ML20212P666: Difference between revisions
StriderTol (talk | contribs) (StriderTol Bot change) |
StriderTol (talk | contribs) (StriderTol Bot change) |
||
| Line 19: | Line 19: | ||
=Text= | =Text= | ||
{{#Wiki_filter:v | {{#Wiki_filter:v | ||
0-. | |||
. | . | ||
MAR 111387 | |||
l | In Reply Refer To: | ||
Deckets: 50-498/86-26 | |||
50-499/86-24- | |||
Houston Lighting & Power Company | |||
ATTN: | |||
J. H. Goldberg, Group Vice | |||
President, Nuclear | |||
P. O. Box 1700 | |||
Houston, Texas | |||
77001 | |||
Gentlemen: | |||
Thank you for your letter of January 8,1987, in response to our le.tter and | |||
Notice of Violation dated December 10, 1986. We have reviewed your reply and find it | |||
responsive to the concerns raised in our Notice of Violation. We will review | |||
the implementation of your corrective actions during a future inspection to | |||
determine that full compliance has been achieved and will be maintained. | |||
Sincerely, | |||
Original Signed By | |||
J. E. Gagliardo | |||
J. E. Gagliardo, Chief | |||
Reactor Projects Branch | |||
cc: | |||
Houston Lighting & Power Company | |||
ATTN: | |||
M. Wisenberg, Manager, | |||
Nuclear Licensing | |||
! | |||
P. O. Box 1700 | |||
i | |||
Houston, Texas | |||
77001 | |||
Texas Radiation Control Program Director | |||
bec to DMB (IE01) | |||
bec distrib. by RIV: | |||
RPB | |||
DRSP | |||
RSB | |||
RRI-OPS | |||
R. D. Martin, RA | |||
R. Hall | |||
. | |||
RRI-CONST. | |||
SectionChief(RPB/C) | |||
l | |||
R&SPB | |||
MIS System | |||
RIV File | |||
D. Weiss, RM/ALF | |||
RSTS Operator | |||
R. Pirfo, ELD | |||
R. f Taylor, RPB | |||
Pro ect Inspector | |||
\\ | |||
/ | |||
./ | |||
, | |||
l | |||
I | |||
Q RP /,C'' | |||
C:RPB/ ' | |||
(0 | |||
l | l | ||
7' | |||
f | |||
undy:cs | |||
GL onstable | |||
JEGagliardo | |||
/87 | |||
1/Q/87 | |||
3/10f87 | |||
gg | |||
' | ' | ||
8703160188 870311 | |||
PDR | |||
ADOCK 05000498 | |||
G | |||
PDR | |||
_, | |||
_ | |||
_ _ | |||
l | l | ||
J | |||
. | |||
. . | |||
The Light | |||
, | |||
NE | |||
Houston Lighting & Power P.O. Box 1700 Houston Texas 77001 (713)228-9211 | |||
I | |||
January 8, 1987 | |||
i | |||
10CFR2.201 | |||
ST-HL-AE-1853 | |||
File No.4-G2.4 r-- , , , i - | |||
, | |||
' | |||
- < | |||
, df.j(r.''l=5?:iVli6jI N | |||
' | |||
> | |||
1 | |||
-2 e_p- | |||
. .- | |||
,i | |||
-: | |||
, | |||
n* | |||
i I | |||
6' | |||
JAN I 21987 | |||
, | : | ||
' | |||
' | |||
' | |||
U. S. Nuclear Regulatory Commission | |||
--- | |||
- ' ' | |||
, | |||
Attention: Document Control Desk | |||
j | |||
l | |||
Washington, D.C. | |||
20555 | |||
- - - | |||
-"- | |||
, | |||
, | |||
South Texas Project | |||
j | |||
Units 1 & 2 | |||
Docket Nos. STN 50-498, STN 50-499 | |||
j | |||
Response to Notice of Violation 8626-01/8624-01 | |||
' | |||
~ | |||
Houston Lighting & Power Company has reviewed Notice of Violation | |||
. | |||
498/8626-01; 499/8624-01 dated December 10, 1986 and submits the attached | |||
I | |||
response pursuant to 10CFR2.201. | |||
If you should have any questions on this matter, please contact | |||
Mr. S. M. Head at (512) 972-8392. | |||
J. H. Goldberg | |||
Group Vice President, Nuclear | |||
SDP/hg | |||
Attachment: Response to Notice of Violation 86-26-01/86-24-01 | |||
th | |||
- | |||
7 | |||
- | |||
~ L' | |||
7, f | |||
I | |||
L4/NRC/ac | |||
\\ | |||
0 | |||
yc-(7 OL3 | |||
'Y | |||
_. | |||
.- | |||
_ | |||
_. | |||
_ | |||
_ | |||
g. s s | |||
8 | |||
1 | |||
Houston Lighting & Power Company | |||
7 | |||
4 | |||
* | |||
Page 2 | |||
. | |||
cc: | |||
Regional Administrator, Region IV | |||
M.B. Lee /J. E. Malaski | |||
Nuclear Regulatory Commission | |||
City of Austin | |||
611 Ryan Plaza Drive, Suite 1000 | |||
P.O. Box 1088 | |||
Arlington, TX 76011 | |||
Austin, TX 78767 | |||
N. Prasad Kadambi, Project Manager | |||
A. vonRosenberg | |||
'U.S. Nuclear Regulatory Commission | |||
City Public Service Board | |||
7920 Norfolk Avenue | |||
P.O. Box 1771 | |||
Bethesda, MD 20814= | |||
San Antonio, TX 78296 | |||
Robert L'. Perch , Project Manager | |||
Brian E. Berwick, Esquire | |||
U.S. Nuclear Regulatory Commission | |||
Assistant Attorney General for | |||
7920 Norfolk Avenue | |||
the State of Texas | |||
Bethesda, MD 20814 | |||
P.O. Box 12548, Capitol Station | |||
Austin, TX 78711 | |||
Dan R.-Carpenter | |||
Senior Resident Inspector / Operations | |||
Lanny A. Sinkin | |||
c/o U.S. Nuclear Regulatory | |||
Christic Institute | |||
Commission | |||
1324 North Capitol Street | |||
P.O. Box 910 | |||
Washington, D.C. | |||
20002 | |||
Bay City, TX 77414 | |||
Oreste R. Pirfo, Esquire | |||
- | |||
- | - | ||
Claude E. Johnson | |||
Hearing Attorney | |||
Senior Resident Inspector /STP | |||
Office of the Executive Legal Director | |||
c/o U.S. Nuclear Regulatory | |||
U.S. Nuclear Regulatory Commission | |||
Commission | |||
Washington, DC 20555 | |||
P.O. Box 910 | |||
Bay City, TX 77414 | |||
Citizens for Equitable Utilities, Inc. | |||
c/o Ms. Peggy Buchorn | |||
t | t | ||
M.D. Schwarz, Jr. , Esquire | |||
Route 1, Box 1684 | |||
Baker & Botts | |||
Brazoria, TX 77422 | |||
One Shell Plaza | |||
l | l | ||
Houston, TX 77002 | |||
Advisory Committee on Reactor Safeguards | |||
U.S. Nuclear Regulatory Commission | |||
J.R. Newman, Esquire | |||
1717 H Street | |||
Newman & Holtzinger, P.C. | |||
Washington, DC 20555 | |||
1615 L Street, N.W. | |||
Washington, DC 20036 | |||
T.V. Shockley/R. L. Range | |||
Central Power & Light Company | |||
P. O. Box 2121 | |||
Corpus Christi, TX 78403 | |||
Revised 1/2/87 | |||
L4/NRC/ac | |||
! | ! | ||
- | |||
-- | |||
-__ | |||
... - - - .- | |||
- | |||
. | |||
- - . | |||
- . - | |||
- | |||
. . | |||
. . | |||
.. | |||
. | |||
- - | |||
! | ! | ||
.(.$<- | |||
Attachment | |||
ST-HL-AE-1853 | |||
.. | |||
File No.: G2.4 | |||
Page 1 of 3 | |||
South Texas Project | |||
Units 1 & 2 | |||
Docket Nos. STN 50-498, STN 50-499 | |||
Response to Notice of Violation 8626-01/8624-01 | |||
I. Statement of Violation | |||
During an NRC inspection conducted on September 1 through | |||
, | |||
November 3, 1986, a violation of NRC requirements was identified. | |||
The | |||
violation involved failure to follow procedures for dealing with | |||
nonconforming items. | |||
In accordance with the " General Statement of Policy | |||
and Procedure for NRC Enforcement Actions," 10CFR Part 2, Appendix C | |||
, | , | ||
(1986), the violation is listed below: | |||
Criterion V of 10CFR50, Appendix B, requires that activities | |||
affecting quality be prescribed by documented instructions or | |||
procedures, and shall be accomplished in accordance with these | |||
instructions or procedures. The South Texas Quality Assurance Plan, | |||
Section 5 implements this requirement. Standard Site Procedure | |||
(SSP) 8, "Nonconformance Reporting," Section 5.2.11.6 requires that | |||
when nonconforming items are being transferred, e.g. betwoon | |||
- | |||
construction and operations, the organization involved must transfer | |||
the appropriate documents such as hold tags. | |||
SSP-8 Section 5.2.11.6 also requires that when transferring | |||
nonconforming items they will be properly tagged. | |||
Contrary to the above, on August 8, 1986, the NRC inspector observed | |||
an installed valve, DO-0132, serial number EG 288-40-4, in the | |||
diesel fuel oil (DO) system with a construction hold tag attached. | |||
The DO system had been turned over to startup and should have had an | |||
operations hold tag attached. | |||
Also on September 23, 1986, the NRC inspector noted that the | |||
licensee had failed to transfer the hold tag, which indicated a | |||
damaged shaft and bearings, on the 1A Centrifugal Charging Pump to | |||
the damaged shaft and bearings after they were replaced on August 4, | |||
e | |||
1986. | |||
II. Reason for Violation | |||
As a result of the hold tag problem identified on the diesel fuel oil | |||
valve, HL&P initiated an extensive evaluation of the site equipment | |||
transfer program to ensure uncontrolled nonconforming items are not | |||
transferred to or installed in Unit 1 safety related systems. The | |||
subsequent surveillances identified additional deficiencies concerning | |||
Unit i nonconforming items that are transferred or replaced. The | |||
deficiency types identified can be grouped as follows. | |||
. | |||
14/NRC/ac | |||
- | |||
. - _ _ - _ | |||
- - _ _ . . - . - - - - | |||
. -,_ | |||
- - | |||
. . | |||
- - . | |||
. - - - | |||
_ - | |||
. | |||
. | |||
_ | |||
y.- | |||
Attachment | |||
ST-HL-AE-1853 | |||
's. | |||
. | |||
File No.: G2.4 | |||
Page 2 of 3 | |||
: | : | ||
A. | |||
Nonconforming information not being put on Transfer and Replacement | |||
Request (TRR) forms. | |||
(A Transfer and Replacement Request is the | |||
document used to transfer equipment from one unit to another.) | |||
r | B. | ||
Inadequate documentation trail | |||
C. | |||
Inadequate administrative control of TRR's | |||
r | |||
D. | |||
Inadequate Transfer and Tagging of components parts | |||
E. | |||
NCR's closed and tags pulled prior to completion of disposition. | |||
, | |||
! | ! | ||
l | l | ||
F. | |||
NCR's not being revised to indicate transfer status | |||
G. | |||
Nonconforming items being interchanged prior to NCR initiation and | |||
or disposition | |||
i | i | ||
Immediate steps were taken to ensure control of nonconforming items. | |||
l | l | ||
Quality Assurance performed surveillances of the nonconformance and | |||
,~, | |||
transfer request programs. These surveillances identified a programmatic | |||
i | i | ||
l | |||
deficiency. This deficiency was the subject of a report in accordance | |||
with 10CFR50.55(e) made October 30, 1986. | |||
The root cause of this problem is twofold: | |||
o | |||
failure to implement TRR procedure requirements due to lack of | |||
, | , | ||
: | |||
familiarity on the part of personnel responsible for completing | |||
TRRs, and | |||
l | l | ||
l | l | ||
o | |||
a procedural omission in that pre-Release for Testing (RFT) | |||
nonconformance transfer techniques did not adequately address | |||
nonconforming items still in the warehouse. | |||
III. Corrective Action Taken and Results Achieved | |||
The following corrective actions have been taken with regard to the | |||
identified discrepancies: | |||
o | |||
A review of open Nonconformance Reports (NCRs), that had-been | |||
converted from Construction jurisdiction to Startup was performed to | |||
verify proper transfer / tagging status. The review and subsequent | |||
correction (retagging) was completed October 16, 1986. | |||
o | |||
A review was performed on open, Non "S" | |||
(other than start up) single | |||
system and multiple system NCRs issued through September 30, 1986, | |||
to ensure accurate tracking of non-conforming items. Deficiencies | |||
of an administrative nature were identified. No significant | |||
hardware deficiencies were identified. All deficiencies have been | |||
corrected. | |||
L4/NRC/ac | |||
._ | |||
. - | |||
. | |||
. . | |||
. | |||
. . | |||
- , _ _ _ _ _ _ _ . - | |||
t..* | t..* | ||
Attachment | |||
ST-HL-AE-1853 | |||
File No.: C2.4 | |||
. | |||
Page 3 of 3 | |||
A review was performed of safety related, Quality Class 7 and a | |||
o | |||
random sample of non-safety related TRRs issued through | |||
September 30, 1986 to ensure accurate tracking of nonconforming | |||
items. Deficiencies of an administrative nature were identified and | |||
.are being corrected. No additional hardware deficiencies were | |||
identified. | |||
IV. Corrective Steps Taken to Prevent Recurrence | |||
A training session in TRR requirements was conducted for personnel | |||
responsible for TRR preparation, processing, and approval. | |||
Site Procedure SSP-8 (Nonconformance Reporting) was revised to clarify | |||
tagging requirements for material in the warehouse that is designated for | |||
systems turned over to Startup as well as for material returned to the | |||
warehouse by Startup. | |||
- | |||
Site Procedure SSP-48 (Equipment or Component Interchange) was revised to | |||
establish a TRR material group to coordinate and track transferred | |||
material. | |||
V. Date of Full Compliance | |||
Documentation of all the discrepancies was completed by December 22, | |||
1986. | |||
STP is in full compliance. However, additional administrative | |||
corrective actions and QA verifications by Bechtel and HL&P will continue | |||
and be completed by February 15, 1987. | |||
L4/NRC/ac | |||
___ | |||
}} | }} | ||
Latest revision as of 04:20, 4 December 2024
| ML20212P666 | |
| Person / Time | |
|---|---|
| Site: | South Texas |
| Issue date: | 03/11/1987 |
| From: | Gagliardo J NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) |
| To: | Goldberg J HOUSTON LIGHTING & POWER CO. |
| References | |
| NUDOCS 8703160188 | |
| Download: ML20212P666 (1) | |
See also: IR 05000498/1986026
Text
v
0-.
.
MAR 111387
In Reply Refer To:
Deckets: 50-498/86-26
50-499/86-24-
Houston Lighting & Power Company
ATTN:
J. H. Goldberg, Group Vice
President, Nuclear
P. O. Box 1700
Houston, Texas
77001
Gentlemen:
Thank you for your letter of January 8,1987, in response to our le.tter and
Notice of Violation dated December 10, 1986. We have reviewed your reply and find it
responsive to the concerns raised in our Notice of Violation. We will review
the implementation of your corrective actions during a future inspection to
determine that full compliance has been achieved and will be maintained.
Sincerely,
Original Signed By
J. E. Gagliardo
J. E. Gagliardo, Chief
Reactor Projects Branch
cc:
Houston Lighting & Power Company
ATTN:
M. Wisenberg, Manager,
Nuclear Licensing
!
P. O. Box 1700
i
Houston, Texas
77001
Texas Radiation Control Program Director
bec to DMB (IE01)
bec distrib. by RIV:
RPB
DRSP
RSB
RRI-OPS
R. D. Martin, RA
R. Hall
.
RRI-CONST.
SectionChief(RPB/C)
l
R&SPB
MIS System
RIV File
D. Weiss, RM/ALF
RSTS Operator
R. Pirfo, ELD
R. f Taylor, RPB
Pro ect Inspector
\\
/
./
,
l
I
Q RP /,C
C:RPB/ '
(0
l
7'
f
undy:cs
GL onstable
JEGagliardo
/87
1/Q/87
3/10f87
gg
'
8703160188 870311
ADOCK 05000498
G
_,
_
_ _
l
J
.
. .
The Light
,
NE
Houston Lighting & Power P.O. Box 1700 Houston Texas 77001 (713)228-9211
I
January 8, 1987
i
ST-HL-AE-1853
File No.4-G2.4 r-- , , , i -
,
'
- <
, df.j(r.l=5?:iVli6jI N
'
>
1
-2 e_p-
. .-
,i
-:
,
n*
i I
6'
JAN I 21987
'
'
'
U. S. Nuclear Regulatory Commission
---
- ' '
,
Attention: Document Control Desk
j
l
Washington, D.C.
20555
- - -
-"-
,
,
South Texas Project
j
Units 1 & 2
Docket Nos. STN 50-498, STN 50-499
j
Response to Notice of Violation 8626-01/8624-01
'
~
Houston Lighting & Power Company has reviewed Notice of Violation
.
498/8626-01; 499/8624-01 dated December 10, 1986 and submits the attached
I
response pursuant to 10CFR2.201.
If you should have any questions on this matter, please contact
Mr. S. M. Head at (512) 972-8392.
J. H. Goldberg
Group Vice President, Nuclear
SDP/hg
Attachment: Response to Notice of Violation 86-26-01/86-24-01
th
-
7
-
~ L'
7, f
I
L4/NRC/ac
\\
0
yc-(7 OL3
'Y
_.
.-
_
_.
_
_
g. s s
8
1
Houston Lighting & Power Company
7
4
Page 2
.
cc:
Regional Administrator, Region IV
M.B. Lee /J. E. Malaski
Nuclear Regulatory Commission
City of Austin
611 Ryan Plaza Drive, Suite 1000
P.O. Box 1088
Arlington, TX 76011
Austin, TX 78767
N. Prasad Kadambi, Project Manager
A. vonRosenberg
'U.S. Nuclear Regulatory Commission
City Public Service Board
7920 Norfolk Avenue
P.O. Box 1771
Bethesda, MD 20814=
San Antonio, TX 78296
Robert L'. Perch , Project Manager
Brian E. Berwick, Esquire
U.S. Nuclear Regulatory Commission
Assistant Attorney General for
7920 Norfolk Avenue
the State of Texas
Bethesda, MD 20814
P.O. Box 12548, Capitol Station
Austin, TX 78711
Dan R.-Carpenter
Senior Resident Inspector / Operations
Lanny A. Sinkin
c/o U.S. Nuclear Regulatory
Christic Institute
Commission
1324 North Capitol Street
P.O. Box 910
Washington, D.C.
20002
Bay City, TX 77414
Oreste R. Pirfo, Esquire
-
-
Claude E. Johnson
Hearing Attorney
Senior Resident Inspector /STP
Office of the Executive Legal Director
c/o U.S. Nuclear Regulatory
U.S. Nuclear Regulatory Commission
Commission
Washington, DC 20555
P.O. Box 910
Bay City, TX 77414
Citizens for Equitable Utilities, Inc.
c/o Ms. Peggy Buchorn
t
M.D. Schwarz, Jr. , Esquire
Route 1, Box 1684
Baker & Botts
Brazoria, TX 77422
One Shell Plaza
l
Houston, TX 77002
Advisory Committee on Reactor Safeguards
U.S. Nuclear Regulatory Commission
J.R. Newman, Esquire
1717 H Street
Newman & Holtzinger, P.C.
Washington, DC 20555
1615 L Street, N.W.
Washington, DC 20036
T.V. Shockley/R. L. Range
Central Power & Light Company
P. O. Box 2121
Corpus Christi, TX 78403
Revised 1/2/87
L4/NRC/ac
!
-
--
-__
... - - - .-
-
.
- - .
- . -
-
. .
. .
..
.
- -
!
.(.$<-
Attachment
ST-HL-AE-1853
..
File No.: G2.4
Page 1 of 3
South Texas Project
Units 1 & 2
Docket Nos. STN 50-498, STN 50-499
Response to Notice of Violation 8626-01/8624-01
I. Statement of Violation
During an NRC inspection conducted on September 1 through
,
November 3, 1986, a violation of NRC requirements was identified.
The
violation involved failure to follow procedures for dealing with
nonconforming items.
In accordance with the " General Statement of Policy
and Procedure for NRC Enforcement Actions," 10CFR Part 2, Appendix C
,
(1986), the violation is listed below:
Criterion V of 10CFR50, Appendix B, requires that activities
affecting quality be prescribed by documented instructions or
procedures, and shall be accomplished in accordance with these
instructions or procedures. The South Texas Quality Assurance Plan,
Section 5 implements this requirement. Standard Site Procedure
(SSP) 8, "Nonconformance Reporting," Section 5.2.11.6 requires that
when nonconforming items are being transferred, e.g. betwoon
-
construction and operations, the organization involved must transfer
the appropriate documents such as hold tags.
SSP-8 Section 5.2.11.6 also requires that when transferring
nonconforming items they will be properly tagged.
Contrary to the above, on August 8, 1986, the NRC inspector observed
an installed valve, DO-0132, serial number EG 288-40-4, in the
diesel fuel oil (DO) system with a construction hold tag attached.
The DO system had been turned over to startup and should have had an
operations hold tag attached.
Also on September 23, 1986, the NRC inspector noted that the
licensee had failed to transfer the hold tag, which indicated a
damaged shaft and bearings, on the 1A Centrifugal Charging Pump to
the damaged shaft and bearings after they were replaced on August 4,
e
1986.
II. Reason for Violation
As a result of the hold tag problem identified on the diesel fuel oil
valve, HL&P initiated an extensive evaluation of the site equipment
transfer program to ensure uncontrolled nonconforming items are not
transferred to or installed in Unit 1 safety related systems. The
subsequent surveillances identified additional deficiencies concerning
Unit i nonconforming items that are transferred or replaced. The
deficiency types identified can be grouped as follows.
.
14/NRC/ac
-
. - _ _ - _
- - _ _ . . - . - - - -
. -,_
- -
. .
- - .
. - - -
_ -
.
.
_
y.-
Attachment
ST-HL-AE-1853
's.
.
File No.: G2.4
Page 2 of 3
A.
Nonconforming information not being put on Transfer and Replacement
Request (TRR) forms.
(A Transfer and Replacement Request is the
document used to transfer equipment from one unit to another.)
B.
Inadequate documentation trail
C.
Inadequate administrative control of TRR's
r
D.
Inadequate Transfer and Tagging of components parts
E.
NCR's closed and tags pulled prior to completion of disposition.
,
!
l
F.
NCR's not being revised to indicate transfer status
G.
Nonconforming items being interchanged prior to NCR initiation and
or disposition
i
Immediate steps were taken to ensure control of nonconforming items.
l
Quality Assurance performed surveillances of the nonconformance and
,~,
transfer request programs. These surveillances identified a programmatic
i
l
deficiency. This deficiency was the subject of a report in accordance
with 10CFR50.55(e) made October 30, 1986.
The root cause of this problem is twofold:
o
failure to implement TRR procedure requirements due to lack of
,
familiarity on the part of personnel responsible for completing
TRRs, and
l
l
o
a procedural omission in that pre-Release for Testing (RFT)
nonconformance transfer techniques did not adequately address
nonconforming items still in the warehouse.
III. Corrective Action Taken and Results Achieved
The following corrective actions have been taken with regard to the
identified discrepancies:
o
A review of open Nonconformance Reports (NCRs), that had-been
converted from Construction jurisdiction to Startup was performed to
verify proper transfer / tagging status. The review and subsequent
correction (retagging) was completed October 16, 1986.
o
A review was performed on open, Non "S"
(other than start up) single
system and multiple system NCRs issued through September 30, 1986,
to ensure accurate tracking of non-conforming items. Deficiencies
of an administrative nature were identified. No significant
hardware deficiencies were identified. All deficiencies have been
corrected.
L4/NRC/ac
._
. -
.
. .
.
. .
- , _ _ _ _ _ _ _ . -
t..*
Attachment
ST-HL-AE-1853
File No.: C2.4
.
Page 3 of 3
A review was performed of safety related, Quality Class 7 and a
o
random sample of non-safety related TRRs issued through
September 30, 1986 to ensure accurate tracking of nonconforming
items. Deficiencies of an administrative nature were identified and
.are being corrected. No additional hardware deficiencies were
identified.
IV. Corrective Steps Taken to Prevent Recurrence
A training session in TRR requirements was conducted for personnel
responsible for TRR preparation, processing, and approval.
Site Procedure SSP-8 (Nonconformance Reporting) was revised to clarify
tagging requirements for material in the warehouse that is designated for
systems turned over to Startup as well as for material returned to the
warehouse by Startup.
-
Site Procedure SSP-48 (Equipment or Component Interchange) was revised to
establish a TRR material group to coordinate and track transferred
material.
V. Date of Full Compliance
Documentation of all the discrepancies was completed by December 22,
1986.
STP is in full compliance. However, additional administrative
corrective actions and QA verifications by Bechtel and HL&P will continue
and be completed by February 15, 1987.
L4/NRC/ac
___