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{{#Wiki_filter:UNITED STATES
{{#Wiki_filter:UNITED STATES  
                          NUCLEAR REGULATORY COMMISSION
NUCLEAR REGULATORY COMMISSION  
                                              REGION I
REGION I  
                                        475 ALLENDALE ROAD
475 ALLENDALE ROAD  
                                  KING OF PRUSSIA, PA 19406-1415
KING OF PRUSSIA, PA 19406-1415  
                                          March 17, 2008
Mr. Britt T. McKinney
March 17, 2008  
Senior Vice President and Chief Nuclear Officer
PPL Susquehanna, LLC
769 Salem Blvd. - NUCSB3
Berwick, PA 18603-0467
SUBJECT:         SUSQUEHANNA STEAM ELECTRIC STATION, UNITS 1 AND 2
                PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION
                INSPECTION REPORTS NOS. 05000387/2008006; 05000388/2008006
Mr. Britt T. McKinney  
Dear Mr. McKinney:
Senior Vice President and Chief Nuclear Officer  
On February 1, 2008, the US Nuclear Regulatory Commission (NRC) completed a team
PPL Susquehanna, LLC  
inspection at the Susquehanna Steam Electric Station. The enclosed inspection report
769 Salem Blvd. - NUCSB3  
documents the inspection results, which were discussed on February 1, 2008, with you and
Berwick, PA 18603-0467  
members of your staff.
This inspection was an examination of activities conducted under your license as they relate to
SUBJECT:  
the identification and resolution of problems, and compliance with the Commission=s rules and
SUSQUEHANNA STEAM ELECTRIC STATION, UNITS 1 AND 2  
regulations and the conditions of your license. Within these areas, the inspection involved
PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION  
examination of selected procedures and representative records, observations of activities, and
INSPECTION REPORTS NOS. 05000387/2008006; 05000388/2008006  
interviews with personnel.
On the basis of the sample selected for review, the team concluded that the implementation of
Dear Mr. McKinney:  
the corrective action program (CAP) was adequate in that personnel identified issues at a low
threshold; generally screened and prioritized issues in a timely manner; evaluated the issues
On February 1, 2008, the US Nuclear Regulatory Commission (NRC) completed a team  
commensurate with their safety significance; and implemented corrective actions in a timely
inspection at the Susquehanna Steam Electric Station. The enclosed inspection report  
manner commensurate with the safety significance.
documents the inspection results, which were discussed on February 1, 2008, with you and  
The team identified four findings of very low safety significance (Green). These findings were
members of your staff.  
determined to involve violations of regulatory requirements. However, because each of the
violations was of very low safety significance (Green) and because they were entered into your
This inspection was an examination of activities conducted under your license as they relate to  
corrective action program, the NRC is treating these as Non-Cited Violations (NCVs), in
the identification and resolution of problems, and compliance with the Commission=s rules and  
accordance with Section VI.A.1 of the NRC=s Enforcement Policy. If you contest any NCV in
regulations and the conditions of your license. Within these areas, the inspection involved  
this report, you should provide a response within 30 days of the date of this inspection report,
examination of selected procedures and representative records, observations of activities, and  
with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN: Document
interviews with personnel.  
Control Desk, Washington DC, 20555-0001, with copies to the Regional Administrator, Region I;
On the basis of the sample selected for review, the team concluded that the implementation of  
the corrective action program (CAP) was adequate in that personnel identified issues at a low  
threshold; generally screened and prioritized issues in a timely manner; evaluated the issues  
commensurate with their safety significance; and implemented corrective actions in a timely  
manner commensurate with the safety significance.  
The team identified four findings of very low safety significance (Green). These findings were  
determined to involve violations of regulatory requirements. However, because each of the  
violations was of very low safety significance (Green) and because they were entered into your  
corrective action program, the NRC is treating these as Non-Cited Violations (NCVs), in  
accordance with Section VI.A.1 of the NRC=s Enforcement Policy. If you contest any NCV 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 U.S. Nuclear Regulatory Commission, ATTN: Document  
Control Desk, Washington DC, 20555-0001, with copies to the Regional Administrator, Region I;  


B. McKinney                                     2
B. McKinney  
the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC,
20555-0001; and the NRC Resident Inspector at the Susquehanna facility.
2
In accordance with 10 CFR 2.390 of the NRC=s ARules of Practice,@ a copy of this letter and its
the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC,  
enclosure, and your response (if any), will be available electronically for public inspection in the
20555-0001; and the NRC Resident Inspector at the Susquehanna facility.  
NRC Public Document Room or from the Publicly Available Records (PARS) component of the
NRC=s document system (ADAMS). ADAMS is accessible from the NRC Web site at
In accordance with 10 CFR 2.390 of the NRC=s ARules of Practice,@ a copy of this letter and its  
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
enclosure, and your response (if any), will be available electronically for public inspection in the  
                                              Sincerely,
NRC Public Document Room or from the Publicly Available Records (PARS) component of the  
                                              /RA/
NRC=s document system (ADAMS). ADAMS is accessible from the NRC Web site at  
                                              Mel Gray, Chief
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).  
                                              Technical Support & Assessment Branch
                                              Division of Reactor Projects
Sincerely,  
Docket Nos. 50-387, 50-388
License Nos. NPF-14; NPF-22
/RA/  
Enclosure:     Inspection Report Nos. 05000387/2008006; 05000388/2008006
                  w/ Attachment: Supplemental Information
Mel Gray, Chief  
cc w/encl:
Technical Support & Assessment Branch  
C. Gannon, Vice President, Nuclear Operations
Division of Reactor Projects  
R. Paley, General Manager, Plant Support
R. Pagodin, General Manager, Nuclear Engineering
Docket Nos. 50-387, 50-388  
R. Sgarro, Manager, Nuclear Regulatory Affairs
License Nos. NPF-14; NPF-22  
Supervisor, Nuclear Regulatory Affairs
M. Crowthers, Supervising Engineer, Nuclear Regulatory Affairs
Enclosure:
R. Peal, Mgr, Training, Susquehanna
Inspection Report Nos. 05000387/2008006; 05000388/2008006  
Manager, Quality Assurance
  w/ Attachment: Supplemental Information  
J. Scopelliti, Community Relations Manager, Susquehanna
B. Snapp, Esq., Associate General Counsel, PPL Services Corporation
cc w/encl:  
Supervisor - Document Control Services
R. Osborne, Allegheny Electric Cooperative, Inc.
C. Gannon, Vice President, Nuclear Operations
D. Allard, Dir, PA Dept of Environmental Protection
R. Paley, General Manager, Plant Support  
Board of Supervisors, Salem Township
R. Pagodin, General Manager, Nuclear Engineering
J. Johnsrud, National Energy Committee, Sierra Club
R. Sgarro, Manager, Nuclear Regulatory Affairs  
E. Epstein, TMI-Alert (TMIA)
Supervisor, Nuclear Regulatory Affairs  
J. Powers, Dir, PA Office of Homeland Security
M. Crowthers, Supervising Engineer, Nuclear Regulatory Affairs  
R. French, Dir, PA Emergency Management Agency
R. Peal, Mgr, Training, Susquehanna  
Manager, Quality Assurance  
J. Scopelliti, Community Relations Manager, Susquehanna
B. Snapp, Esq., Associate General Counsel, PPL Services Corporation  
Supervisor - Document Control Services  
R. Osborne, Allegheny Electric Cooperative, Inc.  
D. Allard, Dir, PA Dept of Environmental Protection
Board of Supervisors, Salem Township  
J. Johnsrud, National Energy Committee, Sierra Club  
E. Epstein, TMI-Alert (TMIA)  
J. Powers, Dir, PA Office of Homeland Security  
R. French, Dir, PA Emergency Management Agency  


                                          1
                  U.S. NUCLEAR REGULATORY COMMISSION
                                      REGION I
Docket No:   50-387, 50-388
Enclosure
License No: NPF-14, NPF-22
Report No:   05000387/2008006, 05000388/2008006
1
Licensee:   PPL Susquehanna, LLC
Facility:   Susquehanna Steam Electric Station, Units 1 and 2
U.S. NUCLEAR REGULATORY COMMISSION  
Location:   769 Salem Boulevard - NUCSB3
            Berwick, PA 18603-0467
Dates:       January 14 - February 1, 2008
REGION I  
Team Leader: B. Norris, Senior Project Engineer, Division of Reactor Projects
Inspectors: F. Arner, Senior Reactor Inspector, Division of Reactor Safety
            R. Fuhrmeister, Senior Project Engineer, Division of Reactor Projects
Docket No:  
            G. Ottenberg, Resident Inspector, Division of Reactor Projects
50-387, 50-388  
            J. Bream, Reactor Engineer, Division of Reactor Projects
            R. McKinley, Operations Examiner, Division of Reactor Safety
Approved by: Mel Gray, Chief
License No:  
            Technical Support & Assessment Branch
NPF-14, NPF-22  
            Division of Reactor Projects
                                                                                  Enclosure
Report No:  
05000387/2008006, 05000388/2008006  
Licensee:  
PPL Susquehanna, LLC  
Facility:  
Susquehanna Steam Electric Station, Units 1 and 2  
Location:  
769 Salem Boulevard - NUCSB3  
Berwick, PA 18603-0467  
Dates:  
January 14 - February 1, 2008  
Team Leader:  
B. Norris, Senior Project Engineer, Division of Reactor Projects  
Inspectors:  
F. Arner, Senior Reactor Inspector, Division of Reactor Safety  
R. Fuhrmeister, Senior Project Engineer, Division of Reactor Projects  
G. Ottenberg, Resident Inspector, Division of Reactor Projects  
J. Bream, Reactor Engineer, Division of Reactor Projects  
R. McKinley, Operations Examiner, Division of Reactor Safety  
Approved by:  
Mel Gray, Chief  
Technical Support & Assessment Branch  
Division of Reactor Projects  


                                                  2
                                    SUMMARY OF FINDINGS
IR 05000387/2008-006, 05000388/2008-006; 01/14/2008 - 02/01/2008; Susquehanna Steam
Electric Station; Biennial Baseline Inspection of the Identification and Resolution of Problems;
Enclosure
Corrective Action Program, Simulator Fidelity, and Procedure Quality.
This team inspection was performed by five NRC regional inspectors and one resident
2
inspector. Four findings of very low safety significance (Green) were identified during this
SUMMARY OF FINDINGS  
inspection and determined to be Non-Cited Violations (NCVs). The significance of most findings
is indicated by their color (Green, White, Yellow, Red) using NRC Inspection Manual Chapter
IR 05000387/2008-006, 05000388/2008-006; 01/14/2008 - 02/01/2008; Susquehanna Steam  
(IMC) 0609, ASignificance Determination Process@ (SDP). The NRC=s program for overseeing
Electric Station; Biennial Baseline Inspection of the Identification and Resolution of Problems;  
the safe operation of commercial nuclear power reactors is described in NUREG-1649, AReactor
Corrective Action Program, Simulator Fidelity, and Procedure Quality.  
Oversight Process,@ Revision 4, dated December 2006.
Identification and Resolution of Problems
This team inspection was performed by five NRC regional inspectors and one resident  
The team concluded that the implementation of the corrective action program (CAP) at
inspector. Four findings of very low safety significance (Green) were identified during this  
Susquehanna was adequate in that personnel identified issues at a low threshold and used a
inspection and determined to be Non-Cited Violations (NCVs). The significance of most findings  
single entry-point system to document the problems by the initiation of an Action Request (AR).
is indicated by their color (Green, White, Yellow, Red) using NRC Inspection Manual Chapter  
About 20 percent of the ARs were considered to be conditions adverse to quality (CAQ) and
(IMC) 0609, ASignificance Determination Process@ (SDP). The NRC=s program for overseeing  
sub-classified as a Condition Report (CR). However, the team identified several ARs that
the safe operation of commercial nuclear power reactors is described in NUREG-1649, AReactor  
should have been classified as CAQs; as a result, CRs were not written and corrective actions
Oversight Process,@ Revision 4, dated December 2006.  
were not timely. The team identified two findings of very low significance related to the AR
process that had current performance cross-cutting aspects in problem identification because
Identification and Resolution of Problems  
the issues were not categorized commensurate with their safety significance. Notwithstanding
these two findings, the team concluded that in general Susquehanna personnel screened and
The team concluded that the implementation of the corrective action program (CAP) at  
prioritized CRs in a timely manner using established criteria.
Susquehanna was adequate in that personnel identified issues at a low threshold and used a  
The team also concluded that Susquehanna personnel properly evaluated the issues
single entry-point system to document the problems by the initiation of an Action Request (AR).  
commensurate with their safety significance; and generally implemented corrective actions in a
About 20 percent of the ARs were considered to be conditions adverse to quality (CAQ) and  
timely manner, commensurate with the safety significance. The team noted that Susquehanna
sub-classified as a Condition Report (CR). However, the team identified several ARs that  
reviewed and applied industry operating experience lessons learned. Audits and self-
should have been classified as CAQs; as a result, CRs were not written and corrective actions  
assessments added value to the corrective action process. On the basis of interviews
were not timely. The team identified two findings of very low significance related to the AR  
conducted during the inspection, workers at the site expressed freedom to enter safety
process that had current performance cross-cutting aspects in problem identification because  
concerns into the CAP.
the issues were not categorized commensurate with their safety significance. Notwithstanding  
                                                                                          Enclosure
these two findings, the team concluded that in general Susquehanna personnel screened and  
prioritized CRs in a timely manner using established criteria.  
The team also concluded that Susquehanna personnel properly evaluated the issues  
commensurate with their safety significance; and generally implemented corrective actions in a  
timely manner, commensurate with the safety significance. The team noted that Susquehanna  
reviewed and applied industry operating experience lessons learned. Audits and self-
assessments added value to the corrective action process. On the basis of interviews  
conducted during the inspection, workers at the site expressed freedom to enter safety  
concerns into the CAP.  


                                                    3
a. NRC Identified and Self-Revealing Findings
  Cornerstone: Mitigating Systems
  C Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion V,
Enclosure
      Instructions, Procedures, and Drawings, because, in the 1990s, Susquehanna failed to
      adequately evaluate a deviation from the Boiling Water Reactor Owners Group
3
      Emergency Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG),
a. NRC Identified and Self-Revealing Findings  
      which resulted in one of the emergency operating procedures (EOPs) being inadequate.
      Specifically, Caution #1 in the BWROG EPG/SAG warned the operators that reactor
Cornerstone: Mitigating Systems  
      pressure vessel (RPV) level instrumentation may be unreliable if the drywell
      temperatures exceeded RPV saturation temperature. The purpose of the Caution was
C  
      to give the operators a chance to evaluate the validity of the RPV level instrumentation
Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion V,  
      to avoid premature entry into the RPV flooding contingency procedure. Susquehanna
Instructions, Procedures, and Drawings, because, in the 1990s, Susquehanna failed to  
      did not adequately evaluate the deviation, and the Susquehanna EOPs did not use a
adequately evaluate a deviation from the Boiling Water Reactor Owners Group  
      Caution statement; but instead, changed the caution to a procedural step, which directed
Emergency Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG),  
      the operators to transition directly to the RPV flooding procedure.
which resulted in one of the emergency operating procedures (EOPs) being inadequate.  
      The performance deficiency is more than minor because it is associated with the
Specifically, Caution #1 in the BWROG EPG/SAG warned the operators that reactor  
      Procedure Quality attribute of the Mitigating Systems cornerstone and affects the
pressure vessel (RPV) level instrumentation may be unreliable if the drywell  
      objective to ensure the availability, reliability, and capability of systems that respond to
temperatures exceeded RPV saturation temperature. The purpose of the Caution was  
      initiating events to prevent undesirable consequences. Specifically, the EOP could have
to give the operators a chance to evaluate the validity of the RPV level instrumentation  
      directed entry into the RPV flooding procedure unnecessarily which would have
to avoid premature entry into the RPV flooding contingency procedure. Susquehanna  
      restricted the use of suppression pool cooling and required other actions that would have
did not adequately evaluate the deviation, and the Susquehanna EOPs did not use a  
      complicated the operators response to the event. The finding was determined to be of
Caution statement; but instead, changed the caution to a procedural step, which directed  
      very low safety significance because it was not a design deficiency, did not result in an
the operators to transition directly to the RPV flooding procedure.  
      actual loss of safety function, and did not screen as potentially risk significant due to
      external initiating events. (Section 4OA2.a.3 (a))
The performance deficiency is more than minor because it is associated with the  
  C Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion
Procedure Quality attribute of the Mitigating Systems cornerstone and affects the  
      XVI, Corrective Action, for the failure to identify that an inconsistency between the
objective to ensure the availability, reliability, and capability of systems that respond to  
      procedures and the design basis for suppression pool (SP) cooling was a condition
initiating events to prevent undesirable consequences. Specifically, the EOP could have  
      adverse to quality (CAQ), which resulted in corrective actions not being taken in a timely
directed entry into the RPV flooding procedure unnecessarily which would have  
      manner. Specifically, in January 2006, a Condition Report (CR) identified an
restricted the use of suppression pool cooling and required other actions that would have  
      inconsistency between an assumption in the Final Safety Analysis Report (FSAR) for the
complicated the operators response to the event. The finding was determined to be of  
      design basis accident and the emergency operating procedures (EOPs) regarding the
very low safety significance because it was not a design deficiency, did not result in an  
      timing for the implementation of SP cooling. At the time of the inspection, the
actual loss of safety function, and did not screen as potentially risk significant due to  
      inconsistency had not been resolved because Susquehanna did not recognize that it
external initiating events. (Section 4OA2.a.3 (a))  
      impacted current plant operations. This performance deficiency has a cross-cutting
      aspect in the area of Problem Identification and Resolution, Corrective Action Program,
C  
      because Susquehanna did not identify that the inconsistency documented in the CR
Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion  
      should have been categorized as a CAQ, commensurate with its safety significance.
XVI, Corrective Action, for the failure to identify that an inconsistency between the  
      [P.1(a)]
procedures and the design basis for suppression pool (SP) cooling was a condition  
      The performance deficiency is more than minor because it is associated with the Design
adverse to quality (CAQ), which resulted in corrective actions not being taken in a timely  
      Control attribute of Mitigating Systems and affects the cornerstone objective to ensure
manner. Specifically, in January 2006, a Condition Report (CR) identified an  
      the availability, reliability, and capability of systems that respond to initiating events to
inconsistency between an assumption in the Final Safety Analysis Report (FSAR) for the  
                                                                                              Enclosure
design basis accident and the emergency operating procedures (EOPs) regarding the  
timing for the implementation of SP cooling. At the time of the inspection, the  
inconsistency had not been resolved because Susquehanna did not recognize that it  
impacted current plant operations. This performance deficiency has a cross-cutting  
aspect in the area of Problem Identification and Resolution, Corrective Action Program,  
because Susquehanna did not identify that the inconsistency documented in the CR  
should have been categorized as a CAQ, commensurate with its safety significance.
[P.1(a)]  
The performance deficiency is more than minor because it is associated with the Design  
Control attribute of Mitigating Systems and affects the cornerstone objective to ensure  
the availability, reliability, and capability of systems that respond to initiating events to  


                                              4
  prevent undesirable consequences. Specifically, the EOPs provided direction that,
  under some accident conditions, would affect the availability and/or capability of the SP
  cooling system to perform its safety function. The finding screened out as having very
Enclosure
  low safety significance because it was not a design deficiency, did not result in an actual
  loss of safety function, and did not screen as potentially risk significant due to external
4
  initiating events. (Section 4OA2.a.3 (b))
prevent undesirable consequences. Specifically, the EOPs provided direction that,  
C Green: The NRC identified a Non-Cited Violation of 10 CFR 55.46(c)(1), Plant
under some accident conditions, would affect the availability and/or capability of the SP  
  Referenced Simulators, because the Susquehanna simulator did not accurately model
cooling system to perform its safety function. The finding screened out as having very  
  reactor pressure vessel (RPV) level instrumentation following a design basis accident
low safety significance because it was not a design deficiency, did not result in an actual  
  loss of coolant accident (DBA LOCA). Specifically, an analysis performed in 1994 to
loss of safety function, and did not screen as potentially risk significant due to external  
  determine if the observed simulator response during a large break LOCA was consistent
initiating events. (Section 4OA2.a.3 (b))  
  with the expected plant response, was based on an overly conservative assumption that
  the drywell would experience superheated conditions, which would cause RPV water
C  
  level instrumentation reference leg flashing and a subsequent loss of all RPV level
Green: The NRC identified a Non-Cited Violation of 10 CFR 55.46(c)(1), Plant  
  indication. The expected plant response, as stated in the analysis, was incorrect; in that
Referenced Simulators, because the Susquehanna simulator did not accurately model  
  a LOCA would not always cause a loss of all RPV level instruments. As a result, the
reactor pressure vessel (RPV) level instrumentation following a design basis accident  
  simulator modeling was incorrect.
loss of coolant accident (DBA LOCA). Specifically, an analysis performed in 1994 to  
  The performance deficiency is more than minor because it is associated with the Human
determine if the observed simulator response during a large break LOCA was consistent  
  Performance attribute of Mitigating Systems and affects the cornerstone objective to
with the expected plant response, was based on an overly conservative assumption that  
  ensure the availability, reliability, and capability of systems that respond to initiating
the drywell would experience superheated conditions, which would cause RPV water  
  events to prevent undesirable consequences. Specifically, the modeling of the
level instrumentation reference leg flashing and a subsequent loss of all RPV level  
  Susquehanna simulator introduced negative operator training that could affect the ability
indication. The expected plant response, as stated in the analysis, was incorrect; in that  
  of the operators (a mitigating system) to take the appropriate actions during an actual
a LOCA would not always cause a loss of all RPV level instruments. As a result, the  
  event. The finding was determined to be of very low safety significance because it is not
simulator modeling was incorrect.  
  related to operator performance during requalification, it is related to simulator fidelity,
  and it could have a negative impact on operator actions. (Section 4OA2.a.3 (c))
The performance deficiency is more than minor because it is associated with the Human  
C Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion
Performance attribute of Mitigating Systems and affects the cornerstone objective to  
  XVI, Corrective Action, for the failure to identify that a setpoint error in the operating
ensure the availability, reliability, and capability of systems that respond to initiating  
  procedures for safety-related systems was a condition adverse to quality (CAQ),
events to prevent undesirable consequences. Specifically, the modeling of the  
  resulting in the procedures not being corrected in a timely manner. The setpoint for the
Susquehanna simulator introduced negative operator training that could affect the ability  
  low pressure injection permissive interlock in the RHR and CS systems had been
of the operators (a mitigating system) to take the appropriate actions during an actual  
  changed in 1999 as part of a modification. However, the setpoint was not changed in
event. The finding was determined to be of very low safety significance because it is not  
  the system operating procedures and operator aids. When this issue was identified by
related to operator performance during requalification, it is related to simulator fidelity,  
  Susquehanna staff in 2006, the setpoint error in the procedure was not screened as a
and it could have a negative impact on operator actions.   (Section 4OA2.a.3 (c))  
  CAQ, which resulted in the procedures not being revised for 17 months after the issue
  was identified in an Action Report. This performance deficiency has a cross-cutting
C  
  aspect in the area of Problem Identification and Resolution, Corrective Action Program,
Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion  
  because Susquehanna did not identify that a setpoint error in operating procedures for
XVI, Corrective Action, for the failure to identify that a setpoint error in the operating  
  safety-related systems was a CAQ, commensurate with its safety significance. [P.1(a)]
procedures for safety-related systems was a condition adverse to quality (CAQ),  
  The performance deficiency is more than minor because it is associated with the
resulting in the procedures not being corrected in a timely manner. The setpoint for the  
  Procedure Quality attribute of Mitigating Systems and affects the cornerstone objective
low pressure injection permissive interlock in the RHR and CS systems had been  
  to ensure the availability, reliability, and capability of systems that respond to initiating
changed in 1999 as part of a modification. However, the setpoint was not changed in  
  events to prevent undesirable consequences. Specifically, the incorrect setpoint
the system operating procedures and operator aids. When this issue was identified by  
                                                                                          Enclosure
Susquehanna staff in 2006, the setpoint error in the procedure was not screened as a  
CAQ, which resulted in the procedures not being revised for 17 months after the issue  
was identified in an Action Report. This performance deficiency has a cross-cutting  
aspect in the area of Problem Identification and Resolution, Corrective Action Program,  
because Susquehanna did not identify that a setpoint error in operating procedures for  
safety-related systems was a CAQ, commensurate with its safety significance. [P.1(a)]  
The performance deficiency is more than minor because it is associated with the  
Procedure Quality attribute of Mitigating Systems and affects the cornerstone objective  
to ensure the availability, reliability, and capability of systems that respond to initiating  
events to prevent undesirable consequences. Specifically, the incorrect setpoint  


                                                  5
      reference in the procedure impacted the reliability of operator response to the event in
      that it could delay operator actions or result in misoperation of equipment. The finding
      screened out as having very low safety significance because it was not a design
Enclosure
      deficiency, did not result in an actual loss of safety function, and did not screen as
      potentially risk significant due to external initiating events. (Section 4OA2.a.3 (e))
5
b. Licensee-Identified Violations
reference in the procedure impacted the reliability of operator response to the event in  
  None.
that it could delay operator actions or result in misoperation of equipment. The finding  
                                                                                            Enclosure
screened out as having very low safety significance because it was not a design  
deficiency, did not result in an actual loss of safety function, and did not screen as  
potentially risk significant due to external initiating events. (Section 4OA2.a.3 (e))  
b. Licensee-Identified Violations  
None.  


                                              6
                                      REPORT DETAILS
4.   OTHER ACTIVITIES (OA)
4OA2 Problem Identification and Resolution (PI&R) (Biennial - IP 71152B)
Enclosure
  a. Assessment of the Corrective Action Program
   1. Inspection Scope
6
    The inspection team reviewed the procedures describing the corrective action program
REPORT DETAILS  
    (CAP) at the Susquehanna Steam Electric Station. Susquehanna used a single-point
    entry system and identified problems by the initiation of an Action Request (AR). The
4.  
    AR would then be sub-classified depending on the information provided; for example, as
OTHER ACTIVITIES (OA)  
    WO for a maintenance Work Order, as CPG for assignment to the Central Procedure
    Group, or as CR for a Condition Report. ARs were sub-classified as CRs for conditions
4OA2 Problem Identification and Resolution (PI&R) (Biennial - IP 71152B)  
    adverse to quality (CAQ), such as plant equipment deficiencies, industrial or radiological
    safety concerns, or other significant issues. The CRs were subsequently screened for
  a.  
    operability and reportability, categorized by significance (1 to 3), assigned a level of
Assessment of the Corrective Action Program  
    evaluation, and issued for resolution.
    The team reviewed CRs selected across the seven cornerstones of safety in the NRC=s
   1.  
    Reactor Oversight Process (ROP) to determine if problems were being properly
Inspection Scope  
    identified, characterized, and entered into the CAP for evaluation and resolution. The
    team selected items from the maintenance, operations, engineering, emergency
The inspection team reviewed the procedures describing the corrective action program  
    preparedness, physical security, radiation safety, training, and oversight programs to
(CAP) at the Susquehanna Steam Electric Station. Susquehanna used a single-point  
    ensure that Susquehanna was appropriately considering problems identified in each
entry system and identified problems by the initiation of an Action Request (AR). The  
    functional area. The team used this information to select a risk-informed sample of CRs
AR would then be sub-classified depending on the information provided; for example, as  
    that had been issued since the last NRC PI&R inspection, which was conducted in
WO for a maintenance Work Order, as CPG for assignment to the Central Procedure  
    February 2006.
Group, or as CR for a Condition Report. ARs were sub-classified as CRs for conditions  
    The team selected ARs from other sub-classifications, to determine if Susquehanna had
adverse to quality (CAQ), such as plant equipment deficiencies, industrial or radiological  
    appropriately classified these items as not needing to be a CR. The team also reviewed
safety concerns, or other significant issues. The CRs were subsequently screened for  
    operator log entries, control room deficiency lists, operator work-around lists, operability
operability and reportability, categorized by significance (1 to 3), assigned a level of  
    determinations, engineering system health reports, completed surveillance tests, and
evaluation, and issued for resolution.  
    current temporary configuration change packages. In addition, the team interviewed
    plant staff and management to determine their understanding of and involvement with
The team reviewed CRs selected across the seven cornerstones of safety in the NRC=s  
    the CAP at Susquehanna. The CRs, and other documents reviewed, and the key
Reactor Oversight Process (ROP) to determine if problems were being properly  
    personnel contacted, are listed in the Attachment to this report.
identified, characterized, and entered into the CAP for evaluation and resolution. The  
    The team considered risk insights from the NRC=s and Susquehanna=s risk analyses to
team selected items from the maintenance, operations, engineering, emergency  
    focus the sample selection and plant tours on risk-significant components. The team
preparedness, physical security, radiation safety, training, and oversight programs to  
    determined that the five highest risk-significant systems at Susquehanna were
ensure that Susquehanna was appropriately considering problems identified in each  
    emergency service water, emergency diesel generators, residual heat removal service
functional area. The team used this information to select a risk-informed sample of CRs  
    water, station black-out diesel generator, and reactor core isolation cooling. For the
that had been issued since the last NRC PI&R inspection, which was conducted in  
    risk-significant systems, the team reviewed a sample of the applicable system health
February 2006.  
                                                                                          Enclosure
The team selected ARs from other sub-classifications, to determine if Susquehanna had  
appropriately classified these items as not needing to be a CR. The team also reviewed  
operator log entries, control room deficiency lists, operator work-around lists, operability  
determinations, engineering system health reports, completed surveillance tests, and  
current temporary configuration change packages. In addition, the team interviewed  
plant staff and management to determine their understanding of and involvement with  
the CAP at Susquehanna. The CRs, and other documents reviewed, and the key  
personnel contacted, are listed in the Attachment to this report.  
The team considered risk insights from the NRC=s and Susquehanna=s risk analyses to  
focus the sample selection and plant tours on risk-significant components. The team  
determined that the five highest risk-significant systems at Susquehanna were  
emergency service water, emergency diesel generators, residual heat removal service  
water, station black-out diesel generator, and reactor core isolation cooling. For the  
risk-significant systems, the team reviewed a sample of the applicable system health  


                                                7
    reports, work requests and engineering documents, plant log entries, and results from
    surveillance tests and maintenance tasks.
    The team reviewed CRs to assess whether Susquehanna adequately evaluated and
Enclosure
    prioritized the identified problems. The CRs reviewed encompassed the full range of
    Susquehanna=s causal evaluations, including root cause analyses (RCA - to determine
7
    the cause and prevent recurrence), apparent cause evaluations (ACE - to obtain a basic
reports, work requests and engineering documents, plant log entries, and results from  
    understanding of the cause), and evaluations (to determine if a problem exists). The
surveillance tests and maintenance tasks.  
    review included the appropriateness of the assigned significance, the scope and depth
    of the causal analysis, and the timeliness of the resolutions. For significant conditions
The team reviewed CRs to assess whether Susquehanna adequately evaluated and  
    adverse to quality, the team reviewed the effectiveness of the corrective actions to
prioritized the identified problems. The CRs reviewed encompassed the full range of  
    prevent recurrence. The team observed meetings of the CR Screening Team - in which
Susquehanna=s causal evaluations, including root cause analyses (RCA - to determine  
    Susquehanna personnel reviewed new CRs for prioritization, and evaluated preliminary
the cause and prevent recurrence), apparent cause evaluations (ACE - to obtain a basic  
    corrective action assignments, analyses, and plans. The team also attended meetings
understanding of the cause), and evaluations (to determine if a problem exists). The  
    of the Corrective Action Review Board (CARB) - where senior managers reviewed
review included the appropriateness of the assigned significance, the scope and depth  
    selected evaluations, effectiveness reviews, and extension requests.
of the causal analysis, and the timeliness of the resolutions. For significant conditions  
    The team reviewed equipment operability determinations, reportability assessments, and
adverse to quality, the team reviewed the effectiveness of the corrective actions to  
    extent-of-condition reviews for selected problems. The team assessed the backlog of
prevent recurrence. The team observed meetings of the CR Screening Team - in which  
    corrective actions in the maintenance, engineering, and operations departments, to
Susquehanna personnel reviewed new CRs for prioritization, and evaluated preliminary  
    determine, individually and collectively, if there was an increased risk due to delays in
corrective action assignments, analyses, and plans. The team also attended meetings  
    implementation of corrective actions. The team further reviewed equipment
of the Corrective Action Review Board (CARB) - where senior managers reviewed  
    performance results and assessments documented in completed surveillance
selected evaluations, effectiveness reviews, and extension requests.  
    procedures, operator log entries, and trend data to determine whether the evaluations
    were technically adequate to identify degrading or non-conforming equipment.
The team reviewed equipment operability determinations, reportability assessments, and  
    The team reviewed the corrective actions associated with selected CRs to determine if
extent-of-condition reviews for selected problems. The team assessed the backlog of  
    the actions addressed the identified causes of the problems. The team reviewed CRs
corrective actions in the maintenance, engineering, and operations departments, to  
    for significant repetitive problems to determine if previous corrective actions were
determine, individually and collectively, if there was an increased risk due to delays in  
    effective. The team also reviewed Susquehanna=s timeliness in implementing corrective
implementation of corrective actions. The team further reviewed equipment  
    actions. The team reviewed the CRs associated with selected non-cited violations
performance results and assessments documented in completed surveillance  
    (NCVs) and findings to determine if Susquehanna properly evaluated and resolved these
procedures, operator log entries, and trend data to determine whether the evaluations  
    issues.
were technically adequate to identify degrading or non-conforming equipment.  
2.   Assessment
  (a) Identification of Issues
The team reviewed the corrective actions associated with selected CRs to determine if  
    In general, the team considered the identification of equipment deficiencies at
the actions addressed the identified causes of the problems. The team reviewed CRs  
    Susquehanna to be adequate. There was a low threshold for the identification of
for significant repetitive problems to determine if previous corrective actions were  
    individual issues, 23,000 ARs were written per year, and about 4,000 of those were
effective. The team also reviewed Susquehanna=s timeliness in implementing corrective  
    sub-classified as CRs. The housekeeping and cleanliness of the plant was generally
actions. The team reviewed the CRs associated with selected non-cited violations  
    good; the general cleanliness of the plant enhanced the ability of personnel to more
(NCVs) and findings to determine if Susquehanna properly evaluated and resolved these  
    easily identify equipment deficiencies and monitor equipment for worsening conditions.
issues.  
    Notwithstanding, during a tour of the facility, the inspectors observed that high density
    concrete shield blocks were stacked on pallets in the vicinity of the Unit 1 recirculation
  2.  
                                                                                          Enclosure
Assessment  
   
  (a)  
Identification of Issues  
In general, the team considered the identification of equipment deficiencies at  
Susquehanna to be adequate. There was a low threshold for the identification of  
individual issues, 23,000 ARs were written per year, and about 4,000 of those were  
sub-classified as CRs. The housekeeping and cleanliness of the plant was generally  
good; the general cleanliness of the plant enhanced the ability of personnel to more  
easily identify equipment deficiencies and monitor equipment for worsening conditions.  
Notwithstanding, during a tour of the facility, the inspectors observed that high density  
concrete shield blocks were stacked on pallets in the vicinity of the Unit 1 recirculation  


                                            8
motor generator sets. The blocks were pre-staged for work during the upcoming
refueling outage, and were in a heavily trafficked area of the turbine building. There was
a painted warning on the floor, near the pallets, that the floor loading should not exceed
Enclosure
400 pounds per square foot (psf). When the inspectors asked whether the weight of the
blocks was within the rated floor load limit, it was determined that this condition had not
8
been identified and documented as acceptable. Initially, Susquehanna personnel
motor generator sets. The blocks were pre-staged for work during the upcoming  
concluded that the blocks exceeded the posted limit and moved the pallets to reduce the
refueling outage, and were in a heavily trafficked area of the turbine building. There was  
floor loading. Subsequently, Susquehanna weighed the pallets and blocks and
a painted warning on the floor, near the pallets, that the floor loading should not exceed  
determined that they did not exceed the allowable floor loading. Based on this
400 pounds per square foot (psf). When the inspectors asked whether the weight of the  
evaluation the inspectors concluded the missed identification of this issue was minor.
blocks was within the rated floor load limit, it was determined that this condition had not  
The issue was documented in CR 954950.
been identified and documented as acceptable. Initially, Susquehanna personnel  
The team also identified that several ARs were not classified as CRs, commensurate
concluded that the blocks exceeded the posted limit and moved the pallets to reduce the  
with the safety significance, as required by their procedure (NDAP-QA-0702, Action
floor loading. Subsequently, Susquehanna weighed the pallets and blocks and  
Request and Condition Report Process). The result was that the issues did not go to
determined that they did not exceed the allowable floor loading. Based on this  
the Screening Team, did not receive the necessary management attention, and were not
evaluation the inspectors concluded the missed identification of this issue was minor.
corrected in a timely manner (CR 957319). In addition, ARs are not normally trended to
The issue was documented in CR 954950.  
allow the identification of an adverse change in performance. With the exception of the
first example, the below are considered procedure violations of minor significance due to
The team also identified that several ARs were not classified as CRs, commensurate  
no impact on the related equipment. As such, these issues are not subject to
with the safety significance, as required by their procedure (NDAP-QA-0702, Action  
enforcement action, in accordance with the NRC=s Enforcement Policy.
Request and Condition Report Process). The result was that the issues did not go to  
Examples include:
the Screening Team, did not receive the necessary management attention, and were not  
C   AR/CPG/OPS 751412, initiated February 2, 2006, identified that the Low Pressure
corrected in a timely manner (CR 957319). In addition, ARs are not normally trended to  
    Injection Permissive setpoint was not changed in the residual heat removal (RHR)
allow the identification of an adverse change in performance. With the exception of the  
    and core spray (CS) operating procedures. The setpoint was changed in 1999, as
first example, the below are considered procedure violations of minor significance due to  
    part of a modification; the procedures were not changed until July 2007. (See
no impact on the related equipment. As such, these issues are not subject to  
    Section 4OA2.a.3(d) for additional details.)
enforcement action, in accordance with the NRC=s Enforcement Policy.  
C   AR/OPS/CSHIFT 777335, initiated July 25 2006, identified that an operator started
    the suppression pool (SP) filter pump contrary to the procedure. The AR was closed
Examples include:  
    with no documented corrective actions taken.
    The safety significance is that the operator did not operate the safety-related system
C  
    in accordance with the licensees written procedures and the Technical
AR/CPG/OPS 751412, initiated February 2, 2006, identified that the Low Pressure  
    Specifications (TS). The documentation of corrective actions should have included a
Injection Permissive setpoint was not changed in the residual heat removal (RHR)  
    determination of the affects of starting of the pump, and counseling of the operator
and core spray (CS) operating procedures. The setpoint was changed in 1999, as  
    on the requirement to follow procedures.
part of a modification; the procedures were not changed until July 2007. (See  
C   AR/CPG 810513, initiated September 16, 2006, identified that the wrong valve
Section 4OA2.a.3(d) for additional details.)  
    numbers were listed for the emergency service water (ESW) system valves for the
    E EDG. As of the inspection, the procedure had not been changed.
C  
    The safety significance is that operators may not have been able to use the
AR/OPS/CSHIFT 777335, initiated July 25 2006, identified that an operator started  
    licensees written procedure to align the ESW system in support of the operation of
the suppression pool (SP) filter pump contrary to the procedure. The AR was closed  
    the swing E EDG in a timely manner.
with no documented corrective actions taken.  
                                                                                    Enclosure
The safety significance is that the operator did not operate the safety-related system  
in accordance with the licensees written procedures and the Technical  
Specifications (TS). The documentation of corrective actions should have included a  
determination of the affects of starting of the pump, and counseling of the operator  
on the requirement to follow procedures.  
C  
AR/CPG 810513, initiated September 16, 2006, identified that the wrong valve  
numbers were listed for the emergency service water (ESW) system valves for the  
E EDG. As of the inspection, the procedure had not been changed.  
The safety significance is that operators may not have been able to use the  
licensees written procedure to align the ESW system in support of the operation of  
the swing E EDG in a timely manner.  


                                                9
    C   AR/CPG/I&C 938054, initiated December 10, 2007, identified that a functional testing
        and calibration procedure for the RHR service water radiation monitor could not be
        performed, as written. As of the inspection, corrective actions had not been taken.
Enclosure
    an inconsistency between the procedures and the design basis for SP cooling was a
    CAQ, which resulted in corrective actions not being taken for two years to the time of the
9
    inspection. Although the inconsistency was identified in 2006, Susquehanna personnel
    did not recognize that the issue impacted current plant operations; as a result, the issue
C  
    was not scheduled for resolution in a timely manner. The team noted that, although
AR/CPG/I&C 938054, initiated December 10, 2007, identified that a functional testing  
    Susquehanna had classified the issue as a CR, it was considered to be NAQ - not a
and calibration procedure for the RHR service water radiation monitor could not be  
    CAQ - and was not scheduled for evaluation until the EPU had been approved. Refer to
performed, as written. As of the inspection, corrective actions had not been taken.  
    Section 4OA2.a.3(b) for a detailed discussion of the finding.
(b) Prioritization and Evaluation of Issues
an inconsistency between the procedures and the design basis for SP cooling was a  
    The team determined that Susquehannas performance in this area was adequate.
CAQ, which resulted in corrective actions not being taken for two years to the time of the  
    Notwithstanding the above discussion of some ARs not being classified as CRs, the
inspection. Although the inconsistency was identified in 2006, Susquehanna personnel  
    station appropriately reviewed those CRs that went to the Screening team and properly
did not recognize that the issue impacted current plant operations; as a result, the issue  
    classified them for significance. The discussions about specific topics at the Screening
was not scheduled for resolution in a timely manner. The team noted that, although  
    meetings were detailed, and there were no classifications or immediate operability
Susquehanna had classified the issue as a CR, it was considered to be NAQ - not a  
    determinations with which the team disagreed. The team considered the contributions of
CAQ - and was not scheduled for evaluation until the EPU had been approved. Refer to  
    the CARB to add value to the CAP process. One CARB review was noted to be
Section 4OA2.a.3(b) for a detailed discussion of the finding.  
    particularly insightful with respect to the quality of the causal analysis for CR 773046.
    The CR identified problems with the closing of CRs by the nuclear training department
  (b)  
    without completing all the required actions. The team did not identify any items in the
Prioritization and Evaluation of Issues  
    operations, engineering, or maintenance backlogs that were risk significant, individually
    or collectively. In addition, the quality of the causal analyses reviewed was generally of
The team determined that Susquehannas performance in this area was adequate.
    adequate technical detail and scope to identify causal factors and develop effective
Notwithstanding the above discussion of some ARs not being classified as CRs, the  
    corrective actions. The team noted that the RCA for the NCV from the last PI&R
station appropriately reviewed those CRs that went to the Screening team and properly  
    inspection related to scaffolding was effective in that there had not been significant
classified them for significance. The discussions about specific topics at the Screening  
    recurrences of inadequate scaffold installations since the evaluation was completed.
meetings were detailed, and there were no classifications or immediate operability  
    With regard to operability evaluations, the team observed that, an operability
determinations with which the team disagreed. The team considered the contributions of  
    determination for the PAM level instruments, conducted in response to an inconsistency
the CARB to add value to the CAP process. One CARB review was noted to be  
    between the FSAR and EOPs, determined that the level instruments would be operable.
particularly insightful with respect to the quality of the causal analysis for CR 773046.
    (The inconsistency between the FSAR and the EOPs is described in detail in section
The CR identified problems with the closing of CRs by the nuclear training department  
    4OA2.a.3(b).) During follow-up discussions, the inspectors were told by operations and
without completing all the required actions. The team did not identify any items in the  
    engineering personnel that all of the PAM instrumentation together functioned to provide
operations, engineering, or maintenance backlogs that were risk significant, individually  
    the needed indications to the operators, and that the RPV level indications were not
or collectively. In addition, the quality of the causal analyses reviewed was generally of  
    needed after the initial entry into the EOPs. This was not consistent with the
adequate technical detail and scope to identify causal factors and develop effective  
    requirements for the operability of each individual function of the PAM, as detailed in TS
corrective actions. The team noted that the RCA for the NCV from the last PI&R  
    3.3.3.1. Although subsequent discussions with the Susquehanna staff determined that
inspection related to scaffolding was effective in that there had not been significant  
    the most (if not all) of the PAM RPV level instruments would indicate post-LOCA, the
recurrences of inadequate scaffold installations since the evaluation was completed.  
    initial operability determination and statements during the inspection did not consider
    that the PAM level instruments are required to be operable post-accident regardless of
With regard to operability evaluations, the team observed that, an operability  
    whether EOPs have been entered. This issue was related to the performance
determination for the PAM level instruments, conducted in response to an inconsistency  
                                                                                        Enclosure
between the FSAR and EOPs, determined that the level instruments would be operable.  
(The inconsistency between the FSAR and the EOPs is described in detail in section  
4OA2.a.3(b).) During follow-up discussions, the inspectors were told by operations and  
engineering personnel that all of the PAM instrumentation together functioned to provide  
the needed indications to the operators, and that the RPV level indications were not  
needed after the initial entry into the EOPs. This was not consistent with the  
requirements for the operability of each individual function of the PAM, as detailed in TS  
3.3.3.1. Although subsequent discussions with the Susquehanna staff determined that  
the most (if not all) of the PAM RPV level instruments would indicate post-LOCA, the  
initial operability determination and statements during the inspection did not consider  
that the PAM level instruments are required to be operable post-accident regardless of  
whether EOPs have been entered. This issue was related to the performance  


                                              10
    deficiencies discussed in findings 4OA2.a.3(a), (b) and (c), and is not identified as an
    additional finding. The issue was entered into the CAP as AR/CR964836.
  (c) Effectiveness of Corrective Actions
Enclosure
    No findings of significance were identified in the area of effectiveness of corrective
    actions. The team determined that the effectiveness of corrective actions at
10
    Susquehanna was generally good. The control of scaffolds was a significant problem
deficiencies discussed in findings 4OA2.a.3(a), (b) and (c), and is not identified as an  
    during the last PI&R inspection; the team noted that oversight of scaffolds has improved,
additional finding. The issue was entered into the CAP as AR/CR964836.  
    but station personnel continue to identify examples where the scaffold does not appear
   
    to be built in accordance with the procedure. In addition, the team identified
  (c)  
    weaknesses in the scaffold procedure, such as allowing the installer to approve
Effectiveness of Corrective Actions  
    deviations from the approved construction. During the inspection, the procedure was
    revised, and plans were developed for engineering to review all current deviations.
No findings of significance were identified in the area of effectiveness of corrective  
3.   Findings
actions. The team determined that the effectiveness of corrective actions at  
  (a) Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG Resulted in an
Susquehanna was generally good. The control of scaffolds was a significant problem  
    Inadequate Procedure
during the last PI&R inspection; the team noted that oversight of scaffolds has improved,  
    Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,
but station personnel continue to identify examples where the scaffold does not appear  
    Instructions, Procedures, and Drawings, because Susquehanna failed to adequately
to be built in accordance with the procedure. In addition, the team identified  
    evaluate a deviation from the Boiling Water Reactor Owners Group Emergency
weaknesses in the scaffold procedure, such as allowing the installer to approve  
    Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG), which
deviations from the approved construction. During the inspection, the procedure was  
    resulted in one of the Emergency Operating Procedures (EOPs) being inadequate.
revised, and plans were developed for engineering to review all current deviations.  
    Description: On January 5, 2006, AR/CR 739371 was initiated to document an
    inconsistency between the EOPs and assumptions in the Final Safety Analysis Report
  3.  
    (FSAR) regarding the initiation of suppression pool cooling. Specifically, it was identified
Findings  
    that the assumptions used in evaluating SP temperature response for the most limiting
   
    design basis accident (DBA) loss of coolant accident (LOCA) did not appear to be
  (a)  
    consistent with direction provided in the EOPs.
Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG Resulted in an  
    During this inspection, the team noted that the Susquehanna EOPs were not consistent
Inadequate Procedure  
    with the BWROG EPG/SAG. Specifically, BWROG EPG/SAG, Revision 2, Caution #1,
    warned the operators that reactor pressure vessel (RPV) level instrumentation may be
Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,  
    unreliable if the temperatures near the instrument sensing lines exceeded RPV
Instructions, Procedures, and Drawings, because Susquehanna failed to adequately  
    saturation temperature. The EPG Bases stated that the purpose of Caution #1 was to
evaluate a deviation from the Boiling Water Reactor Owners Group Emergency  
    give the operators a chance to evaluate the validity of the RPV level instrumentation, in
Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG), which  
    order to avoid premature entry into the RPV flooding contingency procedure before it
resulted in one of the Emergency Operating Procedures (EOPs) being inadequate.  
    was appropriate to do so. Susquehanna did not adequately evaluate the deviation from
    the generic guidance in the EPG/SAG with respect to the caution. The Susquehanna
Description: On January 5, 2006, AR/CR 739371 was initiated to document an  
    EOPs did not use a Caution statement, which would have allowed the operators the
inconsistency between the EOPs and assumptions in the Final Safety Analysis Report  
    opportunity to evaluate the level instrumentation; but instead, changed the caution to a
(FSAR) regarding the initiation of suppression pool cooling. Specifically, it was identified  
    procedural step which directed the operators to transition directly to the RPV Flooding
that the assumptions used in evaluating SP temperature response for the most limiting  
    procedure. Specifically, EO-100-103-1, Primary Containment Cooling, step DWT-3,
design basis accident (DBA) loss of coolant accident (LOCA) did not appear to be  
                                                                                          Enclosure
consistent with direction provided in the EOPs.  
During this inspection, the team noted that the Susquehanna EOPs were not consistent  
with the BWROG EPG/SAG. Specifically, BWROG EPG/SAG, Revision 2, Caution #1,  
warned the operators that reactor pressure vessel (RPV) level instrumentation may be  
unreliable if the temperatures near the instrument sensing lines exceeded RPV  
saturation temperature. The EPG Bases stated that the purpose of Caution #1 was to  
give the operators a chance to evaluate the validity of the RPV level instrumentation, in  
order to avoid premature entry into the RPV flooding contingency procedure before it  
was appropriate to do so. Susquehanna did not adequately evaluate the deviation from  
the generic guidance in the EPG/SAG with respect to the caution. The Susquehanna  
EOPs did not use a Caution statement, which would have allowed the operators the  
opportunity to evaluate the level instrumentation; but instead, changed the caution to a  
procedural step which directed the operators to transition directly to the RPV Flooding  
procedure. Specifically, EO-100-103-1, Primary Containment Cooling, step DWT-3,  


                                          11
directed the operators to transition to contingency procedure EO-000-114-1, RPV
Flooding, when drywell temperature exceeded RPV saturation temperature.
The evaluation for the deviation was not completed in accordance with the requirements
Enclosure
of procedure NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and
Writers Guide. The procedure required that all deviations be evaluated to determine if
11
the deviation was technically justified and appropriate. Susquehanna documented that
directed the operators to transition to contingency procedure EO-000-114-1, RPV  
the deviation was a minor difference from the generic guidelines in 50.59 Safety
Flooding, when drywell temperature exceeded RPV saturation temperature.  
Evaluation NL-92-019 (October 29, 1998) and 50.59 Screen 5059-01-976 (July 3, 2002).
  The evaluation was based on an overly conservative assumption that all RPV level
The evaluation for the deviation was not completed in accordance with the requirements  
instrumentation would be lost after a DBA LOCA. The reviews did not evaluate the
of procedure NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and  
potential adverse consequences associated with the deviation, including the potential
Writers Guide. The procedure required that all deviations be evaluated to determine if  
impact on the SP cooling safety function. Immediate corrective actions included the
the deviation was technically justified and appropriate. Susquehanna documented that  
initiation of an informational Night Order to the control room operators explaining the
the deviation was a minor difference from the generic guidelines in 50.59 Safety  
issue, and the cessation of all simulator scenarios that involve the use of EO-100-103-1
Evaluation NL-92-019 (October 29, 1998) and 50.59 Screen 5059-01-976 (July 3, 2002).  
until the issue is resolved.
  The evaluation was based on an overly conservative assumption that all RPV level  
The performance deficiency is the failure to adequately evaluate a deviation from the
instrumentation would be lost after a DBA LOCA. The reviews did not evaluate the  
BWROG EPG/SAG, which resulted in one of the EOPs being inadequate for use by the
potential adverse consequences associated with the deviation, including the potential  
operators in the event of a DBA LOCA. Specifically, under some accident conditions,
impact on the SP cooling safety function. Immediate corrective actions included the  
the EOPs would have unnecessarily directed entry into RPV flooding which would have
initiation of an informational Night Order to the control room operators explaining the  
limited the availability of SP cooling and complicated the operators response to the
issue, and the cessation of all simulator scenarios that involve the use of EO-100-103-1  
event.
until the issue is resolved.  
Analyses: This performance deficiency is more than minor because it is associated with
the Procedure Quality (EOP) attribute of the Mitigating Systems cornerstone and affects
The performance deficiency is the failure to adequately evaluate a deviation from the  
the objective to ensure the availability, reliability, and capability of systems that respond
BWROG EPG/SAG, which resulted in one of the EOPs being inadequate for use by the  
to initiating events to prevent undesirable consequences. Specifically, the EOP could
operators in the event of a DBA LOCA. Specifically, under some accident conditions,  
have directed entry into the RPV flooding procedure unnecessarily which would have
the EOPs would have unnecessarily directed entry into RPV flooding which would have  
restricted the use of suppression pool cooling and required other actions that would have
limited the availability of SP cooling and complicated the operators response to the  
complicated the operators response to the event. The inspectors performed a review of
event.  
the finding in accordance with NRC Inspection Manual Chapter (IMC) 0609,
Significance Determination Process (SDP), Attachment 4, Phase 1 - Initial Screening
Analyses: This performance deficiency is more than minor because it is associated with  
and Characterization of Findings, and determined that the finding screened out as
the Procedure Quality (EOP) attribute of the Mitigating Systems cornerstone and affects  
having very low safety significance (Green), because it was not a design deficiency, did
the objective to ensure the availability, reliability, and capability of systems that respond  
not result in an actual loss of safety function, and did not screen as potentially risk
to initiating events to prevent undesirable consequences. Specifically, the EOP could  
significant due to external initiating events.
have directed entry into the RPV flooding procedure unnecessarily which would have  
Enforcement: 10 CFR 50, Appendix B, Criterion V, Instructions, Procedures, and
restricted the use of suppression pool cooling and required other actions that would have  
Drawings, states, in part, that activities affecting quality shall be prescribed by
complicated the operators response to the event. The inspectors performed a review of  
documented procedures appropriate to the circumstances and that the activities shall be
the finding in accordance with NRC Inspection Manual Chapter (IMC) 0609,  
accomplished in accordance with the procedures. Contrary to the above, Emergency
Significance Determination Process (SDP), Attachment 4, Phase 1 - Initial Screening  
Operating Procedure EO-100-103-1, Primary Containment Cooling, was inadequate, in
and Characterization of Findings, and determined that the finding screened out as  
that it directed the operators to transition directly to the RPV Flooding procedure when
having very low safety significance (Green), because it was not a design deficiency, did  
RPV level instruments may have been available, which resulted in limiting the availability
not result in an actual loss of safety function, and did not screen as potentially risk  
of SP cooling. However, because the finding was of very low safety significance (Green)
significant due to external initiating events.  
                                                                                        Enclosure
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 appropriate to the circumstances and that the activities shall be  
accomplished in accordance with the procedures. Contrary to the above, Emergency  
Operating Procedure EO-100-103-1, Primary Containment Cooling, was inadequate, in  
that it directed the operators to transition directly to the RPV Flooding procedure when  
RPV level instruments may have been available, which resulted in limiting the availability  
of SP cooling. However, because the finding was of very low safety significance (Green)  


                                              12
    and has been entered into the CAP (AR/CR 962881), this violation is being treated as an
    NCV, consistent with section VI.A.1 of the NRC Enforcement Policy.
    (NCV 05000387/2008006-01; 05000388/2008006-01 - Failure to Adequately Evaluate
Enclosure
    a Deviation from BWROG EPG/SAG Resulted in an Inadequate EOP)
(b) Failure to Identify and Correct Inconsistencies Between the FSAR and the EOPs
12
    Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,
and has been entered into the CAP (AR/CR 962881), this violation is being treated as an  
    Corrective Action, for the failure to identify that an inconsistency between the
NCV, consistent with section VI.A.1 of the NRC Enforcement Policy.  
    emergency operating procedures and the design basis for SP cooling was a CAQ, which
    resulted in corrective actions not being taken for two years to the time of the inspection.
(NCV 05000387/2008006-01; 05000388/2008006-01 - Failure to Adequately Evaluate  
    Although the inconsistency was identified in 2006, Susquehanna personnel did not
a Deviation from BWROG EPG/SAG Resulted in an Inadequate EOP)  
    recognize that the issue impacted current plant operations; as a result, the issue was not
    scheduled for resolution in a timely manner. The assumption in the FSAR for the DBA
  (b)  
    LOCA stated that SP cooling would be implemented ten minutes after entry into the
Failure to Identify and Correct Inconsistencies Between the FSAR and the EOPs  
    EOPs. The EOPs would not have allowed initiation of SP cooling for an extended period
    of time.
Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,  
    Description: On January 5, 2006, AR/CR 739371 was initiated to document an
Corrective Action, for the failure to identify that an inconsistency between the  
    inconsistency between the EOPs and design basis assumptions for the SP cooling
emergency operating procedures and the design basis for SP cooling was a CAQ, which  
    response. The problem was identified during Susquehannas review in support of the
resulted in corrective actions not being taken for two years to the time of the inspection.
    extended power uprate (EPU) project. Specifically, Susquehanna Engineering identified
Although the inconsistency was identified in 2006, Susquehanna personnel did not  
    that the assumptions used in evaluating SP temperature response for the most limiting
recognize that the issue impacted current plant operations; as a result, the issue was not  
    LOCA did not appear to be consistent with direction provided in the EOPs. The team
scheduled for resolution in a timely manner. The assumption in the FSAR for the DBA  
    noted that, although Susquehanna personnel had classified the issue as a CR, they did
LOCA stated that SP cooling would be implemented ten minutes after entry into the  
    not recognize that the issue impacted current plant operations. Therefore, it was
EOPs. The EOPs would not have allowed initiation of SP cooling for an extended period  
    considered to be NAQ - not a condition adverse to quality - and was not scheduled for
of time.
    evaluation until the EPU had been approved.
    The Susquehanna FSAR, Section 6.2.1.1.3, stated that the maximum SP temperature
Description: On January 5, 2006, AR/CR 739371 was initiated to document an  
    would result from a reactor recirculation suction line break. The drywell pressure and
inconsistency between the EOPs and design basis assumptions for the SP cooling  
    temperature response analyses assumed that RHR heat exchangers were activated
response. The problem was identified during Susquehannas review in support of the  
    about ten minutes after entry into the EOPs to remove energy from the drywell by
extended power uprate (EPU) project. Specifically, Susquehanna Engineering identified  
    cooling the SP. The CR identified that, in the event of a DBA LOCA, the EOPs would
that the assumptions used in evaluating SP temperature response for the most limiting  
    direct operators to implement the RPV flooding procedure (EO-000-114) to maintain
LOCA did not appear to be consistent with direction provided in the EOPs. The team  
    adequate core cooling, and this required that all available RHR flow be used to flood the
noted that, although Susquehanna personnel had classified the issue as a CR, they did  
    RPV up to the steam lines. The initiators concern was that this would delay establishing
not recognize that the issue impacted current plant operations. Therefore, it was  
    flow through a RHR heat exchanger for SP cooling, because of the unique design of the
considered to be NAQ - not a condition adverse to quality - and was not scheduled for  
    RHR system at Susquehanna, and therefore would be inconsistent with the accident
evaluation until the EPU had been approved.  
    analyses assumptions. In addition, the CR stated that it was assumed in the EOPs that
    all RPV water level indications would be unreliable and therefore unavailable for this
The Susquehanna FSAR, Section 6.2.1.1.3, stated that the maximum SP temperature  
    scenario. Susquehanna personnel informed the team that they had not evaluated the
would result from a reactor recirculation suction line break. The drywell pressure and  
    issues documented in the CR, at the time it was initiated, because they had assumed
temperature response analyses assumed that RHR heat exchangers were activated  
    that they were only associated with EPU and not current plant operation. Immediate
about ten minutes after entry into the EOPs to remove energy from the drywell by  
    corrective actions included the start of an evaluation during the inspection of the
cooling the SP. The CR identified that, in the event of a DBA LOCA, the EOPs would  
    identified inconsistency for SP cooling, and additional guidance to the operators.
direct operators to implement the RPV flooding procedure (EO-000-114) to maintain  
                                                                                        Enclosure
adequate core cooling, and this required that all available RHR flow be used to flood the  
RPV up to the steam lines. The initiators concern was that this would delay establishing  
flow through a RHR heat exchanger for SP cooling, because of the unique design of the  
RHR system at Susquehanna, and therefore would be inconsistent with the accident  
analyses assumptions. In addition, the CR stated that it was assumed in the EOPs that  
all RPV water level indications would be unreliable and therefore unavailable for this  
scenario. Susquehanna personnel informed the team that they had not evaluated the  
issues documented in the CR, at the time it was initiated, because they had assumed  
that they were only associated with EPU and not current plant operation. Immediate  
corrective actions included the start of an evaluation during the inspection of the  
identified inconsistency for SP cooling, and additional guidance to the operators.  


                                              13
    The performance deficiency is the failure to properly categorize the inconsistency
    between the FSAR and the EOPs as a CAQ, which resulted in the deficiency not being
    corrected in a timely manner commensurate with its safety significance.
Enclosure
    Analyses: The performance deficiency is more than minor because it is associated with
    the Design Control attribute of the Mitigating Systems cornerstone and affects the
13
    objective to ensure the availability, reliability, and capability of systems that respond to
    initiating events to prevent undesirable consequences. Specifically, in the event of a
The performance deficiency is the failure to properly categorize the inconsistency  
    DBA LOCA, SP cooling would not be initiated within the time frame assumed in the
between the FSAR and the EOPs as a CAQ, which resulted in the deficiency not being  
    FSAR, which could affect the capability of the system to perform its safety function
corrected in a timely manner commensurate with its safety significance.  
    consistent with the design basis. The inspectors performed a review of the finding in
    accordance with IMC 0609, and determined that the finding screened out as having very
Analyses: The performance deficiency is more than minor because it is associated with  
    low safety significance (Green) because it was not a design deficiency, did not result in
the Design Control attribute of the Mitigating Systems cornerstone and affects the  
    an actual loss of safety function, and did not screen as potentially risk significant due to
objective to ensure the availability, reliability, and capability of systems that respond to  
    external initiating events.
initiating events to prevent undesirable consequences. Specifically, in the event of a  
    This performance deficiency has a cross-cutting aspect in the area of Problem
DBA LOCA, SP cooling would not be initiated within the time frame assumed in the  
    Identification and Resolution (PI&R), Corrective Action Program (CAP), because
FSAR, which could affect the capability of the system to perform its safety function  
    Susquehanna did not identify that the inconsistency documented in the CR should have
consistent with the design basis. The inspectors performed a review of the finding in  
    been categorized as a CAQ, commensurate with its safety significance. [P.1(a)]
accordance with IMC 0609, and determined that the finding screened out as having very  
    Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,
low safety significance (Green) because it was not a design deficiency, did not result in  
    that conditions adverse to quality shall be promptly identified and corrected. Contrary to
an actual loss of safety function, and did not screen as potentially risk significant due to  
    the above, Susquehanna failed to identify that the nonconformance identified in AR/CR
external initiating events.  
    739371, January 2006, was a CAQ; this resulted in the condition not being corrected for
    over two years. However, because the finding was of very low safety significance
This performance deficiency has a cross-cutting aspect in the area of Problem  
    (Green) and has been entered into the corrective action program (AR/CR 959670), this
Identification and Resolution (PI&R), Corrective Action Program (CAP), because  
    violation is being treated as an NCV, consistent with section VI.A.1 of the NRC
Susquehanna did not identify that the inconsistency documented in the CR should have  
    Enforcement Policy.
been categorized as a CAQ, commensurate with its safety significance. [P.1(a)]  
    (NCV 05000387/2008006-02; 05000388/2008006-02 - Failure to Identify and Correct
    Inconsistencies Between the FSAR and the EOPs)
Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,  
(c) Failure to Accurately Model the Simulator for RPV Water Level Instrumentation
that conditions adverse to quality shall be promptly identified and corrected. Contrary to  
    Introduction: The NRC identified a Green NCV of 10 CFR 55.46(c)(1), Plant
the above, Susquehanna failed to identify that the nonconformance identified in AR/CR  
    Referenced Simulators, because the Susquehanna plant-referenced simulator did not
739371, January 2006, was a CAQ; this resulted in the condition not being corrected for  
    accurately model RPV level instrument response following a DBA LOCA. Specifically,
over two years. However, because the finding was of very low safety significance  
    the RPV level instruments in the simulator were programmed to fail high after a LOCA,
(Green) and has been entered into the corrective action program (AR/CR 959670), this  
    and the expected plant response is that the instruments should indicate properly.
violation is being treated as an NCV, consistent with section VI.A.1 of the NRC  
    Description: As part of the teams follow-up on the issues in AR/CR 739371, the
Enforcement Policy.  
    inspectors questioned the concern stated in the CR, that the operators would need to
    enter the RPV flooding procedure during a DBA LOCA due to a loss of valid RPV level
(NCV 05000387/2008006-02; 05000388/2008006-02 - Failure to Identify and Correct  
    instrumentation. The inspectors reviewed the Susquehanna specific EOPs and
Inconsistencies Between the FSAR and the EOPs)  
    supporting documents, and determined that the Susquehanna EOP Plant Specific
                                                                                          Enclosure
  (c)  
Failure to Accurately Model the Simulator for RPV Water Level Instrumentation  
Introduction: The NRC identified a Green NCV of 10 CFR 55.46(c)(1), Plant  
Referenced Simulators, because the Susquehanna plant-referenced simulator did not  
accurately model RPV level instrument response following a DBA LOCA. Specifically,  
the RPV level instruments in the simulator were programmed to fail high after a LOCA,  
and the expected plant response is that the instruments should indicate properly.  
Description: As part of the teams follow-up on the issues in AR/CR 739371, the  
inspectors questioned the concern stated in the CR, that the operators would need to  
enter the RPV flooding procedure during a DBA LOCA due to a loss of valid RPV level  
instrumentation. The inspectors reviewed the Susquehanna specific EOPs and  
supporting documents, and determined that the Susquehanna EOP Plant Specific  


                                            14
Technical Guideline (PSTG) description of the expected response of the RPV level
instrument response to LOCA events, was based on analysis, EC-SIMU-1001,
Evaluation of Simulator Level Instrument Response to Large LOCA, dated May 4,
Enclosure
1994. The analysis was performed to determine if the observed simulator response
during a large break LOCA (RPV level instrumentation off-scale high) was consistent
14
with the expected plant response. The analysis assumed that the drywell would
Technical Guideline (PSTG) description of the expected response of the RPV level  
experience superheated conditions, which would cause RPV water level instrumentation
instrument response to LOCA events, was based on analysis, EC-SIMU-1001,  
reference leg flashing and a subsequent loss of all RPV level indication. The analysis
Evaluation of Simulator Level Instrument Response to Large LOCA, dated May 4,  
concluded that the simulator response reasonably predicted the expected actual plant
1994. The analysis was performed to determine if the observed simulator response  
response during a large break LOCA event. The expected plant response, as stated in
during a large break LOCA (RPV level instrumentation off-scale high) was consistent  
the analysis, was incorrect; in that a LOCA would not always cause a loss of all RPV
with the expected plant response. The analysis assumed that the drywell would  
level instruments.
experience superheated conditions, which would cause RPV water level instrumentation  
On January 29, 2008, the inspectors observed two scenarios in the simulator to evaluate
reference leg flashing and a subsequent loss of all RPV level indication. The analysis  
the response to a DBA LOCA, with all safety systems available. The inspectors
concluded that the simulator response reasonably predicted the expected actual plant  
observed that the RPV level instruments did indicate off-scale high shortly after the
response during a large break LOCA event. The expected plant response, as stated in  
initiation of the event, consistent with the analysis. The inspectors questioned the basis
the analysis, was incorrect; in that a LOCA would not always cause a loss of all RPV  
of the analysis; specifically, why Susquehanna believed that the level instruments would
level instruments.  
not be available after a DBA LOCA event. Subsequently, Susquehanna determined that
the RPV level instrument reference legs were not expected to routinely flash during a
On January 29, 2008, the inspectors observed two scenarios in the simulator to evaluate  
DBA LOCA, and that the analysis had been based on an overly conservative assumption
the response to a DBA LOCA, with all safety systems available. The inspectors  
that the drywell would always reach superheated conditions post-LOCA. Immediate
observed that the RPV level instruments did indicate off-scale high shortly after the  
corrective actions included the initiation of an informational Night Order to the control
initiation of the event, consistent with the analysis. The inspectors questioned the basis  
room operators explaining the issue, and the cessation of all simulator scenarios that
of the analysis; specifically, why Susquehanna believed that the level instruments would  
involve the use of EO-100-103-1 until the issue is resolved.
not be available after a DBA LOCA event. Subsequently, Susquehanna determined that  
The performance deficiency is that Susquehanna did not ensure that the plant
the RPV level instrument reference legs were not expected to routinely flash during a  
referenced simulator accurately modeled the expected plant response for RPV level
DBA LOCA, and that the analysis had been based on an overly conservative assumption  
instrumentation after a DBA LOCA, resulting in negative training of the licensed
that the drywell would always reach superheated conditions post-LOCA. Immediate  
operators.
corrective actions included the initiation of an informational Night Order to the control  
Analyses: This performance deficiency is more than minor because it is associated with
room operators explaining the issue, and the cessation of all simulator scenarios that  
the Human Performance attribute of the Mitigating Systems cornerstone and affects the
involve the use of EO-100-103-1 until the issue is resolved.  
objective to ensure the availability, reliability, and capability of systems that respond to
initiating events to prevent undesirable consequences. Specifically, the incorrect
The performance deficiency is that Susquehanna did not ensure that the plant  
modeling of the Susquehanna plant referenced simulator introduces negative operator
referenced simulator accurately modeled the expected plant response for RPV level  
training that could affect the ability of the operators (a mitigating system) to take the
instrumentation after a DBA LOCA, resulting in negative training of the licensed  
appropriate actions during an actual event. The simulator training conditioned the
operators.  
operators to expect the level instruments to be unavailable during events that cause
drywell temperatures to reach or exceed RPV saturation temperature. As a result,
Analyses: This performance deficiency is more than minor because it is associated with  
during an actual event, the operators could prematurely transition into the RPV flooding
the Human Performance attribute of the Mitigating Systems cornerstone and affects the  
procedure when the RPV level instruments should be providing valid indication. The
objective to ensure the availability, reliability, and capability of systems that respond to  
inspectors evaluated the finding in accordance with IMC 0609, Appendix I, Licensed
initiating events to prevent undesirable consequences. Specifically, the incorrect  
Operator Requalification Significance Determination Process. The finding was
modeling of the Susquehanna plant referenced simulator introduces negative operator  
determined to be of very low safety significance (Green) because it is not related to
training that could affect the ability of the operators (a mitigating system) to take the  
operator performance during requalification, it is related to simulator fidelity, and could
appropriate actions during an actual event. The simulator training conditioned the  
have a negative impact on operator actions.
operators to expect the level instruments to be unavailable during events that cause  
                                                                                      Enclosure
drywell temperatures to reach or exceed RPV saturation temperature. As a result,  
during an actual event, the operators could prematurely transition into the RPV flooding  
procedure when the RPV level instruments should be providing valid indication. The  
inspectors evaluated the finding in accordance with IMC 0609, Appendix I, Licensed  
Operator Requalification Significance Determination Process. The finding was  
determined to be of very low safety significance (Green) because it is not related to  
operator performance during requalification, it is related to simulator fidelity, and could  
have a negative impact on operator actions.  


                                              15
    Enforcement: 10 CFR 55.46(c)(1), Plant Referenced Simulators, states, in part, that a
    plant referenced simulator must demonstrate expected plant response to normal,
    transient, and accident conditions. Contrary to the above, as of January 2008, the
Enclosure
    Susquehanna plant referenced simulator did not accurately demonstrate the actual
    expected plant response of the RPV water level instrumentation following a DBA LOCA,
15
    which could result in negative operator training. However, because the finding was of
    very low safety significance (Green) and has been entered into the CAP (AR/CR
Enforcement: 10 CFR 55.46(c)(1), Plant Referenced Simulators, states, in part, that a  
    962881), this violation is being treated as an NCV, consistent with section VI.A.1 of the
plant referenced simulator must demonstrate expected plant response to normal,  
    NRC Enforcement Policy.
transient, and accident conditions. Contrary to the above, as of January 2008, the  
    (NCV 05000387/2008006-03; 05000388/2008006-03 - Failure to Accurately Model
Susquehanna plant referenced simulator did not accurately demonstrate the actual  
    the Simulator for RPV Water Level Instrumentation)
expected plant response of the RPV water level instrumentation following a DBA LOCA,  
(d) Failure to Identify and Correct a Setpoint Error in the RHR and CS Operating
which could result in negative operator training. However, because the finding was of  
    Procedures
very low safety significance (Green) and has been entered into the CAP (AR/CR  
    Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,
962881), this violation is being treated as an NCV, consistent with section VI.A.1 of the  
    Corrective Action, for the failure to identify that a setpoint error in the operating
NRC Enforcement Policy.  
    procedures for safety-related systems was a CAQ, resulting in the procedures not being
    corrected in a timely manner. Specifically, in February 2006, Susquehanna personnel
(NCV 05000387/2008006-03; 05000388/2008006-03 - Failure to Accurately Model  
    identified an incorrect setpoint for the low pressure injection permissive interlock in the
the Simulator for RPV Water Level Instrumentation)  
    RHR and CS systems operating procedures and associated hard cards; however, the
    procedures were not revised until July 2007 due to the issue being screened as low
  (d)  
    priority and not a condition adverse to quality (CAQ).
Failure to Identify and Correct a Setpoint Error in the RHR and CS Operating  
    Description: On February 11, 2006, an AR was written to identify that the low pressure
Procedures  
    injection permissive setpoint in the RHR and CS operating procedures, and the
    associated operator hard cards, was incorrect. The correct setpoint is 420 pounds per
Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,  
    square inch gage (psig), but the procedures still had the previous setpoint of 436 psig.
Corrective Action, for the failure to identify that a setpoint error in the operating  
    The setpoint had been changed in 1999 as part of a modification. The procedures were
procedures for safety-related systems was a CAQ, resulting in the procedures not being  
    not revised until July 16, 2007, 17 months after the deficiency was identified in an AR. In
corrected in a timely manner. Specifically, in February 2006, Susquehanna personnel  
    addition, the inspectors noted that the setpoint in the procedures (436 psig) was not
identified an incorrect setpoint for the low pressure injection permissive interlock in the  
    within the allowable tolerance (407-433 psig) listed in the Susquehanna TS, Section
RHR and CS systems operating procedures and associated hard cards; however, the  
    3.3.5.1, Emergency Core Cooling System (ECCS) Instrumentation.
procedures were not revised until July 2007 due to the issue being screened as low  
    When the AR was initiated, it was sub-classified as AR/CPG/OPS; that is, assigned to
priority and not a condition adverse to quality (CAQ).  
    the Central Procedures Group and identified as an Operations procedure. It was not
    recognized that deficient operating procedures for safety-related systems may be a CAQ
Description: On February 11, 2006, an AR was written to identify that the low pressure  
    and that the AR should have been classified as a Condition Report. The affected
injection permissive setpoint in the RHR and CS operating procedures, and the  
    section in the procedures was the verification of the response of the systems to an
associated operator hard cards, was incorrect. The correct setpoint is 420 pounds per  
    automatic initiation signal. For example, the Unit 1 RHR procedure OP-149-001, RHR
square inch gage (psig), but the procedures still had the previous setpoint of 436 psig.
    System, Section 2.2, noted that No operator action is required unless an automatic
The setpoint had been changed in 1999 as part of a modification. The procedures were  
    action failed to occur ... At 436 psig decreasing Reactor pressure, RHR INJ OB ISO
not revised until July 16, 2007, 17 months after the deficiency was identified in an AR. In  
    [injection outboard isolation] HV-151-F015A & B OPEN. If the valves did not open at
addition, the inspectors noted that the setpoint in the procedures (436 psig) was not  
    the specified pressure in the procedure and hard card, the operator may have diverted
within the allowable tolerance (407-433 psig) listed in the Susquehanna TS, Section  
    their attention unnecessarily and attempted to open the valve manually, even though the
3.3.5.1, Emergency Core Cooling System (ECCS) Instrumentation.  
                                                                                            Enclosure
When the AR was initiated, it was sub-classified as AR/CPG/OPS; that is, assigned to  
the Central Procedures Group and identified as an Operations procedure. It was not  
recognized that deficient operating procedures for safety-related systems may be a CAQ  
and that the AR should have been classified as a Condition Report. The affected  
section in the procedures was the verification of the response of the systems to an  
automatic initiation signal. For example, the Unit 1 RHR procedure OP-149-001, RHR  
System, Section 2.2, noted that No operator action is required unless an automatic  
action failed to occur ... At 436 psig decreasing Reactor pressure, RHR INJ OB ISO  
[injection outboard isolation] HV-151-F015A & B OPEN. If the valves did not open at  
the specified pressure in the procedure and hard card, the operator may have diverted  
their attention unnecessarily and attempted to open the valve manually, even though the  


                                          16
interlock would not have been satisfied (420 psig) and the valve would not open in
accordance with the plant design.
The pressure switches were changed in 1999, as part of a Unit 1 plant modification
Enclosure
(Design Change Package (DCP) 97-9075); Unit 2 switches were changed by DCP
97-9076. The modification replaced the existing pressure switches with Barton pressure
16
indicating switches, because of improved accuracy. The low pressure injection
interlock would not have been satisfied (420 psig) and the valve would not open in  
permissive interlock prevents the CS and RHR injection valves from opening until
accordance with the plant design.  
reactor pressure has decreased to the RHR and CS systems design pressure, to
prevent over pressurization of the RHR and CS systems. The DCP identified the
The pressure switches were changed in 1999, as part of a Unit 1 plant modification  
specific RHR and CS operating procedures as needing to be changed. Immediate
(Design Change Package (DCP) 97-9075); Unit 2 switches were changed by DCP  
corrective actions included the initiation of a new CR to evaluate the other pending
97-9076. The modification replaced the existing pressure switches with Barton pressure  
procedure changes to determine if their priority should be revised.
indicating switches, because of improved accuracy. The low pressure injection  
The performance deficiency involved a failure to identify and correct a CAQ, the
permissive interlock prevents the CS and RHR injection valves from opening until  
incorrect setpoint, in a timely manner commensurate with its safety significance. The
reactor pressure has decreased to the RHR and CS systems design pressure, to  
inspectors concluded this action was untimely because the modification process would
prevent over pressurization of the RHR and CS systems. The DCP identified the  
have revised these procedures prior to the modification being accepted by operations
specific RHR and CS operating procedures as needing to be changed. Immediate  
personnel.
corrective actions included the initiation of a new CR to evaluate the other pending  
Analysis: The performance deficiency is more than minor because it is associated with
procedure changes to determine if their priority should be revised.  
the Procedure Quality attribute of the Mitigating Systems cornerstone and affects the
objective to ensure the availability, reliability, and capability of systems that respond to
The performance deficiency involved a failure to identify and correct a CAQ, the  
initiating events to prevent undesirable consequences. Specifically, the incorrect
incorrect setpoint, in a timely manner commensurate with its safety significance. The  
setpoint reference in the procedure impacted the reliability of operator response to the
inspectors concluded this action was untimely because the modification process would  
event in that it could delay operator actions or result in misoperation of equipment. The
have revised these procedures prior to the modification being accepted by operations  
inspectors performed a review of the finding in accordance with NRC Inspection Manual
personnel.
Chapter (IMC) 0609, Significance Determination Process (SDP), Attachment 4, Phase
1 - Initial Screening and Characterization of Findings. The inspectors determined that
Analysis: The performance deficiency is more than minor because it is associated with  
the finding screened out as having very low safety significance (Green), because it was
the Procedure Quality attribute of the Mitigating Systems cornerstone and affects the  
not a design deficiency, did not result in an actual loss of safety function, and did not
objective to ensure the availability, reliability, and capability of systems that respond to  
screen as potentially risk significant due to external initiating events
initiating events to prevent undesirable consequences.   Specifically, the incorrect  
This performance deficiency has a Cross-Cutting aspect in the area of PI&R, CAP,
setpoint reference in the procedure impacted the reliability of operator response to the  
because Susquehanna did not identify that a setpoint error in operating procedures for
event in that it could delay operator actions or result in misoperation of equipment. The  
safety-related systems was a CAQ, commensurate with its safety significance. [P.1(a)]
inspectors performed a review of the finding in accordance with NRC Inspection Manual  
Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,
Chapter (IMC) 0609, Significance Determination Process (SDP), Attachment 4, Phase  
that conditions adverse to quality shall be promptly identified and corrected. Contrary to
1 - Initial Screening and Characterization of Findings. The inspectors determined that  
the above, from 1999, when the pressure switches were replaced and the setpoint was
the finding screened out as having very low safety significance (Green), because it was  
changed, until 2006, when AR 751412 was written, Susquehanna had failed to identify
not a design deficiency, did not result in an actual loss of safety function, and did not  
that the setpoint was wrong for the low pressure injection permissive interlock in the
screen as potentially risk significant due to external initiating events  
operating procedures for RHR and CS. Subsequently, on February 11, 2006, when
Susquehanna personnel initiated and approved AR 751412, they failed to identify that
This performance deficiency has a Cross-Cutting aspect in the area of PI&R, CAP,  
the stated deficiency was a CAQ, which resulted in untimely corrective actions.
because Susquehanna did not identify that a setpoint error in operating procedures for  
Susquehanna considered this to be a procedure change and not a CAQ, and classified
safety-related systems was a CAQ, commensurate with its safety significance. [P.1(a)]  
the AR as a CPG versus a CR. As such, the procedures were not changed until July 16,
                                                                                      Enclosure
Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,  
that conditions adverse to quality shall be promptly identified and corrected. Contrary to  
the above, from 1999, when the pressure switches were replaced and the setpoint was  
changed, until 2006, when AR 751412 was written, Susquehanna had failed to identify  
that the setpoint was wrong for the low pressure injection permissive interlock in the  
operating procedures for RHR and CS.   Subsequently, on February 11, 2006, when  
Susquehanna personnel initiated and approved AR 751412, they failed to identify that  
the stated deficiency was a CAQ, which resulted in untimely corrective actions.
Susquehanna considered this to be a procedure change and not a CAQ, and classified  
the AR as a CPG versus a CR. As such, the procedures were not changed until July 16,  


                                                17
    2007, 17 months after the condition was identified and eight years after the setpoint was
    changed in the plant. Because this finding is of very low safety significance (Green), and
    was entered into the Susquehanna CAP (AR/CR 956917) this violation is being treated
Enclosure
    as a Non-Cited Violation (NCV) consistent with Section VI.A.1 of the NRC Enforcement
    Policy.
17
    (NCV 05000387/2008006-04; 05000388/2008006-04 - Failure to Identify and Correct
2007, 17 months after the condition was identified and eight years after the setpoint was  
    a Setpoint Error in the RHR and CS Operating Procedures)
changed in the plant. Because this finding is of very low safety significance (Green), and  
b. Assessment of the Use of Operating Experience
was entered into the Susquehanna CAP (AR/CR 956917) this violation is being treated  
  1. Inspection Scope
as a Non-Cited Violation (NCV) consistent with Section VI.A.1 of the NRC Enforcement  
    The team reviewed a sample of operating experience (OE) issues for applicability to
Policy.  
    Susquehanna, and for the associated actions. The documents were reviewed to ensure
    that underlying problems associated with the issues were appropriately considered for
(NCV 05000387/2008006-04; 05000388/2008006-04 - Failure to Identify and Correct  
    resolution. The team also reviewed how Susquehanna considered OE for applicability in
a Setpoint Error in the RHR and CS Operating Procedures)  
    causal evaluations.
    Prior to the start of the inspection, the inspectors noted a potential negative trend in the
b.  
    number of issues associated with reactivity management. In accordance with the
Assessment of the Use of Operating Experience  
    Inspection Procedure, the inspectors increased the scope of the review to determine if
   
    there was an adverse trend in the area of reactivity management over the past five
  1.  
    years. The inspectors reviewed select ARs and CRs associated with the control rod
Inspection Scope  
    drive system, control rod problems, human performance issues, and the spent fuel pool;
    the inspectors review included how Susquehanna had incorporated applicable OE for
The team reviewed a sample of operating experience (OE) issues for applicability to  
    these specific systems and human performance issues into the CAP. The inspectors
Susquehanna, and for the associated actions. The documents were reviewed to ensure  
    interviewed selected licensee staff.
that underlying problems associated with the issues were appropriately considered for  
  2. Assessment
resolution. The team also reviewed how Susquehanna considered OE for applicability in  
    In general, OE was effectively used at the station. The inspectors noted that OE was
causal evaluations.  
    reviewed during the causal evaluation process and incorporated, as appropriate, into the
    development of the associated corrective actions. The inspectors noted that OE was
Prior to the start of the inspection, the inspectors noted a potential negative trend in the  
    frequently used in work packages and pre-job briefs. The team did not identify any
number of issues associated with reactivity management. In accordance with the  
    significant deficiencies within the sample reviewed. The team did not identify a negative
Inspection Procedure, the inspectors increased the scope of the review to determine if  
    trend nor any significant problems with the control of activities associated with reactivity
there was an adverse trend in the area of reactivity management over the past five  
    management.
years. The inspectors reviewed select ARs and CRs associated with the control rod  
  3. Findings
drive system, control rod problems, human performance issues, and the spent fuel pool;  
    No findings of significance were identified in the area of operating experience.
the inspectors review included how Susquehanna had incorporated applicable OE for  
c. Assessment of Self-Assessments and Audits
these specific systems and human performance issues into the CAP. The inspectors  
  1. Inspection Scope
interviewed selected licensee staff.  
                                                                                        Enclosure
   
  2.  
Assessment  
In general, OE was effectively used at the station. The inspectors noted that OE was  
reviewed during the causal evaluation process and incorporated, as appropriate, into the  
development of the associated corrective actions. The inspectors noted that OE was  
frequently used in work packages and pre-job briefs. The team did not identify any  
significant deficiencies within the sample reviewed. The team did not identify a negative  
trend nor any significant problems with the control of activities associated with reactivity  
management.  
   
  3.  
Findings  
No findings of significance were identified in the area of operating experience.  
c.  
Assessment of Self-Assessments and Audits  
   
  1.  
Inspection Scope  


                                              18
    The team reviewed a sample of departmental self-assessments, CAP trend reports, and
    Quality Assurance (QA) audits, including QAs most recent audit of the CAP. The team
    also reviewed the latest internal assessment of the safety culture at Susquehanna,
Enclosure
    conducted in October 2006. The reviews were performed to determine if problems
    identified through these evaluations were entered into the CAP system, and whether the
18
    corrective actions were properly completed to resolve the deficiencies. The
The team reviewed a sample of departmental self-assessments, CAP trend reports, and  
    effectiveness of the audits and self-assessments was evaluated by comparing audit and
Quality Assurance (QA) audits, including QAs most recent audit of the CAP. The team  
    self-assessment results against self-revealing and NRC-identified findings, and
also reviewed the latest internal assessment of the safety culture at Susquehanna,  
    observations during the inspection.
conducted in October 2006. The reviews were performed to determine if problems  
  2. Assessment
identified through these evaluations were entered into the CAP system, and whether the  
    The team considered the quality of the audits and self-assessments to be thorough and
corrective actions were properly completed to resolve the deficiencies. The  
    critical. ARs were initiated for issues identified by QA and the self-assessments. The
effectiveness of the audits and self-assessments was evaluated by comparing audit and  
    Susquehanna 2006 Comprehensive Cultural Assessment Report consisted of a safety
self-assessment results against self-revealing and NRC-identified findings, and  
    culture survey and interviews. The cultural assessment report identified some
observations during the inspection.  
    weaknesses at the station, which were entered into the CAP. The team did not identify
   
    any results that were inconsistent with Susquehannas conclusions.
  2.  
  3. Findings
Assessment  
    No findings of significance were identified in the area of audits and self-assessments.
d. Assessment of Safety Conscious Work Environment
The team considered the quality of the audits and self-assessments to be thorough and  
  1. Inspection Scope
critical. ARs were initiated for issues identified by QA and the self-assessments. The  
    To evaluate the safety conscious work environment (SCWE) at Susquehanna, during
Susquehanna 2006 Comprehensive Cultural Assessment Report consisted of a safety  
    interviews and discussions with station personnel, the team assessed the workers
culture survey and interviews. The cultural assessment report identified some  
    willingness to enter issues into the CAP and to raise safety issues to their management
weaknesses at the station, which were entered into the CAP. The team did not identify  
    and/or to the NRC. The inspectors also interviewed the Employee Concerns Program
any results that were inconsistent with Susquehannas conclusions.  
    (ECP) representative to determine if employees were aware of the program and had
   
    used it to raise concerns. The team reviewed a sample of the ECP files to ensure that
  3.  
    issues were entered into the corrective action program, as appropriate.
Findings  
  2. Assessment
    Based on interviews, observations of plant activities, and reviews of the ARs and ECP,
No findings of significance were identified in the area of audits and self-assessments.  
    the inspectors determined that the site personnel were willing to raise safety issues and
    document them in ARs. Individuals actively utilized the AR system, as evidenced by the
d.  
    number and significance of issues entered into the program. The inspectors noted that
Assessment of Safety Conscious Work Environment  
    ARs were written by a variety of personnel, from workers to managers. ECP evaluations
   
    were thorough and appropriate actions were taken to address issues.
  1.  
  3. Findings
Inspection Scope  
    No findings of significance were identified related to the SCWE at Susquehanna.
                                                                                      Enclosure
To evaluate the safety conscious work environment (SCWE) at Susquehanna, during  
interviews and discussions with station personnel, the team assessed the workers  
willingness to enter issues into the CAP and to raise safety issues to their management  
and/or to the NRC. The inspectors also interviewed the Employee Concerns Program  
(ECP) representative to determine if employees were aware of the program and had  
used it to raise concerns. The team reviewed a sample of the ECP files to ensure that  
issues were entered into the corrective action program, as appropriate.  
   
  2.  
Assessment  
Based on interviews, observations of plant activities, and reviews of the ARs and ECP,  
the inspectors determined that the site personnel were willing to raise safety issues and  
document them in ARs. Individuals actively utilized the AR system, as evidenced by the  
number and significance of issues entered into the program. The inspectors noted that  
ARs were written by a variety of personnel, from workers to managers. ECP evaluations  
were thorough and appropriate actions were taken to address issues.  
   
  3.  
Findings  
No findings of significance were identified related to the SCWE at Susquehanna.  


                                            19
4OA6 Meetings, Including Exit:
    On February 1, 2008, the team presented the inspection results to Mr. B. McKinney,
    Senior Vice President, and to other members of the Susquehanna staff, who
Enclosure
    acknowledged the findings. The team confirmed that no proprietary information
    reviewed during the inspection was retained.
19
ATTACHMENT: Supplemental Information
    In addition to the documentation that the team reviewed (listed in the Attachment),
4OA6 Meetings, Including Exit:  
    copies of information requests given to the licensee are in ADAMS, under accession
    number ML080430585.
On February 1, 2008, the team presented the inspection results to Mr. B. McKinney,  
                                                                                      Enclosure
Senior Vice President, and to other members of the Susquehanna staff, who  
acknowledged the findings. The team confirmed that no proprietary information  
reviewed during the inspection was retained.  
ATTACHMENT: Supplemental Information  
In addition to the documentation that the team reviewed (listed in the Attachment),  
copies of information requests given to the licensee are in ADAMS, under accession  
number ML080430585.  


                                                  A-1
                        ATTACHMENT - SUPPLEMENTAL INFORMATION
                                    KEY POINTS OF CONTACT
  Licensee Personnel:
Attachment
  M. Adelizzi, Risk Engineer
A-1
N. DAngelo, Manager, Station Engineering
ATTACHMENT - SUPPLEMENTAL INFORMATION  
C. Gannon, Vice President, Nuclear Operations
T. Gorman, Project Manager, Design Engineering
KEY POINTS OF CONTACT  
R. Hoffman, Manager, Nuclear Fuels & Analysis
   
B. McKinney, Chief Nuclear Officer
Licensee Personnel:  
I. Missien, Project Manager, System Engineering
   
B. ORourke, Senior Engineer, Nuclear Regulatory Affairs
M. Adelizzi, Risk Engineer  
R. Pagodin, General Manager, Nuclear Engineering
N. DAngelo, Manager, Station Engineering  
R. Paley, General Manager, Plant Support
C. Gannon, Vice President, Nuclear Operations  
A. Price, Supervisor, Corrective Action & Assessment
T. Gorman, Project Manager, Design Engineering  
M. Rochester, Employee Concerns Representative
R. Hoffman, Manager, Nuclear Fuels & Analysis  
G. Ruppert, Manager, Maintenance
B. McKinney, Chief Nuclear Officer  
R. Schechterly, Operating Experience Coordinator
I. Missien, Project Manager, System Engineering  
R. Sgarro, Manager, Nuclear Regulatory Affairs
B. ORourke, Senior Engineer, Nuclear Regulatory Affairs  
M. Sleigh, Security Manager
R. Pagodin, General Manager, Nuclear Engineering  
B. Stitt, Operations Training
R. Paley, General Manager, Plant Support  
T. Tonkinson, Supervisor, Maintenance Support
A. Price, Supervisor, Corrective Action & Assessment  
D. Weller, Maintenance Foreman
M. Rochester, Employee Concerns Representative  
L. West, Supervisor, Central Procedure Group
G. Ruppert, Manager, Maintenance  
  Nuclear Regulatory Commission:
R. Schechterly, Operating Experience Coordinator  
  M. Gray, Branch Chief, Technical Support & Assessment
R. Sgarro, Manager, Nuclear Regulatory Affairs  
F. Jaxheimer, Senior Resident Inspector
M. Sleigh, Security Manager  
                      LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
B. Stitt, Operations Training  
Opened and Closed:
T. Tonkinson, Supervisor, Maintenance Support  
05000387/2008006-01 NCV Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG
D. Weller, Maintenance Foreman  
05000388/2008006-01          Resulted in an Inadequate EOP                       (Section 4OA2.a.3 (a))
L. West, Supervisor, Central Procedure Group  
05000387/2008006-02 NCV       Failure to Identify and Correct Inconsistencies in the Licensing Basis
   
05000388/2008006-02          and the EOPs                                       (Section 4OA2.a.3 (b))
Nuclear Regulatory Commission:  
05000387/2008006-03 NCV Failure to Accurately Model the Simulator for RPV Water Level
   
05000388/2008006-03          Instrumentation                                     (Section 4OA2.a.3 (c))
M. Gray, Branch Chief, Technical Support & Assessment  
05000387/2008006-04 NCV Failure to Identify and Correct a Setpoint Error in the RHR and CS
F. Jaxheimer, Senior Resident Inspector  
05000388/2008006-04          Operating Procedures                               (Section 4OA2.a.3 (d))
                                                                                            Attachment
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED  
Opened and Closed:  
 
05000387/2008006-01  
05000388/2008006-01
NCV Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG  
Resulted in an Inadequate EOP  
(Section 4OA2.a.3 (a))
05000387/2008006-02  
05000388/2008006-02
NCV Failure to Identify and Correct Inconsistencies in the Licensing Basis  
and the EOPs  
(Section 4OA2.a.3 (b))
05000387/2008006-03  
05000388/2008006-03
NCV Failure to Accurately Model the Simulator for RPV Water Level  
Instrumentation  
(Section 4OA2.a.3 (c))
05000387/2008006-04  
05000388/2008006-04
NCV Failure to Identify and Correct a Setpoint Error in the RHR and CS  
Operating Procedures  
(Section 4OA2.a.3 (d))


                                            A-2
                            LIST OF DOCUMENTS REVIEWED
Procedures:
Attachment
BWROG EGP/SAG and Appendix B Bases, Revision 2
Design Considerations Applicability Sheet Number 42, Emergency Plan, Revision 1
A-2
EO-000-102, RPV Control, Revision 2
LIST OF DOCUMENTS REVIEWED  
EO-000-114-1, RPV Flooding, Revision 5
EO-100-103-1, Primary Containment Control, Revision 9
Procedures:  
EP-AD-014, Surveillance Testing of Emergency Communications Equipment, Revision 10
EP-AD-015, Review, Revision, and distribution of the SSES Emergency Plan, Revision 11
BWROG EGP/SAG and Appendix B Bases, Revision 2  
ME-0RF-161, Control of Fuel Pool Cleanout Activities, Revision 5
Design Considerations Applicability Sheet Number 42, Emergency Plan, Revision 1  
ME-0RF-163, Fuel Pool Cleanout - Energy Solutions - Dose Rate Profiling of Irradiated
EO-000-102, RPV Control, Revision 2  
  Hardware and Liners, Revision 4
EO-000-114-1, RPV Flooding, Revision 5  
MFP-QA-1220, Engineering Change Process Handbook, Revision 2
EO-100-103-1, Primary Containment Control, Revision 9  
MI-VL-009, Operation of Leak Rate Monitors, Surge Tank Assemblies and 1035 psig Test
EP-AD-014, Surveillance Testing of Emergency Communications Equipment, Revision 10  
  Pumps, Revision 3
EP-AD-015, Review, Revision, and distribution of the SSES Emergency Plan, Revision 11  
MT-AD-504, Scaffold Erection, Review and Inspection, Revisions 9 & 10
ME-0RF-161, Control of Fuel Pool Cleanout Activities, Revision 5  
MT-GM-018, Freeze Sealing of Piping, Revision 15
ME-0RF-163, Fuel Pool Cleanout - Energy Solutions - Dose Rate Profiling of Irradiated  
MT-GM-050, Limitorque Type SMB-000 through SMB-4 Operator Maintenance, Revision 12
Hardware and Liners, Revision 4  
NASP-QA-202, Independent Technical Review Program, Revision 2
MFP-QA-1220, Engineering Change Process Handbook, Revision 2  
NASP-QA-401, Internal Audits, Revision 9
MI-VL-009, Operation of Leak Rate Monitors, Surge Tank Assemblies and 1035 psig Test  
NASP-QA-700, Performance Assessment Process, Revision 0
Pumps, Revision 3  
NDAP-00-0109, Employee Concerns Program, Revision 10
MT-AD-504, Scaffold Erection, Review and Inspection, Revisions 9 & 10  
NDAP-00-0708, Corrective Action Review Board, Revision 4
MT-GM-018, Freeze Sealing of Piping, Revision 15  
NDAP-00-0710, Station Trending Program, Revision 1
MT-GM-050, Limitorque Type SMB-000 through SMB-4 Operator Maintenance, Revision 12  
NDAP-00-0745, Self-Assessment, Benchmarking and Performance Indicators, Revision 7
NASP-QA-202, Independent Technical Review Program, Revision 2  
NDAP-00-0751, Significant Operating Experience Report (SOER) Review Program, Revision 3
NASP-QA-401, Internal Audits, Revision 9  
NDAP-00-0752, Cause Analysis, Revisions 3 and 4
NASP-QA-700, Performance Assessment Process, Revision 0  
NDAP-00-0753, Common Issue Analysis, Revision 0
NDAP-00-0109, Employee Concerns Program, Revision 10  
NDAP-00-0778, Performance Improvement Program, Revision 2
NDAP-00-0708, Corrective Action Review Board, Revision 4  
NDAP-QA-0103, Audit Program, Revision 9
NDAP-00-0710, Station Trending Program, Revision 1  
NDAP-QA-0330, PSTG and Emergency Procedures, Revision 8
NDAP-00-0745, Self-Assessment, Benchmarking and Performance Indicators, Revision 7  
NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and Writers Guide, Revision 3
NDAP-00-0751, Significant Operating Experience Report (SOER) Review Program, Revision 3  
NDAP-QA-0412, Leakage Rate Test Program, Revision 10
NDAP-00-0752, Cause Analysis, Revisions 3 and 4  
NDAP-QA-0702, Action Request and Condition Report Process, Revision 20
NDAP-00-0753, Common Issue Analysis, Revision 0  
NDAP-QA-0703, Operability Assessments and Requests for Enforcement Discretion,
NDAP-00-0778, Performance Improvement Program, Revision 2  
  Revision 12
NDAP-QA-0103, Audit Program, Revision 9  
NDAP-QA-0720, Station Report Matrix and Reportability Evaluation Guidance, Revision 13
NDAP-QA-0330, PSTG and Emergency Procedures, Revision 8  
NDAP-QA-0725, Operating Experience Review Program, Revision 11
NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and Writers Guide, Revision 3  
NDAP-QA-0726, 10CFR50.59 and 10CFR72.48 Implementation, Revision 10
NDAP-QA-0412, Leakage Rate Test Program, Revision 10  
NDAP-QA-1220, Engineering Change Process, Revision 2
NDAP-QA-0702, Action Request and Condition Report Process, Revision 20  
NTP-QA-53.1, Susquehanna Fire Brigade Training Program, Revision 15
NDAP-QA-0703, Operability Assessments and Requests for Enforcement Discretion,  
ODCM-QA-001, ODCM Introduction, Revision 3
Revision 12  
ODCM-QA-002, ODCM Review and Revision Control, Revision 4
NDAP-QA-0720, Station Report Matrix and Reportability Evaluation Guidance, Revision 13  
ODCM-QA-003, Effluent Monitor Setpoints, Revision 3
NDAP-QA-0725, Operating Experience Review Program, Revision 11  
ODCM-QA-004, Airborne Effluent Dose Calculations, Revision 4
NDAP-QA-0726, 10CFR50.59 and 10CFR72.48 Implementation, Revision 10  
ODCM-QA-005, Waterborne Effluent Dose Calculation, Revision 3
NDAP-QA-1220, Engineering Change Process, Revision 2  
                                                                                    Attachment
NTP-QA-53.1, Susquehanna Fire Brigade Training Program, Revision 15  
ODCM-QA-001, ODCM Introduction, Revision 3  
ODCM-QA-002, ODCM Review and Revision Control, Revision 4  
ODCM-QA-003, Effluent Monitor Setpoints, Revision 3  
ODCM-QA-004, Airborne Effluent Dose Calculations, Revision 4  
ODCM-QA-005, Waterborne Effluent Dose Calculation, Revision 3  


                                                  A-3
ODCM-QA-006, Total Dose Calculation, Revision 2
ODCM-QA-007, Radioactive Waste Treatment Systems, Revision 2
Attachment
ODCM-QA-008, Radiological Environmental Monitoring Program, Revision 11
ODCM-QA-009, Dose Assessment Policy Statements, Revision 2
A-3
ON-145-004, RPV Water Level Anomaly, Revision 13
ODCM-QA-006, Total Dose Calculation, Revision 2  
OP-024-001, Diesel Generators, Revision 49
ODCM-QA-007, Radioactive Waste Treatment Systems, Revision 2  
OP-024-004, Transfer and Test Mode Operations of Diesel Generator E, Revision 26
ODCM-QA-008, Radiological Environmental Monitoring Program, Revision 11  
OP-149-001, RHR System, Revisions 31 and 32
ODCM-QA-009, Dose Assessment Policy Statements, Revision 2  
OP-151-001, Core Spray System, Revisions 27 & 28
ON-145-004, RPV Water Level Anomaly, Revision 13  
SE-124-007, Unit 1 Division 1 Diesel Generator LOCA LOOP Test, Revision 15
OP-024-001, Diesel Generators, Revision 49  
SE-259-044, LLRT of RHR Containment Spray Penetration Number X-39A, Revision 11
OP-024-004, Transfer and Test Mode Operations of Diesel Generator E, Revision 26  
SOP-054-B03, Quarterly ESW Flow Verification Loop B, Revision 7
OP-149-001, RHR System, Revisions 31 and 32  
SSES-EPG, SSES Plant Specific Technical Guideline, Revision 9
OP-151-001, Core Spray System, Revisions 27 & 28  
Audits:
SE-124-007, Unit 1 Division 1 Diesel Generator LOCA LOOP Test, Revision 15  
666178, Corrective Action, November 2006 - February 2007
SE-259-044, LLRT of RHR Containment Spray Penetration Number X-39A, Revision 11  
667966, QA Internal Audit Report, Fuel Management, Revision 0
SOP-054-B03, Quarterly ESW Flow Verification Loop B, Revision 7  
691277, QA Internal Audit Report Access Authorization and Fitness for Duty, Revision 0
SSES-EPG, SSES Plant Specific Technical Guideline, Revision 9  
706249, Operations Training and Qualification Programs, May - June 2007
718607, QA Internal Audit Report, Engineering, Revision 0
Audits:  
744333, Operations, November - December 2007
792034, QA Internal Audit Report, Security, Revision 0
666178, Corrective Action, November 2006 - February 2007  
NEIP Audit of Susquehanna Quality Assurance, June 2006
667966, QA Internal Audit Report, Fuel Management, Revision 0  
Self-Assessments:
691277, QA Internal Audit Report Access Authorization and Fitness for Duty, Revision 0
2006 Comprehensive Cultural Assessment, September - October 2006
706249, Operations Training and Qualification Programs, May - June 2007  
CA&A Functional Unit Excellence Plan, 1st, 2nd, and 3rd Quarters 2007
718607, QA Internal Audit Report, Engineering, Revision 0  
CAA-06-01, Site Wide Self-Assessment, December 2006
744333, Operations, November - December 2007  
CAA-06-05, Self-Assessment Program Performance, February 2006
792034, QA Internal Audit Report, Security, Revision 0  
CAA-06-08, Decrease in CR Generation Identified by Trend Report, November 2006
NEIP Audit of Susquehanna Quality Assurance, June 2006  
Focused Self Assessment, MOV Program Self-Assessment, October 2007
Maintenance Implementing Procedures Adequacy for Qualified, Inexperienced Employees,
Self-Assessments:  
  June 2007
Multi-Utility Joint Audit Program Initiative, March - April 2007
2006 Comprehensive Cultural Assessment, September - October 2006  
NTG Focused Self-Assessment of Operator Training Programs, June 2007
CA&A Functional Unit Excellence Plan, 1st, 2nd, and 3rd Quarters 2007  
OPS-06-02, Determine the Status of Operator Fundamentals, February 2006
CAA-06-01, Site Wide Self-Assessment, December 2006  
OPS-06-03, Operations Focused Se-f Assessment, July 2006
CAA-06-05, Self-Assessment Program Performance, February 2006  
Pre-PI&R Focused Self-Assessment, September 2007
CAA-06-08, Decrease in CR Generation Identified by Trend Report, November 2006  
QA Organization Effectiveness Self-Assessment, October 2006
Focused Self Assessment, MOV Program Self-Assessment, October 2007  
QA-06-01, Operations QA Audit Preparation Gap Analysis for QC, May - July 2006
Maintenance Implementing Procedures Adequacy for Qualified, Inexperienced Employees,  
SEC-06-01, Analyses of SSES Security Procedures and Physical Security Plan, Revision 0
June 2007  
                                                                                    Attachment
Multi-Utility Joint Audit Program Initiative, March - April 2007  
NTG Focused Self-Assessment of Operator Training Programs, June 2007  
OPS-06-02, Determine the Status of Operator Fundamentals, February 2006  
OPS-06-03, Operations Focused Se-f Assessment, July 2006  
Pre-PI&R Focused Self-Assessment, September 2007  
QA Organization Effectiveness Self-Assessment, October 2006  
QA-06-01, Operations QA Audit Preparation Gap Analysis for QC, May - July 2006  
SEC-06-01, Analyses of SSES Security Procedures and Physical Security Plan, Revision 0  


                                        A-4
Action Requests (* denotes an AR/CR generated as a result of this inspection):
478369 724467   741707   759209 779830   810391   843985   873741   896685 941677
Attachment
524893  724717  741908  759216  780144  810513  845441    873919  897250  941810
542157  726672  741943  759827  780155  811239  849935    874227  898909  947160
A-4
545804  728295  742191  760281  780778  811429  851918    875597  899429  954950*
Action Requests (* denotes an AR/CR generated as a result of this inspection):  
549328  728936  742318  760526  780992  811996  853358    875976  900301  954970*
554362  730852  742342  760526  781644  812948  854681    876021  900720  954972*
478369  
554598  730944  742427  762497  782321  813844  855266    876427  901262  954975*
524893
555140  730947  742676  763050  782344  815268  855268    877419  903439  954990*
542157
555263  737236  742966  763128  783655  816097  856997    877727  904689  955072*
545804
555562  738555  743043  763397  784730  816710  858269    877743  908163  955073*
549328
557348  738575  744975  764145  784882  817720  858578    878165  911601  955111*
554362
565795  738634  744979  764738  784890  818082  859082    878326  912213  955130*
554598
575128  738653  745221  764953  785561  818154  859440    879080  912476  955150*
555140
578943  738907  745248  765421  785791  820344  859794    879847  915167  955151*
555263
584400  738999  745462  767566  786149  820380  859839    880331  915620  955761*
555562
591033  739262  745773  767567  786224  820989  860299    880573  916453  955780*
557348
594366  739371  746658  768301  786564  820995  860551    880702  916463  956339*
565795
594887  739371  747077  768502  786735  821006  861162    880806  916873  956344*
575128
595165  739386  747438  768821  786768  821064  861366    881210  917196  956431*
578943
604009  739419  749294  768920  787850  822996  861415    881219  918392  956696*
584400
604296  739579  749341  769304  788616  823908  862474    881225  918549  956914*
591033
610978  739625  749832  769867  788621  824522  864090    881236  919470  956917*
594366
615707  739713  750140  769870  788879  824895  865286    882318  927046  957319*
594887
623914  739737  750232  770453  789971  825107  865423    883987  928515  957484*
595165
623949  740043  751212  771319  791115  825750  865804    886209  929461  957637*
604009
635924  740073  751412  771876  791329  826452  865924    887048  930075  958769*
604296
647827  740303  751433  771961  792158  826870  866930    887067  930571  959670*
610978
655735  740477  751444  773046  793381  827023  867534    888310  931113  961655
615707
666405  740538  752341  773409  794995  827966  867747    889683  932590  962390
623914
668871  740658  752347  774453  795583  828626  867881    889966  936060  962881*
623949
669732  740668  752582  774475  796640  828744  868251    891288  936250  963061*
635924
677145  740723  753392  774509  797517  829065  868259    891733  936370  963065*
647827
687080  740802  753664  774549  799890  829502  868828    891795  936631  963698*
655735
688300  740804  753869  775285  802254  835002  868874    892142  937123  963861*
666405
691108  740825  753990  775718  802539  837153  869819    892152  938054  964512*
668871
693936  740946  755360  776112  802563  837180  869824    892528  938698  964514*
669732
699781  740948  756094  776171  802572  839753  870968    893090  938722  964836*
677145
723483  740955  756415  776769  802697  841169  871013    893157  939516  965167*
687080
723976  740988  756804  776918  805698  841885  872039    893290  939780
688300
724102  741041  757530  777335 806710  842663  872056    895147  941290
691108
724165 741321  757979  777723  809503  842920  873026    896455  941401
693936
724374 741457  758337  778124  809702  843144  873683    896505  941626
699781
                                                                              Attachment
723483
723976
724102
724165
724374
724467  
724717
726672
728295
728936
730852
730944
730947
737236
738555
738575
738634
738653
738907
738999
739262
739371
739371
739386
739419
739579
739625
739713
739737
740043
740073
740303
740477
740538
740658
740668
740723
740802
740804
740825
740946
740948
740955
740988
741041
741321
741457
741707  
741908
741943
742191
742318
742342
742427
742676
742966
743043
744975
744979
745221
745248
745462
745773
746658
747077
747438
749294
749341
749832
750140
750232
751212
751412
751433
751444
752341
752347
752582
753392
753664
753869
753990
755360
756094
756415
756804
757530
757979
758337
759209  
759216
759827
760281
760526
760526
762497
763050
763128
763397
764145
764738
764953
765421
767566
767567
768301
768502
768821
768920
769304
769867
769870
770453
771319
771876
771961
773046
773409
774453
774475
774509
774549
775285
775718
776112
776171
776769
776918
777335
777723
778124
779830  
780144
780155
780778
780992
781644
782321
782344
783655
784730
784882
784890
785561
785791
786149
786224
786564
786735
786768
787850
788616
788621
788879
789971
791115
791329
792158
793381
794995
795583
796640
797517
799890
802254
802539
802563
802572
802697
805698
806710
809503
809702
810391  
810513
811239
811429
811996
812948
813844
815268
816097
816710
817720
818082
818154
820344
820380
820989
820995
821006
821064
822996
823908
824522
824895
825107
825750
826452
826870
827023
827966
828626
828744
829065
829502
835002
837153
837180
839753
841169
841885
842663
842920
843144
843985  
845441
849935
851918
853358
854681
855266
855268
856997
858269
858578
859082
859440
859794
859839
860299
860551
861162
861366
861415
862474
864090
865286
865423
865804
865924
866930
867534
867747
867881
868251
868259
868828
868874
869819
869824
870968
871013
872039
872056
873026
873683
873741  
873919
874227
875597
875976
876021
876427
877419
877727
877743
878165
878326
879080
879847
880331
880573
880702
880806
881210
881219
881225
881236
882318
883987
886209
887048
887067
888310
889683
889966
891288
891733
891795
892142
892152
892528
893090
893157
893290
895147
896455
896505
896685  
897250
898909
899429
900301
900720
901262
903439
904689
908163
911601
912213
912476
915167
915620
916453
916463
916873
917196
918392
918549
919470
927046
928515
929461
930075
930571
931113
932590
936060
936250
936370
936631
937123
938054
938698
938722
939516
939780
941290
941401
941626
941677  
941810  
947160  
954950*  
954970*  
954972*  
954975*  
954990*  
955072*  
955073*  
955111*  
955130*  
955150*  
955151*  
955761*  
955780*  
956339*  
956344*  
956431*  
956696*  
956914*  
956917*  
957319*  
957484*  
957637*  
958769*  
959670*  
961655  
962390  
962881*  
963061*  
963065*  
963698*  
963861*  
964512*  
964514*  
964836*  
965167*  
   
   
   


                                              A-5
Maintenance Work Requests (SPWO):
099065       099364       766396       766413         767284       768234       862569
Attachment
099115        448229        766401      766416        767490      768618      862578
099120        473889        766406      766496        767506      818282      866262
A-5
099259        570758        766411      767283        767532      862503      866284
Maintenance Work Requests (SPWO):  
Non-Cited Violations and Findings Reviewed:
NCV 2005005-01, Inadequate FME Exclusion Procedural Instructions Associated with EDG
099065  
    Work
099115
FIN 2005009-01, Fire Brigade Drill Program Not Consistent with Regulatory Guidance and
099120
    Industry Standards
099259
NCV 2006002-01, Equipment Hatch Plugs are Not Watertight as Indicated in FSAR
099364  
FIN 2006002-02, Incomplete Corrective Actions Contribute to CRD Flow Control Failure
448229
NCV 2006003-01, Inadequate Procedures Resulted in Motor Operated Valve Failures
473889
NCV 2006003-02, Failure to Identify Material Degradation which Resulted in the Failure of the
570758
    C ESW Pump Breaker
766396  
NCV 2006003-03, Inadequate Procedure Results in Elevated Reactor Coolant System Leakage
766401
NCV 2006003-04, Inadequate Design Review of PRDNMS Modification Resulted in a Reactor
766406
    Scram
766411
NCV 2006003-05, Ineffective Corrective Actions to Assure Training and Qualification of Workers
766413  
    as Required by 10CFR50, Appendix B, Criterion XVI
766416
NCV 2006004-01, Inadequate Risk Assessment
766496
NCV 2006005-01, Inadequate Work Instructions for the Disassembly and Inspection of Check
767283
    Valves
767284  
NCV 2006005-02, Inadequate Evaluation of EPA Breaker Failures
767490
NCV 2006006-01, Failure to Identify Scaffolding that Affected the Safety-Related RHR
767506
    Discharge Pressure Instrument Tubing Input to ADS
767532
NCV 2006009-01, Safeguards Information
768234  
Licensee Identified NCV 2007002, U2 Div II Core Spray Pump Room (a High Radiation Area)
768618
    Was Not Posted and Was Open
818282
Licensee Identified NCV 2007002, U1 HPCI Failed a Surveillance Due to the Failure to Perform
862503
    Preventive Maintenance
862569  
NCV 2007003-01, Failure to Take Timely Corrective Actions for an E EDG Jacket Water Leak
862578  
FIN 2007003-02, Failure to Maintain Occupational Radiation Exposure ALARA during Reactor
866262  
    Water Cleanup Pipe Replacement Activities
866284  
FIN 2007003-03, Failure to Maintain Occupational Radiation Exposure ALARA during Outage
    ISI of Reactor Pressure Vessel
Non-Cited Violations and Findings Reviewed:  
NCV 2007003-04, Violation of 10CFR71.5 for Inadequately Secured Transport of Condensate
    Pump Motors
NCV 2005005-01, Inadequate FME Exclusion Procedural Instructions Associated with EDG  
NCV 2007003-05, Violation of 10CFR71.5 for Inadequately Accounting for Activity in a
Work  
    Shipment of Irradiated Fuel Channels
FIN 2005009-01, Fire Brigade Drill Program Not Consistent with Regulatory Guidance and  
Licensee Identified NCV 2007003, U2 Reactor Building HRA Postings and Boundary Moved
Industry Standards  
    without Permission of RP
NCV 2006002-01, Equipment Hatch Plugs are Not Watertight as Indicated in FSAR  
NCV 2007007-01, Inoperable ESSW Pump-House Ventilation Lineup
FIN 2006002-02, Incomplete Corrective Actions Contribute to CRD Flow Control Failure  
NCV 2007007-02, Failure to Use E EDG Procedure
NCV 2006003-01, Inadequate Procedures Resulted in Motor Operated Valve Failures  
                                                                                      Attachment
NCV 2006003-02, Failure to Identify Material Degradation which Resulted in the Failure of the  
C ESW Pump Breaker  
NCV 2006003-03, Inadequate Procedure Results in Elevated Reactor Coolant System Leakage  
NCV 2006003-04, Inadequate Design Review of PRDNMS Modification Resulted in a Reactor  
Scram  
NCV 2006003-05, Ineffective Corrective Actions to Assure Training and Qualification of Workers  
as Required by 10CFR50, Appendix B, Criterion XVI  
NCV 2006004-01, Inadequate Risk Assessment  
NCV 2006005-01, Inadequate Work Instructions for the Disassembly and Inspection of Check  
Valves  
NCV 2006005-02, Inadequate Evaluation of EPA Breaker Failures  
NCV 2006006-01, Failure to Identify Scaffolding that Affected the Safety-Related RHR  
Discharge Pressure Instrument Tubing Input to ADS  
NCV 2006009-01, Safeguards Information  
Licensee Identified NCV 2007002, U2 Div II Core Spray Pump Room (a High Radiation Area)  
Was Not Posted and Was Open  
Licensee Identified NCV 2007002, U1 HPCI Failed a Surveillance Due to the Failure to Perform  
Preventive Maintenance  
NCV 2007003-01, Failure to Take Timely Corrective Actions for an E EDG Jacket Water Leak  
FIN 2007003-02, Failure to Maintain Occupational Radiation Exposure ALARA during Reactor  
Water Cleanup Pipe Replacement Activities  
FIN 2007003-03, Failure to Maintain Occupational Radiation Exposure ALARA during Outage  
ISI of Reactor Pressure Vessel  
NCV 2007003-04, Violation of 10CFR71.5 for Inadequately Secured Transport of Condensate  
Pump Motors  
NCV 2007003-05, Violation of 10CFR71.5 for Inadequately Accounting for Activity in a  
Shipment of Irradiated Fuel Channels  
Licensee Identified NCV 2007003, U2 Reactor Building HRA Postings and Boundary Moved  
without Permission of RP  
NCV 2007007-01, Inoperable ESSW Pump-House Ventilation Lineup  
NCV 2007007-02, Failure to Use E EDG Procedure  


                                              A-6
Miscellaneous:
5059-01-2356, 50.59 Screen of Specification C-1056, Long Term Scaffolding, Revision 4
Attachment
CP067, Corrective Action Program - Evaluation & Resolution, Revision 8
    (Lesson Plan & Student Material)
A-6
CP068, Managing the Corrective Action Process, Revision 2 (Lesson Plan & Student Material)
Miscellaneous:  
Daily CR Screening Team Package
Design Verification Checklist for SCN 6 for Specification C-1056, dated April 27, 2001
5059-01-2356, 50.59 Screen of Specification C-1056, Long Term Scaffolding, Revision 4  
EC-059-1024, Design Requirements for and Evaluation of Potential Secondary Containment
CP067, Corrective Action Program - Evaluation & Resolution, Revision 8  
    Bypass Leakage Pathways, Revision 4
(Lesson Plan & Student Material)  
EC-RADN-1029, SSES Design Basis LOCA Dose Consequence Evaluation for Containment
CP068, Managing the Corrective Action Process, Revision 2 (Lesson Plan & Student Material)  
    Bypass Leakage Including the Effects of Suppression Pool Scrubbing, Revision 1
Daily CR Screening Team Package  
EC-SIMU-1001, Evaluation of Simulator Level Instrument Response to Large LOCA, dated
Design Verification Checklist for SCN 6 for Specification C-1056, dated April 27, 2001  
    May 4, 1994
EC-059-1024, Design Requirements for and Evaluation of Potential Secondary Containment  
Engineering Specification C-1056, Erection of Scaffolding in Safety-Related Areas, Revision 4
Bypass Leakage Pathways, Revision 4  
EWR #MIS-85-0460, Design Inputs and Considerations Checklist for Specification C-1056,
EC-RADN-1029, SSES Design Basis LOCA Dose Consequence Evaluation for Containment  
    Revision 2
Bypass Leakage Including the Effects of Suppression Pool Scrubbing, Revision 1  
Hot Box Item 08-01, Reactor Water Instrumentation Response during DBA LOCA, dated
EC-SIMU-1001, Evaluation of Simulator Level Instrument Response to Large LOCA, dated  
    January 31, 2008
May 4, 1994  
IEEE Standard 497-2002, IEEE Standard Criteria for Accident Monitoring Instrumentation, dated
Engineering Specification C-1056, Erection of Scaffolding in Safety-Related Areas, Revision 4  
    September 30, 2002
EWR #MIS-85-0460, Design Inputs and Considerations Checklist for Specification C-1056,  
Long Term Scaffold Log, dated January 16, 2008
Revision 2  
No Degraded Condition Response to OFR 963310, dated January 30, 2008
Hot Box Item 08-01, Reactor Water Instrumentation Response during DBA LOCA, dated  
NRC Information Notice 2007-29, Temporary Scaffolding Affects Operability of Safety-Related
January 31, 2008  
    Equipment, dated September 17, 2007
IEEE Standard 497-2002, IEEE Standard Criteria for Accident Monitoring Instrumentation, dated  
NRC Inspection Procedure 42001, Emergency Operating Procedures, dated June 28, 1991
September 30, 2002  
NRC Regulatory Guide 1.97, Instrumentation for Light-Water-Cooled Nuclear Power Plants to
Long Term Scaffold Log, dated January 16, 2008  
    Assess Plant and Environs Conditions During and Following an Accident, Revision 2
No Degraded Condition Response to OFR 963310, dated January 30, 2008  
NRC Regulatory Issue Summary 2005-20, Information to Licensees Regarding Two NRC
NRC Information Notice 2007-29, Temporary Scaffolding Affects Operability of Safety-Related  
    Inspection Manual Sections on Resolution of Degraded and Nonconforming Conditions and
Equipment, dated September 17, 2007  
    on Operability
NRC Inspection Procedure 42001, Emergency Operating Procedures, dated June 28, 1991  
NRC Regulatory Issue Summary 2007-21, Adherence to Licensed Power Limits, dated
NRC Regulatory Guide 1.97, Instrumentation for Light-Water-Cooled Nuclear Power Plants to  
    August 23, 2007
Assess Plant and Environs Conditions During and Following an Accident, Revision 2  
NEDE-24801, Review of BWR Reactor Vessel Water Level Measurement, April 1980
NRC Regulatory Issue Summary 2005-20, Information to Licensees Regarding Two NRC  
NEDO-24708A, Additional Information Required for NRC Staff Generic Report on Boiling Water
Inspection Manual Sections on Resolution of Degraded and Nonconforming Conditions and  
    Reactors, Revision 1
on Operability  
Operational Policy Statement (OPS) - 5, Deficiency Control System, Revision 13
NRC Regulatory Issue Summary 2007-21, Adherence to Licensed Power Limits, dated  
Operations Monthly Performance Indicators, December 2007
August 23, 2007  
Operations Quality Assurance Manual, dated December 13, 2007
NEDE-24801, Review of BWR Reactor Vessel Water Level Measurement, April 1980  
OPEX Daily Report, January 29, 2008
NEDO-24708A, Additional Information Required for NRC Staff Generic Report on Boiling Water  
Plant Modification Package - DCP/ECO #97-9075, Unit 1 Core Spray/RHR/LPCI Pressure
Reactors, Revision 1  
    Switch Replacement, Revision 1
Operational Policy Statement (OPS) - 5, Deficiency Control System, Revision 13  
PL-NF-02-07, Channel Management Action Plan, Revision 28
Operations Monthly Performance Indicators, December 2007  
Regulatory Guide 1.97, Criteria for Accident Monitoring Instrumentation, Revision 4
Operations Quality Assurance Manual, dated December 13, 2007  
Specification Change Notice #6 for C-1056, Revision 3
OPEX Daily Report, January 29, 2008  
Temporary Scaffold Log, dated January 15, 2008
Plant Modification Package - DCP/ECO #97-9075, Unit 1 Core Spray/RHR/LPCI Pressure  
Unit 1 & 2, Control Rod Drive Hydraulics System Health Report, May - August 2007
Switch Replacement, Revision 1  
Unit 1, RHR Residual Heat Removal System Health Report, September - December 2007
PL-NF-02-07, Channel Management Action Plan, Revision 28  
                                                                                      Attachment
Regulatory Guide 1.97, Criteria for Accident Monitoring Instrumentation, Revision 4  
Specification Change Notice #6 for C-1056, Revision 3  
Temporary Scaffold Log, dated January 15, 2008  
Unit 1 & 2, Control Rod Drive Hydraulics System Health Report, May - August 2007  
Unit 1, RHR Residual Heat Removal System Health Report, September - December 2007  


                                        A-7
                              LIST OF ACRONYMS
ACE     Apparent Cause Evaluation
Attachment
AR     Action Request
BWROG   Boiling Water Reactor Owners Group
A-7
CAP     Corrective Action Program
LIST OF ACRONYMS  
CAQ     Condition Adverse to Quality
CARB   Corrective Action Review Board
ACE  
CFR     Code of Federal Regulations
Apparent Cause Evaluation  
CPG     Central Procedure Group
AR  
CR     Condition Report
Action Request  
CS     Core Spray
BWROG  
DBA     Design Basis Accident
Boiling Water Reactor Owners Group  
DCP     Design Change Package
CAP  
ECCS   Emergency Core Cooling System
Corrective Action Program  
ECP     Employee Concerns Program
CAQ  
EOP     Emergency Operating Procedures
Condition Adverse to Quality  
EPG/SAG Emergency Procedure Guidelines / Severe Accident Guidelines
CARB  
EPU     Extended Power Uprate
Corrective Action Review Board  
FSAR   Final Safety Analysis Report
CFR  
IMC     NRC Inspection Manual Chapter
Code of Federal Regulations  
LOCA   Loss of Coolant Accident
CPG  
NCV     Non-Cited Violation
Central Procedure Group  
NRC     Nuclear Regulatory Commission
CR  
OE     Operating Experience
Condition Report  
PAM     Post-Accident Monitoring
CS  
PI&R   Problem Identification and Resolution
Core Spray  
psig   pounds per square inch
DBA  
PSTG   Plant Specific Technical Guidelines
Design Basis Accident  
QA     Quality Assurance
DCP  
RCA     Root Cause Analysis
Design Change Package  
RHR     Residual Heat Removal
ECCS  
ROP     Reactor Oversight Program
Emergency Core Cooling System  
RPV     Reactor Pressure Vessel
ECP  
SCWE   Safety Conscious Work Environment
Employee Concerns Program  
SDP     Significance Determination Process
EOP  
TS     Technical Specifications
Emergency Operating Procedures  
                                                                    Attachment
EPG/SAG  
Emergency Procedure Guidelines / Severe Accident Guidelines  
EPU  
Extended Power Uprate  
FSAR  
Final Safety Analysis Report  
IMC  
NRC Inspection Manual Chapter  
LOCA  
Loss of Coolant Accident  
NCV  
Non-Cited Violation  
NRC  
Nuclear Regulatory Commission  
OE  
Operating Experience  
PAM  
Post-Accident Monitoring  
PI&R  
Problem Identification and Resolution  
psig  
pounds per square inch  
PSTG  
Plant Specific Technical Guidelines  
QA  
Quality Assurance  
RCA  
Root Cause Analysis  
RHR  
Residual Heat Removal  
ROP  
Reactor Oversight Program  
RPV  
Reactor Pressure Vessel  
SCWE  
Safety Conscious Work Environment  
SDP  
Significance Determination Process  
TS  
Technical Specifications
}}
}}

Latest revision as of 17:40, 14 January 2025

IR 05000387-08-006, 05000388-08-006, on 01/14/2008 - 02/01/2008, Susquehanna Steam Electric Station; Biennial Baseline Inspection of He Identification and Resolution of Problems; Corrective Action Program, Simulator Fidelity, and Procedure
ML080770308
Person / Time
Site: Susquehanna  Talen Energy icon.png
Issue date: 03/17/2008
From: Mel Gray
Division Reactor Projects I
To: Mckinney B
Susquehanna
Gray M, RI/DRP/TSAB/610-337-5209
References
IR-08-006
Download: ML080770308 (29)


See also: IR 05000387/2008006

Text

UNITED STATES

NUCLEAR REGULATORY COMMISSION

REGION I

475 ALLENDALE ROAD

KING OF PRUSSIA, PA 19406-1415

March 17, 2008

Mr. Britt T. McKinney

Senior Vice President and Chief Nuclear Officer

PPL Susquehanna, LLC

769 Salem Blvd. - NUCSB3

Berwick, PA 18603-0467

SUBJECT:

SUSQUEHANNA STEAM ELECTRIC STATION, UNITS 1 AND 2

PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION

INSPECTION REPORTS NOS. 05000387/2008006; 05000388/2008006

Dear Mr. McKinney:

On February 1, 2008, the US Nuclear Regulatory Commission (NRC) completed a team

inspection at the Susquehanna Steam Electric Station. The enclosed inspection report

documents the inspection results, which were discussed on February 1, 2008, with you and

members of your staff.

This inspection was an examination of activities conducted under your license as they relate to

the identification and resolution of problems, and compliance with the Commission=s rules and

regulations and the conditions of your license. Within these areas, the inspection involved

examination of selected procedures and representative records, observations of activities, and

interviews with personnel.

On the basis of the sample selected for review, the team concluded that the implementation of

the corrective action program (CAP) was adequate in that personnel identified issues at a low

threshold; generally screened and prioritized issues in a timely manner; evaluated the issues

commensurate with their safety significance; and implemented corrective actions in a timely

manner commensurate with the safety significance.

The team identified four findings of very low safety significance (Green). These findings were

determined to involve violations of regulatory requirements. However, because each of the

violations was of very low safety significance (Green) and because they were entered into your

corrective action program, the NRC is treating these as Non-Cited Violations (NCVs), in

accordance with Section VI.A.1 of the NRC=s Enforcement Policy. If you contest any NCV 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 U.S. Nuclear Regulatory Commission, ATTN: Document

Control Desk, Washington DC, 20555-0001, with copies to the Regional Administrator, Region I;

B. McKinney

2

the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC,

20555-0001; and the NRC Resident Inspector at the Susquehanna facility.

In accordance with 10 CFR 2.390 of the NRC=s ARules of Practice,@ a copy of this letter and its

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

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

NRC=s document system (ADAMS). ADAMS is accessible from the NRC Web site at

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

Sincerely,

/RA/

Mel Gray, Chief

Technical Support & Assessment Branch

Division of Reactor Projects

Docket Nos. 50-387, 50-388

License Nos. NPF-14; NPF-22

Enclosure:

Inspection Report Nos. 05000387/2008006; 05000388/2008006

w/ Attachment: Supplemental Information

cc w/encl:

C. Gannon, Vice President, Nuclear Operations

R. Paley, General Manager, Plant Support

R. Pagodin, General Manager, Nuclear Engineering

R. Sgarro, Manager, Nuclear Regulatory Affairs

Supervisor, Nuclear Regulatory Affairs

M. Crowthers, Supervising Engineer, Nuclear Regulatory Affairs

R. Peal, Mgr, Training, Susquehanna

Manager, Quality Assurance

J. Scopelliti, Community Relations Manager, Susquehanna

B. Snapp, Esq., Associate General Counsel, PPL Services Corporation

Supervisor - Document Control Services

R. Osborne, Allegheny Electric Cooperative, Inc.

D. Allard, Dir, PA Dept of Environmental Protection

Board of Supervisors, Salem Township

J. Johnsrud, National Energy Committee, Sierra Club

E. Epstein, TMI-Alert (TMIA)

J. Powers, Dir, PA Office of Homeland Security

R. French, Dir, PA Emergency Management Agency

Enclosure

1

U.S. NUCLEAR REGULATORY COMMISSION

REGION I

Docket No:

50-387, 50-388

License No:

NPF-14, NPF-22

Report No:

05000387/2008006, 05000388/2008006

Licensee:

PPL Susquehanna, LLC

Facility:

Susquehanna Steam Electric Station, Units 1 and 2

Location:

769 Salem Boulevard - NUCSB3

Berwick, PA 18603-0467

Dates:

January 14 - February 1, 2008

Team Leader:

B. Norris, Senior Project Engineer, Division of Reactor Projects

Inspectors:

F. Arner, Senior Reactor Inspector, Division of Reactor Safety

R. Fuhrmeister, Senior Project Engineer, Division of Reactor Projects

G. Ottenberg, Resident Inspector, Division of Reactor Projects

J. Bream, Reactor Engineer, Division of Reactor Projects

R. McKinley, Operations Examiner, Division of Reactor Safety

Approved by:

Mel Gray, Chief

Technical Support & Assessment Branch

Division of Reactor Projects

Enclosure

2

SUMMARY OF FINDINGS

IR 05000387/2008-006, 05000388/2008-006; 01/14/2008 - 02/01/2008; Susquehanna Steam

Electric Station; Biennial Baseline Inspection of the Identification and Resolution of Problems;

Corrective Action Program, Simulator Fidelity, and Procedure Quality.

This team inspection was performed by five NRC regional inspectors and one resident

inspector. Four findings of very low safety significance (Green) were identified during this

inspection and determined to be Non-Cited Violations (NCVs). The significance of most findings

is indicated by their color (Green, White, Yellow, Red) using NRC Inspection Manual Chapter

(IMC) 0609, ASignificance Determination Process@ (SDP). The NRC=s program for overseeing

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

Oversight Process,@ Revision 4, dated December 2006.

Identification and Resolution of Problems

The team concluded that the implementation of the corrective action program (CAP) at

Susquehanna was adequate in that personnel identified issues at a low threshold and used a

single entry-point system to document the problems by the initiation of an Action Request (AR).

About 20 percent of the ARs were considered to be conditions adverse to quality (CAQ) and

sub-classified as a Condition Report (CR). However, the team identified several ARs that

should have been classified as CAQs; as a result, CRs were not written and corrective actions

were not timely. The team identified two findings of very low significance related to the AR

process that had current performance cross-cutting aspects in problem identification because

the issues were not categorized commensurate with their safety significance. Notwithstanding

these two findings, the team concluded that in general Susquehanna personnel screened and

prioritized CRs in a timely manner using established criteria.

The team also concluded that Susquehanna personnel properly evaluated the issues

commensurate with their safety significance; and generally implemented corrective actions in a

timely manner, commensurate with the safety significance. The team noted that Susquehanna

reviewed and applied industry operating experience lessons learned. Audits and self-

assessments added value to the corrective action process. On the basis of interviews

conducted during the inspection, workers at the site expressed freedom to enter safety

concerns into the CAP.

Enclosure

3

a. NRC Identified and Self-Revealing Findings

Cornerstone: Mitigating Systems

C

Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion V,

Instructions, Procedures, and Drawings, because, in the 1990s, Susquehanna failed to

adequately evaluate a deviation from the Boiling Water Reactor Owners Group

Emergency Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG),

which resulted in one of the emergency operating procedures (EOPs) being inadequate.

Specifically, Caution #1 in the BWROG EPG/SAG warned the operators that reactor

pressure vessel (RPV) level instrumentation may be unreliable if the drywell

temperatures exceeded RPV saturation temperature. The purpose of the Caution was

to give the operators a chance to evaluate the validity of the RPV level instrumentation

to avoid premature entry into the RPV flooding contingency procedure. Susquehanna

did not adequately evaluate the deviation, and the Susquehanna EOPs did not use a

Caution statement; but instead, changed the caution to a procedural step, which directed

the operators to transition directly to the RPV flooding procedure.

The performance deficiency is more than minor because it is associated with the

Procedure Quality attribute of the Mitigating Systems cornerstone and affects the

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

initiating events to prevent undesirable consequences. Specifically, the EOP could have

directed entry into the RPV flooding procedure unnecessarily which would have

restricted the use of suppression pool cooling and required other actions that would have

complicated the operators response to the event. The finding was determined to be of

very low safety significance because it was not a design deficiency, did not result in an

actual loss of safety function, and did not screen as potentially risk significant due to

external initiating events. (Section 4OA2.a.3 (a))

C

Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion

XVI, Corrective Action, for the failure to identify that an inconsistency between the

procedures and the design basis for suppression pool (SP) cooling was a condition

adverse to quality (CAQ), which resulted in corrective actions not being taken in a timely

manner. Specifically, in January 2006, a Condition Report (CR) identified an

inconsistency between an assumption in the Final Safety Analysis Report (FSAR) for the

design basis accident and the emergency operating procedures (EOPs) regarding the

timing for the implementation of SP cooling. At the time of the inspection, the

inconsistency had not been resolved because Susquehanna did not recognize that it

impacted current plant operations. This performance deficiency has a cross-cutting

aspect in the area of Problem Identification and Resolution, Corrective Action Program,

because Susquehanna did not identify that the inconsistency documented in the CR

should have been categorized as a CAQ, commensurate with its safety significance.

P.1(a)

The performance deficiency is more than minor because it is associated with the Design

Control attribute of Mitigating Systems and affects the cornerstone objective to ensure

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

Enclosure

4

prevent undesirable consequences. Specifically, the EOPs provided direction that,

under some accident conditions, would affect the availability and/or capability of the SP

cooling system to perform its safety function. The finding screened out as having very

low safety significance because it was not a design deficiency, did not result in an actual

loss of safety function, and did not screen as potentially risk significant due to external

initiating events. (Section 4OA2.a.3 (b))

C

Green: The NRC identified a Non-Cited Violation of 10 CFR 55.46(c)(1), Plant

Referenced Simulators, because the Susquehanna simulator did not accurately model

reactor pressure vessel (RPV) level instrumentation following a design basis accident

loss of coolant accident (DBA LOCA). Specifically, an analysis performed in 1994 to

determine if the observed simulator response during a large break LOCA was consistent

with the expected plant response, was based on an overly conservative assumption that

the drywell would experience superheated conditions, which would cause RPV water

level instrumentation reference leg flashing and a subsequent loss of all RPV level

indication. The expected plant response, as stated in the analysis, was incorrect; in that

a LOCA would not always cause a loss of all RPV level instruments. As a result, the

simulator modeling was incorrect.

The performance deficiency is more than minor because it is associated with the Human

Performance attribute of Mitigating Systems and affects the cornerstone objective to

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

events to prevent undesirable consequences. Specifically, the modeling of the

Susquehanna simulator introduced negative operator training that could affect the ability

of the operators (a mitigating system) to take the appropriate actions during an actual

event. The finding was determined to be of very low safety significance because it is not

related to operator performance during requalification, it is related to simulator fidelity,

and it could have a negative impact on operator actions. (Section 4OA2.a.3 (c))

C

Green: The NRC identified a Non-Cited Violation of 10 CFR 50, Appendix B, Criterion

XVI, Corrective Action, for the failure to identify that a setpoint error in the operating

procedures for safety-related systems was a condition adverse to quality (CAQ),

resulting in the procedures not being corrected in a timely manner. The setpoint for the

low pressure injection permissive interlock in the RHR and CS systems had been

changed in 1999 as part of a modification. However, the setpoint was not changed in

the system operating procedures and operator aids. When this issue was identified by

Susquehanna staff in 2006, the setpoint error in the procedure was not screened as a

CAQ, which resulted in the procedures not being revised for 17 months after the issue

was identified in an Action Report. This performance deficiency has a cross-cutting

aspect in the area of Problem Identification and Resolution, Corrective Action Program,

because Susquehanna did not identify that a setpoint error in operating procedures for

safety-related systems was a CAQ, commensurate with its safety significance. P.1(a)

The performance deficiency is more than minor because it is associated with the

Procedure Quality attribute of Mitigating Systems and affects the cornerstone objective

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

events to prevent undesirable consequences. Specifically, the incorrect setpoint

Enclosure

5

reference in the procedure impacted the reliability of operator response to the event in

that it could delay operator actions or result in misoperation of equipment. The finding

screened out as having very low safety significance because it was not a design

deficiency, did not result in an actual loss of safety function, and did not screen as

potentially risk significant due to external initiating events. (Section 4OA2.a.3 (e))

b. Licensee-Identified Violations

None.

Enclosure

6

REPORT DETAILS

4.

OTHER ACTIVITIES (OA)

4OA2 Problem Identification and Resolution (PI&R) (Biennial - IP 71152B)

a.

Assessment of the Corrective Action Program

1.

Inspection Scope

The inspection team reviewed the procedures describing the corrective action program

(CAP) at the Susquehanna Steam Electric Station. Susquehanna used a single-point

entry system and identified problems by the initiation of an Action Request (AR). The

AR would then be sub-classified depending on the information provided; for example, as

WO for a maintenance Work Order, as CPG for assignment to the Central Procedure

Group, or as CR for a Condition Report. ARs were sub-classified as CRs for conditions

adverse to quality (CAQ), such as plant equipment deficiencies, industrial or radiological

safety concerns, or other significant issues. The CRs were subsequently screened for

operability and reportability, categorized by significance (1 to 3), assigned a level of

evaluation, and issued for resolution.

The team reviewed CRs selected across the seven cornerstones of safety in the NRC=s

Reactor Oversight Process (ROP) to determine if problems were being properly

identified, characterized, and entered into the CAP for evaluation and resolution. The

team selected items from the maintenance, operations, engineering, emergency

preparedness, physical security, radiation safety, training, and oversight programs to

ensure that Susquehanna was appropriately considering problems identified in each

functional area. The team used this information to select a risk-informed sample of CRs

that had been issued since the last NRC PI&R inspection, which was conducted in

February 2006.

The team selected ARs from other sub-classifications, to determine if Susquehanna had

appropriately classified these items as not needing to be a CR. The team also reviewed

operator log entries, control room deficiency lists, operator work-around lists, operability

determinations, engineering system health reports, completed surveillance tests, and

current temporary configuration change packages. In addition, the team interviewed

plant staff and management to determine their understanding of and involvement with

the CAP at Susquehanna. The CRs, and other documents reviewed, and the key

personnel contacted, are listed in the Attachment to this report.

The team considered risk insights from the NRC=s and Susquehanna=s risk analyses to

focus the sample selection and plant tours on risk-significant components. The team

determined that the five highest risk-significant systems at Susquehanna were

emergency service water, emergency diesel generators, residual heat removal service

water, station black-out diesel generator, and reactor core isolation cooling. For the

risk-significant systems, the team reviewed a sample of the applicable system health

Enclosure

7

reports, work requests and engineering documents, plant log entries, and results from

surveillance tests and maintenance tasks.

The team reviewed CRs to assess whether Susquehanna adequately evaluated and

prioritized the identified problems. The CRs reviewed encompassed the full range of

Susquehanna=s causal evaluations, including root cause analyses (RCA - to determine

the cause and prevent recurrence), apparent cause evaluations (ACE - to obtain a basic

understanding of the cause), and evaluations (to determine if a problem exists). The

review included the appropriateness of the assigned significance, the scope and depth

of the causal analysis, and the timeliness of the resolutions. For significant conditions

adverse to quality, the team reviewed the effectiveness of the corrective actions to

prevent recurrence. The team observed meetings of the CR Screening Team - in which

Susquehanna personnel reviewed new CRs for prioritization, and evaluated preliminary

corrective action assignments, analyses, and plans. The team also attended meetings

of the Corrective Action Review Board (CARB) - where senior managers reviewed

selected evaluations, effectiveness reviews, and extension requests.

The team reviewed equipment operability determinations, reportability assessments, and

extent-of-condition reviews for selected problems. The team assessed the backlog of

corrective actions in the maintenance, engineering, and operations departments, to

determine, individually and collectively, if there was an increased risk due to delays in

implementation of corrective actions. The team further reviewed equipment

performance results and assessments documented in completed surveillance

procedures, operator log entries, and trend data to determine whether the evaluations

were technically adequate to identify degrading or non-conforming equipment.

The team reviewed the corrective actions associated with selected CRs to determine if

the actions addressed the identified causes of the problems. The team reviewed CRs

for significant repetitive problems to determine if previous corrective actions were

effective. The team also reviewed Susquehanna=s timeliness in implementing corrective

actions. The team reviewed the CRs associated with selected non-cited violations

(NCVs) and findings to determine if Susquehanna properly evaluated and resolved these

issues.

2.

Assessment

(a)

Identification of Issues

In general, the team considered the identification of equipment deficiencies at

Susquehanna to be adequate. There was a low threshold for the identification of

individual issues, 23,000 ARs were written per year, and about 4,000 of those were

sub-classified as CRs. The housekeeping and cleanliness of the plant was generally

good; the general cleanliness of the plant enhanced the ability of personnel to more

easily identify equipment deficiencies and monitor equipment for worsening conditions.

Notwithstanding, during a tour of the facility, the inspectors observed that high density

concrete shield blocks were stacked on pallets in the vicinity of the Unit 1 recirculation

Enclosure

8

motor generator sets. The blocks were pre-staged for work during the upcoming

refueling outage, and were in a heavily trafficked area of the turbine building. There was

a painted warning on the floor, near the pallets, that the floor loading should not exceed

400 pounds per square foot (psf). When the inspectors asked whether the weight of the

blocks was within the rated floor load limit, it was determined that this condition had not

been identified and documented as acceptable. Initially, Susquehanna personnel

concluded that the blocks exceeded the posted limit and moved the pallets to reduce the

floor loading. Subsequently, Susquehanna weighed the pallets and blocks and

determined that they did not exceed the allowable floor loading. Based on this

evaluation the inspectors concluded the missed identification of this issue was minor.

The issue was documented in CR 954950.

The team also identified that several ARs were not classified as CRs, commensurate

with the safety significance, as required by their procedure (NDAP-QA-0702, Action

Request and Condition Report Process). The result was that the issues did not go to

the Screening Team, did not receive the necessary management attention, and were not

corrected in a timely manner (CR 957319). In addition, ARs are not normally trended to

allow the identification of an adverse change in performance. With the exception of the

first example, the below are considered procedure violations of minor significance due to

no impact on the related equipment. As such, these issues are not subject to

enforcement action, in accordance with the NRC=s Enforcement Policy.

Examples include:

C

AR/CPG/OPS 751412, initiated February 2, 2006, identified that the Low Pressure

Injection Permissive setpoint was not changed in the residual heat removal (RHR)

and core spray (CS) operating procedures. The setpoint was changed in 1999, as

part of a modification; the procedures were not changed until July 2007. (See

Section 4OA2.a.3(d) for additional details.)

C

AR/OPS/CSHIFT 777335, initiated July 25 2006, identified that an operator started

the suppression pool (SP) filter pump contrary to the procedure. The AR was closed

with no documented corrective actions taken.

The safety significance is that the operator did not operate the safety-related system

in accordance with the licensees written procedures and the Technical

Specifications (TS). The documentation of corrective actions should have included a

determination of the affects of starting of the pump, and counseling of the operator

on the requirement to follow procedures.

C

AR/CPG 810513, initiated September 16, 2006, identified that the wrong valve

numbers were listed for the emergency service water (ESW) system valves for the

E EDG. As of the inspection, the procedure had not been changed.

The safety significance is that operators may not have been able to use the

licensees written procedure to align the ESW system in support of the operation of

the swing E EDG in a timely manner.

Enclosure

9

C

AR/CPG/I&C 938054, initiated December 10, 2007, identified that a functional testing

and calibration procedure for the RHR service water radiation monitor could not be

performed, as written. As of the inspection, corrective actions had not been taken.

an inconsistency between the procedures and the design basis for SP cooling was a

CAQ, which resulted in corrective actions not being taken for two years to the time of the

inspection. Although the inconsistency was identified in 2006, Susquehanna personnel

did not recognize that the issue impacted current plant operations; as a result, the issue

was not scheduled for resolution in a timely manner. The team noted that, although

Susquehanna had classified the issue as a CR, it was considered to be NAQ - not a

CAQ - and was not scheduled for evaluation until the EPU had been approved. Refer to

Section 4OA2.a.3(b) for a detailed discussion of the finding.

(b)

Prioritization and Evaluation of Issues

The team determined that Susquehannas performance in this area was adequate.

Notwithstanding the above discussion of some ARs not being classified as CRs, the

station appropriately reviewed those CRs that went to the Screening team and properly

classified them for significance. The discussions about specific topics at the Screening

meetings were detailed, and there were no classifications or immediate operability

determinations with which the team disagreed. The team considered the contributions of

the CARB to add value to the CAP process. One CARB review was noted to be

particularly insightful with respect to the quality of the causal analysis for CR 773046.

The CR identified problems with the closing of CRs by the nuclear training department

without completing all the required actions. The team did not identify any items in the

operations, engineering, or maintenance backlogs that were risk significant, individually

or collectively. In addition, the quality of the causal analyses reviewed was generally of

adequate technical detail and scope to identify causal factors and develop effective

corrective actions. The team noted that the RCA for the NCV from the last PI&R

inspection related to scaffolding was effective in that there had not been significant

recurrences of inadequate scaffold installations since the evaluation was completed.

With regard to operability evaluations, the team observed that, an operability

determination for the PAM level instruments, conducted in response to an inconsistency

between the FSAR and EOPs, determined that the level instruments would be operable.

(The inconsistency between the FSAR and the EOPs is described in detail in section

4OA2.a.3(b).) During follow-up discussions, the inspectors were told by operations and

engineering personnel that all of the PAM instrumentation together functioned to provide

the needed indications to the operators, and that the RPV level indications were not

needed after the initial entry into the EOPs. This was not consistent with the

requirements for the operability of each individual function of the PAM, as detailed in TS 3.3.3.1. Although subsequent discussions with the Susquehanna staff determined that

the most (if not all) of the PAM RPV level instruments would indicate post-LOCA, the

initial operability determination and statements during the inspection did not consider

that the PAM level instruments are required to be operable post-accident regardless of

whether EOPs have been entered. This issue was related to the performance

Enclosure

10

deficiencies discussed in findings 4OA2.a.3(a), (b) and (c), and is not identified as an

additional finding. The issue was entered into the CAP as AR/CR964836.

(c)

Effectiveness of Corrective Actions

No findings of significance were identified in the area of effectiveness of corrective

actions. The team determined that the effectiveness of corrective actions at

Susquehanna was generally good. The control of scaffolds was a significant problem

during the last PI&R inspection; the team noted that oversight of scaffolds has improved,

but station personnel continue to identify examples where the scaffold does not appear

to be built in accordance with the procedure. In addition, the team identified

weaknesses in the scaffold procedure, such as allowing the installer to approve

deviations from the approved construction. During the inspection, the procedure was

revised, and plans were developed for engineering to review all current deviations.

3.

Findings

(a)

Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG Resulted in an

Inadequate Procedure

Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion V,

Instructions, Procedures, and Drawings, because Susquehanna failed to adequately

evaluate a deviation from the Boiling Water Reactor Owners Group Emergency

Procedure Guidelines / Severe Accident Guidelines (BWROG EPG/SAG), which

resulted in one of the Emergency Operating Procedures (EOPs) being inadequate.

Description: On January 5, 2006, AR/CR 739371 was initiated to document an

inconsistency between the EOPs and assumptions in the Final Safety Analysis Report

(FSAR) regarding the initiation of suppression pool cooling. Specifically, it was identified

that the assumptions used in evaluating SP temperature response for the most limiting

design basis accident (DBA) loss of coolant accident (LOCA) did not appear to be

consistent with direction provided in the EOPs.

During this inspection, the team noted that the Susquehanna EOPs were not consistent

with the BWROG EPG/SAG. Specifically, BWROG EPG/SAG, Revision 2, Caution #1,

warned the operators that reactor pressure vessel (RPV) level instrumentation may be

unreliable if the temperatures near the instrument sensing lines exceeded RPV

saturation temperature. The EPG Bases stated that the purpose of Caution #1 was to

give the operators a chance to evaluate the validity of the RPV level instrumentation, in

order to avoid premature entry into the RPV flooding contingency procedure before it

was appropriate to do so. Susquehanna did not adequately evaluate the deviation from

the generic guidance in the EPG/SAG with respect to the caution. The Susquehanna

EOPs did not use a Caution statement, which would have allowed the operators the

opportunity to evaluate the level instrumentation; but instead, changed the caution to a

procedural step which directed the operators to transition directly to the RPV Flooding

procedure. Specifically, EO-100-103-1, Primary Containment Cooling, step DWT-3,

Enclosure

11

directed the operators to transition to contingency procedure EO-000-114-1, RPV

Flooding, when drywell temperature exceeded RPV saturation temperature.

The evaluation for the deviation was not completed in accordance with the requirements

of procedure NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and

Writers Guide. The procedure required that all deviations be evaluated to determine if

the deviation was technically justified and appropriate. Susquehanna documented that

the deviation was a minor difference from the generic guidelines in 50.59 Safety

Evaluation NL-92-019 (October 29, 1998) and 50.59 Screen 5059-01-976 (July 3, 2002).

The evaluation was based on an overly conservative assumption that all RPV level

instrumentation would be lost after a DBA LOCA. The reviews did not evaluate the

potential adverse consequences associated with the deviation, including the potential

impact on the SP cooling safety function. Immediate corrective actions included the

initiation of an informational Night Order to the control room operators explaining the

issue, and the cessation of all simulator scenarios that involve the use of EO-100-103-1

until the issue is resolved.

The performance deficiency is the failure to adequately evaluate a deviation from the

BWROG EPG/SAG, which resulted in one of the EOPs being inadequate for use by the

operators in the event of a DBA LOCA. Specifically, under some accident conditions,

the EOPs would have unnecessarily directed entry into RPV flooding which would have

limited the availability of SP cooling and complicated the operators response to the

event.

Analyses: This performance deficiency is more than minor because it is associated with

the Procedure Quality (EOP) attribute of the Mitigating Systems cornerstone and affects

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

to initiating events to prevent undesirable consequences. Specifically, the EOP could

have directed entry into the RPV flooding procedure unnecessarily which would have

restricted the use of suppression pool cooling and required other actions that would have

complicated the operators response to the event. The inspectors performed a review of

the finding in accordance with NRC Inspection Manual Chapter (IMC) 0609,

Significance Determination Process (SDP), Attachment 4, Phase 1 - Initial Screening

and Characterization of Findings, and determined that the finding screened out as

having very low safety significance (Green), because it was not a design deficiency, did

not result in an actual loss of safety function, and did not screen as potentially risk

significant due to external initiating events.

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 appropriate to the circumstances and that the activities shall be

accomplished in accordance with the procedures. Contrary to the above, Emergency

Operating Procedure EO-100-103-1, Primary Containment Cooling, was inadequate, in

that it directed the operators to transition directly to the RPV Flooding procedure when

RPV level instruments may have been available, which resulted in limiting the availability

of SP cooling. However, because the finding was of very low safety significance (Green)

Enclosure

12

and has been entered into the CAP (AR/CR 962881), this violation is being treated as an

NCV, consistent with section VI.A.1 of the NRC Enforcement Policy.

(NCV 05000387/2008006-01; 05000388/2008006-01 - Failure to Adequately Evaluate

a Deviation from BWROG EPG/SAG Resulted in an Inadequate EOP)

(b)

Failure to Identify and Correct Inconsistencies Between the FSAR and the EOPs

Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,

Corrective Action, for the failure to identify that an inconsistency between the

emergency operating procedures and the design basis for SP cooling was a CAQ, which

resulted in corrective actions not being taken for two years to the time of the inspection.

Although the inconsistency was identified in 2006, Susquehanna personnel did not

recognize that the issue impacted current plant operations; as a result, the issue was not

scheduled for resolution in a timely manner. The assumption in the FSAR for the DBA

LOCA stated that SP cooling would be implemented ten minutes after entry into the

EOPs. The EOPs would not have allowed initiation of SP cooling for an extended period

of time.

Description: On January 5, 2006, AR/CR 739371 was initiated to document an

inconsistency between the EOPs and design basis assumptions for the SP cooling

response. The problem was identified during Susquehannas review in support of the

extended power uprate (EPU) project. Specifically, Susquehanna Engineering identified

that the assumptions used in evaluating SP temperature response for the most limiting

LOCA did not appear to be consistent with direction provided in the EOPs. The team

noted that, although Susquehanna personnel had classified the issue as a CR, they did

not recognize that the issue impacted current plant operations. Therefore, it was

considered to be NAQ - not a condition adverse to quality - and was not scheduled for

evaluation until the EPU had been approved.

The Susquehanna FSAR, Section 6.2.1.1.3, stated that the maximum SP temperature

would result from a reactor recirculation suction line break. The drywell pressure and

temperature response analyses assumed that RHR heat exchangers were activated

about ten minutes after entry into the EOPs to remove energy from the drywell by

cooling the SP. The CR identified that, in the event of a DBA LOCA, the EOPs would

direct operators to implement the RPV flooding procedure (EO-000-114) to maintain

adequate core cooling, and this required that all available RHR flow be used to flood the

RPV up to the steam lines. The initiators concern was that this would delay establishing

flow through a RHR heat exchanger for SP cooling, because of the unique design of the

RHR system at Susquehanna, and therefore would be inconsistent with the accident

analyses assumptions. In addition, the CR stated that it was assumed in the EOPs that

all RPV water level indications would be unreliable and therefore unavailable for this

scenario. Susquehanna personnel informed the team that they had not evaluated the

issues documented in the CR, at the time it was initiated, because they had assumed

that they were only associated with EPU and not current plant operation. Immediate

corrective actions included the start of an evaluation during the inspection of the

identified inconsistency for SP cooling, and additional guidance to the operators.

Enclosure

13

The performance deficiency is the failure to properly categorize the inconsistency

between the FSAR and the EOPs as a CAQ, which resulted in the deficiency not being

corrected in a timely manner commensurate with its safety significance.

Analyses: The performance deficiency is more than minor because it is associated with

the Design Control attribute of the Mitigating Systems cornerstone and affects the

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

initiating events to prevent undesirable consequences. Specifically, in the event of a

DBA LOCA, SP cooling would not be initiated within the time frame assumed in the

FSAR, which could affect the capability of the system to perform its safety function

consistent with the design basis. The inspectors performed a review of the finding in

accordance with IMC 0609, and determined that the finding screened out as having very

low safety significance (Green) because it was not a design deficiency, did not result in

an actual loss of safety function, and did not screen as potentially risk significant due to

external initiating events.

This performance deficiency has a cross-cutting aspect in the area of Problem

Identification and Resolution (PI&R), Corrective Action Program (CAP), because

Susquehanna did not identify that the inconsistency documented in the CR should have

been categorized as a CAQ, commensurate with its safety significance. P.1(a)

Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,

that conditions adverse to quality shall be promptly identified and corrected. Contrary to

the above, Susquehanna failed to identify that the nonconformance identified in AR/CR

739371, January 2006, was a CAQ; this resulted in the condition not being corrected for

over two years. However, because the finding was of very low safety significance

(Green) and has been entered into the corrective action program (AR/CR 959670), this

violation is being treated as an NCV, consistent with section VI.A.1 of the NRC

Enforcement Policy.

(NCV 05000387/2008006-02; 05000388/2008006-02 - Failure to Identify and Correct

Inconsistencies Between the FSAR and the EOPs)

(c)

Failure to Accurately Model the Simulator for RPV Water Level Instrumentation

Introduction: The NRC identified a Green NCV of 10 CFR 55.46(c)(1), Plant

Referenced Simulators, because the Susquehanna plant-referenced simulator did not

accurately model RPV level instrument response following a DBA LOCA. Specifically,

the RPV level instruments in the simulator were programmed to fail high after a LOCA,

and the expected plant response is that the instruments should indicate properly.

Description: As part of the teams follow-up on the issues in AR/CR 739371, the

inspectors questioned the concern stated in the CR, that the operators would need to

enter the RPV flooding procedure during a DBA LOCA due to a loss of valid RPV level

instrumentation. The inspectors reviewed the Susquehanna specific EOPs and

supporting documents, and determined that the Susquehanna EOP Plant Specific

Enclosure

14

Technical Guideline (PSTG) description of the expected response of the RPV level

instrument response to LOCA events, was based on analysis, EC-SIMU-1001,

Evaluation of Simulator Level Instrument Response to Large LOCA, dated May 4,

1994. The analysis was performed to determine if the observed simulator response

during a large break LOCA (RPV level instrumentation off-scale high) was consistent

with the expected plant response. The analysis assumed that the drywell would

experience superheated conditions, which would cause RPV water level instrumentation

reference leg flashing and a subsequent loss of all RPV level indication. The analysis

concluded that the simulator response reasonably predicted the expected actual plant

response during a large break LOCA event. The expected plant response, as stated in

the analysis, was incorrect; in that a LOCA would not always cause a loss of all RPV

level instruments.

On January 29, 2008, the inspectors observed two scenarios in the simulator to evaluate

the response to a DBA LOCA, with all safety systems available. The inspectors

observed that the RPV level instruments did indicate off-scale high shortly after the

initiation of the event, consistent with the analysis. The inspectors questioned the basis

of the analysis; specifically, why Susquehanna believed that the level instruments would

not be available after a DBA LOCA event. Subsequently, Susquehanna determined that

the RPV level instrument reference legs were not expected to routinely flash during a

DBA LOCA, and that the analysis had been based on an overly conservative assumption

that the drywell would always reach superheated conditions post-LOCA. Immediate

corrective actions included the initiation of an informational Night Order to the control

room operators explaining the issue, and the cessation of all simulator scenarios that

involve the use of EO-100-103-1 until the issue is resolved.

The performance deficiency is that Susquehanna did not ensure that the plant

referenced simulator accurately modeled the expected plant response for RPV level

instrumentation after a DBA LOCA, resulting in negative training of the licensed

operators.

Analyses: This performance deficiency is more than minor because it is associated with

the Human Performance attribute of the Mitigating Systems cornerstone and affects the

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

initiating events to prevent undesirable consequences. Specifically, the incorrect

modeling of the Susquehanna plant referenced simulator introduces negative operator

training that could affect the ability of the operators (a mitigating system) to take the

appropriate actions during an actual event. The simulator training conditioned the

operators to expect the level instruments to be unavailable during events that cause

drywell temperatures to reach or exceed RPV saturation temperature. As a result,

during an actual event, the operators could prematurely transition into the RPV flooding

procedure when the RPV level instruments should be providing valid indication. The

inspectors evaluated the finding in accordance with IMC 0609, Appendix I, Licensed

Operator Requalification Significance Determination Process. The finding was

determined to be of very low safety significance (Green) because it is not related to

operator performance during requalification, it is related to simulator fidelity, and could

have a negative impact on operator actions.

Enclosure

15

Enforcement: 10 CFR 55.46(c)(1), Plant Referenced Simulators, states, in part, that a

plant referenced simulator must demonstrate expected plant response to normal,

transient, and accident conditions. Contrary to the above, as of January 2008, the

Susquehanna plant referenced simulator did not accurately demonstrate the actual

expected plant response of the RPV water level instrumentation following a DBA LOCA,

which could result in negative operator training. However, because the finding was of

very low safety significance (Green) and has been entered into the CAP (AR/CR

962881), this violation is being treated as an NCV, consistent with section VI.A.1 of the

NRC Enforcement Policy.

(NCV 05000387/2008006-03; 05000388/2008006-03 - Failure to Accurately Model

the Simulator for RPV Water Level Instrumentation)

(d)

Failure to Identify and Correct a Setpoint Error in the RHR and CS Operating

Procedures

Introduction: The NRC identified a Green NCV of 10 CFR 50, Appendix B, Criterion XVI,

Corrective Action, for the failure to identify that a setpoint error in the operating

procedures for safety-related systems was a CAQ, resulting in the procedures not being

corrected in a timely manner. Specifically, in February 2006, Susquehanna personnel

identified an incorrect setpoint for the low pressure injection permissive interlock in the

RHR and CS systems operating procedures and associated hard cards; however, the

procedures were not revised until July 2007 due to the issue being screened as low

priority and not a condition adverse to quality (CAQ).

Description: On February 11, 2006, an AR was written to identify that the low pressure

injection permissive setpoint in the RHR and CS operating procedures, and the

associated operator hard cards, was incorrect. The correct setpoint is 420 pounds per

square inch gage (psig), but the procedures still had the previous setpoint of 436 psig.

The setpoint had been changed in 1999 as part of a modification. The procedures were

not revised until July 16, 2007, 17 months after the deficiency was identified in an AR. In

addition, the inspectors noted that the setpoint in the procedures (436 psig) was not

within the allowable tolerance (407-433 psig) listed in the Susquehanna TS, Section 3.3.5.1, Emergency Core Cooling System (ECCS) Instrumentation.

When the AR was initiated, it was sub-classified as AR/CPG/OPS; that is, assigned to

the Central Procedures Group and identified as an Operations procedure. It was not

recognized that deficient operating procedures for safety-related systems may be a CAQ

and that the AR should have been classified as a Condition Report. The affected

section in the procedures was the verification of the response of the systems to an

automatic initiation signal. For example, the Unit 1 RHR procedure OP-149-001, RHR

System, Section 2.2, noted that No operator action is required unless an automatic

action failed to occur ... At 436 psig decreasing Reactor pressure, RHR INJ OB ISO

[injection outboard isolation] HV-151-F015A & B OPEN. If the valves did not open at

the specified pressure in the procedure and hard card, the operator may have diverted

their attention unnecessarily and attempted to open the valve manually, even though the

Enclosure

16

interlock would not have been satisfied (420 psig) and the valve would not open in

accordance with the plant design.

The pressure switches were changed in 1999, as part of a Unit 1 plant modification

(Design Change Package (DCP) 97-9075); Unit 2 switches were changed by DCP

97-9076. The modification replaced the existing pressure switches with Barton pressure

indicating switches, because of improved accuracy. The low pressure injection

permissive interlock prevents the CS and RHR injection valves from opening until

reactor pressure has decreased to the RHR and CS systems design pressure, to

prevent over pressurization of the RHR and CS systems. The DCP identified the

specific RHR and CS operating procedures as needing to be changed. Immediate

corrective actions included the initiation of a new CR to evaluate the other pending

procedure changes to determine if their priority should be revised.

The performance deficiency involved a failure to identify and correct a CAQ, the

incorrect setpoint, in a timely manner commensurate with its safety significance. The

inspectors concluded this action was untimely because the modification process would

have revised these procedures prior to the modification being accepted by operations

personnel.

Analysis: The performance deficiency is more than minor because it is associated with

the Procedure Quality attribute of the Mitigating Systems cornerstone and affects the

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

initiating events to prevent undesirable consequences. Specifically, the incorrect

setpoint reference in the procedure impacted the reliability of operator response to the

event in that it could delay operator actions or result in misoperation of equipment. The

inspectors performed a review of the finding in accordance with NRC Inspection Manual

Chapter (IMC) 0609, Significance Determination Process (SDP), Attachment 4, Phase

1 - Initial Screening and Characterization of Findings. The inspectors determined that

the finding screened out as having very low safety significance (Green), because it was

not a design deficiency, did not result in an actual loss of safety function, and did not

screen as potentially risk significant due to external initiating events

This performance deficiency has a Cross-Cutting aspect in the area of PI&R, CAP,

because Susquehanna did not identify that a setpoint error in operating procedures for

safety-related systems was a CAQ, commensurate with its safety significance. P.1(a)

Enforcement: 10 CFR 50, Appendix B, Criterion XVI, Corrective Action, states, in part,

that conditions adverse to quality shall be promptly identified and corrected. Contrary to

the above, from 1999, when the pressure switches were replaced and the setpoint was

changed, until 2006, when AR 751412751412was written, Susquehanna had failed to identify

that the setpoint was wrong for the low pressure injection permissive interlock in the

operating procedures for RHR and CS. Subsequently, on February 11, 2006, when

Susquehanna personnel initiated and approved AR 751412751412 they failed to identify that

the stated deficiency was a CAQ, which resulted in untimely corrective actions.

Susquehanna considered this to be a procedure change and not a CAQ, and classified

the AR as a CPG versus a CR. As such, the procedures were not changed until July 16,

Enclosure

17

2007, 17 months after the condition was identified and eight years after the setpoint was

changed in the plant. Because this finding is of very low safety significance (Green), and

was entered into the Susquehanna CAP (AR/CR 956917) this violation is being treated

as a Non-Cited Violation (NCV) consistent with Section VI.A.1 of the NRC Enforcement

Policy.

(NCV 05000387/2008006-04; 05000388/2008006-04 - Failure to Identify and Correct

a Setpoint Error in the RHR and CS Operating Procedures)

b.

Assessment of the Use of Operating Experience

1.

Inspection Scope

The team reviewed a sample of operating experience (OE) issues for applicability to

Susquehanna, and for the associated actions. The documents were reviewed to ensure

that underlying problems associated with the issues were appropriately considered for

resolution. The team also reviewed how Susquehanna considered OE for applicability in

causal evaluations.

Prior to the start of the inspection, the inspectors noted a potential negative trend in the

number of issues associated with reactivity management. In accordance with the

Inspection Procedure, the inspectors increased the scope of the review to determine if

there was an adverse trend in the area of reactivity management over the past five

years. The inspectors reviewed select ARs and CRs associated with the control rod

drive system, control rod problems, human performance issues, and the spent fuel pool;

the inspectors review included how Susquehanna had incorporated applicable OE for

these specific systems and human performance issues into the CAP. The inspectors

interviewed selected licensee staff.

2.

Assessment

In general, OE was effectively used at the station. The inspectors noted that OE was

reviewed during the causal evaluation process and incorporated, as appropriate, into the

development of the associated corrective actions. The inspectors noted that OE was

frequently used in work packages and pre-job briefs. The team did not identify any

significant deficiencies within the sample reviewed. The team did not identify a negative

trend nor any significant problems with the control of activities associated with reactivity

management.

3.

Findings

No findings of significance were identified in the area of operating experience.

c.

Assessment of Self-Assessments and Audits

1.

Inspection Scope

Enclosure

18

The team reviewed a sample of departmental self-assessments, CAP trend reports, and

Quality Assurance (QA) audits, including QAs most recent audit of the CAP. The team

also reviewed the latest internal assessment of the safety culture at Susquehanna,

conducted in October 2006. The reviews were performed to determine if problems

identified through these evaluations were entered into the CAP system, and whether the

corrective actions were properly completed to resolve the deficiencies. The

effectiveness of the audits and self-assessments was evaluated by comparing audit and

self-assessment results against self-revealing and NRC-identified findings, and

observations during the inspection.

2.

Assessment

The team considered the quality of the audits and self-assessments to be thorough and

critical. ARs were initiated for issues identified by QA and the self-assessments. The

Susquehanna 2006 Comprehensive Cultural Assessment Report consisted of a safety

culture survey and interviews. The cultural assessment report identified some

weaknesses at the station, which were entered into the CAP. The team did not identify

any results that were inconsistent with Susquehannas conclusions.

3.

Findings

No findings of significance were identified in the area of audits and self-assessments.

d.

Assessment of Safety Conscious Work Environment

1.

Inspection Scope

To evaluate the safety conscious work environment (SCWE) at Susquehanna, during

interviews and discussions with station personnel, the team assessed the workers

willingness to enter issues into the CAP and to raise safety issues to their management

and/or to the NRC. The inspectors also interviewed the Employee Concerns Program

(ECP) representative to determine if employees were aware of the program and had

used it to raise concerns. The team reviewed a sample of the ECP files to ensure that

issues were entered into the corrective action program, as appropriate.

2.

Assessment

Based on interviews, observations of plant activities, and reviews of the ARs and ECP,

the inspectors determined that the site personnel were willing to raise safety issues and

document them in ARs. Individuals actively utilized the AR system, as evidenced by the

number and significance of issues entered into the program. The inspectors noted that

ARs were written by a variety of personnel, from workers to managers. ECP evaluations

were thorough and appropriate actions were taken to address issues.

3.

Findings

No findings of significance were identified related to the SCWE at Susquehanna.

Enclosure

19

4OA6 Meetings, Including Exit:

On February 1, 2008, the team presented the inspection results to Mr. B. McKinney,

Senior Vice President, and to other members of the Susquehanna staff, who

acknowledged the findings. The team confirmed that no proprietary information

reviewed during the inspection was retained.

ATTACHMENT: Supplemental Information

In addition to the documentation that the team reviewed (listed in the Attachment),

copies of information requests given to the licensee are in ADAMS, under accession

number ML080430585.

Attachment

A-1

ATTACHMENT - SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee Personnel:

M. Adelizzi, Risk Engineer

N. DAngelo, Manager, Station Engineering

C. Gannon, Vice President, Nuclear Operations

T. Gorman, Project Manager, Design Engineering

R. Hoffman, Manager, Nuclear Fuels & Analysis

B. McKinney, Chief Nuclear Officer

I. Missien, Project Manager, System Engineering

B. ORourke, Senior Engineer, Nuclear Regulatory Affairs

R. Pagodin, General Manager, Nuclear Engineering

R. Paley, General Manager, Plant Support

A. Price, Supervisor, Corrective Action & Assessment

M. Rochester, Employee Concerns Representative

G. Ruppert, Manager, Maintenance

R. Schechterly, Operating Experience Coordinator

R. Sgarro, Manager, Nuclear Regulatory Affairs

M. Sleigh, Security Manager

B. Stitt, Operations Training

T. Tonkinson, Supervisor, Maintenance Support

D. Weller, Maintenance Foreman

L. West, Supervisor, Central Procedure Group

Nuclear Regulatory Commission:

M. Gray, Branch Chief, Technical Support & Assessment

F. Jaxheimer, Senior Resident Inspector

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED

Opened and Closed: 05000387/2008006-01

05000388/2008006-01

NCV Failure to Adequately Evaluate a Deviation from BWROG EPG/SAG

Resulted in an Inadequate EOP

(Section 4OA2.a.3 (a))05000387/2008006-02

05000388/2008006-02

NCV Failure to Identify and Correct Inconsistencies in the Licensing Basis

and the EOPs

(Section 4OA2.a.3 (b))05000387/2008006-03

05000388/2008006-03

NCV Failure to Accurately Model the Simulator for RPV Water Level

Instrumentation

(Section 4OA2.a.3 (c))05000387/2008006-04

05000388/2008006-04

NCV Failure to Identify and Correct a Setpoint Error in the RHR and CS

Operating Procedures

(Section 4OA2.a.3 (d))

Attachment

A-2

LIST OF DOCUMENTS REVIEWED

Procedures:

BWROG EGP/SAG and Appendix B Bases, Revision 2

Design Considerations Applicability Sheet Number 42, Emergency Plan, Revision 1

EO-000-102, RPV Control, Revision 2

EO-000-114-1, RPV Flooding, Revision 5

EO-100-103-1, Primary Containment Control, Revision 9

EP-AD-014, Surveillance Testing of Emergency Communications Equipment, Revision 10

EP-AD-015, Review, Revision, and distribution of the SSES Emergency Plan, Revision 11

ME-0RF-161, Control of Fuel Pool Cleanout Activities, Revision 5

ME-0RF-163, Fuel Pool Cleanout - Energy Solutions - Dose Rate Profiling of Irradiated

Hardware and Liners, Revision 4

MFP-QA-1220, Engineering Change Process Handbook, Revision 2

MI-VL-009, Operation of Leak Rate Monitors, Surge Tank Assemblies and 1035 psig Test

Pumps, Revision 3

MT-AD-504, Scaffold Erection, Review and Inspection, Revisions 9 & 10

MT-GM-018, Freeze Sealing of Piping, Revision 15

MT-GM-050, Limitorque Type SMB-000 through SMB-4 Operator Maintenance, Revision 12

NASP-QA-202, Independent Technical Review Program, Revision 2

NASP-QA-401, Internal Audits, Revision 9

NASP-QA-700, Performance Assessment Process, Revision 0

NDAP-00-0109, Employee Concerns Program, Revision 10

NDAP-00-0708, Corrective Action Review Board, Revision 4

NDAP-00-0710, Station Trending Program, Revision 1

NDAP-00-0745, Self-Assessment, Benchmarking and Performance Indicators, Revision 7

NDAP-00-0751, Significant Operating Experience Report (SOER) Review Program, Revision 3

NDAP-00-0752, Cause Analysis, Revisions 3 and 4

NDAP-00-0753, Common Issue Analysis, Revision 0

NDAP-00-0778, Performance Improvement Program, Revision 2

NDAP-QA-0103, Audit Program, Revision 9

NDAP-QA-0330, PSTG and Emergency Procedures, Revision 8

NDAP-QA-0330, Symptom Oriented EOP and EP-DS Program and Writers Guide, Revision 3

NDAP-QA-0412, Leakage Rate Test Program, Revision 10

NDAP-QA-0702, Action Request and Condition Report Process, Revision 20

NDAP-QA-0703, Operability Assessments and Requests for Enforcement Discretion,

Revision 12

NDAP-QA-0720, Station Report Matrix and Reportability Evaluation Guidance, Revision 13

NDAP-QA-0725, Operating Experience Review Program, Revision 11

NDAP-QA-0726, 10CFR50.59 and 10CFR72.48 Implementation, Revision 10

NDAP-QA-1220, Engineering Change Process, Revision 2

NTP-QA-53.1, Susquehanna Fire Brigade Training Program, Revision 15

ODCM-QA-001, ODCM Introduction, Revision 3

ODCM-QA-002, ODCM Review and Revision Control, Revision 4

ODCM-QA-003, Effluent Monitor Setpoints, Revision 3

ODCM-QA-004, Airborne Effluent Dose Calculations, Revision 4

ODCM-QA-005, Waterborne Effluent Dose Calculation, Revision 3

Attachment

A-3

ODCM-QA-006, Total Dose Calculation, Revision 2

ODCM-QA-007, Radioactive Waste Treatment Systems, Revision 2

ODCM-QA-008, Radiological Environmental Monitoring Program, Revision 11

ODCM-QA-009, Dose Assessment Policy Statements, Revision 2

ON-145-004, RPV Water Level Anomaly, Revision 13

OP-024-001, Diesel Generators, Revision 49

OP-024-004, Transfer and Test Mode Operations of Diesel Generator E, Revision 26

OP-149-001, RHR System, Revisions 31 and 32

OP-151-001, Core Spray System, Revisions 27 & 28

SE-124-007, Unit 1 Division 1 Diesel Generator LOCA LOOP Test, Revision 15

SE-259-044, LLRT of RHR Containment Spray Penetration Number X-39A, Revision 11

SOP-054-B03, Quarterly ESW Flow Verification Loop B, Revision 7

SSES-EPG, SSES Plant Specific Technical Guideline, Revision 9

Audits:

666178, Corrective Action, November 2006 - February 2007

667966, QA Internal Audit Report, Fuel Management, Revision 0

691277, QA Internal Audit Report Access Authorization and Fitness for Duty, Revision 0

706249, Operations Training and Qualification Programs, May - June 2007

718607, QA Internal Audit Report, Engineering, Revision 0

744333, Operations, November - December 2007

792034, QA Internal Audit Report, Security, Revision 0

NEIP Audit of Susquehanna Quality Assurance, June 2006

Self-Assessments:

2006 Comprehensive Cultural Assessment, September - October 2006

CA&A Functional Unit Excellence Plan, 1st, 2nd, and 3rd Quarters 2007

CAA-06-01, Site Wide Self-Assessment, December 2006

CAA-06-05, Self-Assessment Program Performance, February 2006

CAA-06-08, Decrease in CR Generation Identified by Trend Report, November 2006

Focused Self Assessment, MOV Program Self-Assessment, October 2007

Maintenance Implementing Procedures Adequacy for Qualified, Inexperienced Employees,

June 2007

Multi-Utility Joint Audit Program Initiative, March - April 2007

NTG Focused Self-Assessment of Operator Training Programs, June 2007

OPS-06-02, Determine the Status of Operator Fundamentals, February 2006

OPS-06-03, Operations Focused Se-f Assessment, July 2006

Pre-PI&R Focused Self-Assessment, September 2007

QA Organization Effectiveness Self-Assessment, October 2006

QA-06-01, Operations QA Audit Preparation Gap Analysis for QC, May - July 2006

SEC-06-01, Analyses of SSES Security Procedures and Physical Security Plan, Revision 0

Attachment

A-4

Action Requests (* denotes an AR/CR generated as a result of this inspection):

478369

524893

542157

545804

549328

554362

554598

555140

555263

555562

557348

565795

575128

578943

584400

591033

594366

594887

595165

604009

604296

610978

615707

623914

623949

635924

647827

655735

666405

668871

669732

677145

687080

688300

691108

693936

699781

723483

723976

724102

724165

724374

724467

724717

726672

728295

728936

730852

730944

730947

737236

738555

738575

738634

738653

738907

738999

739262

739371

739371

739386

739419

739579

739625

739713

739737

740043

740073

740303

740477

740538

740658

740668

740723

740802

740804

740825

740946

740948

740955

740988

741041

741321

741457

741707

741908

741943

742191

742318

742342

742427

742676

742966

743043

744975

744979

745221

745248

745462

745773

746658

747077

747438

749294

749341

749832

750140

750232

751212

751412

751433

751444

752341

752347

752582

753392

753664

753869

753990

755360

756094

756415

756804

757530

757979

758337

759209

759216

759827

760281

760526

760526

762497

763050

763128

763397

764145

764738

764953

765421

767566

767567

768301

768502

768821

768920

769304

769867

769870

770453

771319

771876

771961

773046

773409

774453

774475

774509

774549

775285

775718

776112

776171

776769

776918

777335

777723

778124

779830

780144

780155

780778

780992

781644

782321

782344

783655

784730

784882

784890

785561

785791

786149

786224

786564

786735

786768

787850

788616

788621

788879

789971

791115

791329

792158

793381

794995

795583

796640

797517

799890

802254

802539

802563

802572

802697

805698

806710

809503

809702

810391

810513

811239

811429

811996

812948

813844

815268

816097

816710

817720

818082

818154

820344

820380

820989

820995

821006

821064

822996

823908

824522

824895

825107

825750

826452

826870

827023

827966

828626

828744

829065

829502

835002

837153

837180

839753

841169

841885

842663

842920

843144

843985

845441

849935

851918

853358

854681

855266

855268

856997

858269

858578

859082

859440

859794

859839

860299

860551

861162

861366

861415

862474

864090

865286

865423

865804

865924

866930

867534

867747

867881

868251

868259

868828

868874

869819

869824

870968

871013

872039

872056

873026

873683

873741

873919

874227

875597

875976

876021

876427

877419

877727

877743

878165

878326

879080

879847

880331

880573

880702

880806

881210

881219

881225

881236

882318

883987

886209

887048

887067

888310

889683

889966

891288

891733

891795

892142

892152

892528

893090

893157

893290

895147

896455

896505

896685

897250

898909

899429

900301

900720

901262

903439

904689

908163

911601

912213

912476

915167

915620

916453

916463

916873

917196

918392

918549

919470

927046

928515

929461

930075

930571

931113

932590

936060

936250

936370

936631

937123

938054

938698

938722

939516

939780

941290

941401

941626

941677

941810

947160

954950*

954970*

954972*

954975*

954990*

955072*

955073*

955111*

955130*

955150*

955151*

955761*

955780*

956339*

956344*

956431*

956696*

956914*

956917*

957319*

957484*

957637*

958769*

959670*

961655

962390

962881*

963061*

963065*

963698*

963861*

964512*

964514*

964836*

965167*

Attachment

A-5

Maintenance Work Requests (SPWO):

099065

099115

099120

099259

099364

448229

473889

570758

766396

766401

766406

766411

766413

766416

766496

767283

767284

767490

767506

767532

768234

768618

818282

862503

862569

862578

866262

866284

Non-Cited Violations and Findings Reviewed:

NCV 2005005-01, Inadequate FME Exclusion Procedural Instructions Associated with EDG

Work

FIN 2005009-01, Fire Brigade Drill Program Not Consistent with Regulatory Guidance and

Industry Standards

NCV 2006002-01, Equipment Hatch Plugs are Not Watertight as Indicated in FSAR

FIN 2006002-02, Incomplete Corrective Actions Contribute to CRD Flow Control Failure

NCV 2006003-01, Inadequate Procedures Resulted in Motor Operated Valve Failures

NCV 2006003-02, Failure to Identify Material Degradation which Resulted in the Failure of the

C ESW Pump Breaker

NCV 2006003-03, Inadequate Procedure Results in Elevated Reactor Coolant System Leakage

NCV 2006003-04, Inadequate Design Review of PRDNMS Modification Resulted in a Reactor

Scram

NCV 2006003-05, Ineffective Corrective Actions to Assure Training and Qualification of Workers

as Required by 10CFR50, Appendix B, Criterion XVI

NCV 2006004-01, Inadequate Risk Assessment

NCV 2006005-01, Inadequate Work Instructions for the Disassembly and Inspection of Check

Valves

NCV 2006005-02, Inadequate Evaluation of EPA Breaker Failures

NCV 2006006-01, Failure to Identify Scaffolding that Affected the Safety-Related RHR

Discharge Pressure Instrument Tubing Input to ADS

NCV 2006009-01, Safeguards Information

Licensee Identified NCV 2007002, U2 Div II Core Spray Pump Room (a High Radiation Area)

Was Not Posted and Was Open

Licensee Identified NCV 2007002, U1 HPCI Failed a Surveillance Due to the Failure to Perform

Preventive Maintenance

NCV 2007003-01, Failure to Take Timely Corrective Actions for an E EDG Jacket Water Leak

FIN 2007003-02, Failure to Maintain Occupational Radiation Exposure ALARA during Reactor

Water Cleanup Pipe Replacement Activities

FIN 2007003-03, Failure to Maintain Occupational Radiation Exposure ALARA during Outage

ISI of Reactor Pressure Vessel

NCV 2007003-04, Violation of 10CFR71.5 for Inadequately Secured Transport of Condensate

Pump Motors

NCV 2007003-05, Violation of 10CFR71.5 for Inadequately Accounting for Activity in a

Shipment of Irradiated Fuel Channels

Licensee Identified NCV 2007003, U2 Reactor Building HRA Postings and Boundary Moved

without Permission of RP

NCV 2007007-01, Inoperable ESSW Pump-House Ventilation Lineup

NCV 2007007-02, Failure to Use E EDG Procedure

Attachment

A-6

Miscellaneous:

5059-01-2356, 50.59 Screen of Specification C-1056, Long Term Scaffolding, Revision 4

CP067, Corrective Action Program - Evaluation & Resolution, Revision 8

(Lesson Plan & Student Material)

CP068, Managing the Corrective Action Process, Revision 2 (Lesson Plan & Student Material)

Daily CR Screening Team Package

Design Verification Checklist for SCN 6 for Specification C-1056, dated April 27, 2001

EC-059-1024, Design Requirements for and Evaluation of Potential Secondary Containment

Bypass Leakage Pathways, Revision 4

EC-RADN-1029, SSES Design Basis LOCA Dose Consequence Evaluation for Containment

Bypass Leakage Including the Effects of Suppression Pool Scrubbing, Revision 1

EC-SIMU-1001, Evaluation of Simulator Level Instrument Response to Large LOCA, dated

May 4, 1994

Engineering Specification C-1056, Erection of Scaffolding in Safety-Related Areas, Revision 4

EWR #MIS-85-0460, Design Inputs and Considerations Checklist for Specification C-1056,

Revision 2

Hot Box Item 08-01, Reactor Water Instrumentation Response during DBA LOCA, dated

January 31, 2008

IEEE Standard 497-2002, IEEE Standard Criteria for Accident Monitoring Instrumentation, dated

September 30, 2002

Long Term Scaffold Log, dated January 16, 2008

No Degraded Condition Response to OFR 963310, dated January 30, 2008

NRC Information Notice 2007-29, Temporary Scaffolding Affects Operability of Safety-Related

Equipment, dated September 17, 2007

NRC Inspection Procedure 42001, Emergency Operating Procedures, dated June 28, 1991

NRC Regulatory Guide 1.97, Instrumentation for Light-Water-Cooled Nuclear Power Plants to

Assess Plant and Environs Conditions During and Following an Accident, Revision 2

NRC Regulatory Issue Summary 2005-20, Information to Licensees Regarding Two NRC

Inspection Manual Sections on Resolution of Degraded and Nonconforming Conditions and

on Operability

NRC Regulatory Issue Summary 2007-21, Adherence to Licensed Power Limits, dated

August 23, 2007

NEDE-24801, Review of BWR Reactor Vessel Water Level Measurement, April 1980

NEDO-24708A, Additional Information Required for NRC Staff Generic Report on Boiling Water

Reactors, Revision 1

Operational Policy Statement (OPS) - 5, Deficiency Control System, Revision 13

Operations Monthly Performance Indicators, December 2007

Operations Quality Assurance Manual, dated December 13, 2007

OPEX Daily Report, January 29, 2008

Plant Modification Package - DCP/ECO #97-9075, Unit 1 Core Spray/RHR/LPCI Pressure

Switch Replacement, Revision 1

PL-NF-02-07, Channel Management Action Plan, Revision 28

Regulatory Guide 1.97, Criteria for Accident Monitoring Instrumentation, Revision 4

Specification Change Notice #6 for C-1056, Revision 3

Temporary Scaffold Log, dated January 15, 2008

Unit 1 & 2, Control Rod Drive Hydraulics System Health Report, May - August 2007

Unit 1, RHR Residual Heat Removal System Health Report, September - December 2007

Attachment

A-7

LIST OF ACRONYMS

ACE

Apparent Cause Evaluation

AR

Action Request

BWROG

Boiling Water Reactor Owners Group

CAP

Corrective Action Program

CAQ

Condition Adverse to Quality

CARB

Corrective Action Review Board

CFR

Code of Federal Regulations

CPG

Central Procedure Group

CR

Condition Report

CS

Core Spray

DBA

Design Basis Accident

DCP

Design Change Package

ECCS

Emergency Core Cooling System

ECP

Employee Concerns Program

EOP

Emergency Operating Procedures

EPG/SAG

Emergency Procedure Guidelines / Severe Accident Guidelines

EPU

Extended Power Uprate

FSAR

Final Safety Analysis Report

IMC

NRC Inspection Manual Chapter

LOCA

Loss of Coolant Accident

NCV

Non-Cited Violation

NRC

Nuclear Regulatory Commission

OE

Operating Experience

PAM

Post-Accident Monitoring

PI&R

Problem Identification and Resolution

psig

pounds per square inch

PSTG

Plant Specific Technical Guidelines

QA

Quality Assurance

RCA

Root Cause Analysis

RHR

Residual Heat Removal

ROP

Reactor Oversight Program

RPV

Reactor Pressure Vessel

SCWE

Safety Conscious Work Environment

SDP

Significance Determination Process

TS

Technical Specifications