
planned or completed corrective actions were appropriate. The inspectors compared the  
b. Findings and Observations
actions taken to Entergys CAP, operability determination process, and the requirements  
  One Green NCV was identified and documented in Section 1R15 of this report.
of 10 CFR 50, Appendix B. The inspectors observed portions of baffle bolt replacement  
  The NRC responded to the initial discovery of an unexpected number of baffle bolts
activities at Unit 2 and reviewed the final visual examination of the baffle bolts and plates  
  found degraded at Indian Point Unit 2 by implementing a comprehensive inspection plan
once the work was completed.  
  consisting of various baseline inspection samples to assess the extent of the issue and
  to determine the necessary NRC actions. A follow-up inservice inspection sample
b. Findings and Observations  
  (Refer to Section 1R08) was conducted to review the capability of the non-destructive
  examination techniques, evaluate the UT results, and observe a portion of bolt
One Green NCV was identified and documented in Section 1R15 of this report.  
  replacement activities on-site. A permanent modification sample (Refer to Section
The NRC responded to the initial discovery of an unexpected number of baffle bolts  
  1R18) was conducted to review the design change package and evaluations associated
found degraded at Indian Point Unit 2 by implementing a comprehensive inspection plan  
  with the new, replacement baffle bolts. The NRC resident inspectors reviewed Entergys
consisting of various baseline inspection samples to assess the extent of the issue and  
  foreign material controls and loose parts analysis (Refer to Section 1R20) to address the
to determine the necessary NRC actions. A follow-up inservice inspection sample  
  potential for missing bolt heads and concluded it would not impact safe operation of the
(Refer to Section 1R08) was conducted to review the capability of the non-destructive  
  plant.
examination techniques, evaluate the UT results, and observe a portion of bolt  
  NRC Region I based inspectors accompanied by an expert from the NRC Office of
replacement activities on-site. A permanent modification sample (Refer to Section  
  Nuclear Reactor Regulation completed an annual problem identification and resolution
1R18) was conducted to review the design change package and evaluations associated  
  inspection, documented in this section of the report, to verify that Entergys evaluations
with the new, replacement baffle bolts. The NRC resident inspectors reviewed Entergys  
  and corrective actions to replace Unit 2 baffle bolts were completed in accordance with
foreign material controls and loose parts analysis (Refer to Section 1R20) to address the  
  an NRC approved methodology to support a conclusion that the Unit 2 baffle assembly
potential for missing bolt heads and concluded it would not impact safe operation of the  
  meets the plant design basis. The inspectors also determined the adequacy of
plant.  
  Entergys evaluations completed to determine there is a reasonable expectation that the
NRC Region I based inspectors accompanied by an expert from the NRC Office of  
Nuclear Reactor Regulation completed an annual problem identification and resolution  
inspection, documented in this section of the report, to verify that Entergys evaluations  
and corrective actions to replace Unit 2 baffle bolts were completed in accordance with  
an NRC approved methodology to support a conclusion that the Unit 2 baffle assembly  
meets the plant design basis. The inspectors also determined the adequacy of  
Entergys evaluations completed to determine there is a reasonable expectation that the  


                                          33
33  
Unit 3 baffle assembly will perform as intended during the current operating cycle. The
results of this review are discussed herein and in Section 1R15 of this report.
Entergy staff determined the cause of the degraded baffle bolts was primarily due to
Unit 3 baffle assembly will perform as intended during the current operating cycle. The  
IASCC in combination with increased fatigue loading on the baffle plates. This cause
results of this review are discussed herein and in Section 1R15 of this report.  
determination was based on industry operating experience related to baffle-former bolt
failure in both foreign and domestic plants. IASCC is a cracking mechanism that occurs
Entergy staff determined the cause of the degraded baffle bolts was primarily due to  
over a long period of time when susceptible metals are exposed to neutron radiation
IASCC in combination with increased fatigue loading on the baffle plates. This cause  
from the reactor core and stresses as part of normal design and operation. Entergy staff
determination was based on industry operating experience related to baffle-former bolt  
concluded that failure of a critical number of bolts in a localized area subsequently
failure in both foreign and domestic plants. IASCC is a cracking mechanism that occurs  
imposed increased loading on adjacent bolts, which propagated failures and generated
over a long period of time when susceptible metals are exposed to neutron radiation  
the moderate clustered pattern observed in the examination results. No other
from the reactor core and stresses as part of normal design and operation. Entergy staff  
contributing causes were identified.
concluded that failure of a critical number of bolts in a localized area subsequently  
The inspectors reviewed Entergys root cause evaluation and the supporting operating
imposed increased loading on adjacent bolts, which propagated failures and generated  
experience related to baffle bolt failures at other plants. The inspectors determined that
the moderate clustered pattern observed in the examination results. No other  
there is documented evidence in the existing technical literature (including materials
contributing causes were identified.  
testing of bolts from other plants) and operating experience to conclude that the likely
cause is IASCC; however, the inspectors found that Entergy staff did not define the
The inspectors reviewed Entergys root cause evaluation and the supporting operating  
cause of the fatigue failure mechanism. The inspectors noted that Entergy staff sent a
experience related to baffle bolt failures at other plants. The inspectors determined that  
sample of baffle bolts removed from the reactor pressure vessel to a metallurgical
there is documented evidence in the existing technical literature (including materials  
laboratory for detailed failure analysis and materials property testing. Entergy indicated
testing of bolts from other plants) and operating experience to conclude that the likely  
their plans to use the results of the laboratory testing to confirm the likely root cause.
cause is IASCC; however, the inspectors found that Entergy staff did not define the  
The inspectors concluded that Entergy staff conducted an appropriate review to identify
cause of the fatigue failure mechanism. The inspectors noted that Entergy staff sent a  
the likely causes of the degraded baffle bolts and noted that further test results will be
sample of baffle bolts removed from the reactor pressure vessel to a metallurgical  
used to confirm these causes.
laboratory for detailed failure analysis and materials property testing. Entergy indicated  
Following identification of the degraded baffle bolts on Unit 2, Entergys immediate
their plans to use the results of the laboratory testing to confirm the likely root cause.
corrective action was to analyze the as-found condition and begin replacing bolts that
The inspectors concluded that Entergy staff conducted an appropriate review to identify  
either had visual indications of bolt failure (protruding bolt head for example), did not
the likely causes of the degraded baffle bolts and noted that further test results will be  
pass UT examination, or were not accessible for UT examination. The as-found number
used to confirm these causes.  
and pattern of these bolts exceeded the acceptance criteria in the plants analysis that
was prepared in advance of the baffle bolt examinations; therefore, Entergy reported this
Following identification of the degraded baffle bolts on Unit 2, Entergys immediate  
discovery to the NRC as an unanalyzed condition. Entergy staff completed corrective
corrective action was to analyze the as-found condition and begin replacing bolts that  
actions to replace all of the 227 potentially degraded baffle bolts, plus an additional 51
either had visual indications of bolt failure (protruding bolt head for example), did not  
bolts for increased structural integrity, for a total of 278 bolts. The inspectors noted the
pass UT examination, or were not accessible for UT examination. The as-found number  
51 additional bolts were installed in strategic locations to prevent clustering of potential
and pattern of these bolts exceeded the acceptance criteria in the plants analysis that  
bolt failures during the next operating cycle.
was prepared in advance of the baffle bolt examinations; therefore, Entergy reported this  
The inspectors determined that Entergy staff performed an acceptable bolt pattern
discovery to the NRC as an unanalyzed condition. Entergy staff completed corrective  
analysis that evaluated the replacement bolt pattern for Unit 2 and modeled the potential
actions to replace all of the 227 potentially degraded baffle bolts, plus an additional 51  
for future bolt failures. The inspectors found the results of the analysis accounted for a
bolts for increased structural integrity, for a total of 278 bolts. The inspectors noted the  
conservative failure rate of bolts and provided appropriate margin for one cycle of
51 additional bolts were installed in strategic locations to prevent clustering of potential  
operation. The inspectors verified that Entergys methodology for its acceptable bolt
bolt failures during the next operating cycle.  
The inspectors determined that Entergy staff performed an acceptable bolt pattern  
analysis that evaluated the replacement bolt pattern for Unit 2 and modeled the potential  
for future bolt failures. The inspectors found the results of the analysis accounted for a  
conservative failure rate of bolts and provided appropriate margin for one cycle of  
operation. The inspectors verified that Entergys methodology for its acceptable bolt  
pattern analyses, including its determination of margin, was consistent with the NRC-
pattern analyses, including its determination of margin, was consistent with the NRC-
approved methodology in topical report WCAP-15029-NP-A (ML15222A882). The
approved methodology in topical report WCAP-15029-NP-A (ML15222A882). The  
inspectors determined that Entergy staff tracked corrective actions to re-examine the
inspectors determined that Entergy staff tracked corrective actions to re-examine the  
Unit 2 baffle bolts during the next planned RFO. The inspectors noted the new baffle
Unit 2 baffle bolts during the next planned RFO. The inspectors noted the new baffle  
bolts were made of a material with improved resistance to IASCC and included an
bolts were made of a material with improved resistance to IASCC and included an  
improved design to reduce the stresses at the head to shank transition, both of which
improved design to reduce the stresses at the head to shank transition, both of which  
are enhancements compared to the original bolts.
are enhancements compared to the original bolts.  


                                                34
34  
      As part of an extent of condition assessment, Entergy entered CR-IP3-2016-01035 in its
      CAP to evaluate the potential for degraded baffle bolts on Unit 3. Entergy operators
      performed an IOD and concluded that the baffle assembly was operable. Entergy staff
As part of an extent of condition assessment, Entergy entered CR-IP3-2016-01035 in its  
      performed a subsequent extent of condition review that concluded Unit 3 would
CAP to evaluate the potential for degraded baffle bolts on Unit 3. Entergy operators  
      experience less baffle bolt degradation than Unit 2 based on several plant factors.
performed an IOD and concluded that the baffle assembly was operable. Entergy staff  
      Entergy also conducted sensitivity analyses to show acceptable bounding conditions in
performed a subsequent extent of condition review that concluded Unit 3 would  
      the event of bolt failures. The inspectors reviewed Entergys evaluations and noted that
experience less baffle bolt degradation than Unit 2 based on several plant factors.
      Entergy staff concluded there was not a degraded condition at Unit 3. In consideration
Entergy also conducted sensitivity analyses to show acceptable bounding conditions in  
      of the guidance in their operability procedure and operating experience from Unit 2 and
the event of bolt failures. The inspectors reviewed Entergys evaluations and noted that  
      other plants, the NRC issued an NCV in this report because Entergy did not perform an
Entergy staff concluded there was not a degraded condition at Unit 3. In consideration  
      operability evaluation for Unit 3 as a follow-up to the immediate determination for the
of the guidance in their operability procedure and operating experience from Unit 2 and  
      potential impact on supported systems controlled by the TS (Refer to Section 1R15).
other plants, the NRC issued an NCV in this report because Entergy did not perform an  
      As a corrective action, Entergy staff performed an operability evaluation and
operability evaluation for Unit 3 as a follow-up to the immediate determination for the  
      demonstrated that the Unit 3 baffle former assembly remained operable. The inspectors
potential impact on supported systems controlled by the TS (Refer to Section 1R15).  
      concluded that this supplemental evaluation provided appropriate technical justification
      for the continued operation of Unit 3 until the next RFO in spring 2017, at which time
As a corrective action, Entergy staff performed an operability evaluation and  
      Entergy plans to examine the baffle bolts. Entergy also implemented a corrective action
demonstrated that the Unit 3 baffle former assembly remained operable. The inspectors  
      as part of an enhancement to plant operations to monitor the RCS for any signs of fuel
concluded that this supplemental evaluation provided appropriate technical justification  
      leakage, which could be an indicator of baffle bolt failures.
for the continued operation of Unit 3 until the next RFO in spring 2017, at which time  
      The inspectors reviewed Westinghouse Nuclear Safety Advisory Letter NSAL-16-1,
Entergy plans to examine the baffle bolts. Entergy also implemented a corrective action  
      which discussed the results of recent baffle-former bolt inspections and provided
as part of an enhancement to plant operations to monitor the RCS for any signs of fuel  
      Westinghouses recommendations on this issue. The letter described the plants as most
leakage, which could be an indicator of baffle bolt failures.  
      susceptible (i.e. Tier 1a) to this degradation as Westinghouse 4-loop reactors limited to
      those with a down-flow configuration and using Type 347 stainless steel bolts. The
The inspectors reviewed Westinghouse Nuclear Safety Advisory Letter NSAL-16-1,  
      inspectors noted the recommendation was to complete UT volumetric examination of the
which discussed the results of recent baffle-former bolt inspections and provided  
      baffle bolts at the next scheduled RFO, and that Entergy had already planned this action
Westinghouses recommendations on this issue. The letter described the plants as most  
      for Unit 3. Entergy also planned a long-term corrective action to convert Units 2 and 3
susceptible (i.e. Tier 1a) to this degradation as Westinghouse 4-loop reactors limited to  
      from a down-flow baffle configuration to an up-flow configuration, which would
those with a down-flow configuration and using Type 347 stainless steel bolts. The  
      significantly reduce the load on baffle-former bolts and provide for increased structural
inspectors noted the recommendation was to complete UT volumetric examination of the  
      margin of the baffle-former assembly. The inspectors determined Entergys overall
baffle bolts at the next scheduled RFO, and that Entergy had already planned this action  
      response to the issue was commensurate with the safety significance, was timely, and
for Unit 3. Entergy also planned a long-term corrective action to convert Units 2 and 3  
      included appropriate compensatory actions. The inspectors concluded that the actions
from a down-flow baffle configuration to an up-flow configuration, which would  
      completed and planned were reasonable to address the ongoing aging management of
significantly reduce the load on baffle-former bolts and provide for increased structural  
      baffle bolts.
margin of the baffle-former assembly. The inspectors determined Entergys overall  
4OA3 Follow Up of Events and Notices of Enforcement Discretion (71153 - 5 samples)
response to the issue was commensurate with the safety significance, was timely, and  
.1   Plant Events
included appropriate compensatory actions. The inspectors concluded that the actions  
  a. Inspection Scope
completed and planned were reasonable to address the ongoing aging management of  
      For the plant events listed below, the inspectors reviewed and/or observed plant
baffle bolts.  
      parameters, reviewed personnel performance, and evaluated performance of mitigating
      systems. The inspectors communicated the plant events to appropriate regional
4OA3 Follow Up of Events and Notices of Enforcement Discretion (71153 - 5 samples)  
      personnel, and compared the event details with criteria contained in IMC 0309, Reactive
      Inspection Decision Basis for Reactors, for consideration of potential reactive inspection
.1  
      activities. As applicable, the inspectors verified that Entergy made appropriate
Plant Events  
      emergency classification assessments and properly reported the event in accordance
      with 10 CFR 50.72 and 50.73. The inspectors reviewed Entergys follow-up actions
a. Inspection Scope  
For the plant events listed below, the inspectors reviewed and/or observed plant  
parameters, reviewed personnel performance, and evaluated performance of mitigating  
systems. The inspectors communicated the plant events to appropriate regional  
personnel, and compared the event details with criteria contained in IMC 0309, Reactive  
Inspection Decision Basis for Reactors, for consideration of potential reactive inspection  
activities. As applicable, the inspectors verified that Entergy made appropriate  
emergency classification assessments and properly reported the event in accordance  
with 10 CFR 50.72 and 50.73. The inspectors reviewed Entergys follow-up actions  


                                                35
35  
      related to the events to assure that Entergy implemented appropriate corrective actions
      commensurate with their safety significance.
      Unit 2
related to the events to assure that Entergy implemented appropriate corrective actions  
          Turbine trip occurred while synchronizing Unit 2 to the grid on June 15, 2016
commensurate with their safety significance.  
          Shutdown required by TS for repairs to a leak on the 21 CCW heat exchanger
          service water inlet on June 23, 2016
Unit 2  
      Unit 3
          Rapid power reduction from 100 percent to 45 percent power in response to a loss of
          both heater drain pumps on May 26, 2016
Turbine trip occurred while synchronizing Unit 2 to the grid on June 15, 2016  
  b. Findings
      No findings were identified.
Shutdown required by TS for repairs to a leak on the 21 CCW heat exchanger  
.2   (Closed) Licensee Event Report (LER) 05000247/2015-003-00: Manual Reactor Trip
      Due to Indications of Multiple Dropped Control Rods Caused by Loss of Control Rod
service water inlet on June 23, 2016  
      Power Due to a Power Supply Failure
      The inspectors reviewed Entergys actions and reportability criteria associated with LER
Unit 3  
      05000247/2015-003-00, which was submitted to the NRC on February 3, 2016. On
      December 5, 2015, control room operators initiated a manual reactor trip after observing
      indications consistent with multiple dropped control rods following an alarm for the trip of
Rapid power reduction from 100 percent to 45 percent power in response to a loss of  
      MCC-24/24A. No control rod indication was available due to MCC-24 being faulted and
both heater drain pumps on May 26, 2016  
      de-energized. The direct cause of the event was the loss of MCC-24 due to an internal
      fault at the line sides leads at cubicle 2H where they connect to the bucket stab
b. Findings  
      assemblies. The apparent cause was an unanticipated loss of power to the control rod
      system due to the degradation of the primary control rod PS1 which failed to function
No findings were identified.  
      when the operating PS2 was lost. The inspectors determined that both the unexpected
      failure of PS2 and the internal fault in PS1 was not within Entergys ability to foresee and
.2  
      prevent and was not a performance deficiency. The inspectors reviewed the LER, the
(Closed) Licensee Event Report (LER) 05000247/2015-003-00: Manual Reactor Trip  
      associated apparent cause evaluation analysis, and interviewed Entergy staff. This LER
Due to Indications of Multiple Dropped Control Rods Caused by Loss of Control Rod  
      is closed.
Power Due to a Power Supply Failure  
.3   (Closed) LER 05000247/2016-003-00: TS Prohibited Condition Due to an Inoperable 21
      MBFP Discharge Valve for Greater Than the TS Allowed Outage Time
The inspectors reviewed Entergys actions and reportability criteria associated with LER  
      The inspectors reviewed Entergys actions and reportability criteria associated with LER
05000247/2015-003-00, which was submitted to the NRC on February 3, 2016. On  
      05000247/2016-003-00, which was submitted to the NRC on May 6, 2016. On March 7,
December 5, 2015, control room operators initiated a manual reactor trip after observing  
      2016, during the shutdown to enter 2RFO22, the control switch for the 21 MBFP was
indications consistent with multiple dropped control rods following an alarm for the trip of  
      tripped from the control room but the MBFP discharge valve BFD-2-21 failed to fully
MCC-24/24A. No control rod indication was available due to MCC-24 being faulted and  
      close as designed. The MBFP discharge valve was declared inoperable and TS 3.7.3
de-energized. The direct cause of the event was the loss of MCC-24 due to an internal  
      Condition C was entered. The MFD-2-21 isolation valve was then manually closed. The
fault at the line sides leads at cubicle 2H where they connect to the bucket stab  
      direct cause of the failure to close the MBFP discharge valve BFD-2-21 was the motor
assemblies. The apparent cause was an unanticipated loss of power to the control rod  
      operated valves (MOVs) close torque switch contact finger out of position. The
system due to the degradation of the primary control rod PS1 which failed to function  
      apparent cause was that the MOV preventative maintenance procedure lacked the level
when the operating PS2 was lost. The inspectors determined that both the unexpected  
      of detail and direction due to an unrecognized susceptibility associated with the
failure of PS2 and the internal fault in PS1 was not within Entergys ability to foresee and  
      orientation of the close torque switch contact finger bracket opening and spreading of
prevent and was not a performance deficiency. The inspectors reviewed the LER, the  
associated apparent cause evaluation analysis, and interviewed Entergy staff. This LER  
is closed.  
.3  
(Closed) LER 05000247/2016-003-00: TS Prohibited Condition Due to an Inoperable 21  
MBFP Discharge Valve for Greater Than the TS Allowed Outage Time  
The inspectors reviewed Entergys actions and reportability criteria associated with LER  
05000247/2016-003-00, which was submitted to the NRC on May 6, 2016. On March 7,  
2016, during the shutdown to enter 2RFO22, the control switch for the 21 MBFP was  
tripped from the control room but the MBFP discharge valve BFD-2-21 failed to fully  
close as designed. The MBFP discharge valve was declared inoperable and TS 3.7.3  
Condition C was entered. The MFD-2-21 isolation valve was then manually closed. The  
direct cause of the failure to close the MBFP discharge valve BFD-2-21 was the motor  
operated valves (MOVs) close torque switch contact finger out of position. The  
apparent cause was that the MOV preventative maintenance procedure lacked the level  
of detail and direction due to an unrecognized susceptibility associated with the  
orientation of the close torque switch contact finger bracket opening and spreading of  


                                          36
36  
the U shape bracket. The downward arrangement made it easier for the torque switch
contact finger to move out with spreading of the U shaped contact holder. The
inspectors reviewed the LER, the associated apparent cause evaluation analysis, and
the U shape bracket. The downward arrangement made it easier for the torque switch  
interviewed Entergy staff. This LER is closed.
contact finger to move out with spreading of the U shaped contact holder. The  
Introduction. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys
inspectors reviewed the LER, the associated apparent cause evaluation analysis, and  
failure to include a function of a safety-related system within the scope of the
interviewed Entergy staff. This LER is closed.
maintenance rule program. Specifically, Entergy failed to include the feedwater isolation
function performed by the MBFP discharge valves, MBFPs, and feedwater regulating
Introduction. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys  
valves and feedwater isolation valves which are required to remain functional during and
failure to include a function of a safety-related system within the scope of the  
following a design basis event to mitigate the consequences of an accident, within the
maintenance rule program. Specifically, Entergy failed to include the feedwater isolation  
scope of the maintenance rule monitoring program.
function performed by the MBFP discharge valves, MBFPs, and feedwater regulating  
Description. On March 7, 2016, during an RFO, the control switch for the 21 MBFP was
valves and feedwater isolation valves which are required to remain functional during and  
positioned to trip and the 21 MBFP tripped as designed, but the MBFP discharge valve
following a design basis event to mitigate the consequences of an accident, within the  
BFD-2-21 failed to fully close. Entergy declared MBFP discharge valve BFD-2-21
scope of the maintenance rule monitoring program.  
inoperable and entered TS 3.7.3 Condition C. After troubleshooting, Entergy determined
the MOV close torque switch contact finger was out of position within the contact holder.
The misalignment allowed the contact finger to move out of the proper position causing
Description. On March 7, 2016, during an RFO, the control switch for the 21 MBFP was  
the MOV BFD-2-21 to fail to close. This is the same failure mechanism which caused
positioned to trip and the 21 MBFP tripped as designed, but the MBFP discharge valve  
MOV BFD-2-21 to fail to close in 2010 which is referenced in CR-IP2-2010-07013. On
BFD-2-21 failed to fully close. Entergy declared MBFP discharge valve BFD-2-21  
December 5, 2015, the 21 MBFP failed to trip and required closure of the steam
inoperable and entered TS 3.7.3 Condition C. After troubleshooting, Entergy determined  
admission valves to secure it. This failure occurred because of contaminated control oil
the MOV close torque switch contact finger was out of position within the contact holder.
that prevented the solenoid valves from operating.
The misalignment allowed the contact finger to move out of the proper position causing  
The inspectors reviewed Entergys maintenance rule basis documents and identified the
the MOV BFD-2-21 to fail to close. This is the same failure mechanism which caused  
feedwater isolation function was not properly included in the maintenance rule
MOV BFD-2-21 to fail to close in 2010 which is referenced in CR-IP2-2010-07013. On  
monitoring program as required by 10 CFR 50.65(b)(1). The basis document for the
December 5, 2015, the 21 MBFP failed to trip and required closure of the steam  
feedwater system did identify the need to monitor the feedwater isolation function under
admission valves to secure it. This failure occurred because of contaminated control oil  
the maintenance rule and stated that it would be monitored as a part of the vapor
that prevented the solenoid valves from operating.  
containment supersystem. However, the basis document for the vapor containment
supersystem does not include the feedwater isolation components within the system
The inspectors reviewed Entergys maintenance rule basis documents and identified the  
boundaries. As a result, when component failures occurred which affected the
feedwater isolation function was not properly included in the maintenance rule  
feedwater isolation function, they were not reviewed to determine if they were
monitoring program as required by 10 CFR 50.65(b)(1). The basis document for the  
maintenance rule functional failures; and Entergy was unable to identify that the
feedwater system did identify the need to monitor the feedwater isolation function under  
performance of the main feedwater isolation equipment was not effectively controlled
the maintenance rule and stated that it would be monitored as a part of the vapor  
through preventative maintenance. Entergy entered this issue into the CAP as
containment supersystem. However, the basis document for the vapor containment  
CR-IP2-2016-03963 and initiated actions to include the MBFP discharge valves into the
supersystem does not include the feedwater isolation components within the system  
maintenance rule program.
boundaries. As a result, when component failures occurred which affected the  
Analysis. The failure to appropriately scope the safety-related feedwater isolation
feedwater isolation function, they were not reviewed to determine if they were  
function within the maintenance rule program was a performance deficiency. This
maintenance rule functional failures; and Entergy was unable to identify that the  
finding is more than minor because it is associated with the SSC and barrier
performance of the main feedwater isolation equipment was not effectively controlled  
performance attribute of the Barrier Integrity cornerstone and affected the cornerstone
through preventative maintenance. Entergy entered this issue into the CAP as  
objective to provide reasonable assurance that physical design barriers protect the
CR-IP2-2016-03963 and initiated actions to include the MBFP discharge valves into the  
public from radionuclide releases caused by accidents or events. Specifically, the failure
maintenance rule program.
to properly scope the feedwater isolation function prevented Entergy from identifying that
equipment reliability was no longer effectively controlled through preventative
Analysis. The failure to appropriately scope the safety-related feedwater isolation  
maintenance. Additionally, this issue is similar to example 7.d described in IMC 0612,
function within the maintenance rule program was a performance deficiency. This  
Appendix E, Examples of Minor Issues, dated August 11, 2009. In accordance with
finding is more than minor because it is associated with the SSC and barrier  
IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix
performance attribute of the Barrier Integrity cornerstone and affected the cornerstone  
objective to provide reasonable assurance that physical design barriers protect the  
public from radionuclide releases caused by accidents or events. Specifically, the failure  
to properly scope the feedwater isolation function prevented Entergy from identifying that  
equipment reliability was no longer effectively controlled through preventative  
maintenance. Additionally, this issue is similar to example 7.d described in IMC 0612,  
Appendix E, Examples of Minor Issues, dated August 11, 2009. In accordance with  
IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix  


                                                37
37  
      A, The Significance Determination Process for Findings At-Power, issued June 19,
      2012, the inspectors determined that the finding was of very low safety significance
      (Green) because the finding did not represent an actual open pathway in the physical
A, The Significance Determination Process for Findings At-Power, issued June 19,  
      integrity of reactor containment, containment isolation system, and heat removal
2012, the inspectors determined that the finding was of very low safety significance  
      components. There are redundant methods of feedwater isolation. They include
(Green) because the finding did not represent an actual open pathway in the physical  
      tripping the MBFPs and closing the MBFP discharge valves, closing the main feedwater
integrity of reactor containment, containment isolation system, and heat removal  
      regulating valves and low flow bypass valves, and closing the main feedwater isolation
components. There are redundant methods of feedwater isolation. They include  
      valves. On both December 5, 2015, and March 7, 2016, the main feedwater regulating
tripping the MBFPs and closing the MBFP discharge valves, closing the main feedwater  
      valves and isolation valves were functional; so there was no loss of the ability to isolate
regulating valves and low flow bypass valves, and closing the main feedwater isolation  
      feedwater to mitigate accident and transient conditions.
valves. On both December 5, 2015, and March 7, 2016, the main feedwater regulating  
      This finding does not have a cross-cutting aspect, since the failure to scope this
valves and isolation valves were functional; so there was no loss of the ability to isolate  
      equipment into the maintenance rule program was not recognized when Entergy
feedwater to mitigate accident and transient conditions.  
      combined the maintenance rule basis documents for Units 2 and 3 in 2012 and as a
      result, is not indicative of current licensee performance.
This finding does not have a cross-cutting aspect, since the failure to scope this  
      Enforcement. 10 CFR 50.65(b)(1) requires, in part, that the holders of an operating
equipment into the maintenance rule program was not recognized when Entergy  
      license shall include within the scope of the monitoring program, specified in
combined the maintenance rule basis documents for Units 2 and 3 in 2012 and as a  
      10 CFR 50.65(a)(1), SSCs that are relied upon to remain functional during and following
result, is not indicative of current licensee performance.
      design basis events. Contrary to the above, since the combined maintenance rule
      scoping for Units 2 and 3 in 2012, Entergy failed to include within the scope of the
Enforcement. 10 CFR 50.65(b)(1) requires, in part, that the holders of an operating  
      monitoring program specified in 10 CFR 50.65(a)(1), the safety-related MBFP discharge
license shall include within the scope of the monitoring program, specified in  
      valves. These SSCs are relied upon during and after design basis events to mitigate the
10 CFR 50.65(a)(1), SSCs that are relied upon to remain functional during and following  
      consequences of a feedwater line break accident inside containment. Entergys
design basis events. Contrary to the above, since the combined maintenance rule  
      corrective action included entering this issue into the corrective action program.
scoping for Units 2 and 3 in 2012, Entergy failed to include within the scope of the  
      Because the violation was of very low safety significance (Green) and Entergy entered
monitoring program specified in 10 CFR 50.65(a)(1), the safety-related MBFP discharge  
      this issue into their CAP as CR-IP2-2016-03963, this violation is being treated as an
valves. These SSCs are relied upon during and after design basis events to mitigate the  
      NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy.
consequences of a feedwater line break accident inside containment. Entergys  
      (NCV 05000247/2016002-04, Failure to Scope Safety-Related Main Boiler Feedwater
corrective action included entering this issue into the corrective action program.
      Pump Discharge Valves into the Maintenance Rule Program)
Because the violation was of very low safety significance (Green) and Entergy entered  
4OA5 Other Activities
this issue into their CAP as CR-IP2-2016-03963, this violation is being treated as an  
.1   Groundwater Contamination
NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy.
  a. Inspection Scope
(NCV 05000247/2016002-04, Failure to Scope Safety-Related Main Boiler Feedwater  
      On February 5, 2016, Entergy notified the NRC of a significant increase in groundwater
Pump Discharge Valves into the Maintenance Rule Program)  
      tritium levels measured at three monitoring wells (MWs) (MW-30, MW-31, and MW-32)
      located near the Unit 2 fuel storage building. These samples were drawn on
4OA5 Other Activities  
      January 26 to 27, 2016, and analyzed and confirmed on February 2 to 4, 2016. The
      highest concentration was detected at MW-32, which increased from 12,000 pCi/l on
.1  
      January 11, 2016, to 8,100,000 pCi/l on January 26, 2016, and subsequently up to
Groundwater Contamination  
      14,800,000 pCi/l on February 4, 2016. This increased tritium concentration event was
      documented by Entergy in CR-IP2-2016-00564 which documents its investigation of this
a. Inspection Scope  
      event including a root cause evaluation. The inspectors reviewed Entergys root cause
      evaluation for this event during this inspection period as well as recent groundwater
On February 5, 2016, Entergy notified the NRC of a significant increase in groundwater  
      monitoring results.
tritium levels measured at three monitoring wells (MWs) (MW-30, MW-31, and MW-32)  
located near the Unit 2 fuel storage building. These samples were drawn on  
January 26 to 27, 2016, and analyzed and confirmed on February 2 to 4, 2016. The  
highest concentration was detected at MW-32, which increased from 12,000 pCi/l on  
January 11, 2016, to 8,100,000 pCi/l on January 26, 2016, and subsequently up to  
14,800,000 pCi/l on February 4, 2016. This increased tritium concentration event was  
documented by Entergy in CR-IP2-2016-00564 which documents its investigation of this  
event including a root cause evaluation. The inspectors reviewed Entergys root cause  
evaluation for this event during this inspection period as well as recent groundwater  
monitoring results.  


                                                38
38  
b. Findings and Observations
  No findings were identified.
  Update to URI 05000247/2016001-07, January 2016 Groundwater Contamination
b. Findings and Observations  
  Entergy continues to conduct weekly, biweekly, and monthly groundwater sampling of
  MWs at the initial site of groundwater contamination and at downstream wells towards
  the Hudson River. For the initial three MWs (MW-30, MW-31, and MW-32), the general
No findings were identified.  
  trend in tritium activity has been downward, with periodic increases seen in some weekly
  samples. The downstream MWs located in the Unit 2 switchyard (especially MW-55)
Update to URI 05000247/2016001-07, January 2016 Groundwater Contamination  
  showed an initial increase in activity up to 117,000 pCi/l, but the activity at that location
  has plateaued at the end of the reporting period.
Entergy continues to conduct weekly, biweekly, and monthly groundwater sampling of  
  Entergy documented its investigation of this event as root cause evaluation for
MWs at the initial site of groundwater contamination and at downstream wells towards  
  CR-IP2-2016-00564. The inspectors reviewed Entergys root cause evaluation for this
the Hudson River. For the initial three MWs (MW-30, MW-31, and MW-32), the general  
  event. Entergy concluded that the source of the groundwater contamination was from
trend in tritium activity has been downward, with periodic increases seen in some weekly  
  the reject water of a temporary reverse osmosis unit used to process water from the
samples. The downstream MWs located in the Unit 2 switchyard (especially MW-55)  
  refueling water storage tank at Unit 2 in preparation for RFO 2R22. Although this
showed an initial increase in activity up to 117,000 pCi/l, but the activity at that location  
  analysis documents a number of issues identified during the operation of the contractor
has plateaued at the end of the reporting period.  
  reverse osmosis unit, which is believed to be the source of the groundwater
  contamination, one of two leakage paths to groundwater have still not been established.
Entergy documented its investigation of this event as root cause evaluation for  
  The established pathway involves leakage from two cut drain lines located above the
CR-IP2-2016-00564. The inspectors reviewed Entergys root cause evaluation for this  
  floor on the 35-foot elevation of the PAB. Further investigation by Entergy following the
event. Entergy concluded that the source of the groundwater contamination was from  
  conclusion of the Unit 2 RFO 2R22 must be conducted to verify the second pathway to
the reject water of a temporary reverse osmosis unit used to process water from the  
  groundwater via the floor of the fuel storage building truck bay.
refueling water storage tank at Unit 2 in preparation for RFO 2R22. Although this  
  Entergys long-term corrective action for reducing tritium levels in the groundwater is the
analysis documents a number of issues identified during the operation of the contractor  
  same as previously identified for the March 2014 tritium spike (CR-IP2-2015-03806), the
reverse osmosis unit, which is believed to be the source of the groundwater  
  start-up and operation of recovery well (RW)-1. Following installation of equipment and
contamination, one of two leakage paths to groundwater have still not been established.
  system testing, full operation of the RW system is expected later this year. This system
The established pathway involves leakage from two cut drain lines located above the  
  will allow for the collection of tritiated groundwater in the vicinity of Unit 2 to be returned
floor on the 35-foot elevation of the PAB. Further investigation by Entergy following the  
  inside the Unit 2 PAB for processing. The NRC will be conducting an inspection in
conclusion of the Unit 2 RFO 2R22 must be conducted to verify the second pathway to  
  August 2016 to review the testing plan and results of the RW-1 tests. This inspection
groundwater via the floor of the fuel storage building truck bay.  
  will include a specialist region-based inspector, and a staff hydrogeologist.
  The NRCs continuing assessment of the safety significance of this event focused on
Entergys long-term corrective action for reducing tritium levels in the groundwater is the  
  validating the safety impact of dose to the public from the release of tritium to the site
same as previously identified for the March 2014 tritium spike (CR-IP2-2015-03806), the  
  groundwater, and ultimately to the Hudson River. The NRC verified that Entergys
start-up and operation of recovery well (RW)-1. Following installation of equipment and  
  bounding public dose calculations on the groundwater contamination leak was
system testing, full operation of the RW system is expected later this year. This system  
  sufficiently conservative and a maximum worst case scenario would result in a dose of
will allow for the collection of tritiated groundwater in the vicinity of Unit 2 to be returned  
  0.000112 millirem per year, which represents a very small fraction of the allowable dose
inside the Unit 2 PAB for processing. The NRC will be conducting an inspection in  
  (liquid effluent dose objective of 3 millirem per year). This low value is due to
August 2016 to review the testing plan and results of the RW-1 tests. This inspection  
  groundwater at Indian Point not being a source of any drinking water. There are no
will include a specialist region-based inspector, and a staff hydrogeologist.  
  drinking water wells on the Indian Point site, groundwater flow from the site is to the
  Hudson River and not to any near site drinking water wells, and the Hudson River has
The NRCs continuing assessment of the safety significance of this event focused on  
  no downstream drinking water intakes as it is brackish water. Pathways to the public are
validating the safety impact of dose to the public from the release of tritium to the site  
  therefore limited to the consumption of fish and river invertebrates. The inspection
groundwater, and ultimately to the Hudson River. The NRC verified that Entergys  
  determined that there is no safety impact to the public as a result of this groundwater
bounding public dose calculations on the groundwater contamination leak was  
  contamination event. (URI 05000247/2016001-07, January 2016 Groundwater
sufficiently conservative and a maximum worst case scenario would result in a dose of  
  Contamination)
0.000112 millirem per year, which represents a very small fraction of the allowable dose  
(liquid effluent dose objective of 3 millirem per year). This low value is due to  
groundwater at Indian Point not being a source of any drinking water. There are no  
drinking water wells on the Indian Point site, groundwater flow from the site is to the  
Hudson River and not to any near site drinking water wells, and the Hudson River has  
no downstream drinking water intakes as it is brackish water. Pathways to the public are  
therefore limited to the consumption of fish and river invertebrates. The inspection  
determined that there is no safety impact to the public as a result of this groundwater  
contamination event. (URI 05000247/2016001-07, January 2016 Groundwater  
Contamination)  


                                              39
39  
.2   Institute of Nuclear Power Operations (INPO) Report Review
  a. Inspection Scope
      The inspectors also reviewed the final report for the INPO equipment reliability scram
      review visit that was conducted to review the scrams that occurred over the past two
.2  
      years, conducted in June 2016. The inspectors reviewed the report to ensure that any
Institute of Nuclear Power Operations (INPO) Report Review  
      issues identified were consistent with NRC perspectives of Entergy performance and to
      determine if INPO identified any significant safety issues that required further NRC
a. Inspection Scope  
      follow-up.
  b. Findings
The inspectors also reviewed the final report for the INPO equipment reliability scram  
      No findings were identified.
review visit that was conducted to review the scrams that occurred over the past two  
4OA6 Meetings, Including Exit
years, conducted in June 2016. The inspectors reviewed the report to ensure that any  
      On August 4, 2016, the inspectors presented the inspection results to Mr. Larry Coyle,
issues identified were consistent with NRC perspectives of Entergy performance and to  
      Site Vice President, and other members of Entergy. Based on additional information
determine if INPO identified any significant safety issues that required further NRC  
      provided, the inspectors conducted an updated exit meeting on August 30, 2016 with
follow-up.  
      John Kirkpatrick, Plant Operations General Manager and other members of Entergy.
      The inspectors verified that no proprietary information was retained by the inspectors or
b. Findings  
      documented in this report.
ATTACHMENT: SUPPLEMENTARY INFORMATION
No findings were identified.  
4OA6 Meetings, Including Exit  
On August 4, 2016, the inspectors presented the inspection results to Mr. Larry Coyle,  
Site Vice President, and other members of Entergy. Based on additional information  
provided, the inspectors conducted an updated exit meeting on August 30, 2016 with  
John Kirkpatrick, Plant Operations General Manager and other members of Entergy.
The inspectors verified that no proprietary information was retained by the inspectors or  
documented in this report.  
ATTACHMENT: SUPPLEMENTARY INFORMATION  


                                              A-1
A-1  
                                SUPPLEMENTARY INFORMATION
                                  KEY POINTS OF CONTACT
Attachment
Entergy Personnel
SUPPLEMENTARY INFORMATION  
A. Vitale, Site Vice President
J. Kirkpatrick, Plant Operations General Manager
KEY POINTS OF CONTACT  
R. Alexander, Unit 2 Shift Manager
R. Andersen, Maintenance Instrumentation and Controls Superintendent
Entergy Personnel  
N. Azevedo, Engineering Supervisor
A. Vitale, Site Vice President  
J. Baker, Shift Manager
J. Kirkpatrick, Plant Operations General Manager  
S. Bianco, Operations Fire Marshal
R. Alexander, Unit 2 Shift Manager  
K. Brooks, Assistant Operations Manager
R. Andersen, Maintenance Instrumentation and Controls Superintendent  
R. Burroni, Engineering Director
N. Azevedo, Engineering Supervisor
T. Chan, Engineering Supervisor
J. Baker, Shift Manager  
C. Chapin, Training Superintendent
S. Bianco, Operations Fire Marshal  
D. Dewey, Assistant Operations Manager
K. Brooks, Assistant Operations Manager  
J. Dignam, Unit 3 Control Room Supervisor
R. Burroni, Engineering Director
R. Dolansky, Inservice Inspection Program Manager
T. Chan, Engineering Supervisor  
W. Durr, Outage Control Center Manager
C. Chapin, Training Superintendent  
R. Drake, Engineering Supervisor
D. Dewey, Assistant Operations Manager  
K. Elliott, Fire Protection Engineer
J. Dignam, Unit 3 Control Room Supervisor  
J. Ferrick, Regulatory and Performance Improvement Director
R. Dolansky, Inservice Inspection Program Manager  
L. Frink, Radiation Protection Supervisor
W. Durr, Outage Control Center Manager  
D. Gagnon, Security Manager
R. Drake, Engineering Supervisor  
L. Glander, Emergency Preparedness Manager
K. Elliott, Fire Protection Engineer
D. Gray, Radiological Environmental Manager
J. Ferrick, Regulatory and Performance Improvement Director  
J. Johnson, Unit 2 Control Room Supervisor
L. Frink, Radiation Protection Supervisor  
M. Johnson, Unit 3 Shift Manager
D. Gagnon, Security Manager  
M. Khadabux, Instrumentation and Controls Supervisor
L. Glander, Emergency Preparedness Manager  
F. Kich, Performance Improvement Manager
D. Gray, Radiological Environmental Manager  
M. Lewis, Unit 3 Assistant Operations Manager
J. Johnson, Unit 2 Control Room Supervisor  
N. Lizzo, Training Manager
M. Johnson, Unit 3 Shift Manager
S. McAllister, Baffle Bolt Replacement Project Manager
M. Khadabux, Instrumentation and Controls Supervisor  
M. McCarthy, Unit 3 Control Room Supervisor
F. Kich, Performance Improvement Manager  
B. McCarthy, Operations Manager
M. Lewis, Unit 3 Assistant Operations Manager  
F. Mitchell, Radiation Protection Manager
N. Lizzo, Training Manager  
E. Mullek, Maintenance Manager
S. McAllister, Baffle Bolt Replacement Project Manager  
S. Stevens, Radiation Protection Operations Superintendent
M. McCarthy, Unit 3 Control Room Supervisor  
B. Sullivan, Training Superintendent
B. McCarthy, Operations Manager  
J. Taylor, Unit 3 Shift Manager
F. Mitchell, Radiation Protection Manager  
M. Tesoriero, Outage Control Center Manager
E. Mullek, Maintenance Manager  
M. Troy, Nuclear Oversight Manager
S. Stevens, Radiation Protection Operations Superintendent  
R. Walpole, Regulatory Assurance Manager
B. Sullivan, Training Superintendent  
A. Zastrow, Assistant Operations Manager
J. Taylor, Unit 3 Shift Manager  
                                                                    Attachment
M. Tesoriero, Outage Control Center Manager  
M. Troy, Nuclear Oversight Manager  
R. Walpole, Regulatory Assurance Manager  
A. Zastrow, Assistant Operations Manager  


                                    A-2
A-2  
          LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED
Opened
05000247/2016002-01     URI       CVCS Goal Monitoring Under the Maintenance
LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED  
                                  Rule (Section 1R12)
Opened/Closed
Opened  
05000286/2016002-02     NCV       Failure to Follow Operability Determination
                                  Procedure for Unit 3 Baffle-Former Bolts
05000247/2016002-01  
                                  (Section 1R15)
URI  
05000247/2016002-03     NCV       Failure to Maintain Flow Channeling Gates Closed
                                  in Accordance with the Containment Procedure
CVCS Goal Monitoring Under the Maintenance  
                                  (Section 1R20)
05000247/2016002-04     NCV       Failure to Scope Safety-Related Main Boiler
                                  Feedwater Pump Discharge Valves into the
                                  Maintenance Rule Program (Section 4OA3)
Closed
05000247/2015-003-00   LER       Manual Reactor Trip due to Indications of Multiple
                                  Dropped Control Rods Caused by Loss of Control
Rule (Section 1R12)  
                                  Rod Power Due to a Power Supply Failure
                                  (Section 4OA3)
Opened/Closed  
05000247/2016-003-00   LER       Technical Specification Prohibited Condition
                                  Due to an Inoperable 21 Main Boiler Feedwater
05000286/2016002-02  
                                  Pump Discharge Valve for Greater Than the TS
NCV  
                                  Allowed Outage Time (Section 4OA3)
Discussed
Failure to Follow Operability Determination  
05000247/2016001-01     URI       Baffle-Former Bolts with Identified Anomalies
Procedure for Unit 3 Baffle-Former Bolts  
                                  (Section 1R08)
(Section 1R15)  
05000247/2016001-06     URI       Emergency Diesel Generator Automatic Voltage
                                  Regulator Failure (Section 1R15)
05000247/2016002-03  
05000247/2016001-07     URI       January 2016 Groundwater Contamination
NCV  
                                  Section (Section 4OA5)
Failure to Maintain Flow Channeling Gates Closed  
in Accordance with the Containment Procedure  
(Section 1R20)  
05000247/2016002-04  
NCV  
Failure to Scope Safety-Related Main Boiler  
Feedwater Pump Discharge Valves into the  
Maintenance Rule Program (Section 4OA3)  
Closed  
05000247/2015-003-00  
LER  
Manual Reactor Trip due to Indications of Multiple  
Dropped Control Rods Caused by Loss of Control  
Rod Power Due to a Power Supply Failure  
(Section 4OA3)  
05000247/2016-003-00  
LER  
Technical Specification Prohibited Condition  
Due to an Inoperable 21 Main Boiler Feedwater  
Pump Discharge Valve for Greater Than the TS  
Allowed Outage Time (Section 4OA3)  
Discussed  
05000247/2016001-01  
URI  
Baffle-Former Bolts with Identified Anomalies  
(Section 1R08)  
05000247/2016001-06  
URI  
Emergency Diesel Generator Automatic Voltage  
Regulator Failure (Section 1R15)  
05000247/2016001-07  
URI  
January 2016 Groundwater Contamination  
 
Section (Section 4OA5)  


                                                A-3
A-3  
                              LIST OF DOCUMENTS REVIEWED
Common Documents Used
Indian Point Unit 2 and Unit 3, UFSARs
LIST OF DOCUMENTS REVIEWED  
Indian Point Unit 2 and Unit 3, Individual Plant Examinations
Indian Point Unit 2 and Unit 3, Individual Plant Examination of External Events
Common Documents Used  
Indian Point Unit 2 and Unit 3, TSs and Bases
Indian Point Unit 2 and Unit 3, UFSARs  
Indian Point Unit 2 and Unit 3, Technical Requirements Manuals
Indian Point Unit 2 and Unit 3, Individual Plant Examinations  
Indian Point Unit 2 and Unit 3, Control Room Narrative Logs
Indian Point Unit 2 and Unit 3, Individual Plant Examination of External Events  
Indian Point Unit 2 and Unit 3, Plans of the Day
Indian Point Unit 2 and Unit 3, TSs and Bases  
Section 1R04: Equipment Alignment
Indian Point Unit 2 and Unit 3, Technical Requirements Manuals  
Procedures
Indian Point Unit 2 and Unit 3, Control Room Narrative Logs  
2-COL-4.2.1, Residual Heat Removal System, Revision 30
Indian Point Unit 2 and Unit 3, Plans of the Day  
2-COL-4.3.1, Spent Fuel Pit Cooling, Revision 10
2-COL-24.1.1, Service Water System, Revision 50
Section 1R04: Equipment Alignment  
3-COL-EL-005, Diesel Generators, Revision 37
OAP-019, Component Verification and System Status Control, Revision 7
Procedures  
OAP-044, Plant Labeling Program, Revision 3
2-COL-4.2.1, Residual Heat Removal System, Revision 30  
Condition Reports (CR-IP2)
2-COL-4.3.1, Spent Fuel Pit Cooling, Revision 10  
2016-01311 2016-01505 2016-01761             2016-02330   2016-02428     2016-02470
2-COL-24.1.1, Service Water System, Revision 50  
Condition Reports (CR-IP3)
3-COL-EL-005, Diesel Generators, Revision 37  
2016-01382 2016-01810
OAP-019, Component Verification and System Status Control, Revision 7  
Drawings
OAP-044, Plant Labeling Program, Revision 3  
209762, Flow Diagram Service Water System Nuclear Steam Supply Plant, Revision 75
227781, Flow Diagram Auxiliary Coolant System, Revision 22
Condition Reports (CR-IP2)  
9321-2720, Auxiliary Coolant System, Sheet 2, Revision 22
2016-01311  
Miscellaneous
2016-01505  
IP3-DBD-308, CCW System, Revision 3
2016-01761  
Section 1R05: Fire Protection
2016-02330  
Procedures
2016-02428  
EN-MA-133, Control of Scaffolding, Revision 12
2016-02470  
Condition Reports (CR-IP2)
2016-04148
Condition Reports (CR-IP3)  
Condition Reports (CR-IP3)
2016-01382  
2016-01272
2016-01810  
Miscellaneous
PFP-203, Containment Building, 95-Foot Elevation (Fire Zone 86A), Revision 15
Drawings  
PFP-204, General Floor Plan, PAB, 15-Foot Elevation, Revision 0
209762, Flow Diagram Service Water System Nuclear Steam Supply Plant, Revision 75  
PFP-209, Component Cooling Pump Room, PAB, 68-Foot Elevation, Revision 0
227781, Flow Diagram Auxiliary Coolant System, Revision 22  
PFP-211, General Floor Plan, PAB, 80-Foot Elevation, Revision 14
9321-2720, Auxiliary Coolant System, Sheet 2, Revision 22  
PFP-351, 480V Switchgear Room, Revision 15
Miscellaneous  
IP3-DBD-308, CCW System, Revision 3  
Section 1R05: Fire Protection  
Procedures  
EN-MA-133, Control of Scaffolding, Revision 12  
Condition Reports (CR-IP2)  
2016-04148  
Condition Reports (CR-IP3)  
2016-01272  
Miscellaneous  
PFP-203, Containment Building, 95-Foot Elevation (Fire Zone 86A), Revision 15  
PFP-204, General Floor Plan, PAB, 15-Foot Elevation, Revision 0  
PFP-209, Component Cooling Pump Room, PAB, 68-Foot Elevation, Revision 0  
PFP-211, General Floor Plan, PAB, 80-Foot Elevation, Revision 14  
PFP-351, 480V Switchgear Room, Revision 15  


                                                A-4
A-4  
Section 1R07: Heat Sink Performance
Procedures
0-HTX-405-EDG, EDG Lube Oil and Jacket Water Heat Exchanger Maintenance, Revision 4
Section 1R07: Heat Sink Performance  
Condition Reports (CR-IP3)
2010-02900 2011-03594         2011-03596     2011-03961   2012-02071     2012-03912
Procedures  
2013-02338 2013-02695         2013-03009     2014-00957   2014-01239     2014-03158
0-HTX-405-EDG, EDG Lube Oil and Jacket Water Heat Exchanger Maintenance, Revision 4  
2014-03175 2015-00031         2015-00599     2015-02848   2015-05209     2015-05526
2016-00886 2016-00895         2016-00899
Condition Reports (CR-IP3)  
Maintenance Orders/Work Orders
2010-02900  
WO 52489888           WO 52626563
2011-03594  
Miscellaneous
2011-03596  
SEP-SW-IPC-001, Indian Point Energy Center NRC Generic Letter 89-13 Service Water
2011-03961  
        Program, Revision 0
2012-02071  
Section 1R08: Inservice Inspection Activities
2012-03912  
Procedures
2013-02338  
GBRA-104-659, Collection of Protocols for Baffle Bolt Replacement, Revision C
2013-02695  
GBRA-175-115, Field Service Procedure for Baffle Bolt Replacement, Revision 3
2013-03009  
WDI-STD-088, Underwater Remote Visual Examination of Reactor Vessel Internals,
2014-00957  
    Revision 13
2014-01239  
WDI-STD-1073, Ultrasonic Test Procedure for the Inspection of Internal Hex Head
2014-03158  
    Baffle-Former Bolts with Welded Lock Bars, Revision 4
2014-03175  
Condition Reports (CR-IP2)
2015-00031  
2016-02081
2015-00599  
Maintenance Orders/Work Orders
2015-02848  
442412-13
2015-05209  
Miscellaneous
2015-05526  
Indian Point Unit 2 Baffle Bolt Ultrasonic Examination Expanded Analysis Report, dated
2016-00886  
    April 28, 2016
2016-00895  
IP2 Reactor Vessel Visual Examination Report, dated May 2006
2016-00899  
Loose Parts Inventory Log for Baffle Bolt Replacements, dated May 24, 2016
MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and
Maintenance Orders/Work Orders  
    Evaluation Guidelines (ML120170453)
WO 52489888
MRP-228, Materials Reliability Program: Inspection Standard for PWR Internals - 2012 Update,
WO 52626563  
    Revision 1
SEP-ISI-IP2-001, IP2 Fourth Ten-Year Interval Inservice Inspection (ISI)/Containment Inservice
Miscellaneous  
    Inspection (CISI) Program Plan, Revision 2
SEP-SW-IPC-001, Indian Point Energy Center NRC Generic Letter 89-13 Service Water  
WDI-PJF-1315504-EPP-001, Indian Point Nuclear Power Plant MRP-227-A Reactor Vessel
Program, Revision 0  
    Internals Examination Program Plan, Revision 0
WDI-PJF-1315505-FSR-001, Indian Point Unit 2 2R22 MRP-227-A Baffle-Former Bolt
Section 1R08: Inservice Inspection Activities  
    Ultrasonic Inspections Field Service Report, dated March 29, 2016
WDI-TJ-1100, Technical Justification for the Ultrasonic Inspection of Baffle-Former Bolts for
Procedures  
    Indian Point Units 2 and 3, Revision 1
GBRA-104-659, Collection of Protocols for Baffle Bolt Replacement, Revision C  
GBRA-175-115, Field Service Procedure for Baffle Bolt Replacement, Revision 3  
WDI-STD-088, Underwater Remote Visual Examination of Reactor Vessel Internals,  
Revision 13  
WDI-STD-1073, Ultrasonic Test Procedure for the Inspection of Internal Hex Head  
Baffle-Former Bolts with Welded Lock Bars, Revision 4  
Condition Reports (CR-IP2)  
2016-02081  
Maintenance Orders/Work Orders  
442412-13  
Miscellaneous  
Indian Point Unit 2 Baffle Bolt Ultrasonic Examination Expanded Analysis Report, dated  
April 28, 2016  
IP2 Reactor Vessel Visual Examination Report, dated May 2006  
Loose Parts Inventory Log for Baffle Bolt Replacements, dated May 24, 2016  
MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and  
Evaluation Guidelines (ML120170453)  
MRP-228, Materials Reliability Program: Inspection Standard for PWR Internals - 2012 Update,  
Revision 1  
SEP-ISI-IP2-001, IP2 Fourth Ten-Year Interval Inservice Inspection (ISI)/Containment Inservice  
Inspection (CISI) Program Plan, Revision 2  
WDI-PJF-1315504-EPP-001, Indian Point Nuclear Power Plant MRP-227-A Reactor Vessel  
Internals Examination Program Plan, Revision 0  
WDI-PJF-1315505-FSR-001, Indian Point Unit 2 2R22 MRP-227-A Baffle-Former Bolt  
Ultrasonic Inspections Field Service Report, dated March 29, 2016  
WDI-TJ-1100, Technical Justification for the Ultrasonic Inspection of Baffle-Former Bolts for  
Indian Point Units 2 and 3, Revision 1  


                                                A-5
A-5  
Section 1R11: Licensed Operator Requalification Program
Procedures
2-AOP-480V-1, Loss of Normal Power to Any 480V Vital Bus, Revision 8
Section 1R11: Licensed Operator Requalification Program  
2-AOP-RCP-1, Reactor Coolant Pump Malfunction, Revision 14
2-AOP-TURB-1, Main Turbine Trip without a Reactor Trip, Revision 5
Procedures  
2-E-0, Reactor Trip or Safety Injection, Revision 7
2-AOP-480V-1, Loss of Normal Power to Any 480V Vital Bus, Revision 8  
2-FR-H.1, Response to Loss of Secondary Heat Sink, Revision 11
2-AOP-RCP-1, Reactor Coolant Pump Malfunction, Revision 14
2-POP-1.2, Reactor Startup, Revision 59
2-AOP-TURB-1, Main Turbine Trip without a Reactor Trip, Revision 5  
2-SOP-26.4, Turbine Generator Startup, Synchronizing, Voltage Control and Shutdown,
2-E-0, Reactor Trip or Safety Injection, Revision 7  
      Revision 62
2-FR-H.1, Response to Loss of Secondary Heat Sink, Revision 11  
3-AOP-480V-1, Loss of Normal Power to Any Safeguards Bus, Revision 7
2-POP-1.2, Reactor Startup, Revision 59  
3-AOP-CVCS-1, Chemical and Volume Control System Malfunction, Revision 8
2-SOP-26.4, Turbine Generator Startup, Synchronizing, Voltage Control and Shutdown,  
3-AOP-FW-1, Loss of Feedwater, Revision 8
Revision 62  
3-AOP-INST-1, Instrument/Controller Failures, Revision 11
3-AOP-480V-1, Loss of Normal Power to Any Safeguards Bus, Revision 7  
3-E-0, Reactor Trip or Safety Injection, Revision 6
3-AOP-CVCS-1, Chemical and Volume Control System Malfunction, Revision 8  
3-E-1, Loss of Reactor or Secondary Coolant, Revision 4
3-AOP-FW-1, Loss of Feedwater, Revision 8  
3-FR-C.2, Response to Degraded Core Cooling, Revision 3
3-AOP-INST-1, Instrument/Controller Failures, Revision 11  
Condition Reports (CR-IP2)
3-E-0, Reactor Trip or Safety Injection, Revision 6  
2016-03946 2016-04162 2016-04164             2016-04165 2016-04169   2016-04178
3-E-1, Loss of Reactor or Secondary Coolant, Revision 4  
Condition Reports (CR-IP3)
3-FR-C.2, Response to Degraded Core Cooling, Revision 3  
2016-01087 2016-01092 2016-01098             2016-01336
Miscellaneous
Condition Reports (CR-IP2)  
13SX-LOR-SES026, Licensed Operator Requalification Program Scenario
2016-03946  
Emergency Action Level Table, Revision 15.2
2016-04162  
LRQ-SES-04, IPEC Simulator Evaluated Scenario, Revision 6
2016-04164  
Section 1R12: Maintenance Effectiveness
2016-04165  
Procedures
2016-04169  
CEP-NDE-0640, Non-Section XI Liquid Penetrant Examination, Revision 9
2016-04178  
CEP-WP-WIIR-1, Attachment 5.1, Inprocess Inspections for Installation and Replacement
  Welds Located Inside the ASME Section XI Boundary, Revision 3
Condition Reports (CR-IP3)  
EN-DC-206, Maintenance Rule (a)(1) Process, Revision 3
2016-01087  
Condition Reports (CR-IP2)
2016-01092  
2010-00864 2013-03130 2014-00162             2014-00185 2014-01144   2014-02184
2016-01098  
2015-00278 2016-01260 2016-01430             2016-01500
2016-01336  
Condition Reports (CR-IP3)
2012-03836 2013-04758 2015-01396             2015-03404 2015-03653   2015-04053
Miscellaneous  
2015-04162 2015-04184 2015-04539             2015-05316 2015-05384   2015-05729
13SX-LOR-SES026, Licensed Operator Requalification Program Scenario  
Emergency Action Level Table, Revision 15.2  
LRQ-SES-04, IPEC Simulator Evaluated Scenario, Revision 6  
Section 1R12: Maintenance Effectiveness  
Procedures  
CEP-NDE-0640, Non-Section XI Liquid Penetrant Examination, Revision 9  
CEP-WP-WIIR-1, Attachment 5.1, Inprocess Inspections for Installation and Replacement  
Welds Located Inside the ASME Section XI Boundary, Revision 3  
EN-DC-206, Maintenance Rule (a)(1) Process, Revision 3  
Condition Reports (CR-IP2)  
2010-00864  
2013-03130  
2014-00162  
2014-00185  
2014-01144  
2014-02184
2015-00278  
2016-01260  
2016-01430  
2016-01500  
Condition Reports (CR-IP3)  
2012-03836  
2013-04758  
2015-01396  
2015-03404  
2015-03653  
2015-04053  
2015-04162  
2015-04184  
2015-04539  
2015-05316  
2015-05384  
2015-05729  


                                            A-6
A-6  
2016-00098   2016-00653   2016-00723     2016-01189   2016-01227   2016-01274
2016-01313   2016-01531   2016-01536     2016-01543   2016-02432
Maintenance Orders/Work Orders
2016-00098  
WO 00397793         WO 00408019           WO 00414886       WO 00416091
2016-00653  
WO 00421841         WO 00429532           WO 00429532       WO 00431497
2016-00723  
WO 00446165         WO 00447042           WO 00447966       WO 52602429
2016-01189  
WO 52621178
2016-01227  
Miscellaneous
2016-01274  
EC 65389, 21 CCW HX Leak Repair: Service Water Inlet Nozzle - Elbow Weld Configuration
2016-01313  
      Change
2016-01531  
IPEC Maintenance Rule Basis Document - Chemical and Volume Control System, Revision 0
2016-01536  
PQR 913, 134 F42 MN-GTAW ASME IX Welding Procedure Qualification Record, Revision 0
2016-01543  
System Health Report, Unit 3, EDG, Q1-2016
2016-02432  
Weld Map Number 447966-20-01, Revision 0
WPS 134 F42, MN-GTAW, ASME Section IX Welding Procedure Specification, Revision 0
Section 1R13: Maintenance Risk Assessments and Emergent Work Control
Maintenance Orders/Work Orders  
Procedures
WO 00397793
EN-OP-119, Protected Equipment, Revision 8
WO 00408019
IP-SMM-OU-104, Attachment 9.1, Shiftly Outage Shutdown Safety Assessments, Revision 15
WO 00414886
IP-SMM-OU-104, Attachment 9.2, Shiftly Outage Shutdown Safety Assessment Guidelines,
WO 00416091  
      Revision 15
WO 00421841
Condition Reports (CR-IP2)
WO 00429532
2016-04141
WO 00429532
Condition Reports (CR-IP3)
WO 00431497  
2016-01545
WO 00446165
Miscellaneous
WO 00447042
EOOS Risk Assessment Software Tool
WO 00447966
Section 1R15: Operability Determinations and Functionality Assessments
WO 52602429  
Procedures
WO 52621178  
2-PC-R3-1, Pressurizer Level Transmitters, Revision 10
3-ARP-010, Metal Impact Monitoring System, Page 10, Revision 32
Miscellaneous  
3-SOP-RCS-016, Operation of the Metal Impact Monitoring System, Revision 8
EC 65389, 21 CCW HX Leak Repair: Service Water Inlet Nozzle - Elbow Weld Configuration  
EN-OP-104, Operability Determination Process, Revision 10
Change  
Condition Reports (CR-IP2)
IPEC Maintenance Rule Basis Document - Chemical and Volume Control System, Revision 0  
2016-2221     2016-2356     2016-2961     2016-3345   2016-3418   2016-3660
PQR 913, 134 F42 MN-GTAW ASME IX Welding Procedure Qualification Record, Revision 0  
2016-3636     2016-3784     2016-3806     2016-3818   2016-4085
System Health Report, Unit 3, EDG, Q1-2016  
Condition Reports (CR-IP3)
Weld Map Number 447966-20-01, Revision 0  
2014-01670 2015-03468
WPS 134 F42, MN-GTAW, ASME Section IX Welding Procedure Specification, Revision 0  
Section 1R13: Maintenance Risk Assessments and Emergent Work Control  
Procedures  
EN-OP-119, Protected Equipment, Revision 8  
IP-SMM-OU-104, Attachment 9.1, Shiftly Outage Shutdown Safety Assessments, Revision 15  
IP-SMM-OU-104, Attachment 9.2, Shiftly Outage Shutdown Safety Assessment Guidelines,  
Revision 15  
Condition Reports (CR-IP2)  
2016-04141  
Condition Reports (CR-IP3)  
2016-01545  
Miscellaneous  
EOOS Risk Assessment Software Tool  
Section 1R15: Operability Determinations and Functionality Assessments  
Procedures  
2-PC-R3-1, Pressurizer Level Transmitters, Revision 10  
3-ARP-010, Metal Impact Monitoring System, Page 10, Revision 32  
3-SOP-RCS-016, Operation of the Metal Impact Monitoring System, Revision 8  
EN-OP-104, Operability Determination Process, Revision 10
Condition Reports (CR-IP2)  
2016-2221  
2016-2356  
2016-2961  
2016-3345  
2016-3418  
2016-3660
2016-3636  
2016-3784  
2016-3806  
2016-3818  
2016-4085  
Condition Reports (CR-IP3)  
2014-01670  
2015-03468  


                                              A-7
A-7  
Maintenance Orders/Work Orders
WO 00327574           WO 00425980         WO 52571030
Miscellaneous
Maintenance Orders/Work Orders  
EN-LI-100, Attachment 9.1, Change Channel Check Comparison Criteria/2-PT-M100,
WO 00327574
  2-PT-D001, Revision 0
WO 00425980
Section 1R18: Plant Modifications
WO 52571030  
Drawings
10073E87-001, Indian Point Unit 2 Baffle Bolt Replacement - Core Barrel and Baffle Assembly
Miscellaneous  
    Elevation, Revision 0
EN-LI-100, Attachment 9.1, Change Channel Check Comparison Criteria/2-PT-M100,  
10111D06, Indian Point Unit 2 Baffle Bolt Replacement - Replacement Baffle Bolt .625
2-PT-D001, Revision 0  
    and .750, Revision 0
Miscellaneous
Section 1R18: Plant Modifications  
EC 64308, IP2 Reactor Vessel Equivalent Replacement Baffle-to-Former Bolt, Revision 0
Process Applicability Determination Form for EC 64308, dated April 21, 2016
Drawings  
WCAP-18136-P, Replacement Type 316 Cold-Worked Baffle-Former Bolt Qualification for
10073E87-001, Indian Point Unit 2 Baffle Bolt Replacement - Core Barrel and Baffle Assembly  
    Indian Point Unit 2, Revision 0
Elevation, Revision 0  
Section 1R19: Post-Maintenance Testing
10111D06, Indian Point Unit 2 Baffle Bolt Replacement - Replacement Baffle Bolt .625  
Procedures
and .750, Revision 0  
3-PT-M079B, 32 EDG Functional Test, Revision 52
2-PC-Q109-4, Recalibration of NIS and OT/OP Delta-T Parameters - Channel IV, Revision 44
Miscellaneous  
Condition Reports (CR-IP2)
EC 64308, IP2 Reactor Vessel Equivalent Replacement Baffle-to-Former Bolt, Revision 0  
2016-03961 2016-04266
Process Applicability Determination Form for EC 64308, dated April 21, 2016  
Condition Reports (CR-IP3)
WCAP-18136-P, Replacement Type 316 Cold-Worked Baffle-Former Bolt Qualification for  
2016-01189 2016-01199 2016-01218
Indian Point Unit 2, Revision 0  
Maintenance Orders/Work Orders
WO 00414886           WO 00420649         WO 00446094           WO 00447966
Section 1R19: Post-Maintenance Testing  
WO 52545181           WO 52626563         WO 52626564           WO 52630619
WO 52630620           WO 52658943         WO 00236158           WO 00277374
Procedures  
WO 52571030
3-PT-M079B, 32 EDG Functional Test, Revision 52  
Drawings
2-PC-Q109-4, Recalibration of NIS and OT/OP Delta-T Parameters - Channel IV, Revision 44  
5651D72, Logic Diagrams Steam Generator Trip Signals, Revision 7
Miscellaneous
Condition Reports (CR-IP2)  
EC 64545, Emergency Temporary Modification to Disconnect 32 EDG Generator Space Heater
2016-03961  
        Adjacent to End Plate on Outboard End of Generator
2016-04266  
FIX00091, Pressurizer Level Uncertainty - Indication, Trip Setpoints, and Annunciation
        Setpoints, Revision 1
Condition Reports (CR-IP3)  
E-mail from J. Michetti to G. Newman, dated July 19, 2016, Subject: Westinghouse Report
2016-01189  
        on E9
2016-01199  
2016-01218  
Maintenance Orders/Work Orders  
WO 00414886
WO 00420649
WO 00446094
WO 00447966  
WO 52545181
WO 52626563
WO 52626564
WO 52630619  
WO 52630620
WO 52658943
WO 00236158
WO 00277374  
WO 52571030  
Drawings  
5651D72, Logic Diagrams Steam Generator Trip Signals, Revision 7  
Miscellaneous  
EC 64545, Emergency Temporary Modification to Disconnect 32 EDG Generator Space Heater  
Adjacent to End Plate on Outboard End of Generator  
FIX00091, Pressurizer Level Uncertainty - Indication, Trip Setpoints, and Annunciation
Setpoints, Revision 1  
E-mail from J. Michetti to G. Newman, dated July 19, 2016, Subject: Westinghouse Report  
on E9  


                                              A-8
A-8  
Section 1R20: Refueling and Other Outage Activities
Procedures
2-POP-1.1, Plant Heatup from Cold Shutdown, Revision 90
Section 1R20: Refueling and Other Outage Activities  
2-POP-1.2, Reactor Startup, Revision 59
2-POP-1.3, Plant Startup from Zero to 45 Percent Power, Revision 89
Procedures  
2-POP-3.1, Plant Shutdown from 45 Percent Power, Revision 58
2-POP-1.1, Plant Heatup from Cold Shutdown, Revision 90  
2-POP-3.3, Plant Cooldown, Hot to Cold Shutdown, Revision 81
2-POP-1.2, Reactor Startup, Revision 59  
2-POP-3.4, Secondary Plant Shutdown, Revision 10
2-POP-1.3, Plant Startup from Zero to 45 Percent Power, Revision 89  
2-POP-4.1, Operation at Cold Shutdown, Revision 5
2-POP-3.1, Plant Shutdown from 45 Percent Power, Revision 58  
2-POP-4.2, Operation Below 20 Percent Pressurizer Level with Fuel in the Reactor, Revision 8
2-POP-3.3, Plant Cooldown, Hot to Cold Shutdown, Revision 81  
2-POP-4.3, Operation without Fuel in the Reactor, Revision 1
2-POP-3.4, Secondary Plant Shutdown, Revision 10  
Condition Reports (CR-IP2-)
2-POP-4.1, Operation at Cold Shutdown, Revision 5  
2016-04118 2016-04119         2016-04123   2016-03124   2016-04126 2016-04129
2-POP-4.2, Operation Below 20 Percent Pressurizer Level with Fuel in the Reactor, Revision 8  
2016-04130 2016-04131         2016-04132   2016-04139   2016-04141* 2016-04142*
2-POP-4.3, Operation without Fuel in the Reactor, Revision 1  
2016-04144 2016-04145         2016-04146   2016-04148*   2016-04151 2016-04152
2016-04155 2016-04161         2016-04162   2016-04165   2016-04169
Condition Reports (CR-IP2-)  
*NRC identified
2016-04118  
Maintenance Orders/Work Orders
2016-04119  
52681465
2016-04123  
Miscellaneous
2016-03124  
2R22 Performance Indicator Curves Daily from March 7 to June 14, 2016
2016-04126  
Outage Schedules and Plans of the Day from March 7 to June 14, 2016
2016-04129  
Westinghouse LTR-PL-16-16, Operability Assessment for Primary Side Loose Parts at Indian
2016-04130  
      Point Unit 2, Revision 0, dated March 27, 2016
2016-04131  
Section 1R22: Surveillance Testing
2016-04132  
Procedures
2016-04139  
0-SOP-LEAKRATE-001, RCS Leakrate Surveillance Evaluation and Leak Identification,
2016-04141* 2016-04142*  
      Revision 6
2016-04144  
2-PT-D001, Control Room Operations Surveillance Requirements, Revision 16
2016-04145  
2-PT-M029B, 22 Safety Injection Pump, Revision 20
2016-04146  
2-PT-Q013, Inservice Valve Tests, Revision 51
2016-04148* 2016-04151  
2-PT-Q013-DS040, Valve 887B Inservice Test Data Sheet, Revision 22
2016-04152  
3-PT-M079B, 32 EDG Functional Test, Revision 52
2016-04155  
Condition Reports (CR-IP2)
2016-04161  
2016-03360 2016-03363
2016-04162  
Condition Reports (CR-IP3)
2016-04165  
2016-01716 2016-01752
2016-04169  
Maintenance Orders/Work Orders
WO 00443040           WO 00446385           WO 00446867         WO 52681652-01
*NRC identified  
WO 52681646-01
Maintenance Orders/Work Orders  
52681465  
Miscellaneous  
2R22 Performance Indicator Curves Daily from March 7 to June 14, 2016  
Outage Schedules and Plans of the Day from March 7 to June 14, 2016  
Westinghouse LTR-PL-16-16, Operability Assessment for Primary Side Loose Parts at Indian  
Point Unit 2, Revision 0, dated March 27, 2016  
Section 1R22: Surveillance Testing  
Procedures  
0-SOP-LEAKRATE-001, RCS Leakrate Surveillance Evaluation and Leak Identification,  
Revision 6  
2-PT-D001, Control Room Operations Surveillance Requirements, Revision 16  
2-PT-M029B, 22 Safety Injection Pump, Revision 20  
2-PT-Q013, Inservice Valve Tests, Revision 51  
2-PT-Q013-DS040, Valve 887B Inservice Test Data Sheet, Revision 22  
3-PT-M079B, 32 EDG Functional Test, Revision 52  
Condition Reports (CR-IP2)  
2016-03360  
2016-03363  
Condition Reports (CR-IP3)  
2016-01716  
2016-01752  
Maintenance Orders/Work Orders  
WO 00443040
WO 00446385
WO 00446867
WO 52681652-01  
WO 52681646-01  


                                              A-9
A-9  
Miscellaneous
EC 64855, EC Reply to Provide Input Regarding MPR Maintenance Bulletin MB-2007-01 for
        Auto Voltage Regulator Solder Joints
Miscellaneous  
MB-2007-01, Potential for Solder Joint Cracks on Basler SBSR Auto Voltage Regulator Cards
EC 64855, EC Reply to Provide Input Regarding MPR Maintenance Bulletin MB-2007-01 for  
        and Technical Manual Addendum TM-2007-01, November 5, 2007
Auto Voltage Regulator Solder Joints  
Unit 3 RCS Routine Activity Sample, 28-June-16-10006
MB-2007-01, Potential for Solder Joint Cracks on Basler SBSR Auto Voltage Regulator Cards  
Section 1EP6: Drill Evaluation
and Technical Manual Addendum TM-2007-01, November 5, 2007  
Procedures
Unit 3 RCS Routine Activity Sample, 28-June-16-10006  
IP-EP-120, Emergency Classification, Revision 10
IP-EP-410, Protective Action Recommendations, Revision 11
Section 1EP6: Drill Evaluation  
Section 2RS7: Radiological Environmental Monitoring Program
Procedures
Procedures  
0-CY-1920, REMP Land Use Census, Revision 1
IP-EP-120, Emergency Classification, Revision 10  
0-CY-1980, Preparation, Placement and Collection of Site Environmental Thermoluminescent
IP-EP-410, Protective Action Recommendations, Revision 11  
        Dosimeters, Revision 2
Condition Reports (CR-IP2)
Section 2RS7: Radiological Environmental Monitoring Program  
2014-05319 2015-00948 2015-01300             2015-02687     2015-02800   2015-02987
2015-03271 2015-03396 2016-02313
Procedures  
Condition Reports (CR-IP3)
0-CY-1920, REMP Land Use Census, Revision 1  
2016-00514
0-CY-1980, Preparation, Placement and Collection of Site Environmental Thermoluminescent  
Miscellaneous
Dosimeters, Revision 2  
2014 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3
2015 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3
Condition Reports (CR-IP2)  
Environmental Dosimetry Company, Annual Quality Assurance Status Report,
2014-05319  
        January to December 2015
2015-00948  
Indian Point Energy Center ODCM, Revision 4
2015-01300  
June 2015 to May 2016 Meteorological Data Recovery
2015-02687  
Met One Instruments, Inc. Certificates of Calibration for Temperature, Wind Direction, and Wind
2015-02800  
        Speed
2015-02987  
Teledyne Brown Engineering Environmental Services Annual 2015 Quality Assurance Report
2015-03271  
Exelon PowerLabs Certificates of Calibration for Gas Meters
2015-03396  
3471875       3482909       3471871         3471867       3482920       3471873
2016-02313  
3482910       3482916       3471877         3482914       3482918       3482921
3471881       3471879       3471872         3471869       3471880       3482908
Condition Reports (CR-IP3)  
Quality Assurance
2016-00514  
Quality Assurance Audit Report QA-2-6-2015-IP-1, Chemistry, Effluents, and Environmental
        Monitoring Snapshot Self-Assessment, LO-IP3LO-2015-00126, Chemistry-REMP
Miscellaneous  
Section 4OA2: Problem Identification and Resolution
2014 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3  
Procedures
2015 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3  
EN-DC-204, Maintenance Rule Scope and Basis, Revision 3
Environmental Dosimetry Company, Annual Quality Assurance Status Report,  
EN-DC-204, Maintenance Rule Scope and Basis, Revision 3
January to December 2015  
EN-DC-207, Maintenance Rule Periodic Assessment, Revision 3
Indian Point Energy Center ODCM, Revision 4  
June 2015 to May 2016 Meteorological Data Recovery  
Met One Instruments, Inc. Certificates of Calibration for Temperature, Wind Direction, and Wind  
Speed  
Teledyne Brown Engineering Environmental Services Annual 2015 Quality Assurance Report  
Exelon PowerLabs Certificates of Calibration for Gas Meters  
3471875  
3482909  
3471871  
3471867  
3482920  
3471873  
3482910  
3482916  
3471877  
3482914  
3482918  
3482921  
3471881  
3471879  
3471872  
3471869  
3471880  
3482908  
Quality Assurance  
Quality Assurance Audit Report QA-2-6-2015-IP-1, Chemistry, Effluents, and Environmental  
Monitoring Snapshot Self-Assessment, LO-IP3LO-2015-00126, Chemistry-REMP  
Section 4OA2: Problem Identification and Resolution  
Procedures  
EN-DC-204, Maintenance Rule Scope and Basis, Revision 3  
EN-DC-204, Maintenance Rule Scope and Basis, Revision 3  
EN-DC-207, Maintenance Rule Periodic Assessment, Revision 3  


                                            A-10
A-10  
EN-LI-102, Corrective Action Program, Revision 26
EN-LI-104, Self-Assessment and Benchmark Process, Revision 11
EN-LI-110-01, Equipment Failure Evaluation, Revision 0
EN-LI-102, Corrective Action Program, Revision 26  
EN-LI-119, Apparent Cause Evaluation Process, Revision 11
EN-LI-104, Self-Assessment and Benchmark Process, Revision 11  
EN-OP-104, Operability Determination Process, Revision 10
EN-LI-110-01, Equipment Failure Evaluation, Revision 0  
Condition Reports (CR-IP2)
EN-LI-119, Apparent Cause Evaluation Process, Revision 11  
2010-07013 2015-04574 2015-05458           2015-05460     2015-05461     2015-05464
EN-OP-104, Operability Determination Process, Revision 10  
2015-05466 2015-05467 2016-01374           2016-02348
Condition Reports (CR-IP3)
Condition Reports (CR-IP2)  
2015-3628     2016-01035 2016-01961
2010-07013  
Maintenance Orders/Work Orders
2015-04574  
WO 00442412
2015-05458  
Apparent Cause Evaluations
2015-05460  
IP2-2015-05458
2015-05461  
Drawings
2015-05464  
504405, Sheet 1 of 2, Replacement Baffle Bolt Location Matrix, Revision 0
2015-05466  
504405, Sheet 2 of 2, Replacement Baffle Bolt Location Matrix, Revision 0
2015-05467  
Miscellaneous
2016-01374  
61265, Temporary Modification Control Form-Install Additional Temporary Spare Power Supply
2016-02348  
      Inside Rod Control Cabinet 2BD to Restore Margin, Revision 0
Appendix A to Facility Operating License DPR-64, Technical Specifications and Basis For The
Condition Reports (CR-IP3)  
      Indian Point 3 Nuclear Generating Station Unit No.3, Through Amendment 260
2015-3628  
CN-RIDA-15-43, Indian Point Units 2 and 3 Acceptable Baffle-Former Bolting LOCA and
2016-01035  
      Seismic Analysis, Revision 2
2016-01961  
Engineering Change 63938, As-left condition of the baffle-former plate assembly following the
      replacement of degraded bolts, Revision 0
Maintenance Orders/Work Orders  
EPRI TR-112209, Analysis of Baffle Former Bolt Cracking in EDF CPO Plants (PWRMRP-03),
WO 00442412  
      dated June 1999
Indian Point Entergy Center (IPEC) Unit 3, Updated Final Safety Analysis Report, dated May
Apparent Cause Evaluations  
      2013
IP2-2015-05458  
Drawings  
504405, Sheet 1 of 2, Replacement Baffle Bolt Location Matrix, Revision 0  
504405, Sheet 2 of 2, Replacement Baffle Bolt Location Matrix, Revision 0  
Miscellaneous  
61265, Temporary Modification Control Form-Install Additional Temporary Spare Power Supply  
Inside Rod Control Cabinet 2BD to Restore Margin, Revision 0  
Appendix A to Facility Operating License DPR-64, Technical Specifications and Basis For The  
Indian Point 3 Nuclear Generating Station Unit No.3, Through Amendment 260  
CN-RIDA-15-43, Indian Point Units 2 and 3 Acceptable Baffle-Former Bolting LOCA and  
Seismic Analysis, Revision 2  
Engineering Change 63938, As-left condition of the baffle-former plate assembly following the  
replacement of degraded bolts, Revision 0  
EPRI TR-112209, Analysis of Baffle Former Bolt Cracking in EDF CPO Plants (PWRMRP-03),  
dated June 1999  
Indian Point Entergy Center (IPEC) Unit 3, Updated Final Safety Analysis Report, dated May  
2013  
IP-RPT-16-00025, Evaluation of Indian Point Unit 3 Reactor Core Baffle Bolting Following MRP-
IP-RPT-16-00025, Evaluation of Indian Point Unit 3 Reactor Core Baffle Bolting Following MRP-
      227-A Inspection Findings at Indian Point Unit 2 during 2R22, Revision 0
227-A Inspection Findings at Indian Point Unit 2 during 2R22, Revision 0  
LO-IP3LO-2015-72
LO-IP3LO-2015-72  
LTR-PL-16-21, Transmittal of Indian Point Unit 3 Final Engineering Evaluations Supporting
LTR-PL-16-21, Transmittal of Indian Point Unit 3 Final Engineering Evaluations Supporting  
      Extent of Condition Review, Revision 0
Extent of Condition Review, Revision 0  
LTR-RIDA-16-103, Indian Point Unit 2 Baffle Bolting Anti-Clustering Pattern and Margin
LTR-RIDA-16-103, Indian Point Unit 2 Baffle Bolting Anti-Clustering Pattern and Margin  
      Assessment, Revision 0
Assessment, Revision 0  
LTR-RIDA-16-152, Indian Point Unit 3 Baffle Bolt Leak Before Break Operability Assessment,
LTR-RIDA-16-152, Indian Point Unit 3 Baffle Bolt Leak Before Break Operability Assessment,  
      Revision 0
Revision 0  
LTR-RIDA-16-60, Indian Point Unit 2 Baffle Bolting One Cycle Replacement Pattern Summary
LTR-RIDA-16-60, Indian Point Unit 2 Baffle Bolting One Cycle Replacement Pattern Summary  
      Letter, Revision 0
Letter, Revision 0  
MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and
MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and  
      Evaluation Guidelines (ML120170453)
Evaluation Guidelines (ML120170453)  
Operation Decision Making Issue Action Plan for IP3 Baffle Bolt Monitoring, dated May 19, 2016
Operation Decision Making Issue Action Plan for IP3 Baffle Bolt Monitoring, dated May 19, 2016  
WCAP-15029-NP-A, Westinghouse Methodology for Evaluating the Acceptability of Baffle-
WCAP-15029-NP-A, Westinghouse Methodology for Evaluating the Acceptability of Baffle-
      Former-Barrel Bolting Distributions Under Faulted Load Conditions, Revision 0
Former-Barrel Bolting Distributions Under Faulted Load Conditions, Revision 0  
      (ML15222A882)
(ML15222A882)  


                                              A-11
A-11  
WCAP-17949-P, Background and Technical Basis Supporting Engineering Flaw Acceptance
      Criteria for Indian Point Unit 2 Reactor Vessel Internals MRP-227-A Primary and
      Expansion Components, Revision 1
WCAP-17949-P, Background and Technical Basis Supporting Engineering Flaw Acceptance  
WCAP-18048-P, Determination of Acceptable Baffle-Former Bolting for Indian Point Units 2 and
Criteria for Indian Point Unit 2 Reactor Vessel Internals MRP-227-A Primary and  
      3, Revision 0
Expansion Components, Revision 1  
Section 4OA5: Other Activities
WCAP-18048-P, Determination of Acceptable Baffle-Former Bolting for Indian Point Units 2 and  
Miscellaneous
3, Revision 0  
INPO Letter, INPO Equipment Reliability Scram Review Visit, May 31, 2016
Root Cause Evaluation for CR-IP2-2016-00564
Section 4OA5: Other Activities  
Miscellaneous  
INPO Letter, INPO Equipment Reliability Scram Review Visit, May 31, 2016
Root Cause Evaluation for CR-IP2-2016-00564  


                                A-12
A-12  
                      LIST OF ACRONYMS
10 CFR Title 10 of the Code of Federal Regulations
ADAMS Agencywide Document Access and Management System
LIST OF ACRONYMS  
ALARA as low as is reasonably achievable
AVR   automatic voltage regulator
10 CFR  
CAP   corrective action program
Title 10 of the Code of Federal Regulations  
CCW   component cooling water
ADAMS  
CR     condition report
Agencywide Document Access and Management System  
CVCS   chemical and volume control system
ALARA  
EC     engineering change
as low as is reasonably achievable  
ECCS   emergency core cooling system
AVR  
EDG   emergency diesel generator
automatic voltage regulator  
GPI   groundwater protection initiative
CAP  
IASCC irradiation-assisted stress-corrosion cracking
corrective action program  
IMC   Inspection Manual Chapter
CCW  
INPO   Institute of Nuclear Power Operations
component cooling water  
LER   licensee event report
CR  
LOCA   loss-of-coolant accident
condition report  
MBFP   main boiler feedwater pump
CVCS  
MCC   motor control center
chemical and volume control system  
MOV   motor operated valve
EC  
MRP   materials reliability program
engineering change  
MW     monitoring well
ECCS  
NCV   non-cited violation
emergency core cooling system  
NRC   Nuclear Regulatory Commission, U.S.
EDG  
ODCM   offsite dose calculation manual
emergency diesel generator  
OOS   out of service
GPI  
PAB   primary auxiliary building
groundwater protection initiative  
PFP   pre-fire plan
IASCC  
RCS   reactor coolant system
irradiation-assisted stress-corrosion cracking  
REMP   radiological environmental monitoring program
IMC  
RFO   refueling outage
Inspection Manual Chapter  
RW     recovery well
INPO  
SI     safety injection
Institute of Nuclear Power Operations  
SSC   structure, system, and component
LER  
TS     technical specification
licensee event report  
UFSAR updated final safety evaluation report
LOCA  
URI   unresolved item
loss-of-coolant accident  
UT     ultrasonic testing
MBFP  
WO     work order
main boiler feedwater pump  
MCC  
motor control center  
MOV  
motor operated valve  
MRP  
materials reliability program  
MW  
monitoring well  
NCV  
non-cited violation  
NRC  
Nuclear Regulatory Commission, U.S.  
ODCM  
offsite dose calculation manual  
OOS  
out of service  
PAB  
primary auxiliary building  
PFP  
pre-fire plan  
RCS  
reactor coolant system  
REMP  
radiological environmental monitoring program  
RFO  
refueling outage  
RW  
recovery well  
SI  
safety injection  
SSC  
structure, system, and component  
TS  
technical specification  
UFSAR  
updated final safety evaluation report  
URI  
unresolved item  
UT  
ultrasonic testing  
WO  
work order
}}
}}

Latest revision as of 20:40, 9 January 2025

Integrated Inspection Report 05000247/2016002 and 05000286/2016002, April 1, 2016, Through June 30, 2016
ML16243A245
Person / Time
Site: Indian Point  Entergy icon.png
Issue date: 08/30/2016
From: Glenn Dentel
Reactor Projects Branch 2
To: Vitale A
Entergy Nuclear Operations
References
IR 2016002
Download: ML16243A245 (54)


See also: IR 05000247/2016002

Text

UNITED STATES

NUCLEAR REGULATORY COMMISSION

REGION I

2100 RENAISSANCE BLVD.

KING OF PRUSSIA, PA 19406-2713

August 30, 2016

Mr. Anthony J. Vitale

Site Vice President

Entergy Nuclear Operations, Inc.

Indian Point Energy Center

450 Broadway, GSB

P.O. Box 249

Buchanan, NY 10511-0249

SUBJECT:

INDIAN POINT NUCLEAR GENERATING - INTEGRATED INSPECTION

REPORT 05000247/2016002 AND 05000286/2016002

Dear Mr. Vitale:

On June 30, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at

your Indian Point Nuclear Generating (Indian Point), Units 2 and 3. The enclosed inspection

report documents the inspection results, which were discussed on August 4, 2016, with Larry

Coyle and other members of your staff. Based on additional information provided, the

inspectors conducted an updated exit meeting on August 30, 2016 with John Kirkpatrick, Plant

Operations General Manager 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.

This report documents three NRC-identified findings of very low safety significance (Green).

These findings involved violations of NRC requirements. However, because of the very low

safety significance, and because they are entered into your corrective action program, the NRC

is treating these findings as non-cited violations, consistent with Section 2.3.2.a of the NRC

Enforcement Policy. If you contest any non-cited violation in this report, you should provide a

response within 30 days of the date of this inspection report, with the basis for your denial, to

the Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC

20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of

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

NRC Senior Resident Inspector at Indian Point. In addition, if you disagree with the

cross-cutting aspect assigned to any finding in this report, you should provide a response within

30 days of the date of this inspection report, with the basis for your disagreement, to the

Regional Administrator, Region I, and the NRC Senior Resident Inspector at Indian Point.

A. Vitale

-2-

In accordance with Title 10 of the Code of Federal Regulations (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 NRCs Public Document Room or from the

Publicly Available Records component of the NRCs Agencywide Documents Access and

Management System (ADAMS). ADAMS is accessible from the NRC website at

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

Sincerely,

/RA/

Glenn T. Dentel, Chief

Reactor Projects Branch 2

Division of Reactor Projects

Docket Nos.

50-247 and 50-286

License Nos. DPR-26 and DPR-64

Enclosure:

Inspection Report 05000247/2016002 and 05000286/2016002

w/Attachment: Supplementary Information

cc w/encl: Distribution via ListServ

ML16243A245

SUNSI Review

Non-Sensitive

Sensitive

Publicly Available

Non-Publicly Available

OFFICE

RI/DRP

RI/DRP

RI/DRS

RI/DRP

RI/DRP

NAME

BHaagensen/bh

NFloyd/nf

MGray/mg

GDentel/gtd

MScott/dlp for

DATE

8/29/16

8/24/16

8/30/16

8/30/16

8/30/16

1

Enclosure

U.S. NUCLEAR REGULATORY COMMISSION

REGION I

Docket Nos.

50-247 and 50-286

License Nos.

DPR-26 and DPR-64

Report Nos.

05000247/2016002 and 05000286/2016002

Licensee:

Entergy Nuclear Northeast (Entergy)

Facility:

Indian Point Nuclear Generating Units 2 and 3

Location:

450 Broadway, GSB

Buchanan, NY 10511-0249

Dates:

April 1, 2016, through June 30, 2016

Inspectors:

B. Haagensen, Senior Resident Inspector

G. Newman, Resident Inspector

S. Rich, Resident Inspector

S. Galbreath, Reactor Inspector

J. Furia, Senior Health Physicist

N. Floyd, Senior Project Engineer

K. Mangan, Senior Reactor Inspector

J. Poehler, Senior Materials Engineer

Approved By:

Glenn T. Dentel, Chief

Reactor Projects Branch 2

Division of Reactor Projects

2

TABLE OF CONTENTS

SUMMARY .................................................................................................................................... 3

REPORT DETAILS ....................................................................................................................... 5

1.

REACTOR SAFETY .............................................................................................................. 5

1R04

Equipment Alignment .................................................................................................. 5

1R05

Fire Protection ............................................................................................................. 6

1R07

Heat Sink Performance ............................................................................................... 7

1R08

Inservice Inspection Activities ..................................................................................... 7

1R11

Licensed Operator Requalification Program ............................................................... 8

1R12

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

1R13

Maintenance Risk Assessments and Emergent Work Control .................................. 13

1R15

Operability Determinations and Functionality Assessments ..................................... 14

1R18

Plant Modifications .................................................................................................... 19

1R19

Post-Maintenance Testing ........................................................................................ 20

1R20

Refueling and Other Outage Activities ...................................................................... 21

1R22

Surveillance Testing .................................................................................................. 24

1EP6

Drill Evaluation .......................................................................................................... 25

2.

RADIATION SAFETY .......................................................................................................... 25

2RS1

Radiological Hazard Assessment and Exposure Controls ........................................ 25

2RS2

Occupational As Low As Is Reasonably Achievable (ALARA) Planning

and Controls .............................................................................................................. 26

2RS7

Radiological Environmental Monitoring Program (REMP) ........................................ 26

4.

OTHER ACTIVITIES ............................................................................................................ 27

4OA1

Performance Indicator Verification ............................................................................ 27

4OA2

Problem Identification and Resolution ....................................................................... 28

4OA3

Follow Up of Events and Notices of Enforcement Discretion .................................... 34

4OA5

Other Activities .......................................................................................................... 37

4OA6

Meetings, Including Exit ............................................................................................ 39

SUPPLEMENTARY INFORMATION ........................................................................................ A-1

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

LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED ..................................... A-2

LIST OF DOCUMENTS REVIEWED ........................................................................................ A-3

LIST OF ACRONYMS ............................................................................................................. A-12

3

SUMMARY

Inspection Report 05000247/2016002 and 05000286/2016002; 04/01/2016 - 06/30/2016; Indian

Point Nuclear Generating (Indian Point), Units 2 and 3; Operability Determinations and

Functionality Assessments, Refueling and Other Outage Activities, and Follow Up of Events and

Notices of Enforcement Discretion.

This report covered a three-month period of inspection by resident inspectors and announced

inspections performed by regional inspectors. The inspectors identified three findings of very

low safety significance (Green), which were non-cited violations (NCVs). The significance of

most findings is indicated by their color (i.e., greater than Green, or Green, White, Yellow, Red)

and determined using Inspection Manual Chapter (IMC) 0609, Significance Determination

Process, dated April 29, 2015. Cross-cutting aspects are determined using IMC 0310,

Aspects within the Cross-Cutting Areas, dated December 4, 2014. All violations of

U.S. Nuclear Regulatory Commission (NRC) requirements are dispositioned in accordance with

the NRCs Enforcement Policy, dated February 4, 2015. The NRCs program for overseeing the

safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor

Oversight Process, Revision 6.

Cornerstone: Mitigating Systems

Green. The inspectors identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,

"Instructions, Procedures, and Drawings," because Entergy did not adequately accomplish

the actions prescribed by procedure EN-OP-104, Operability Determination Process, for a

degraded condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy

incorrectly concluded that no degraded or non-conforming condition existed related to the

Unit 3 baffle-former bolts and exited the operability determination procedure. Entergy

subsequently performed the remaining steps in the procedure and provided appropriate

justification for their plans to examine the baffle-former bolts at the next Unit 3 refueling

outage (RFO). Entergys immediate corrective actions included entering the issue into its

corrective action program (CAP) as CR-IP3-2016-01961 and documenting an operability

evaluation to support the basis for operability of the baffle-former bolts and the emergency

core cooling system (ECCS).

This performance deficiency is more than minor because it was associated with the

equipment performance attribute of the Mitigating Systems cornerstone and affected the

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

respond to initiating events to prevent undesirable consequences (i.e., core damage). In

accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of

IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power,

issued June 19, 2012, the inspectors screened the finding for safety significance and

determined it to be of very low safety significance (Green), because the finding did not

represent an actual loss of system or function. After inspector questioning, Entergy

performed an operability evaluation, which provided sufficient bases to conclude the Unit 3

baffle assembly would support ECCS operability. This finding is related to the cross-cutting

aspect of Problem Identification and Resolution, Operating Experience, because Entergy did

not effectively evaluate relevant internal and external operating experience. Specifically,

Entergy did not adequately evaluate the impact of degraded baffle bolts at Unit 3 when

relevant operating experience was identified at Unit 2. [P.5 - Operating Experience]

(Section 1R15)

4

Green. The inspectors identified a Green NCV of Technical Specification (TS) 5.4.1,

Procedures, for Entergys failure to implement procedure OAP-007, Containment Entry

and Egress. Specifically, workers transiting the inner and outer crane wall sections of

containment failed to maintain at least one (of two) flow channeling gate closed to ensure

availability of the containment sumps to provide suction for the ECCS. Entergy immediately

coached the gate monitor and restored the gates to an acceptable position. Entergy

generated CR-IP2-2016-04036 to address this issue.

This performance deficiency is more than minor because it was associated with the

configuration control (shutdown equipment lineup) attribute of the Mitigating Systems

cornerstone and affected the cornerstone objective to ensure the availability, reliability, and

capability of systems that respond to initiating events to prevent undesirable consequences

(i.e., core damage). A detailed risk assessment was conducted and determined that the

change in core damage frequency was determined to be 7E-9, therefore, this issue

represents a Green finding. This finding had a cross-cutting aspect in the area of Human

Performance, Avoid Complacency, because Entergy did not consider potential undesired

consequences of actions before performing work and implement appropriate error-reduction

tools. Specifically, the work crew did not understand the requirements and potential

consequences prior to commencing work and the gate monitor did not enforce these

requirements to maintain at least one gate locked or pinned closed as required by OAP-007.

[H.12 - Avoid Complacency] (Section 1R20)

Cornerstone: Barrier Integrity

Green. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys failure to

include a function of a safety-related system within the scope of the maintenance rule

program. Specifically, Entergy failed to include the feedwater isolation function performed

by the main boiler feedwater pumps (MBFPs) discharge valves, MBFPs, and feedwater

regulating valves, which are required to remain functional during and following a design

basis event to mitigate the consequence of the accident within the scope of the maintenance

rule monitoring program. Entergy initiated corrective actions to include the feedwater

isolation function performed by the MBFP discharge valves, MBFPs, and feedwater

regulating valves within the maintenance rule monitoring program. Entergy entered this

issue into the CAP as CR-IP2-2016-03963.

This performance deficiency is more than minor because it was associated with barrier

performance attribute of the Barrier Integrity cornerstone and adversely affected the

cornerstone objective to provide reasonable assurance that physical design barriers protect

the public from radionuclide releases caused by accidents or events. Specifically, the failure

to properly scope the feedwater isolation function prevented Entergy from identifying that

equipment reliability was no longer effectively controlled through preventive maintenance.

In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power, issued

June 19, 2012, the inspectors determined that the finding was of very low safety significance

(Green) because the finding did not represent an actual open pathway in the physical

integrity of reactor containment, containment isolation system, and heat removal

components. This finding does not have a cross-cutting aspect since the failure to scope

this equipment into the maintenance rule program was not recognized when Entergy

combined the maintenance rule basis documents for Units 2 and 3 in 2012 and, as a result,

is not indicative of current licensee performance. (Section 4OA3)

5

REPORT DETAILS

Summary of Plant Status

Unit 2 began the inspection period during RFO 2R22 which lasted 102 days. Upon completion

of the outage, the operators restarted Unit 2 on June 14, 2016, and increased power slowly to

93 percent for fuel preconditioning. On June 23, 2016, the operators shutdown the reactor to

repair a service water leak on the 21 component cooling water (CCW) heat exchanger (Hx) inlet

line and replace switchyard breaker 9. Unit 2 returned to 100 percent power on June 29, 2016.

Unit 2 remained at or near 100 percent power for the remainder of the inspection period.

Unit 3 began the inspection period at 100 percent power. On April 26, 2016, a failed controller

caused both heater drain pumps to trip; and the operators reduced power rapidly, stabilizing the

unit at 48 percent power. Operators returned Unit 3 to 100 percent power on April 27, 2016,

and remained at or near 100 percent power for the remainder of the inspection period.

1.

REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity

1R04 Equipment Alignment

Partial System Walkdowns (71111.04Q - 5 samples)

a. Inspection Scope

The inspectors performed partial walkdowns of the following systems:

Unit 2

Spent fuel pool cooling system following core offload on May 19, 2016

Shutdown cooling system following core reload on June 6, 2016

CCW system following maintenance on June 28, 2016

Unit 3

32 emergency diesel generator (EDG) following maintenance on May 9, 2016 (this

sample was part of an in-depth review of the EDG system)

Residual heat removal pumps following CCW system testing on May 20, 2016

The inspectors selected these systems based on their risk-significance relative to the

reactor safety cornerstones at the time they were inspected. The inspectors reviewed

applicable operating procedures, system diagrams, the updated final safety analysis

report (UFSAR), TSs, work orders (WOs), condition reports (CRs), and the impact of

ongoing work activities on redundant trains of equipment in order to identify conditions

that could have impacted system performance of their intended safety functions. The

inspectors also performed field walkdowns of accessible portions of the systems to verify

system components and support equipment were aligned correctly and were operable.

The inspectors examined the material condition of the components and observed

operating parameters of equipment to verify that there were no deficiencies. The

6

inspectors also reviewed whether Entergy had properly identified equipment issues and

entered them into the CAP for resolution with the appropriate significance

characterization. Documents reviewed for each section of this inspection report are

listed in the Attachment.

b. Findings

No findings were identified.

1R05 Fire Protection

Resident Inspector Quarterly Walkdowns (71111.05Q - 6 samples)

a. Inspection Scope

The inspectors conducted tours of the areas listed below to assess the material

condition and operational status of fire protection features. The inspectors verified that

Entergy controlled combustible materials and ignition sources in accordance with

administrative procedures. The inspectors verified that fire protection and suppression

equipment were available for use as specified in the area pre-fire plan (PFP) and

passive fire barriers were maintained in good material condition. The inspectors also

verified that station personnel implemented compensatory measures for out-of-service

(OOS), degraded, or inoperable fire protection equipment, as applicable, in accordance

with procedures.

Unit 2

Containment, 95-foot elevation, during baffle bolt repair activities with hot work in

progress (PFP-203 was reviewed) on June 2, 2016

Residual heat removal pump rooms in primary auxiliary building (PAB), 15-foot

elevation (PFP-204 was reviewed), on June 6, 2016

CCW pump room, 68-foot elevation (PFP-209 was reviewed), on June 25, 2016

PAB, 80-foot elevation, CCW heat exchanger area with hot work in progress

(PFP-211 was reviewed) on June 25, 2016

Unit 3

32 EDG room, 10-foot elevation (PFP-354 was reviewed), on May 9, 2016

480V switchgear room, 15-foot elevation (PFP-351 was reviewed), on June 30, 2016

b. Findings

No findings were identified.

7

1R07 Heat Sink Performance (71111.07A - 1 sample)

a. Inspection Scope

The inspectors reviewed the 32 EDG jacket water and lube oil heat exchanger to

determine its readiness and availability to perform its safety functions. The inspectors

reviewed the design basis for the component and verified Entergys commitments to

NRC Generic Letter 89-13, Service Water System Requirements Affecting

Safety-Related Equipment. The inspectors observed the annual cleaning and

inspection of the heat exchangers and reviewed the results of previous inspections of

the Unit 3 EDG heat exchangers. The inspectors discussed the results of the most

recent inspection with engineering staff. The inspectors verified that Entergy initiated

appropriate corrective actions for identified deficiencies. The inspectors also verified

that the number of tubes plugged within the heat exchanger did not exceed the

maximum amount allowed.

b. Findings

No findings were identified.

1R08 Inservice Inspection Activities (71111.08P - 1 sample)

a. Inspection Scope

Inspectors from the NRC Region I Office, specializing in materials and inservice

examination activities, observed portions of Entergys activities involving baffle-former

bolt examinations and replacements during Unit 2 RFO 2R22. The inspectors reviewed

work documentation and examination procedures and results, and discussed these

activities with Entergy. The inspectors were on-site from April 27 to April 28, 2016, and

on May 23, 2016. The inspectors verified that Entergy completed baffle-former bolt

examinations in accordance with their approved procedures which implemented

activities described in the Materials Reliability Program (MRP)-227-A, Pressurized

Water Reactor Internals Inspection and Evaluation Guidelines, as they relate to this

component. Specifically, the inspectors reviewed the results of the visual and volumetric

examinations of the baffle-former bolts, including capabilities, limitations, and

acceptance criteria that were performed during the current RFO.

Non-Destructive Examination Activities

The inspectors reviewed the ultrasonic testing (UT) procedure used for the examination

of the Unit 2 baffle-former bolts to verify the procedure was in accordance with the

applicable guidance in MRP-227-A and MRP-228. The inspectors reviewed the UT data

records and the detailed UT channel analysis for a sample of baffle-former bolts to verify

the examinations and evaluations were performed in accordance with approved

procedures and applicable guidance. The inspectors reviewed video recordings of the

visual examinations of the baffle-former bolts during the current RFO. The inspectors

also reviewed recorded video of visual examinations performed in 2006 at Unit 2,

completed as part of the existing inservice inspection program for the 10-year reactor

vessel examinations, to independently assess the past conditions of the baffle-former

bolts and assembly.

8

The inspectors reviewed certifications of the UT technicians performing the ultrasonic

examinations to verify the examinations were performed by qualified individuals and to

verify the results were reviewed and evaluated by certified level III non-destructive

examination personnel.

Baffle-Former Bolt Replacement Activities

The inspectors reviewed the baffle-former bolt replacement activities performed as part

of a corrective action to resolve the degraded condition identified at Unit 2. The

inspectors observed a sample of in-process bolt removal activities, which included lock

bar milling and bolt hole machining. The inspectors reviewed the documentation for

in-process and completed bolt installation activities and verified that loose parts

generated as part of the bolt replacements were properly tracked. The inspectors

verified that bolt replacement activities were performed in accordance with approved

procedures. The inspectors also reviewed the Engineering Change (EC) package

associated with the new baffle-former bolt design. This review is documented in

Section 1R18 of this report. After completion of the bolt replacement activities, the

inspectors reviewed the video of the final visual examination of the baffle assembly to

verify that the baffle-former bolt work was accomplished as planned and that there were

no visual indications of deficiencies.

b. Findings

No findings were identified.

Update to URI 05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies

This inspection was conducted to follow-up on NRC Unresolved Item (URI)05000247/2016001-01, Baffle-Former Bolts with Identified Anomalies, to determine

whether there was a performance deficiency associated with the degraded baffle-former

bolt condition discovered at Unit 2. The inspectors plan to review additional technical

information from Entergy as it becomes available, including any revisions to the root

cause evaluation. The URI remains open until review of this additional information is

completed. (URI 05000247/2016001-01, Baffle-Former Bolts with Identified

Anomalies)

1R11 Licensed Operator Requalification Program (71111.11Q - 5 samples)

Unit 2

.1

Quarterly Review of Unit 2 Licensed Operator Requalification Testing and Training

(71111.11Q - 1 sample)

a. Inspection Scope

The inspectors observed Unit 2 licensed operator simulator training on May 24, 2016,

which included reactor coolant pump seal failure with loss of normal heat sink requiring

implementation of feed and bleed cooling. The inspectors evaluated operator

performance during the simulated event and verified completion of risk significant

operator actions, including the use of abnormal and emergency operating procedures.

The inspectors assessed the clarity and effectiveness of communications,

9

implementation of actions in response to alarms and degrading plant conditions, and the

oversight and direction provided by the control room supervisor. The inspectors verified

the accuracy and timeliness of the emergency classification made by the shift manager

and the TS action statements entered by the shift technical advisor. Additionally, the

inspectors assessed the ability of the crew and training staff to identify and document

crew performance problems.

b. Findings

No findings were identified.

.2

Quarterly Review of Unit 3 Licensed Operator Requalification Testing and Training

(71111.11Q - 1 sample)

a. Inspection Scope

The inspectors observed a Unit 3 licensed operator simulator requalification training

evaluated scenario on May 24, 2016, which included failure of a pressurizer pressure

instrument, charging pump trip, loss of 480V safety bus 5A, a small break loss-of-coolant

accident (LOCA), and entry into FR-C.2 core cooling. The inspectors evaluated operator

performance during the simulated event and verified completion of risk significant

operator actions, including the use of abnormal and emergency operating procedures.

The inspectors assessed the clarity and effectiveness of communications,

implementation of actions in response to alarms and degrading plant conditions, and the

oversight and direction provided by the control room supervisor. The inspectors verified

the accuracy and timeliness of the emergency classification made by the shift manager

and the TS action statements entered by the shift technical advisor. Additionally, the

inspectors assessed the ability of the crew and training staff to identify and document

crew performance problems.

b. Findings

No findings were identified.

.3

Quarterly Review of Licensed Operator Performance (71111.11Q - 3 samples)

a. Inspection Scope

The inspectors conducted a focused observation of operator performance in the main

control room. The inspectors observed pre-job briefings and control room

communications to verify they met the criteria specified in Entergys administrative

procedure EN-OP-115, Conduct of Operations. Additionally, the inspectors observed

restoration activities to verify that procedure use, crew communications, and

coordination of activities between work groups similarly met established expectations

and standards.

10

Unit 2

Plant startup from RFO 2R22 on June 16, 2016 including response to a turbine trip

without a reactor trip and the subsequent turbine-generator synchronization and

transfer of plant electrical loads from offsite power to the unit auxiliary transformer.

Reactor startup and grid synchronization conducted on June 27, 2016.

Unit 3

Operator response to the feedwater transient which occurred on April 26, 2016

b. Findings

No findings were identified.

1R12 Maintenance Effectiveness (71111.12Q - 4 samples)

.1

Routine Maintenance Effectiveness

a. Inspection Scope

The inspectors reviewed the samples listed below to assess the effectiveness of

maintenance activities on SSCs performance and reliability. The inspectors reviewed

system health reports, CAP documents, maintenance WOs, and maintenance rule basis

documents to ensure that Entergy was identifying and properly evaluating performance

problems within the scope of the maintenance rule. For each SSC sample selected, the

inspectors verified that the SSC was properly scoped into the maintenance rule in

accordance with 10 CFR 50.65 and verified that the (a)(2) performance criteria

established by Entergy was reasonable. As applicable, for SSCs classified as (a)(1), the

inspectors assessed the adequacy of goals and corrective actions to return these SSCs

to (a)(2). Additionally, the inspectors ensured that Entergy was identifying and

addressing common cause failures that occurred within and across maintenance rule

system boundaries.

Unit 2 EDGs

Unit 3 EDGs (this sample was part of an in-depth review of the EDG system)

Units 2 and 3 CVCS

b. Findings

No findings were identified.

URI Opened, CVCS Goal Monitoring Under the Maintenance Rule

Introduction

The inspectors identified issues of potential concern with Entergys application of

10 CFR 50.65(a)(1), Requirements for Monitoring the Effectiveness of Maintenance at

Nuclear Plants, (the maintenance rule) in regards to the reliability of the Unit 2 CVCS

system. These concerns included the establishment of appropriate (a)(1) goals and

11

whether appropriate justification was established that the corrective actions to address

identified maintenance weaknesses were effective prior to removal from (a)(1) status.

Specifically, Entergy may have established restrictive goals without defensible

justification and may not have demonstrated their chosen goal before ending the goal

monitoring interval.

Description

The maintenance rule requires that licensees shall monitor the performance or condition

of structures, systems, or components, against licensee-established goals, in a manner

sufficient to provide reasonable assurance that these structures, systems, and

components are capable of fulfilling their intended functions. These goals shall be

established commensurate with safety and, where practical, take into account

industrywide operating experience. When the performance or condition of a structure,

system, or component does not meet established goals, appropriate corrective action

shall be taken. EN-DC-206, Maintenance Rule (a)(1) Process, provides the

requirements and processes for managing SSCs for which (a)(2) monitoring has not

demonstrated effective maintenance. EN-DC-206 specifies that (a)(1) action plans

should not be closed until effectiveness of all corrective actions has been demonstrated

by meeting performance goals through the monitoring period (or by other means

specified in the action plan).

Since 2013, there have been several repeat functional failures of equipment in the

CVCS resulting in a failure to meet the performance criterion for reliability. These

failures included:

A failure of the 23 charging pump on August 6, 2013, after the internal oil pump

discharge tubing broke causing the pump to trip on low oil pressure and a loss of

charging. The 21 charging pump had tripped for the same reason in 2010.

A failure of the 22 charging pump on January 14, 2014, due to cracked internal

check valves caused by an inadequate fill-and-vent that left air in the pump following

maintenance. The 21 charging pump had failed due to the same cause in 2013.

A failure of the Unit 2 valve FCV-110A, boric acid flow control valve, to fully open on

January 5, 2015. The valve had insufficient insulation; and as a result, boron

crystalized above the valve plug and blocked its movement. The Unit 3 FCV-110A

had failed in the same way in 2011, with earlier failures of other valves for the same

cause going back to 1997.

In each case, the CVCS for Unit 2 was already (a)(1), so Entergy either updated the

existing (a)(1) action plan or created another one to operate in parallel with the existing

one. Upon reviewing the associated (a)(1) action plans, the inspectors noted that in

each example Entergys goals may not have been in accordance with EN-DC-206(a)(1)

Process. It specifies that monitoring intervals should be at least six months for normally

operating SSCs, at least three surveillances for SSCs monitored by surveillance and

long enough to detect recurrence of the applicable failure mechanism. It also states that

performance goals that provide reasonable assurance that the SSC is capable of

performing its intended functions should be monitored throughout the time the SSC is

classified (a)(1). EN-DC-206 defines an SSC as any discreet component grouping that

has caused a monitoring failure, including any applicable extent of condition. In the

examples provided, NRC inspectors challenged whether Entergy either chose a shorter

12

monitoring interval or a goal that did not include the applicable extent of condition.

Specifically:

The (a)(1) action plan for the broken oil tubing had a goal of no noticeable decrease

in 23 charging pumps running oil pressure for the next three quarterly surveillances.

The chosen monitoring interval met the procedural expectation, but Entergy limited

the monitoring to the 23 charging pump without written justification, when the 21

charging pump had failed previously for the same reason and the other pumps were

susceptible to the same failure mechanism. During the monitoring interval, the 21

charging pump experienced low oil pressure. When Entergy performed repairs on

the 21 charging pump for an unrelated issue, they discovered that the oil tubing had

failed in the same way the 23 charging pump oil tubing had failed, although it had not

yet caused a pump trip.

The (a)(1) action plan for the cracked check valves had a goal of no check valve

failure for six months for the next charging pump that underwent maintenance. This

happened to be the 22 charging pump. Entergy chose a six-month monitoring

interval, even though only one of the three charging pumps is in service at any given

time, and the 22 charging pump only ran for four out of the six months it was

monitored. Additionally, the action plan did not justify why a single successful fill-

and-vent demonstrated adequate corrective actions. On November 19, 2014, during

the six month monitoring interval, the 21 charging pump underwent maintenance

requiring a fill-and-vent, and experienced check valve failure two weeks later on

December 4. Entergy documented this as a maintenance rule functional failure, and

discussed the possibility that it could be due to an inadequate fill-and-vent, but did

not change the (a)(1) action plan.

The (a)(1) action plan for FCV-110A specified a monitoring interval of six months to

include the winter because the previous valve failures had all occurred during the

winter months. However, the actual monitoring interval documented in the corrective

action was from April to October 2015, and therefore did not cover the winter months

as intended. In January 2016, Entergy performed maintenance on valve CH-297 on

Unit 3, which is a heat-traced boric acid valve, and did not properly restore the

insulation. The valve function was not impacted because it does not often contain

high concentrations of boric acid.

The (a)(1) action plans described above were all reviewed and approved by the

maintenance rule expert panel.

Further information regarding the performance of these SSCs is required to determine

whether these issues of concern represent performance deficiencies and whether they

are more than minor. (URI 05000247/2016002-01, CVCS Goal Monitoring Under the

Maintenance Rule)

.2

Quality Control

a. Inspection Scope

The inspectors reviewed the weld repair performed on the 21 CCW heat exchanger

service water inlet nozzle for Unit 2 to verify Entergy was properly applying quality

controls specified in their quality assurance program. The inspectors reviewed CAP

documents, maintenance WOs, ECs, and engineering procedures associated with the

weld repair. The inspectors verified Entergy specified quality control hold points in

13

accordance with their procedures, properly controlled the quality of materials used

during the repair, and adequately justified deviations from the existing design.

Additionally, the inspectors reviewed the welding procedure specification qualification by

the vendor to ensure it was in accordance with American Society of Mechanical

Engineers code.

b. Findings

No findings were identified.

1R13 Maintenance Risk Assessments and Emergent Work Control (71111.13 - 7 samples)

a. Inspection Scope

The inspectors reviewed station evaluation and management of plant risk for the

maintenance and emergent work activities listed below to verify that Entergy performed

the appropriate risk assessments prior to removing equipment for work. The inspectors

selected these activities based on potential risk significance relative to the reactor safety

cornerstones. As applicable for each activity, the inspectors verified that Entergy

performed risk assessments as required by 10 CFR 50.65(a)(4) and that the

assessments were accurate and complete. When Entergy performed emergent work,

the inspectors verified that operations personnel promptly assessed and managed plant

risk. The inspectors reviewed the scope of maintenance work and discussed the results

of the assessment with the stations probabilistic risk analyst to verify plant conditions

were consistent with the risk assessment. The inspectors also reviewed the TS

requirements and inspected portions of redundant safety systems, when applicable, to

verify risk analysis assumptions were valid and applicable requirements were met.

Unit 2

Temporary loss of spent fuel pool cooling due to 345-kilovolt disturbance on

April 3, 2016

Equipment hatch closure plug seal demonstration for outage risk on April 5, 2016

Reduced inventory operations during vessel reassembly on June 7, 2016

21 CCW heat exchanger OOS during mode 4 on June 25, 2016

Unit 3

32 EDG OOS while Bus Tie BT 4-5 was OOS on May 4, 2016 (this sample was part

of an in-depth review of the EDG system)

33 EDG OOS while Bus Tie BT 4-5 was OOS on June 2, 2016

31 EDG OOS while Bus Tie BT 4-5 was OOS on June 21, 2016

b. Findings

No findings were identified.

14

1R15 Operability Determinations and Functionality Assessments (71111.15 - 7 samples)

a. Inspection Scope

The inspectors reviewed operability determinations for the following degraded or

non-conforming conditions:

Unit 2

23 EDG failure to run on March 7, 2016, and subsequent failure to pass the

surveillance test on March 10, 2016, as identified in CR-IP2-2016-01260

Operability determination for N33 gamma metrics wide range nuclear instrument

channel in CR-IP2-2016-03660 on June 13, 2016

Pressurizer level transmitter LT-461 reads high in CR-IP-2016-3806 on June 14,

2016

Through-wall leak in line 411, service water inlet to the 21 CCW heat exchanger, on

June 15, 2016

Unit 3

Immediate operability determination of the degraded condition of the baffle-former

bolts identified from Unit 2 operating experience in CR-IP3-2016-01035 on April 1,

2016

Anomalies noted during digital metal impact monitoring system self-test in

CR-IP3-2015-03468 on April 1, 2016

Prompt operability determination of the degraded condition of the baffle-former bolts

identified from Unit 2 operating experience in CR-IP2-2016-03660 on June 30, 2016

The inspectors selected these issues based on the risk significance of the associated

components and systems. The inspectors evaluated the technical adequacy of the

operability determinations to assess whether TS operability was properly justified and

the subject component or system remained available such that no unrecognized

increase in risk occurred. The inspectors compared the operability and design criteria in

the appropriate sections of the TSs and UFSAR to Entergys evaluations to determine

whether the components or systems were operable.

The inspectors confirmed, where appropriate, compliance with bounding limitations

associated with the evaluations. Where compensatory measures were required to

maintain operability, the inspectors determined whether the measures in place would

function as intended and were properly controlled by Entergy. The inspectors

determined, where appropriate, compliance with bounding limitations associated with the

evaluations.

b. Findings

Introduction. The inspectors identified a Green NCV of 10 CFR 50, Appendix B,

Criterion V, "Instructions, Procedures, and Drawings," because Entergy did not

adequately accomplish the actions prescribed by procedure EN-OP-104 for a degraded

condition associated with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly

concluded that no degraded or non-conforming condition existed related to the Unit 3

15

baffle-former bolts and exited the operability determination procedure. Entergy

subsequently performed the remaining steps in the procedure and provided appropriate

justification for their plans to examine the baffle-former bolts at the next Unit 3 RFO.

Description. On March 29, 2016, Entergy identified baffle-former (baffle) bolt

degradation at Indian Point Unit 2 that was determined to be unanalyzed because it did

not meet the minimum acceptable bolt pattern analysis developed to support plant

startup. Entergy staff identified a total of 227 baffle bolts out of a population of 832 that

were potentially degraded (182 bolts had UT indications; 31 had visual indications of

failure; and 14 were inaccessible for testing and conservatively assumed to be

degraded). Entergy staff entered this problem into the CAP as CR-IP2-2016-02081,

performed a root cause evaluation, and replaced the degraded bolts on Unit 2. Due to

the number of baffle bolt indications discovered on Unit 2, Entergy staff initiated CR-IP3-

2016-01035 on April 21, 2016, and performed an immediate operability determination

(IOD) in accordance with Entergy procedure EN-OP-104 Section 5.3, to evaluate the

baffle bolts and baffle-former assembly structure on Unit 3. Entergy staff planned further

corrective actions to move up the planned Unit 3 baffle bolt ultrasonic examinations to

the next RFO in spring 2017.

The inspectors reviewed the design basis and current licensing basis documents for

Indian Point Unit 3 to identify the specific safety functions of the baffle bolts. The baffle

bolts are part of the baffle former assembly structure located in the reactor pressure

vessel. The bolts secure a series of vertical metal plates called baffle plates, which help

direct water up through the nuclear fuel assemblies to ensure proper cooling of the fuel.

A sufficient number of baffle bolts are required to secure the plates to ensure proper

core flow during normal and postulated accident conditions, and also to ensure that

control rods can be inserted to shut down the reactor.

The inspectors reviewed Entergys IOD issued on April 21, 2016, and concluded the

immediate determination was completed in accordance with Section 5.3 of procedure

EN-OP-104. The IOD provided sufficient technical detail to support the initial conclusion,

based on limited information, that the Unit 3 baffle bolts would retain sufficient capability

to perform their intended functions. Specifically, the IOD stated that Unit 2 baffle bolt

failures were likely due to irradiation-assisted stress corrosion cracking (IASCC) and that

the Unit 3 baffle bolts were also susceptible because they both utilize a baffle bolt design

with similar geometry and material to other plants with bolt failures. The IOD concluded

that Unit 3 baffle bolt degradation would likely not be as significant as Unit 2, and that

the Unit 3 baffle former assembly was currently operable pending further evaluation

because of the following differences with Unit 2: (1) less effective full power years of

operation; (2) less neutron fluence levels (i.e., irradiation); (3) less pressure differential

across the baffle plates; and (4) less fatigue-induced loading cycles on the bolts over the

operating life of the plant. The inspectors concluded that there was no immediate safety

concern.

On May 5, 2016, Entergy staff revised the operability input for CR-IP3-2016-01035 under

corrective action #2. The inspectors noted that Entergy staff concluded an operability

evaluation was not needed, in part, because the baffle-former bolts are not required by

TS and are not described in the UFSAR. The inspectors noted that while the baffle

bolts are not described in these documents, their failure in sufficient numbers could have

consequential effects on the TS-controlled ECCS if the baffle plates were to become

detached or deformed. This was described in Entergys bolt pattern analysis report

16

documenting an acceptable bolt pattern prior to the spring 2016 RFO. The inspectors

reviewed Unit 3 TS 3.5.2, ECCS - Operating, which requires multiple trains of ECCS to

be operable. The inspectors concluded that since the baffle bolts support the ECCS,

which is subject to TS, Entergys decision to not perform further evaluation of the

operability determination was inconsistent with EN-OP-104. Specifically, Section 5.1(7)

of Entergys procedure EN-OP-104 requires that an operability determination be

performed whenever a condition exists in the supporting SCC that may affect the ability

of the TS-controlled SSC to perform its specified safety function.

Further, the inspectors noted that Entergy staff concluded a degraded condition did not

exist in Unit 3, and therefore, an operability evaluation was not required as a follow-up to

the immediate determination. The documented basis provided was the differences

between the two units, plant operating data, and fuel performance. The inspectors noted

that plant operating data and fuel performance from Unit 2 did not result in identification

of the bolt degradation; therefore, the absence of indications for these problems on Unit

3 was technically insufficient to support Entergys conclusion that there was no degraded

condition on Unit 3.

The inspectors review of procedure EN-OP-104, Section 3.0, identified that examples of

the effects of equipment aging and operating experience can be sources of information

considered to enter the operability or functionality process. The inspectors

acknowledged that licensees apply judgment in these decisions. In this particular

instance, the inspectors considered that operating experience was available that showed

the Unit 3 baffle bolts were subject to IASCC and that plants of similar design (4-loop

Westinghouse pressurized water reactors with a down-flow configuration and baffle bolts

of 347 material and similar dimensions) were subject to greater amounts of bolt

degradation compared to other reactor designs. Furthermore, the inspectors noted the

baffle bolts had experienced levels of neutron radiation exposure above the threshold for

IASCC initiation as referenced in NUREG/CR-7027, Degradation of LWR Core Internal

Materials due to Neutron Irradiation.

Based on the above information available to Entergy staff, the inspectors concluded that

Entergys basis for determining that a degraded condition did not exist on Unit 3 was not

technically supported. The inspectors noted that in completing an IOD in EN-OP-104,

Step 5.3.2 states determine if there is an ongoing degradation mechanism that may

impact future operability based on changing conditions, specifically consider the SSCs

specified safety function and mission time. On May 5, 2016, Entergys basis for

concluding an operability evaluation was not required and exiting the operability

determination procedure at Step 5.3.3 was inconsistent with this procedural requirement

because their IOD concluded Unit 3 was susceptible to baffle bolt degradation, which is

time based and subject to changing conditions including fatigue inducing loading cycles

and neutron fluence. As a result, the inspectors concluded Entergy staff did not

complete the additional actions prescribed by EN-OP-104 to perform an operability

evaluation. Specifically, Step 5.3.9 states in part if an Operability Evaluation is required

then perform the following: Proceed to Subsection 5.5, Operability Evaluation.

On July 11, 2016, Entergy staff subsequently completed the steps in EN-OP-104 and

performed an operability evaluation, which assumed an estimated number of baffle-

former bolt failures based on the degradation found in Unit 2, and adjusted to take credit

for the small number of inaccessible bolts and a sample of bolts extracted with high

removal torque that indicated residual structural capacity. The inspectors determined

17

this estimated number of bolt failures was conservative because the evaluation did not

credit the baffle-edge bolts or the differences in operational history between the two units

such as neutron fluence levels or fatigue from thermal cycles. The operability evaluation

concluded that the Unit 3 baffle bolts would perform as intended to secure the baffle

plates from being dislodged. The inspectors concluded that Entergys operability

evaluation provided appropriate basis to conclude that the Unit 3 baffle assembly would

support ECCS operability until the planned Unit 3 RFO in spring 2017.

Analysis. The inspectors determined that Entergys failure to adequately accomplish the

actions prescribed in EN-OP-104 for a degraded condition and perform an operability

evaluation associated with the Unit 3 baffle-former bolts was a performance deficiency.

Specifically, Entergy incorrectly concluded that no degraded or non-conforming condition

existed related to the Unit 3 baffle-former bolts and exited the operability determination

procedure. As a result, Entergys initial documentation did not provide sufficient basis

for operability and continued operation until questioned by NRC inspectors.

This finding is more than minor because it is associated with the equipment performance

attribute of the Mitigating Systems cornerstone and affected the cornerstone objective to

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

events to prevent undesirable consequences (i.e., core damage). This issue was also

similar to example 3.j of IMC 0612, Appendix E, Examples of Minor Issues, because

the condition resulted in reasonable doubt of operability of the ECCS and additional

analysis was necessary to verify operability. In accordance with IMC 0609.04, Initial

Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix A, The Significance

Determination Process for Findings At-Power, issued June 19, 2012, the inspectors

screened the finding for safety significance and determined it to be of very low safety

significance (Green), since the finding did not represent an actual loss of system or

function. After inspector questioning, Entergy performed an operability evaluation, which

provided sufficient bases to conclude the Unit 3 baffle assembly would support ECCS

operability. This finding is related to the cross-cutting aspect of Problem Identification

and Resolution, Operating Experience, because Entergy did not effectively evaluate

relevant internal and external operating experience. Specifically, Entergy did not

adequately evaluate the impact of degraded baffle bolts at Unit 3 when relevant

operating experience was identified at Unit 2. [P.5]

Enforcement. 10 CFR 50, Appendix B, Criterion V, Instructions, Procedures, and

Drawings, states, in part, that activities affecting quality shall be prescribed by

documented procedures of a type appropriate to the circumstances and shall be

accomplished in accordance with those procedures. The introduction to Appendix B

states that quality assurance comprises all those planned and systematic actions

necessary to provide adequate confidence that a structure, system, or component (SSC)

will perform satisfactorily in service. Procedure EN-OP-104, Step 5.3[2], related to

immediate operability, states Determine if there is an ongoing degradation mechanism

that may impact future operability based on changing conditions, specifically consider

the SSCs specified safety function and mission time. Step 5.3(3) follows with, in part If

no Degraded or Non-conforming Condition exists, then perform the following as the

Immediate Determination: Declare the SSC Operable and Exit this procedure.

Contrary to the above, from May 5, 2016 until July 11, 2016, Entergy did not adequately

accomplish actions as prescribed by EN-OP-104 for a degraded condition associated

with the Unit 3 baffle-former bolts. Specifically, Entergy incorrectly concluded that no

18

degraded or non-conforming condition existed related to the Unit 3 baffle-former bolts

and exited the operability determination procedure. The NRC determined this is contrary

to EN-OP-104 because a comparison of Unit 2 and 3 operational factors resulted in

Entergy concluding that the Unit 3 baffle bolts would likely be affected due to the same

degradation mechanism. Entergys corrective actions included entering the issue into

the CAP and documenting an operability evaluation to support the basis for operability of

the baffle bolts and ECCS. Because this issue is of very low safety significance (Green)

and Entergy entered this into their CAP as CR-IP3-2016-01961, this finding is being

treated as an NCV consistent with Section 2.3.2.a of the Enforcement Policy. (NCV 05000286/2016002-02, Failure to Follow Operability Determination Procedure for

Unit 3 Baffle-Former Bolts)

Update to URI 05000247/2016001-06, 23 Emergency Diesel Generator Automatic

Voltage Regulator Failure

Introduction. The NRC opened a URI in Inspection Report 05000247/2016001 related to

two failures of the 23 EDG to run and maintain bus voltage on March 7, 2016, and to

provide adequate control of bus voltage on March 10, 2016. This report provides an

update of the status of this URI.

Description. On March 7, 2016, approximately one hour after the trip of the 3A normal

feed breaker, the 23 EDG tripped on overcurrent while powering the 6A 480V safety bus.

The 6A bus remained de-energized for approximately one hour until the crew restored

the 6A bus via off-site power. The 23 EDG was declared inoperable. All four 480V

safety buses were restored to off-site power. Entergy replaced the overcurrent relays

and retested the 23 EDG satisfactorily on March 8, 2016. However, bench testing of the

overcurrent relays demonstrated that they were accurately calibrated.

Subsequently, on March 10, 2016, during performance of PT-R14, Automatic Safety

Injection System Electrical Load and Blackout Test, the 23 EDG exhibited anomalous

behavior during the train B load sequencing. During this test, the voltage on safety bus

6A dropped to approximately 200V when the 23 auxiliary feedwater pump was

sequenced onto the bus (CR-IP2-2016-01430) and the sequencer failed to complete the

first two sequences. The 23 EDG was again declared inoperable and the period of

inoperability was backdated to March 7, 2016, when it originally tripped. Further

troubleshooting and additional failure modes analysis by Entergy initially determined that

the cause of both events may have been a degraded resistor (R25) on the 23 EDG

automatic voltage regulator (AVR) card.

The 23 EDG AVR card was replaced, and the 23 EDG was again tested satisfactorily.

The voltage anomaly issues exhibited during the March 10, 2016, test were documented

in CR-IP2-2016-01430 which was closed in CR-IP2-2016-01260 to be included in the

causal assessment associated with the tripping of 23 EDG breaker on March 7, 2016.

Entergy assigned a vendor to perform laboratory bench testing and failure analysis of

the 23 EDG AVR card. The vendor report attributed the cause of the March 10, 2016,

loss of voltage control to a degraded solder joint on the AVR card. However, the vendor

report explicitly did not attribute the event on March 7, 2016, to the same cause.

Entergy assigned a corrective action in CR-IP2-2016-01260 to review the cause of the

19

23 EDG overcurrent trip on March 7, 2016, in light of the vendor report. The inspectors

determined that the issue of concern remains open as a URI until this causal

assessment has been completed by Entergy and assessed by NRC. (URI 05000247/2016001-06, 23 Emergency Diesel Generator Automatic Voltage

Regulator Failure)

1R18 Plant Modifications (71111.18 - 2 samples)

Permanent Modifications

.1

Control Rod Guide Tube Repairs in Location E-9

a. Inspection Scope

The inspectors evaluated a modification to the reactor vessel upper internals to swap

damaged control rod guide tube in location E-9 with abandoned guide tube in location

D-10. The inspectors verified that the design bases, licensing bases, and performance

capability of the affected systems were not degraded by the modification. In addition,

the inspectors reviewed modification documents associated with the design change,

including evaluation of equivalency and core flow changes, and post-modification

testing. The inspectors also reviewed revisions to the affected drawings and interviewed

refueling and engineering personnel.

b. Findings

No findings were identified.

.2

Core Baffle-Former Bolt EC 64038

a. Inspection Scope

The inspectors reviewed EC 64038, IP2 Reactor Vessel Equivalent Replacement

Baffle-to-Former Bolt. This modification was completed during RFO 2R22 and involved

the replacement of 278 baffle-former bolts out of a total of 832 located in the Unit 2

reactor vessel. Entergy replaced all of the bolts that were potentially degraded as

observed by visual indications of a protruding bolt head or lock bar problem, bolts that

did not pass UT, and bolts inaccessible for UT. Entergy staff also replaced 51 additional

bolts that passed ultrasonic and visual examinations to increase the structural margin of

the baffle-former assembly for future operating cycles.

The inspectors reviewed the equivalency evaluation completed by Entergy staff to install

baffle-former bolts of a different material and configuration than the original bolts. The

inspectors reviewed the associated EC package to determine whether the replacement

bolts form, fit, and function were maintained compared to the original bolts and whether

the change conformed to the design and licensing bases of the baffle-former assembly.

Specifically, this change involved replacing the original baffle-former bolts made of

type 347 stainless steel with bolts made of type 316 stainless steel. The baffle-former

bolt head configuration was also changed from an original internal hex and slot design

(secured with a welded lock bar) to an external hex configuration with an integral locking

cup design. The design change document further evaluated a more gradual fillet

20

geometry between the bolt head and shank intended to reduce the stress concentration

at that transition and provide for improved fatigue resistance.

b. Findings

No findings were identified.

1R19 Post-Maintenance Testing (71111.19 - 8 samples)

a. Inspection Scope

The inspectors reviewed the post-maintenance tests for the maintenance activities listed

below to verify that procedures and test activities ensured system operability and

functional capability. The inspectors reviewed the test procedure to verify that the

procedure adequately tested the safety functions that may have been affected by the

maintenance activity, that the acceptance criteria in the procedure was consistent with

the information in the applicable licensing basis and/or design basis documents, and that

the test results were properly reviewed and accepted and problems were appropriately

documented. The inspectors also walked down the affected job site, observed the

pre-job brief and post-job critique where possible, confirmed work site cleanliness was

maintained, witnessed the test or reviewed test data to verify quality control hold points

were performed and checked, and that results adequately demonstrated restoration of

the affected safety functions.

Unit 2

21 EDG fuel oil transfer pump after planned maintenance on May 5, 2016

Replacement of pressurizer level transmitters LT-459 and LT-460 on May 25, 2016

21 CCW heat exchanger service water outlet weld repair on June 26, 2016

Flux mapping system drive repairs following motor failures on June 28, 2016

Unit 3

Maintenance on service water components associated with the 32 EDG on May 5,

2016 (this sample was part of an in-depth review of the EDG system)

Modification of the 32 EDG space heaters on May 5, 2016 (this sample was part of

an in-depth review of the EDG system)

Maintenance on the 32 EDG air start system on May 6, 2016 (this sample was part

of an in-depth review of the EDG system)

Replacement of failed bistable LC-427K, steam generator 32 low level mismatch trip

interlock, on May 18, 2016

b. Findings

No findings were identified.

21

1R20 Refueling and Other Outage Activities (71111.20 - 2 samples)

.1

Unit 2 RFO 2R22

a. Inspection Scope

The inspectors reviewed the stations work schedule and outage risk plan for the Unit 2

maintenance during RFO 2R22, which was conducted from March 7, 2016, to June 16,

2016. The inspectors reviewed Entergys development and implementation of outage

plans and schedules to verify that risk, industry experience, previous site-specific

problems, and defense-in-depth were considered. During the outage, the inspectors

observed portions of the shutdown and cooldown processes and monitored controls

associated with the following outage activities:

Configuration management, including maintenance of defense-in-depth,

commensurate with the outage plan for the key safety functions and compliance with

the applicable TSs when taking equipment OOS

Implementation of clearance activities and confirmation that tags were properly hung

and that equipment was appropriately configured to safely support the associated

work or testing

Installation and configuration of reactor coolant pressure, level, and temperature

instruments to provide accurate indication and instrument error accounting

Status and configuration of electrical systems and switchyard activities to ensure that

TSs were met

Monitoring of decay heat removal operations

Impact of outage work on the ability of the operators to operate the spent fuel pool

cooling system

Reactor water inventory controls, including flow paths, configurations, alternative

means for inventory additions, and controls to prevent inventory loss

Activities that could affect reactivity

Maintenance of secondary containment as required by TSs

Refueling activities, including fuel handling and fuel receipt inspections

Fatigue management

Tracking of startup prerequisites, walkdown of the primary containment to verify that

debris had not been left which could block the ECCS suction strainers, and startup

and ascension to full power operation

Foreign Object Search and Retrieval for missing baffle bolts and locking tabs

Identification and resolution of problems related to RFO activities

During this outage, Entergy replaced 278 degraded baffle bolts in the Unit 2 reactor

vessel baffle assembly. This emergent project resulted in the extension of the outage

schedule from 30 days to 102 days.

b. Findings

Introduction. The inspectors identified a Green NCV of TS 5.4.1 for Entergys failure to

implement procedure OAP-007, Containment Entry and Egress. Specifically, workers

transiting the inner and outer crane wall sections of containment on June 11, 2016, failed

to maintain at least one (of two) flow channeling gate closed to ensure availability of the

containment sumps to provide suction for the ECCS.

22

Description. On June 11, 2016, in mode 4, in preparation for reactor startup, Entergy

was performing maintenance in containment required prior to mode 3, such as reactor

coolant pump motor balancing and steam flow transmitter troubleshooting. These

activities required scaffolds to be temporarily erected for workers to safely perform

maintenance. While transiting from the inner to outer section of containment, the

inspectors noted that both flow channeling gates were maintained open simultaneously

as workers carried scaffold poles and hardware out of the area.

In the event of a postulated LOCA, Unit 2 relies on two sumps to provide a suction

source for the internal recirculation pumps and residual heat removal pumps,

respectively, after the injection phase of the accident. The sumps have cylindrical

screens with large surface area and small holes to filter small debris and maintain

adequate net positive suction head for the associated pumps. The reactor cavity sump

and large intervening barriers prevent large debris generated from the accident, such as

insulation, from reaching and blocking the recirculation and containment sump screens.

Entergy procedure OAP-007, Containment Entry and Egress, precaution and limitation

step 2.30.2, states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the

double gate entry point via gates 17 and 23. One gate shall remain shut and secured at

all times to maintain flow channeling and sump operability. Securing gates requires a

padlock or nut and bolt closure from the outside. This will require posting a gate monitor

to allow exit. The inspectors noted, while a gate monitor was posted, both gates were

maintained open during passage and not secured with a padlock or nut and bolt closure.

Upon questioning by the inspectors, Entergy immediately coached the gate monitor and

restored the gates to an acceptable position. Entergy generated CR-IP2-2016-04036 to

address this issue.

Analysis. The inspectors determined that Energys failure to maintain either gate 17 or

gate 23 closed during passage in accordance with OAP-007 was a performance

deficiency. The performance deficiency was more than minor because it is associated

with the configuration control (shutdown equipment lineup) attribute and adversely

affected the Mitigating Systems cornerstone objective to ensure the availability,

reliability, and capability of systems that respond to initiating events to prevent

undesirable consequences (i.e., core damage). The inspectors evaluated the finding in

accordance with IMC 0609, Appendix G, Attachment 1, Exhibit 3, and determined that a

detailed risk evaluation was necessary because the finding represented a loss of system

safety function. A detailed risk assessment was conducted conservatively assuming

complete failure of the recirculation and containment sumps due to the performance

deficiency. Given that Unit 2 was in mode 4, in plant operating state 1, with a late time

window, the at-power simplified plant analysis risk model for large-break LOCAs was

determined to best model the degrade condition and plant response. An exposure time

of one day was assumed. No credit was assumed for the decrease in energy that would

be anticipated in a release during a LOCA in mode 4, nor the corresponding reduction in

debris generation. This was also considered conservative. Utilizing Systems Analysis

Program for Hands-On Integrated Reliability Evaluation, version 8.13, with Indian Point

Unit 2 Simplified Plant Analysis Risk Model, version 8.19, for the assumed conditions,

the change in core damage frequency was determined to be 7E-9. Therefore, this issue

represents a Green finding.

23

This finding had a cross-cutting aspect in the area of Human Performance, Avoid

Complacency, because Entergy did not consider potential undesired consequences of

actions before performing work and implement appropriate error-reduction tools.

Specifically, the work crew did not understand the requirements and potential

consequences prior to commencing work and the gate monitor did not enforce these

requirements to maintain at least one gate locked or pinned closed as required by

OAP-007. [H.12]

Enforcement. Unit 2 TS 5.4.1.a requires that the procedures listed in Attachment A to

Regulatory Guide 1.33, Quality Assurance Program Requirements, Revision 2, be

established and implemented. Attachment A states that instructions should be prepared,

as appropriate, for access to containment and changing modes of operation of the

ECCS. Entergy procedure OAP-007, Containment Entry and Egress, Step 2.30.2,

states, In mode 1, 2, 3, or 4, entry inside the crane wall shall use the double gate entry

point via gates 17 and 23. One gate shall remain shut and secured at all times to

maintain flow channeling and sump operability. Securing gates requires a padlock or nut

and bolt closure from the outside. Contrary to the above, on June 11, 2016, Entergy did

not maintain one gate secured at all times with a padlock or nut and bolt closure.

Entergy entered this issue into the CAP as CR-IP2-2016-04036. Because this violation

was of very low safety significance (Green), and Entergy entered this performance

deficiency into the CAP, the NRC is treating this as a NCV in accordance with

Section 2.3.2.a of the NRC Enforcement Policy. (NCV 05000247/2016002-03, Failure

to Maintain Flow Channeling Gates Closed in Accordance with the Containment

Procedure)

.2

Unit 2 Forced Outage

a. Inspection Scope

Unit 2 conducted a forced outage from June 24 to 27, 2016, in order to complete weld

repairs on a through-wall leak on the service water inlet line to the 21 CCW heat

exchanger. These repairs required shutting down to mode 4 in order to meet the

TS 3.7.7, Component Cooling Water (CCW) System, limiting condition for operations

for CCW operability. While these repairs were being completed, the grid operator

completed repairs to breaker 9 in the offsite switchyard. During the outage, the

inspectors observed portions of the shutdown and cooldown processes and monitored

controls associated with the following outage activities:

Configuration management, including maintenance of defense-in-depth,

commensurate with the outage plan for the key safety functions and compliance with

the applicable TSs when taking equipment OOS

Implementation of clearance activities and confirmation that tags were properly hung

and that equipment was appropriately configured to safely support the associated

work or testing

Status and configuration of electrical systems and switchyard activities to ensure that

TSs were met

Monitoring of decay heat removal operations

Reactor water inventory controls, including flow paths, configurations, alternative

means for inventory additions, and controls to prevent inventory loss

Activities that could affect reactivity

24

Tracking of startup prerequisites

Identification and resolution of problems related to RFO activities

When all repairs had been completed, Entergy restarted Unit 2 on June 27, 2016.

b. Findings

No findings were identified.

1R22 Surveillance Testing (71111.22 - 6 samples)

a. Inspection Scope

The inspectors observed performance of surveillance tests and/or reviewed test data of

selected risk-significant SSCs to assess whether test results satisfied TSs, the UFSAR,

and Entergys procedure requirements. The inspectors verified that test acceptance

criteria were clear, tests demonstrated operational readiness and were consistent with

design documentation, test instrumentation had current calibrations and the range and

accuracy for the application, tests were performed as written, and applicable test

prerequisites were satisfied. Upon test completion, the inspectors considered whether

the test results supported that equipment was capable of performing the required safety

functions. The inspectors reviewed the following surveillance tests:

Unit 2

WO 446385, 21 EDG AVR card inspection, on May 24, 2016

2-PT-Q013 for containment isolation valve 851B (22 safety injection (SI) pump tie to

23 SI pump discharge) on June 6, 2016

2-PT-Q029B quarterly in-service surveillance test for the 22 SI pump on June 6,

2016

Unit 3

3-PT-M079B 32 EDG monthly surveillance on May 30, 2016 (this sample was part of

an in-depth review of the EDG system)

34 steam generator pressure instrument channel check on June 21, 2016

0-SOP-LEAKRATE-001, RCS Leakrate Surveillance, Evaluation and Leak

Identification, beginning on June 28, 2016

b. Findings

No findings were identified.

Cornerstone: Emergency Preparedness

25

1EP6 Drill Evaluation (71114.06 - 1 sample)

Training Observations

a. Inspection Scope

The inspectors evaluated the conduct of Entergys ingestion pathway emergency

preparedness drill on April 19, 2016, to identify any weaknesses and deficiencies in the

classification, notification, and protective action recommendation development activities.

The inspectors observed emergency response operations in the emergency operations

facility to determine whether the event classification, notifications, and protective action

recommendations were performed in accordance with procedures. The inspectors also

attended the facility drill critique to compare inspector observations with those identified

by Entergy staff in order to evaluate Entergys critique and to verify whether the staff was

properly identifying weaknesses and entering them into the CAP.

b. Findings

No findings were identified.

2.

RADIATION SAFETY

Cornerstone: Public Radiation Safety and Occupational Radiation Safety

2RS1 Radiological Hazard Assessment and Exposure Controls (71124.01)

a. Inspection Scope

During May 10-12 and June 13-17, 2016, the inspectors reviewed Entergys

performance in assessing the radiological hazards and exposure control in the

workplace. The inspectors used the requirements in 10 CFR 20, TSs, applicable

industry standards, and procedures required by TSs as criteria for determining

compliance.

Radiological Hazards Control and Work Coverage

The inspectors reviewed:

Ambient radiological conditions during tours of the radiological controlled area,

posted surveys, radiation work permits, adequacy of radiological controls, radiation

protection job coverage, and contamination controls

Controls for highly activated or contaminated materials stored within spent fuel pools

Posting and physical controls for high radiation areas and very high radiation areas

b. Findings

No findings were identified.

26

2RS2 Occupational As Low As Is Reasonably Achievable (ALARA) Planning and Controls

(71124.02)

a. Inspection Scope

During May 10-12 and June 13-17, 2016, the inspectors assessed performance with

respect to maintaining occupational individual and collective radiation exposures ALARA.

The inspectors used the requirements in 10 CFR 20, TSs, applicable industry standards,

and procedures required by TSs as criteria for determining compliance.

Radiological Work Planning

The inspectors reviewed:

ALARA work activity evaluations, exposure estimates, and exposure mitigation

requirements

ALARA work planning, use of dose mitigation features and dose goals

Work planning and the integration of ALARA requirements

b. Findings

No findings were identified.

2RS7 Radiological Environmental Monitoring Program (REMP) (71124.07 - 3 samples)

a. Inspection Scope

The inspectors reviewed the REMP to validate the effectiveness of the radioactive

gaseous and liquid effluent release program and implementation of the groundwater

protection initiative (GPI). The inspectors used the requirements in 10 CFR 20,

40 CFR 190, 10 CFR 50, Appendix I, TSs, offsite dose calculation manual (ODCM),

Nuclear Energy Institute 07-07, and procedures required by TSs as criteria for

determining compliance.

Inspection Planning

The inspectors reviewed Entergys 2014 and 2015 annual radiological environmental

and effluent monitoring reports, REMP program audits, ODCM changes, land use

census, the UFSAR, and inter-laboratory comparison program results.

Site Inspection

The inspectors walked down various thermoluminescent dosimeter and air and water

sampling locations and reviewed associated calibration and maintenance records. The

inspectors observed the sampling of various environmental media as specified in the

ODCM and reviewed any anomalous environmental sampling events including

assessment of any positive radioactivity results. The inspectors reviewed any changes

to the ODCM. The inspectors verified the operability and calibration of the

meteorological tower instruments and meteorological data readouts. The inspectors

reviewed environmental sample laboratory analysis results, laboratory instrument

measurement detection sensitivities, laboratory quality control program audit results, and

27

the inter- and intra-laboratory comparison program results. The inspectors reviewed the

groundwater monitoring program as it applies to selected potential leaking SSCs.

GPI Implementation

The inspectors reviewed groundwater monitoring results, changes to the GPI program

since the last inspection, anomalous results or missed groundwater samples, leakage or

spill events including entries made into the decommissioning files (10 CFR 50.75(g)),

evaluations of surface water discharges, and Entergys evaluation of any positive

groundwater sample results including appropriate stakeholder notifications and effluent

reporting requirements.

Identification and Resolution of Problems

The inspectors evaluated whether problems associated with the REMP were identified at

an appropriate threshold and properly addressed in Entergys CAP.

b. Findings

No findings were identified.

4.

OTHER ACTIVITIES

4OA1 Performance Indicator Verification (71151 - 6 samples)

Initiating Events Performance Indicators

a.

Inspection Scope

The inspectors reviewed Entergys submittals for the following Initiating Events

cornerstone performance indicators for the period April 1, 2015, to March 31, 2016:

Unit 2

Unplanned scrams per 7000 critical hours (IE01)

Unplanned power changes per 7000 critical hours (IE03)

Unplanned scrams with complications (IE04)

Unit 3

Unplanned scrams (IE01)

Unplanned power changes (IE03)

Unplanned scrams with complications (IE04)

To determine the accuracy of the performance indicator data reported during those

periods, inspectors used definitions and guidance contained in Nuclear Energy

Institute 99-02, Regulatory Assessment Performance Indicator Guideline, Revision 7.

The inspectors reviewed Entergys operator narrative logs, maintenance planning

schedules, CRs, event reports, and NRC integrated inspection reports to validate the

28

accuracy of the submittals. There were no unplanned power changes or scrams with

complications during the review period.

b. Findings

No findings were identified.

4OA2 Problem Identification and Resolution (71152 - 4 samples)

.1

Routine Review of Problem Identification and Resolution Activities

a. Inspection Scope

As required by Inspection Procedure 71152, Problem Identification and Resolution, the

inspectors routinely reviewed issues during baseline inspection activities and plant

status reviews to verify that Entergy entered issues into the CAP at an appropriate

threshold, gave adequate attention to timely corrective actions, and identified and

addressed adverse trends. In order to assist with the identification of repetitive

equipment failures and specific human performance issues for follow up, the inspectors

performed a daily screening of items entered into the CAP and periodically attended CR

screening meetings. The inspectors also confirmed, on a sampling basis, that, as

applicable, for identified defects and non-conformances, Entergy performed an

evaluation in accordance with 10 CFR 21.

b. Findings

No findings were identified.

.2

Semi-Annual Trend Review

a. Inspection Scope

The inspectors performed a semi-annual review of site issues, as required by Inspection

Procedure 71152, Problem Identification and Resolution, to identify trends that might

indicate the existence of more significant safety issues. In this review, the inspectors

included repetitive or closely-related issues that may have been documented by Entergy

outside of the CAP, such as trend reports, performance indicators, major equipment

problem lists, system health reports, maintenance rule assessments, and maintenance

or CAP backlogs. The inspectors also reviewed Entergys CAP database for the first

and second quarters of 2016 to assess CRs written in various subject areas (equipment

problems, human performance issues, etc.), as well as individual issues identified during

the NRCs daily CR review (Section 4OA2.1). The inspectors reviewed the Entergy

quarterly trend report for the first quarter of 2016 to verify that Entergy was appropriately

evaluating and trending adverse conditions in accordance with applicable procedures.

b. Findings and Observations

No findings were identified.

The inspectors identified a trend in work being performed that was contrary to written

work instructions and procedures, and work packages had been closed out without

29

documenting the deviation from the work order. While reviewing completed work order

WO 447966 Task 10, Internal Coating Repair for 21 CCW HX, the inspectors found a

note in the work order stating that the internal coating repair to the pipe had not been

done in accordance with the engineering change. The engineering change had been

written when the coating repair was expected to be small, but the actual area that was

recoated was much larger. A larger area of coating increases the impact on the heat

exchanger if the coating were to flake off and block the flow of service water. The work

package was closed and no condition report was written. This performance deficiency is

minor because the coating was applied with procedurally directed quality controls and

the likelihood that it would flake off is very small; and is the same as the original smaller

area specified in the work package. However, the work package was closed without

documenting the deviation and no CR was written.

In another example, the inspectors noted that WO 412920 Task 15 to perform a surge

test on 11 centrifugal air compressor (CENTAC) after overhaul was completed on

December 22, 2015. However, the completion notes and documentation for the task

showed that the test was unable to be performed due to a test equipment problem. The

work package was closed and no CR was written. Subsequently, after being returned to

service, the compressor failed in service due to multiple surging events on January 7,

2016. Troubleshooting under WO 433939 revealed that the motor high load limit had not

been adjusted to account for the increased load due to reduced compressor clearances

introduced by the overhaul. This performance deficiency is screened to minor because

the 11 CENTAC is not a safety-related piece of equipment and would not affect the MC 0609 cornerstone thresholds or other generic criteria. Unit 2 and Unit 3 have dedicated

instrument air compressors that are credited in the FSAR to respond to a loss of

instrument air event. If the 11 CENTAC (located in Unit 1) were to fail, the unit-specific

IACs would automatically start to prevent a loss of instrument air at both Units 2 and 3.

A third recent example of work being performed contrary to written instructions occurred

during 2RFO22 when the inspectors identified that the workers deviated from the

surveillance procedure by demonstrating the installation of the emergency containment

hatch plug without properly inflating the plug seals as directed by the procedure. This

performance deficiency was previously documented in a prior inspection report as non-

cited violation 05000247/05000286/2016001-02, Failure to Adequately Implement Risk

Management Actions for the Containment Key Safety Function.

In all cases, the deviations from written work instructions were directed by Entergy

supervision. In addition, the inspectors noted that Entergy had self-identified similar

observations where work packages or condition reports had been closed without fully

completing the specified actions including CR-IP2-2015-05833, CR-IP2-2016-00103,

CR-IP3-2015-04729, CR-IP3-2016-00072, CR-IP3-2016-00075, and CR-IP3-2015-

04019. These CRs are further examples of work orders that were closed with deviations

that were not documented or resolved. Nuclear Oversight had identified several of these

condition reports. Entergy has taking immediate corrective action in response to these

performance deficiencies.

30

.3

Annual Sample: Maintenance Rule Self-Assessment of Corrective Actions

a. Inspection Scope

The inspectors performed an in-depth review of Entergys corrective actions associated

with self-assessment LO-IP3LO-2015-72, Maintenance Rule (a)(3) Assessment. The

self-assessment was performed to satisfy both the self-assessment criteria in EN-LI-104,

Self-Assessment and Benchmark Process, and the maintenance rule periodic

assessment criteria in EN-DC-207.

The inspectors assessed Entergys problem identification threshold, extent of condition

reviews, and the prioritization and timeliness of Entergy corrective actions to determine

whether Entergy was appropriately identifying, characterizing, and correcting problems

associated with this issue and whether the planned or completed corrective actions were

appropriate. The inspectors compared the actions taken to the requirements of

Entergys CAP and 10 CFR 50, Appendix B. In addition, the inspectors interviewed

engineering personnel to assess the effectiveness of the implemented corrective

actions.

b. Findings and Observations

No findings were identified.

Entergy identified three standard deficiencies during their self-assessment and wrote

CRs to document each one. One of the standard deficiencies was that the maintenance

rule basis documents were not being reviewed at least once every two years as required

by procedure EN-DC-204, Maintenance Rule Scope and Basis. The purpose of this

review was to ensure that the documents were updated if the configuration of the system

changed or if the performance criteria needed to be adjusted. Entergy wrote CR-IP3-

2015-03628 and assigned a corrective action to create work trackers to perform the

basis document reviews. They chose to use work trackers instead of corrective actions

under the CAP because the work had historically been assigned using work trackers.

However, because work trackers do not receive the same priority as corrective actions,

some of the maintenance rule basis documents had still not been reviewed at the time of

this inspection, over a year after the completion of the self-assessment. The inspectors

determined that this was not a more than minor issue because the systems in question

did not show signs of inadequate maintenance.

.4

Annual Sample: Unit 2 Reactor Trip on December 5, 2015

a. Inspection Scope

The inspectors performed an in-depth review of Entergys evaluations and corrective

actions associated with CR-IP2-2015-05484 and the related apparent cause evaluation

for the December 5, 2015, manual reactor trip in response to indications of multiple

dropped control rods caused by the loss of control rod power due to a power supply

failure. Entergy performed an apparent cause evaluation and determined the direct

cause of the event was the loss of motor control center (MCC)-24 due to an internal fault

at the line side leads at cubicle 2H where they connect to the bucket stab assemblies.

The apparent cause was an unanticipated loss of power to the control rod system due to

the degradation of the primary control rod power supply (PS1) which failed to function for

31

more than 10 minutes when the operating alternate power supply (PS2) was

deenergized.

The inspectors assessed Entergys problem identification threshold, problem analysis,

extent of condition reviews, compensatory actions, and the prioritization and timeliness

of Entergy's corrective actions to determine whether Entergy was appropriately

identifying, characterizing, and correcting problems associated with this issue and

whether the planned or completed corrective actions were appropriate. The inspectors

compared the actions taken to the requirements of Entergy's CAP and 10 CFR 50,

Appendix B, Criterion XVI, Corrective Action.

b. Findings and Observations

No findings were identified.

The inspectors found that Entergy took appropriate actions to identify the direct and

apparent cause of the issue. The direct cause of the event was the loss of MCC-24 due

to an internal fault at the line side leads at cubicle 2H where they connect to the bucket

stab assemblies. The apparent cause was an unanticipated loss of power to the control

rod system due to the degradation of the primary control rod PS1, which failed to

function when PS2 was lost. Entergy replaced the degraded rod control PS1; and the

MCC-24 compartments were removed to facilitate inspection and testing of the MCC

bus, control wires, and MCC internal. PS2 was also restored to operation after the fault

was cleared.

The inspector determined that the internal electrical fault that deenergized PS2 and the

prior degradation in PS1 was not within Entergys ability to foresee and prevent.

Therefore, there was no performance deficiency identified. Entergys overall response to

the issue was commensurate with the safety significance, was timely, and the actions

taken and planned were reasonable to resolve the failure of the primary control rod PS1.

.5

Annual Sample: Unexpected Number of Degraded Baffle-Former Bolts Discovered in

the Unit 2 Reactor Pressure Vessel

a. Inspection Scope

The inspectors performed an in-depth review of Entergys root cause evaluation and

corrective actions associated with CR-IP2-2016-02348 for baffle-former (baffle) bolts

found with indications of degradation during the Indian Point Unit 2 RFO 2R22. Entergy

performed ultrasonic examinations of the baffle bolts in accordance with their procedures

as part of a planned activity. After an unexpected number of degraded baffle bolts were

discovered, Entergy staff reported the issue to the NRC as Event Notification 51829

on March 29, 2016, because the as-found number and location of degraded bolts

represented an unanalyzed condition. Entergy staff completed corrective actions to

replace all of the potentially degraded baffle bolts on Unit 2. Entergy staff further

replaced a population of additional bolts that exhibited no indications of degradation and

performed an evaluation to determine the potential for baffle bolt failures at Unit 3.

The baffle-former bolts help secure vertical plates (also referred to as baffle plates)

inside the reactor vessel, which then forms a structure surrounding the reactor fuel

assemblies to orient the fuel and to direct coolant flow through the core. A sufficient

32

number of baffle bolts are required to remain intact to secure the baffle plates in place so

as to not affect control rod insertion or impede emergency core cooling flow during

postulated accident conditions. Bolt heads that separate and are no longer held in place

by bolt lock-tabs can also become a loose parts concern.

The inspectors determined whether Entergys acceptable baffle bolt pattern analysis for

Unit 2 was completed in accordance with the NRC-approved methodology and provided

appropriate structural margin for the next cycle of operation to ensure the Unit 2 baffle

plates will remain in place during both normal operation and limiting postulated accident

conditions. The inspectors further determined whether Entergys evaluations of the

baffle bolts installed in Indian Point Unit 3 were technically sufficient to conclude the

Unit 3 baffle assembly will perform as intended until the next planned RFO, at which time

Entergy plans to examine the bolts. The inspectors reviewed Entergys procedures for

determining the functionality and operability of degraded SSC as they relate to Unit 3.

The inspectors further interviewed Entergy engineering personnel and contractor staff to

discuss the results of Entergys technical evaluations and to assess the effectiveness of

the implemented and planned corrective actions.

The inspectors assessed Entergys problem identification threshold, cause analyses,

extent of condition, compensatory actions, and the prioritization and timeliness of

Entergys corrective actions to determine whether Entergy staff were properly identifying,

characterizing, and correcting problems associated with this issue and whether the

planned or completed corrective actions were appropriate. The inspectors compared the

actions taken to Entergys CAP, operability determination process, and the requirements

of 10 CFR 50, Appendix B. The inspectors observed portions of baffle bolt replacement

activities at Unit 2 and reviewed the final visual examination of the baffle bolts and plates

once the work was completed.

b. Findings and Observations

One Green NCV was identified and documented in Section 1R15 of this report.

The NRC responded to the initial discovery of an unexpected number of baffle bolts

found degraded at Indian Point Unit 2 by implementing a comprehensive inspection plan

consisting of various baseline inspection samples to assess the extent of the issue and

to determine the necessary NRC actions. A follow-up inservice inspection sample

(Refer to Section 1R08) was conducted to review the capability of the non-destructive

examination techniques, evaluate the UT results, and observe a portion of bolt

replacement activities on-site. A permanent modification sample (Refer to Section

1R18) was conducted to review the design change package and evaluations associated

with the new, replacement baffle bolts. The NRC resident inspectors reviewed Entergys

foreign material controls and loose parts analysis (Refer to Section 1R20) to address the

potential for missing bolt heads and concluded it would not impact safe operation of the

plant.

NRC Region I based inspectors accompanied by an expert from the NRC Office of

Nuclear Reactor Regulation completed an annual problem identification and resolution

inspection, documented in this section of the report, to verify that Entergys evaluations

and corrective actions to replace Unit 2 baffle bolts were completed in accordance with

an NRC approved methodology to support a conclusion that the Unit 2 baffle assembly

meets the plant design basis. The inspectors also determined the adequacy of

Entergys evaluations completed to determine there is a reasonable expectation that the

33

Unit 3 baffle assembly will perform as intended during the current operating cycle. The

results of this review are discussed herein and in Section 1R15 of this report.

Entergy staff determined the cause of the degraded baffle bolts was primarily due to

IASCC in combination with increased fatigue loading on the baffle plates. This cause

determination was based on industry operating experience related to baffle-former bolt

failure in both foreign and domestic plants. IASCC is a cracking mechanism that occurs

over a long period of time when susceptible metals are exposed to neutron radiation

from the reactor core and stresses as part of normal design and operation. Entergy staff

concluded that failure of a critical number of bolts in a localized area subsequently

imposed increased loading on adjacent bolts, which propagated failures and generated

the moderate clustered pattern observed in the examination results. No other

contributing causes were identified.

The inspectors reviewed Entergys root cause evaluation and the supporting operating

experience related to baffle bolt failures at other plants. The inspectors determined that

there is documented evidence in the existing technical literature (including materials

testing of bolts from other plants) and operating experience to conclude that the likely

cause is IASCC; however, the inspectors found that Entergy staff did not define the

cause of the fatigue failure mechanism. The inspectors noted that Entergy staff sent a

sample of baffle bolts removed from the reactor pressure vessel to a metallurgical

laboratory for detailed failure analysis and materials property testing. Entergy indicated

their plans to use the results of the laboratory testing to confirm the likely root cause.

The inspectors concluded that Entergy staff conducted an appropriate review to identify

the likely causes of the degraded baffle bolts and noted that further test results will be

used to confirm these causes.

Following identification of the degraded baffle bolts on Unit 2, Entergys immediate

corrective action was to analyze the as-found condition and begin replacing bolts that

either had visual indications of bolt failure (protruding bolt head for example), did not

pass UT examination, or were not accessible for UT examination. The as-found number

and pattern of these bolts exceeded the acceptance criteria in the plants analysis that

was prepared in advance of the baffle bolt examinations; therefore, Entergy reported this

discovery to the NRC as an unanalyzed condition. Entergy staff completed corrective

actions to replace all of the 227 potentially degraded baffle bolts, plus an additional 51

bolts for increased structural integrity, for a total of 278 bolts. The inspectors noted the

51 additional bolts were installed in strategic locations to prevent clustering of potential

bolt failures during the next operating cycle.

The inspectors determined that Entergy staff performed an acceptable bolt pattern

analysis that evaluated the replacement bolt pattern for Unit 2 and modeled the potential

for future bolt failures. The inspectors found the results of the analysis accounted for a

conservative failure rate of bolts and provided appropriate margin for one cycle of

operation. The inspectors verified that Entergys methodology for its acceptable bolt

pattern analyses, including its determination of margin, was consistent with the NRC-

approved methodology in topical report WCAP-15029-NP-A (ML15222A882). The

inspectors determined that Entergy staff tracked corrective actions to re-examine the

Unit 2 baffle bolts during the next planned RFO. The inspectors noted the new baffle

bolts were made of a material with improved resistance to IASCC and included an

improved design to reduce the stresses at the head to shank transition, both of which

are enhancements compared to the original bolts.

34

As part of an extent of condition assessment, Entergy entered CR-IP3-2016-01035 in its

CAP to evaluate the potential for degraded baffle bolts on Unit 3. Entergy operators

performed an IOD and concluded that the baffle assembly was operable. Entergy staff

performed a subsequent extent of condition review that concluded Unit 3 would

experience less baffle bolt degradation than Unit 2 based on several plant factors.

Entergy also conducted sensitivity analyses to show acceptable bounding conditions in

the event of bolt failures. The inspectors reviewed Entergys evaluations and noted that

Entergy staff concluded there was not a degraded condition at Unit 3. In consideration

of the guidance in their operability procedure and operating experience from Unit 2 and

other plants, the NRC issued an NCV in this report because Entergy did not perform an

operability evaluation for Unit 3 as a follow-up to the immediate determination for the

potential impact on supported systems controlled by the TS (Refer to Section 1R15).

As a corrective action, Entergy staff performed an operability evaluation and

demonstrated that the Unit 3 baffle former assembly remained operable. The inspectors

concluded that this supplemental evaluation provided appropriate technical justification

for the continued operation of Unit 3 until the next RFO in spring 2017, at which time

Entergy plans to examine the baffle bolts. Entergy also implemented a corrective action

as part of an enhancement to plant operations to monitor the RCS for any signs of fuel

leakage, which could be an indicator of baffle bolt failures.

The inspectors reviewed Westinghouse Nuclear Safety Advisory Letter NSAL-16-1,

which discussed the results of recent baffle-former bolt inspections and provided

Westinghouses recommendations on this issue. The letter described the plants as most

susceptible (i.e. Tier 1a) to this degradation as Westinghouse 4-loop reactors limited to

those with a down-flow configuration and using Type 347 stainless steel bolts. The

inspectors noted the recommendation was to complete UT volumetric examination of the

baffle bolts at the next scheduled RFO, and that Entergy had already planned this action

for Unit 3. Entergy also planned a long-term corrective action to convert Units 2 and 3

from a down-flow baffle configuration to an up-flow configuration, which would

significantly reduce the load on baffle-former bolts and provide for increased structural

margin of the baffle-former assembly. The inspectors determined Entergys overall

response to the issue was commensurate with the safety significance, was timely, and

included appropriate compensatory actions. The inspectors concluded that the actions

completed and planned were reasonable to address the ongoing aging management of

baffle bolts.

4OA3 Follow Up of Events and Notices of Enforcement Discretion (71153 - 5 samples)

.1

Plant Events

a. Inspection Scope

For the plant events listed below, the inspectors reviewed and/or observed plant

parameters, reviewed personnel performance, and evaluated performance of mitigating

systems. The inspectors communicated the plant events to appropriate regional

personnel, and compared the event details with criteria contained in IMC 0309, Reactive

Inspection Decision Basis for Reactors, for consideration of potential reactive inspection

activities. As applicable, the inspectors verified that Entergy made appropriate

emergency classification assessments and properly reported the event in accordance

with 10 CFR 50.72 and 50.73. The inspectors reviewed Entergys follow-up actions

35

related to the events to assure that Entergy implemented appropriate corrective actions

commensurate with their safety significance.

Unit 2

Turbine trip occurred while synchronizing Unit 2 to the grid on June 15, 2016

Shutdown required by TS for repairs to a leak on the 21 CCW heat exchanger

service water inlet on June 23, 2016

Unit 3

Rapid power reduction from 100 percent to 45 percent power in response to a loss of

both heater drain pumps on May 26, 2016

b. Findings

No findings were identified.

.2

(Closed) Licensee Event Report (LER) 05000247/2015-003-00: Manual Reactor Trip

Due to Indications of Multiple Dropped Control Rods Caused by Loss of Control Rod

Power Due to a Power Supply Failure

The inspectors reviewed Entergys actions and reportability criteria associated with LER 05000247/2015-003-00, which was submitted to the NRC on February 3, 2016. On

December 5, 2015, control room operators initiated a manual reactor trip after observing

indications consistent with multiple dropped control rods following an alarm for the trip of

MCC-24/24A. No control rod indication was available due to MCC-24 being faulted and

de-energized. The direct cause of the event was the loss of MCC-24 due to an internal

fault at the line sides leads at cubicle 2H where they connect to the bucket stab

assemblies. The apparent cause was an unanticipated loss of power to the control rod

system due to the degradation of the primary control rod PS1 which failed to function

when the operating PS2 was lost. The inspectors determined that both the unexpected

failure of PS2 and the internal fault in PS1 was not within Entergys ability to foresee and

prevent and was not a performance deficiency. The inspectors reviewed the LER, the

associated apparent cause evaluation analysis, and interviewed Entergy staff. This LER

is closed.

.3

(Closed) LER 05000247/2016-003-00: TS Prohibited Condition Due to an Inoperable 21

MBFP Discharge Valve for Greater Than the TS Allowed Outage Time

The inspectors reviewed Entergys actions and reportability criteria associated with LER 05000247/2016-003-00, which was submitted to the NRC on May 6, 2016. On March 7,

2016, during the shutdown to enter 2RFO22, the control switch for the 21 MBFP was

tripped from the control room but the MBFP discharge valve BFD-2-21 failed to fully

close as designed. The MBFP discharge valve was declared inoperable and TS 3.7.3

Condition C was entered. The MFD-2-21 isolation valve was then manually closed. The

direct cause of the failure to close the MBFP discharge valve BFD-2-21 was the motor

operated valves (MOVs) close torque switch contact finger out of position. The

apparent cause was that the MOV preventative maintenance procedure lacked the level

of detail and direction due to an unrecognized susceptibility associated with the

orientation of the close torque switch contact finger bracket opening and spreading of

36

the U shape bracket. The downward arrangement made it easier for the torque switch

contact finger to move out with spreading of the U shaped contact holder. The

inspectors reviewed the LER, the associated apparent cause evaluation analysis, and

interviewed Entergy staff. This LER is closed.

Introduction. The inspectors identified a Green NCV of 10 CFR 50.65(b)(1) for Entergys

failure to include a function of a safety-related system within the scope of the

maintenance rule program. Specifically, Entergy failed to include the feedwater isolation

function performed by the MBFP discharge valves, MBFPs, and feedwater regulating

valves and feedwater isolation valves which are required to remain functional during and

following a design basis event to mitigate the consequences of an accident, within the

scope of the maintenance rule monitoring program.

Description. On March 7, 2016, during an RFO, the control switch for the 21 MBFP was

positioned to trip and the 21 MBFP tripped as designed, but the MBFP discharge valve

BFD-2-21 failed to fully close. Entergy declared MBFP discharge valve BFD-2-21

inoperable and entered TS 3.7.3 Condition C. After troubleshooting, Entergy determined

the MOV close torque switch contact finger was out of position within the contact holder.

The misalignment allowed the contact finger to move out of the proper position causing

the MOV BFD-2-21 to fail to close. This is the same failure mechanism which caused

MOV BFD-2-21 to fail to close in 2010 which is referenced in CR-IP2-2010-07013. On

December 5, 2015, the 21 MBFP failed to trip and required closure of the steam

admission valves to secure it. This failure occurred because of contaminated control oil

that prevented the solenoid valves from operating.

The inspectors reviewed Entergys maintenance rule basis documents and identified the

feedwater isolation function was not properly included in the maintenance rule

monitoring program as required by 10 CFR 50.65(b)(1). The basis document for the

feedwater system did identify the need to monitor the feedwater isolation function under

the maintenance rule and stated that it would be monitored as a part of the vapor

containment supersystem. However, the basis document for the vapor containment

supersystem does not include the feedwater isolation components within the system

boundaries. As a result, when component failures occurred which affected the

feedwater isolation function, they were not reviewed to determine if they were

maintenance rule functional failures; and Entergy was unable to identify that the

performance of the main feedwater isolation equipment was not effectively controlled

through preventative maintenance. Entergy entered this issue into the CAP as

CR-IP2-2016-03963 and initiated actions to include the MBFP discharge valves into the

maintenance rule program.

Analysis. The failure to appropriately scope the safety-related feedwater isolation

function within the maintenance rule program was a performance deficiency. This

finding is more than minor because it is associated with the SSC and barrier

performance attribute of the Barrier Integrity cornerstone and affected the cornerstone

objective to provide reasonable assurance that physical design barriers protect the

public from radionuclide releases caused by accidents or events. Specifically, the failure

to properly scope the feedwater isolation function prevented Entergy from identifying that

equipment reliability was no longer effectively controlled through preventative

maintenance. Additionally, this issue is similar to example 7.d described in IMC 0612,

Appendix E, Examples of Minor Issues, dated August 11, 2009. In accordance with

IMC 0609.04, Initial Characterization of Findings, and Exhibit 2 of IMC 0609, Appendix

37

A, The Significance Determination Process for Findings At-Power, issued June 19,

2012, the inspectors determined that the finding was of very low safety significance

(Green) because the finding did not represent an actual open pathway in the physical

integrity of reactor containment, containment isolation system, and heat removal

components. There are redundant methods of feedwater isolation. They include

tripping the MBFPs and closing the MBFP discharge valves, closing the main feedwater

regulating valves and low flow bypass valves, and closing the main feedwater isolation

valves. On both December 5, 2015, and March 7, 2016, the main feedwater regulating

valves and isolation valves were functional; so there was no loss of the ability to isolate

feedwater to mitigate accident and transient conditions.

This finding does not have a cross-cutting aspect, since the failure to scope this

equipment into the maintenance rule program was not recognized when Entergy

combined the maintenance rule basis documents for Units 2 and 3 in 2012 and as a

result, is not indicative of current licensee performance.

Enforcement. 10 CFR 50.65(b)(1) requires, in part, that the holders of an operating

license shall include within the scope of the monitoring program, specified in

10 CFR 50.65(a)(1), SSCs that are relied upon to remain functional during and following

design basis events. Contrary to the above, since the combined maintenance rule

scoping for Units 2 and 3 in 2012, Entergy failed to include within the scope of the

monitoring program specified in 10 CFR 50.65(a)(1), the safety-related MBFP discharge

valves. These SSCs are relied upon during and after design basis events to mitigate the

consequences of a feedwater line break accident inside containment. Entergys

corrective action included entering this issue into the corrective action program.

Because the violation was of very low safety significance (Green) and Entergy entered

this issue into their CAP as CR-IP2-2016-03963, this violation is being treated as an

NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy.

(NCV 05000247/2016002-04, Failure to Scope Safety-Related Main Boiler Feedwater

Pump Discharge Valves into the Maintenance Rule Program)

4OA5 Other Activities

.1

Groundwater Contamination

a. Inspection Scope

On February 5, 2016, Entergy notified the NRC of a significant increase in groundwater

tritium levels measured at three monitoring wells (MWs) (MW-30, MW-31, and MW-32)

located near the Unit 2 fuel storage building. These samples were drawn on

January 26 to 27, 2016, and analyzed and confirmed on February 2 to 4, 2016. The

highest concentration was detected at MW-32, which increased from 12,000 pCi/l on

January 11, 2016, to 8,100,000 pCi/l on January 26, 2016, and subsequently up to

14,800,000 pCi/l on February 4, 2016. This increased tritium concentration event was

documented by Entergy in CR-IP2-2016-00564 which documents its investigation of this

event including a root cause evaluation. The inspectors reviewed Entergys root cause

evaluation for this event during this inspection period as well as recent groundwater

monitoring results.

38

b. Findings and Observations

No findings were identified.

Update to URI 05000247/2016001-07, January 2016 Groundwater Contamination

Entergy continues to conduct weekly, biweekly, and monthly groundwater sampling of

MWs at the initial site of groundwater contamination and at downstream wells towards

the Hudson River. For the initial three MWs (MW-30, MW-31, and MW-32), the general

trend in tritium activity has been downward, with periodic increases seen in some weekly

samples. The downstream MWs located in the Unit 2 switchyard (especially MW-55)

showed an initial increase in activity up to 117,000 pCi/l, but the activity at that location

has plateaued at the end of the reporting period.

Entergy documented its investigation of this event as root cause evaluation for

CR-IP2-2016-00564. The inspectors reviewed Entergys root cause evaluation for this

event. Entergy concluded that the source of the groundwater contamination was from

the reject water of a temporary reverse osmosis unit used to process water from the

refueling water storage tank at Unit 2 in preparation for RFO 2R22. Although this

analysis documents a number of issues identified during the operation of the contractor

reverse osmosis unit, which is believed to be the source of the groundwater

contamination, one of two leakage paths to groundwater have still not been established.

The established pathway involves leakage from two cut drain lines located above the

floor on the 35-foot elevation of the PAB. Further investigation by Entergy following the

conclusion of the Unit 2 RFO 2R22 must be conducted to verify the second pathway to

groundwater via the floor of the fuel storage building truck bay.

Entergys long-term corrective action for reducing tritium levels in the groundwater is the

same as previously identified for the March 2014 tritium spike (CR-IP2-2015-03806), the

start-up and operation of recovery well (RW)-1. Following installation of equipment and

system testing, full operation of the RW system is expected later this year. This system

will allow for the collection of tritiated groundwater in the vicinity of Unit 2 to be returned

inside the Unit 2 PAB for processing. The NRC will be conducting an inspection in

August 2016 to review the testing plan and results of the RW-1 tests. This inspection

will include a specialist region-based inspector, and a staff hydrogeologist.

The NRCs continuing assessment of the safety significance of this event focused on

validating the safety impact of dose to the public from the release of tritium to the site

groundwater, and ultimately to the Hudson River. The NRC verified that Entergys

bounding public dose calculations on the groundwater contamination leak was

sufficiently conservative and a maximum worst case scenario would result in a dose of

0.000112 millirem per year, which represents a very small fraction of the allowable dose

(liquid effluent dose objective of 3 millirem per year). This low value is due to

groundwater at Indian Point not being a source of any drinking water. There are no

drinking water wells on the Indian Point site, groundwater flow from the site is to the

Hudson River and not to any near site drinking water wells, and the Hudson River has

no downstream drinking water intakes as it is brackish water. Pathways to the public are

therefore limited to the consumption of fish and river invertebrates. The inspection

determined that there is no safety impact to the public as a result of this groundwater

contamination event. (URI 05000247/2016001-07, January 2016 Groundwater

Contamination)

39

.2

Institute of Nuclear Power Operations (INPO) Report Review

a. Inspection Scope

The inspectors also reviewed the final report for the INPO equipment reliability scram

review visit that was conducted to review the scrams that occurred over the past two

years, conducted in June 2016. The inspectors reviewed the report to ensure that any

issues identified were consistent with NRC perspectives of Entergy performance and to

determine if INPO identified any significant safety issues that required further NRC

follow-up.

b. Findings

No findings were identified.

4OA6 Meetings, Including Exit

On August 4, 2016, the inspectors presented the inspection results to Mr. Larry Coyle,

Site Vice President, and other members of Entergy. Based on additional information

provided, the inspectors conducted an updated exit meeting on August 30, 2016 with

John Kirkpatrick, Plant Operations General Manager and other members of Entergy.

The inspectors verified that no proprietary information was retained by the inspectors or

documented in this report.

ATTACHMENT: SUPPLEMENTARY INFORMATION

A-1

Attachment

SUPPLEMENTARY INFORMATION

KEY POINTS OF CONTACT

Entergy Personnel

A. Vitale, Site Vice President

J. Kirkpatrick, Plant Operations General Manager

R. Alexander, Unit 2 Shift Manager

R. Andersen, Maintenance Instrumentation and Controls Superintendent

N. Azevedo, Engineering Supervisor

J. Baker, Shift Manager

S. Bianco, Operations Fire Marshal

K. Brooks, Assistant Operations Manager

R. Burroni, Engineering Director

T. Chan, Engineering Supervisor

C. Chapin, Training Superintendent

D. Dewey, Assistant Operations Manager

J. Dignam, Unit 3 Control Room Supervisor

R. Dolansky, Inservice Inspection Program Manager

W. Durr, Outage Control Center Manager

R. Drake, Engineering Supervisor

K. Elliott, Fire Protection Engineer

J. Ferrick, Regulatory and Performance Improvement Director

L. Frink, Radiation Protection Supervisor

D. Gagnon, Security Manager

L. Glander, Emergency Preparedness Manager

D. Gray, Radiological Environmental Manager

J. Johnson, Unit 2 Control Room Supervisor

M. Johnson, Unit 3 Shift Manager

M. Khadabux, Instrumentation and Controls Supervisor

F. Kich, Performance Improvement Manager

M. Lewis, Unit 3 Assistant Operations Manager

N. Lizzo, Training Manager

S. McAllister, Baffle Bolt Replacement Project Manager

M. McCarthy, Unit 3 Control Room Supervisor

B. McCarthy, Operations Manager

F. Mitchell, Radiation Protection Manager

E. Mullek, Maintenance Manager

S. Stevens, Radiation Protection Operations Superintendent

B. Sullivan, Training Superintendent

J. Taylor, Unit 3 Shift Manager

M. Tesoriero, Outage Control Center Manager

M. Troy, Nuclear Oversight Manager

R. Walpole, Regulatory Assurance Manager

A. Zastrow, Assistant Operations Manager

A-2

LIST OF ITEMS OPENED, CLOSED, DISCUSSED, AND UPDATED

Opened 05000247/2016002-01

URI

CVCS Goal Monitoring Under the Maintenance

Rule (Section 1R12)

Opened/Closed 05000286/2016002-02

NCV

Failure to Follow Operability Determination

Procedure for Unit 3 Baffle-Former Bolts

(Section 1R15)05000247/2016002-03

NCV

Failure to Maintain Flow Channeling Gates Closed

in Accordance with the Containment Procedure

(Section 1R20)05000247/2016002-04

NCV

Failure to Scope Safety-Related Main Boiler

Feedwater Pump Discharge Valves into the

Maintenance Rule Program (Section 4OA3)

Closed

05000247/2015-003-00

LER

Manual Reactor Trip due to Indications of Multiple

Dropped Control Rods Caused by Loss of Control

Rod Power Due to a Power Supply Failure

(Section 4OA3)

05000247/2016-003-00

LER

Technical Specification Prohibited Condition

Due to an Inoperable 21 Main Boiler Feedwater

Pump Discharge Valve for Greater Than the TS

Allowed Outage Time (Section 4OA3)

Discussed 05000247/2016001-01

URI

Baffle-Former Bolts with Identified Anomalies

(Section 1R08)05000247/2016001-06

URI

Emergency Diesel Generator Automatic Voltage

Regulator Failure (Section 1R15)05000247/2016001-07

URI

January 2016 Groundwater Contamination

Section (Section 4OA5)

A-3

LIST OF DOCUMENTS REVIEWED

Common Documents Used

Indian Point Unit 2 and Unit 3, UFSARs

Indian Point Unit 2 and Unit 3, Individual Plant Examinations

Indian Point Unit 2 and Unit 3, Individual Plant Examination of External Events

Indian Point Unit 2 and Unit 3, TSs and Bases

Indian Point Unit 2 and Unit 3, Technical Requirements Manuals

Indian Point Unit 2 and Unit 3, Control Room Narrative Logs

Indian Point Unit 2 and Unit 3, Plans of the Day

Section 1R04: Equipment Alignment

Procedures

2-COL-4.2.1, Residual Heat Removal System, Revision 30

2-COL-4.3.1, Spent Fuel Pit Cooling, Revision 10

2-COL-24.1.1, Service Water System, Revision 50

3-COL-EL-005, Diesel Generators, Revision 37

OAP-019, Component Verification and System Status Control, Revision 7

OAP-044, Plant Labeling Program, Revision 3

Condition Reports (CR-IP2)

2016-01311

2016-01505

2016-01761

2016-02330

2016-02428

2016-02470

Condition Reports (CR-IP3)

2016-01382

2016-01810

Drawings

209762, Flow Diagram Service Water System Nuclear Steam Supply Plant, Revision 75

227781, Flow Diagram Auxiliary Coolant System, Revision 22

9321-2720, Auxiliary Coolant System, Sheet 2, Revision 22

Miscellaneous

IP3-DBD-308, CCW System, Revision 3

Section 1R05: Fire Protection

Procedures

EN-MA-133, Control of Scaffolding, Revision 12

Condition Reports (CR-IP2)

2016-04148

Condition Reports (CR-IP3)

2016-01272

Miscellaneous

PFP-203, Containment Building, 95-Foot Elevation (Fire Zone 86A), Revision 15

PFP-204, General Floor Plan, PAB, 15-Foot Elevation, Revision 0

PFP-209, Component Cooling Pump Room, PAB, 68-Foot Elevation, Revision 0

PFP-211, General Floor Plan, PAB, 80-Foot Elevation, Revision 14

PFP-351, 480V Switchgear Room, Revision 15

A-4

Section 1R07: Heat Sink Performance

Procedures

0-HTX-405-EDG, EDG Lube Oil and Jacket Water Heat Exchanger Maintenance, Revision 4

Condition Reports (CR-IP3)

2010-02900

2011-03594

2011-03596

2011-03961

2012-02071

2012-03912

2013-02338

2013-02695

2013-03009

2014-00957

2014-01239

2014-03158

2014-03175

2015-00031

2015-00599

2015-02848

2015-05209

2015-05526

2016-00886

2016-00895

2016-00899

Maintenance Orders/Work Orders

WO 52489888

WO 52626563

Miscellaneous

SEP-SW-IPC-001, Indian Point Energy Center NRC Generic Letter 89-13 Service Water

Program, Revision 0

Section 1R08: Inservice Inspection Activities

Procedures

GBRA-104-659, Collection of Protocols for Baffle Bolt Replacement, Revision C

GBRA-175-115, Field Service Procedure for Baffle Bolt Replacement, Revision 3

WDI-STD-088, Underwater Remote Visual Examination of Reactor Vessel Internals,

Revision 13

WDI-STD-1073, Ultrasonic Test Procedure for the Inspection of Internal Hex Head

Baffle-Former Bolts with Welded Lock Bars, Revision 4

Condition Reports (CR-IP2)

2016-02081

Maintenance Orders/Work Orders

442412-13

Miscellaneous

Indian Point Unit 2 Baffle Bolt Ultrasonic Examination Expanded Analysis Report, dated

April 28, 2016

IP2 Reactor Vessel Visual Examination Report, dated May 2006

Loose Parts Inventory Log for Baffle Bolt Replacements, dated May 24, 2016

MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and

Evaluation Guidelines (ML120170453)

MRP-228, Materials Reliability Program: Inspection Standard for PWR Internals - 2012 Update,

Revision 1

SEP-ISI-IP2-001, IP2 Fourth Ten-Year Interval Inservice Inspection (ISI)/Containment Inservice

Inspection (CISI) Program Plan, Revision 2

WDI-PJF-1315504-EPP-001, Indian Point Nuclear Power Plant MRP-227-A Reactor Vessel

Internals Examination Program Plan, Revision 0

WDI-PJF-1315505-FSR-001, Indian Point Unit 2 2R22 MRP-227-A Baffle-Former Bolt

Ultrasonic Inspections Field Service Report, dated March 29, 2016

WDI-TJ-1100, Technical Justification for the Ultrasonic Inspection of Baffle-Former Bolts for

Indian Point Units 2 and 3, Revision 1

A-5

Section 1R11: Licensed Operator Requalification Program

Procedures

2-AOP-480V-1, Loss of Normal Power to Any 480V Vital Bus, Revision 8

2-AOP-RCP-1, Reactor Coolant Pump Malfunction, Revision 14

2-AOP-TURB-1, Main Turbine Trip without a Reactor Trip, Revision 5

2-E-0, Reactor Trip or Safety Injection, Revision 7

2-FR-H.1, Response to Loss of Secondary Heat Sink, Revision 11

2-POP-1.2, Reactor Startup, Revision 59

2-SOP-26.4, Turbine Generator Startup, Synchronizing, Voltage Control and Shutdown,

Revision 62

3-AOP-480V-1, Loss of Normal Power to Any Safeguards Bus, Revision 7

3-AOP-CVCS-1, Chemical and Volume Control System Malfunction, Revision 8

3-AOP-FW-1, Loss of Feedwater, Revision 8

3-AOP-INST-1, Instrument/Controller Failures, Revision 11

3-E-0, Reactor Trip or Safety Injection, Revision 6

3-E-1, Loss of Reactor or Secondary Coolant, Revision 4

3-FR-C.2, Response to Degraded Core Cooling, Revision 3

Condition Reports (CR-IP2)

2016-03946

2016-04162

2016-04164

2016-04165

2016-04169

2016-04178

Condition Reports (CR-IP3)

2016-01087

2016-01092

2016-01098

2016-01336

Miscellaneous

13SX-LOR-SES026, Licensed Operator Requalification Program Scenario

Emergency Action Level Table, Revision 15.2

LRQ-SES-04, IPEC Simulator Evaluated Scenario, Revision 6

Section 1R12: Maintenance Effectiveness

Procedures

CEP-NDE-0640, Non-Section XI Liquid Penetrant Examination, Revision 9

CEP-WP-WIIR-1, Attachment 5.1, Inprocess Inspections for Installation and Replacement

Welds Located Inside the ASME Section XI Boundary, Revision 3

EN-DC-206, Maintenance Rule (a)(1) Process, Revision 3

Condition Reports (CR-IP2)

2010-00864

2013-03130

2014-00162

2014-00185

2014-01144

2014-02184

2015-00278

2016-01260

2016-01430

2016-01500

Condition Reports (CR-IP3)

2012-03836

2013-04758

2015-01396

2015-03404

2015-03653

2015-04053

2015-04162

2015-04184

2015-04539

2015-05316

2015-05384

2015-05729

A-6

2016-00098

2016-00653

2016-00723

2016-01189

2016-01227

2016-01274

2016-01313

2016-01531

2016-01536

2016-01543

2016-02432

Maintenance Orders/Work Orders

WO 00397793

WO 00408019

WO 00414886

WO 00416091

WO 00421841

WO 00429532

WO 00429532

WO 00431497

WO 00446165

WO 00447042

WO 00447966

WO 52602429

WO 52621178

Miscellaneous

EC 65389, 21 CCW HX Leak Repair: Service Water Inlet Nozzle - Elbow Weld Configuration

Change

IPEC Maintenance Rule Basis Document - Chemical and Volume Control System, Revision 0

PQR 913, 134 F42 MN-GTAW ASME IX Welding Procedure Qualification Record, Revision 0

System Health Report, Unit 3, EDG, Q1-2016

Weld Map Number 447966-20-01, Revision 0

WPS 134 F42, MN-GTAW, ASME Section IX Welding Procedure Specification, Revision 0

Section 1R13: Maintenance Risk Assessments and Emergent Work Control

Procedures

EN-OP-119, Protected Equipment, Revision 8

IP-SMM-OU-104, Attachment 9.1, Shiftly Outage Shutdown Safety Assessments, Revision 15

IP-SMM-OU-104, Attachment 9.2, Shiftly Outage Shutdown Safety Assessment Guidelines,

Revision 15

Condition Reports (CR-IP2)

2016-04141

Condition Reports (CR-IP3)

2016-01545

Miscellaneous

EOOS Risk Assessment Software Tool

Section 1R15: Operability Determinations and Functionality Assessments

Procedures

2-PC-R3-1, Pressurizer Level Transmitters, Revision 10

3-ARP-010, Metal Impact Monitoring System, Page 10, Revision 32

3-SOP-RCS-016, Operation of the Metal Impact Monitoring System, Revision 8

EN-OP-104, Operability Determination Process, Revision 10

Condition Reports (CR-IP2)

2016-2221

2016-2356

2016-2961

2016-3345

2016-3418

2016-3660

2016-3636

2016-3784

2016-3806

2016-3818

2016-4085

Condition Reports (CR-IP3)

2014-01670

2015-03468

A-7

Maintenance Orders/Work Orders

WO 00327574

WO 00425980

WO 52571030

Miscellaneous

EN-LI-100, Attachment 9.1, Change Channel Check Comparison Criteria/2-PT-M100,

2-PT-D001, Revision 0

Section 1R18: Plant Modifications

Drawings

10073E87-001, Indian Point Unit 2 Baffle Bolt Replacement - Core Barrel and Baffle Assembly

Elevation, Revision 0

10111D06, Indian Point Unit 2 Baffle Bolt Replacement - Replacement Baffle Bolt .625

and .750, Revision 0

Miscellaneous

EC 64308, IP2 Reactor Vessel Equivalent Replacement Baffle-to-Former Bolt, Revision 0

Process Applicability Determination Form for EC 64308, dated April 21, 2016

WCAP-18136-P, Replacement Type 316 Cold-Worked Baffle-Former Bolt Qualification for

Indian Point Unit 2, Revision 0

Section 1R19: Post-Maintenance Testing

Procedures

3-PT-M079B, 32 EDG Functional Test, Revision 52

2-PC-Q109-4, Recalibration of NIS and OT/OP Delta-T Parameters - Channel IV, Revision 44

Condition Reports (CR-IP2)

2016-03961

2016-04266

Condition Reports (CR-IP3)

2016-01189

2016-01199

2016-01218

Maintenance Orders/Work Orders

WO 00414886

WO 00420649

WO 00446094

WO 00447966

WO 52545181

WO 52626563

WO 52626564

WO 52630619

WO 52630620

WO 52658943

WO 00236158

WO 00277374

WO 52571030

Drawings

5651D72, Logic Diagrams Steam Generator Trip Signals, Revision 7

Miscellaneous

EC 64545, Emergency Temporary Modification to Disconnect 32 EDG Generator Space Heater

Adjacent to End Plate on Outboard End of Generator

FIX00091, Pressurizer Level Uncertainty - Indication, Trip Setpoints, and Annunciation

Setpoints, Revision 1

E-mail from J. Michetti to G. Newman, dated July 19, 2016, Subject: Westinghouse Report

on E9

A-8

Section 1R20: Refueling and Other Outage Activities

Procedures

2-POP-1.1, Plant Heatup from Cold Shutdown, Revision 90

2-POP-1.2, Reactor Startup, Revision 59

2-POP-1.3, Plant Startup from Zero to 45 Percent Power, Revision 89

2-POP-3.1, Plant Shutdown from 45 Percent Power, Revision 58

2-POP-3.3, Plant Cooldown, Hot to Cold Shutdown, Revision 81

2-POP-3.4, Secondary Plant Shutdown, Revision 10

2-POP-4.1, Operation at Cold Shutdown, Revision 5

2-POP-4.2, Operation Below 20 Percent Pressurizer Level with Fuel in the Reactor, Revision 8

2-POP-4.3, Operation without Fuel in the Reactor, Revision 1

Condition Reports (CR-IP2-)

2016-04118

2016-04119

2016-04123

2016-03124

2016-04126

2016-04129

2016-04130

2016-04131

2016-04132

2016-04139

2016-04141* 2016-04142*

2016-04144

2016-04145

2016-04146

2016-04148* 2016-04151

2016-04152

2016-04155

2016-04161

2016-04162

2016-04165

2016-04169

  • NRC identified

Maintenance Orders/Work Orders

52681465

Miscellaneous

2R22 Performance Indicator Curves Daily from March 7 to June 14, 2016

Outage Schedules and Plans of the Day from March 7 to June 14, 2016

Westinghouse LTR-PL-16-16, Operability Assessment for Primary Side Loose Parts at Indian

Point Unit 2, Revision 0, dated March 27, 2016

Section 1R22: Surveillance Testing

Procedures

0-SOP-LEAKRATE-001, RCS Leakrate Surveillance Evaluation and Leak Identification,

Revision 6

2-PT-D001, Control Room Operations Surveillance Requirements, Revision 16

2-PT-M029B, 22 Safety Injection Pump, Revision 20

2-PT-Q013, Inservice Valve Tests, Revision 51

2-PT-Q013-DS040, Valve 887B Inservice Test Data Sheet, Revision 22

3-PT-M079B, 32 EDG Functional Test, Revision 52

Condition Reports (CR-IP2)

2016-03360

2016-03363

Condition Reports (CR-IP3)

2016-01716

2016-01752

Maintenance Orders/Work Orders

WO 00443040

WO 00446385

WO 00446867

WO 52681652-01

WO 52681646-01

A-9

Miscellaneous

EC 64855, EC Reply to Provide Input Regarding MPR Maintenance Bulletin MB-2007-01 for

Auto Voltage Regulator Solder Joints

MB-2007-01, Potential for Solder Joint Cracks on Basler SBSR Auto Voltage Regulator Cards

and Technical Manual Addendum TM-2007-01, November 5, 2007

Unit 3 RCS Routine Activity Sample, 28-June-16-10006

Section 1EP6: Drill Evaluation

Procedures

IP-EP-120, Emergency Classification, Revision 10

IP-EP-410, Protective Action Recommendations, Revision 11

Section 2RS7: Radiological Environmental Monitoring Program

Procedures

0-CY-1920, REMP Land Use Census, Revision 1

0-CY-1980, Preparation, Placement and Collection of Site Environmental Thermoluminescent

Dosimeters, Revision 2

Condition Reports (CR-IP2)

2014-05319

2015-00948

2015-01300

2015-02687

2015-02800

2015-02987

2015-03271

2015-03396

2016-02313

Condition Reports (CR-IP3)

2016-00514

Miscellaneous

2014 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3

2015 Annual Radiological Environmental Operating Report, Indian Point Nos. 1, 2, and 3

Environmental Dosimetry Company, Annual Quality Assurance Status Report,

January to December 2015

Indian Point Energy Center ODCM, Revision 4

June 2015 to May 2016 Meteorological Data Recovery

Met One Instruments, Inc. Certificates of Calibration for Temperature, Wind Direction, and Wind

Speed

Teledyne Brown Engineering Environmental Services Annual 2015 Quality Assurance Report

Exelon PowerLabs Certificates of Calibration for Gas Meters

3471875

3482909

3471871

3471867

3482920

3471873

3482910

3482916

3471877

3482914

3482918

3482921

3471881

3471879

3471872

3471869

3471880

3482908

Quality Assurance

Quality Assurance Audit Report QA-2-6-2015-IP-1, Chemistry, Effluents, and Environmental

Monitoring Snapshot Self-Assessment, LO-IP3LO-2015-00126, Chemistry-REMP

Section 4OA2: Problem Identification and Resolution

Procedures

EN-DC-204, Maintenance Rule Scope and Basis, Revision 3

EN-DC-204, Maintenance Rule Scope and Basis, Revision 3

EN-DC-207, Maintenance Rule Periodic Assessment, Revision 3

A-10

EN-LI-102, Corrective Action Program, Revision 26

EN-LI-104, Self-Assessment and Benchmark Process, Revision 11

EN-LI-110-01, Equipment Failure Evaluation, Revision 0

EN-LI-119, Apparent Cause Evaluation Process, Revision 11

EN-OP-104, Operability Determination Process, Revision 10

Condition Reports (CR-IP2)

2010-07013

2015-04574

2015-05458

2015-05460

2015-05461

2015-05464

2015-05466

2015-05467

2016-01374

2016-02348

Condition Reports (CR-IP3)

2015-3628

2016-01035

2016-01961

Maintenance Orders/Work Orders

WO 00442412

Apparent Cause Evaluations

IP2-2015-05458

Drawings

504405, Sheet 1 of 2, Replacement Baffle Bolt Location Matrix, Revision 0

504405, Sheet 2 of 2, Replacement Baffle Bolt Location Matrix, Revision 0

Miscellaneous

61265, Temporary Modification Control Form-Install Additional Temporary Spare Power Supply

Inside Rod Control Cabinet 2BD to Restore Margin, Revision 0

Appendix A to Facility Operating License DPR-64, Technical Specifications and Basis For The

Indian Point 3 Nuclear Generating Station Unit No.3, Through Amendment 260

CN-RIDA-15-43, Indian Point Units 2 and 3 Acceptable Baffle-Former Bolting LOCA and

Seismic Analysis, Revision 2

Engineering Change 63938, As-left condition of the baffle-former plate assembly following the

replacement of degraded bolts, Revision 0

EPRI TR-112209, Analysis of Baffle Former Bolt Cracking in EDF CPO Plants (PWRMRP-03),

dated June 1999

Indian Point Entergy Center (IPEC) Unit 3, Updated Final Safety Analysis Report, dated May

2013

IP-RPT-16-00025, Evaluation of Indian Point Unit 3 Reactor Core Baffle Bolting Following MRP-

227-A Inspection Findings at Indian Point Unit 2 during 2R22, Revision 0

LO-IP3LO-2015-72

LTR-PL-16-21, Transmittal of Indian Point Unit 3 Final Engineering Evaluations Supporting

Extent of Condition Review, Revision 0

LTR-RIDA-16-103, Indian Point Unit 2 Baffle Bolting Anti-Clustering Pattern and Margin

Assessment, Revision 0

LTR-RIDA-16-152, Indian Point Unit 3 Baffle Bolt Leak Before Break Operability Assessment,

Revision 0

LTR-RIDA-16-60, Indian Point Unit 2 Baffle Bolting One Cycle Replacement Pattern Summary

Letter, Revision 0

MRP-227-A, Materials Reliability Program: Pressurized Water Reactor Internals Inspection and

Evaluation Guidelines (ML120170453)

Operation Decision Making Issue Action Plan for IP3 Baffle Bolt Monitoring, dated May 19, 2016

WCAP-15029-NP-A, Westinghouse Methodology for Evaluating the Acceptability of Baffle-

Former-Barrel Bolting Distributions Under Faulted Load Conditions, Revision 0

(ML15222A882)

A-11

WCAP-17949-P, Background and Technical Basis Supporting Engineering Flaw Acceptance

Criteria for Indian Point Unit 2 Reactor Vessel Internals MRP-227-A Primary and

Expansion Components, Revision 1

WCAP-18048-P, Determination of Acceptable Baffle-Former Bolting for Indian Point Units 2 and

3, Revision 0

Section 4OA5: Other Activities

Miscellaneous

INPO Letter, INPO Equipment Reliability Scram Review Visit, May 31, 2016

Root Cause Evaluation for CR-IP2-2016-00564

A-12

LIST OF ACRONYMS

10 CFR

Title 10 of the Code of Federal Regulations

ADAMS

Agencywide Document Access and Management System

ALARA

as low as is reasonably achievable

AVR

automatic voltage regulator

CAP

corrective action program

CCW

component cooling water

CR

condition report

CVCS

chemical and volume control system

EC

engineering change

ECCS

emergency core cooling system

EDG

emergency diesel generator

GPI

groundwater protection initiative

IASCC

irradiation-assisted stress-corrosion cracking

IMC

Inspection Manual Chapter

INPO

Institute of Nuclear Power Operations

LER

licensee event report

LOCA

loss-of-coolant accident

MBFP

main boiler feedwater pump

MCC

motor control center

MOV

motor operated valve

MRP

materials reliability program

MW

monitoring well

NCV

non-cited violation

NRC

Nuclear Regulatory Commission, U.S.

ODCM

offsite dose calculation manual

OOS

out of service

PAB

primary auxiliary building

PFP

pre-fire plan

RCS

reactor coolant system

REMP

radiological environmental monitoring program

RFO

refueling outage

RW

recovery well

SI

safety injection

SSC

structure, system, and component

TS

technical specification

UFSAR

updated final safety evaluation report

URI

unresolved item

UT

ultrasonic testing

WO

work order