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{{#Wiki_filter:UNITED STATES
{{#Wiki_filter:UNITED STATES  
                            NUCLEAR REGULATORY COMMISSION
NUCLEAR REGULATORY COMMISSION  
                                              REGION III
REGION III  
                                    2443 WARRENVILLE RD. SUITE 210
2443 WARRENVILLE RD. SUITE 210  
                                          LISLE, IL 60532-4352
LISLE, IL 60532-4352  
                                            July 21, 2015
Mr. Bryan C. Hanson
Senior VP, Exelon Generation Company, LLC
July 21, 2015  
President and CNO, Exelon Nuclear
4300 Winfield Road
Warrenville, IL 60555
Mr. Bryan C. Hanson  
SUBJECT: BYRON STATION, UNITS 1 AND 2 - NRC COMPONENT DESIGN BASES
Senior VP, Exelon Generation Company, LLC  
            INSPECTION; INSPECTION REPORT 05000454/2015008; 05000455/2015008
President and CNO, Exelon Nuclear  
            AND NOTICE OF VIOLATION
4300 Winfield Road  
Dear Mr. Hanson:
Warrenville, IL 60555  
On June 16, 2015, the U.S. Nuclear Regulatory Commission (NRC) completed a Component
SUBJECT: BYRON STATION, UNITS 1 AND 2 - NRC COMPONENT DESIGN BASES  
Design Bases Inspection at your Byron Station, Units 1 and 2. The purpose of this inspection
INSPECTION; INSPECTION REPORT 05000454/2015008; 05000455/2015008  
was to verify that design bases have been correctly implemented for the selected risk-significant
AND NOTICE OF VIOLATION
components, and that operating procedures and operator actions are consistent with design and
Dear Mr. Hanson:  
licensing bases. The enclosed report documents the results of this inspection, which were
On June 16, 2015, the U.S. Nuclear Regulatory Commission (NRC) completed a Component  
discussed on June 16, 2015, with Mr. B. Currier, and other members of your staff.
Design Bases Inspection at your Byron Station, Units 1 and 2. The purpose of this inspection  
This inspection examined activities conducted under your license as they relate to public
was to verify that design bases have been correctly implemented for the selected risk-significant  
health and safety to confirm compliance with the Commissions rules and regulations, and
components, and that operating procedures and operator actions are consistent with design and  
with the conditions in your license. Within these areas, the inspection consisted of a selected
licensing bases. The enclosed report documents the results of this inspection, which were  
examination of procedures and representative records, field observations, and interviews with
discussed on June 16, 2015, with Mr. B. Currier, and other members of your staff.  
personnel.
This inspection examined activities conducted under your license as they relate to public  
Based on the results of this inspection, the NRC has identified an issue that was evaluated
health and safety to confirm compliance with the Commissions rules and regulations, and  
under the risk Significance Determination Process as having very-low safety significance
with the conditions in your license. Within these areas, the inspection consisted of a selected  
(Green). The NRC has also determined that a violation is associated with this issue. This
examination of procedures and representative records, field observations, and interviews with  
violation was evaluated in accordance with the NRC Enforcement Policy. The current
personnel.  
Enforcement Policy is included on the NRCs web site at http://www.nrc.gov/about-nrc/
Based on the results of this inspection, the NRC has identified an issue that was evaluated  
regulatory/enforcement/enforce-pol.html.
under the risk Significance Determination Process as having very-low safety significance  
(Green). The NRC has also determined that a violation is associated with this issue. This  
violation was evaluated in accordance with the NRC Enforcement Policy. The current  
Enforcement Policy is included on the NRCs web site at http://www.nrc.gov/about-nrc/  
regulatory/enforcement/enforce-pol.html.


B. Hanson                                     -2-
B. Hanson  
The violation is cited in the enclosed Notice of Violation (Notice), and the circumstances
-2-  
surrounding it are described in detail in the subject inspection report. The violation is being
The violation is cited in the enclosed Notice of Violation (Notice), and the circumstances  
cited in the Notice because Byron Station, Units 1 and 2, failed to restore compliance and failed
surrounding it are described in detail in the subject inspection report. The violation is being  
to have objective plans to restore compliance in a reasonable period following the NRC
cited in the Notice because Byron Station, Units 1 and 2, failed to restore compliance and failed  
identification of an associated Non-Cited Violation (NCV) on June 15, 2012. The associated
to have objective plans to restore compliance in a reasonable period following the NRC  
NCV was documented in Inspection Report 05000454/2012007; 05000455/2012007.
identification of an associated Non-Cited Violation (NCV) on June 15, 2012. The associated  
You are required to respond to this letter, and should follow the instructions specified in the
NCV was documented in Inspection Report 05000454/2012007; 05000455/2012007.  
enclosed Notice when preparing your response. If you have additional information that you
You are required to respond to this letter, and should follow the instructions specified in the  
believe the NRC should consider, you may provide it in your response to the Notice. The NRC
enclosed Notice when preparing your response. If you have additional information that you  
review of your response to the Notice will also determine whether further enforcement action is
believe the NRC should consider, you may provide it in your response to the Notice. The NRC  
necessary to ensure compliance with regulatory requirements.
review of your response to the Notice will also determine whether further enforcement action is  
Based on the results of this inspection, the NRC has also determined that six additional
necessary to ensure compliance with regulatory requirements.  
NRC-identified findings of very-low safety significance (Green) were identified. The findings
Based on the results of this inspection, the NRC has also determined that six additional  
involved violations of NRC requirements. However, because of their very-low safety
NRC-identified findings of very-low safety significance (Green) were identified. The findings  
significance, and because the issues were entered into your Corrective Action Program, the
involved violations of NRC requirements. However, because of their very-low safety  
NRC is treating the issues as NCVs in accordance with Section 2.3.2 of the NRC Enforcement
significance, and because the issues were entered into your Corrective Action Program, the  
Policy. These NCVs are described in the subject inspection report.
NRC is treating the issues as NCVs in accordance with Section 2.3.2 of the NRC Enforcement  
If you contest the subject or severity of the Non-Cited-Violation, you should provide a response
Policy. These NCVs are described in the subject inspection report.  
within 30 days of the date of this inspection report, with the basis for your denial, to the
If you contest the subject or severity of the Non-Cited-Violation, you should provide a response  
U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC
within 30 days of the date of this inspection report, with the basis for your denial, to the  
20555-0001, with copies to the Regional Administrator, Region III; the Director, Office of
U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC  
Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the
20555-0001, with copies to the Regional Administrator, Region III; the Director, Office of  
NRC Resident Inspector at the Byron Station.
Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the  
In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report,
NRC Resident Inspector at the Byron Station.  
you should provide a response within 30 days of the date of this inspection report, with the basis
In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report,  
for your disagreement, to the Regional Administrator, Region III, and the NRC Resident
you should provide a response within 30 days of the date of this inspection report, with the basis  
for your disagreement, to the Regional Administrator, Region III, and the NRC Resident  
Inspector at the Byron Station.
Inspector at the Byron Station.


B. Hanson                                     -3-
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public
Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy
B. Hanson  
of this letter, its enclosure, and your response (if any) will be available electronically for public
-3-  
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public  
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy  
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html
of this letter, its enclosure, and your response (if any) will be available electronically for public  
(the Public Electronic Reading Room).
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)  
                                              Sincerely,
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
                                              /RA/
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html  
                                              Christine A. Lipa, Chief
(the Public Electronic Reading Room).  
                                              Engineering Branch 2
Sincerely,  
                                              Division of Reactor Safety
Docket Nos. 50-454; 50-455
/RA/  
License Nos. NPF-37; NPF-66
Enclosures:
  (1) Notice of Violation
Christine A. Lipa, Chief  
  (2) IR 05000454/2015008; 05000455/2015008;
Engineering Branch 2  
cc w/encl: Distribution via LISTSERV
Division of Reactor Safety  
Docket Nos. 50-454; 50-455  
License Nos. NPF-37; NPF-66  
Enclosures:  
(1) Notice of Violation  
(2) IR 05000454/2015008; 05000455/2015008;  
cc w/encl: Distribution via LISTSERV  


                                      NOTICE OF VIOLATION
NOTICE OF VIOLATION  
Exelon Generation Company, LLC                                         Docket No. 50-454; 50-455
Enclosure 1
Byron Station, Units 1 and 2                                           License No. NPF-37; NPF-66
Exelon Generation Company, LLC  
During an U.S. Nuclear Regulatory Commission (NRC) inspection conducted from
April 20, 2015, through May 22, 2015, a violation of NRC requirements was identified.
Docket No. 50-454; 50-455  
In accordance with the NRC Enforcement Policy, the violation is listed below:
Byron Station, Units 1 and 2  
        Title 10, Code of Federal Regulations (CFR), Part 50, Appendix B, Criterion XVI,
        Corrective Action, states, in part, that measures shall be established to assure that
License No. NPF-37; NPF-66  
        conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations,
During an U.S. Nuclear Regulatory Commission (NRC) inspection conducted from  
        defective material and equipment, and non-conformances are promptly identified and
April 20, 2015, through May 22, 2015, a violation of NRC requirements was identified.
        corrected.
In accordance with the NRC Enforcement Policy, the violation is listed below:
        Contrary to the above, from June 15, 2012, to May 22, 2015, the licensee failed to
Title 10, Code of Federal Regulations (CFR), Part 50, Appendix B, Criterion XVI,  
        correct a condition adverse to quality (CAQ). Specifically, on June 15, 2012, the
Corrective Action, states, in part, that measures shall be established to assure that  
        NRC issued a Non-Cited Violation 05000454/2012007-05; 05000455/2012007-05 for the
conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations,  
        failure to provide means to detect and isolate a leak in the emergency core cooling
defective material and equipment, and non-conformances are promptly identified and  
        system within 30 minutes for Byron Station, Units 1 and 2, as described in
corrected.  
        Section 6.3.2.5 of the Updated Final Safety Analysis Report which is a CAQ. As of
Contrary to the above, from June 15, 2012, to May 22, 2015, the licensee failed to  
        May 22, 2015, the licensee had not corrected the CAQ in a reasonable time period.
correct a condition adverse to quality (CAQ). Specifically, on June 15, 2012, the  
        Instead, the licensee created action tracking items to develop a plan to correct the
NRC issued a Non-Cited Violation 05000454/2012007-05; 05000455/2012007-05 for the  
        CAQ, and the associated due date was extended at least eight times.
failure to provide means to detect and isolate a leak in the emergency core cooling  
This violation is associated with a Green Significance Determination Process finding.
system within 30 minutes for Byron Station, Units 1 and 2, as described in  
Pursuant to the provisions of 10 CFR 2.201, Exelon Generation Company, LLC, is hereby
Section 6.3.2.5 of the Updated Final Safety Analysis Report which is a CAQ. As of  
required to submit a written statement or explanation to the U.S. Nuclear Regulatory
May 22, 2015, the licensee had not corrected the CAQ in a reasonable time period.
Commission, ATTN: Document Control Desk, Washington, DC 20555-0001, with a copy to
Instead, the licensee created action tracking items to develop a plan to correct the  
the Regional Administrator, Region III; and the NRC Resident Inspector at the Byron Station,
CAQ, and the associated due date was extended at least eight times.  
Units 1 and 2, within 30 days of the date of the letter transmitting this Notice. This reply
This violation is associated with a Green Significance Determination Process finding.  
should be clearly marked as a Reply to a Notice of Violation; VIO 05000454/2015008-09;
Pursuant to the provisions of 10 CFR 2.201, Exelon Generation Company, LLC, is hereby  
05000455/2015008-09, and should include for each violation: (1) the reason for the violation,
required to submit a written statement or explanation to the U.S. Nuclear Regulatory  
or, if contested, the basis for disputing the violation or severity level; (2) the corrective steps that
Commission, ATTN: Document Control Desk, Washington, DC 20555-0001, with a copy to  
have been taken and the results achieved; (3) the corrective steps that will be taken; and (4) the
the Regional Administrator, Region III; and the NRC Resident Inspector at the Byron Station,  
date when full compliance will be achieved. Your response may reference or include previous
Units 1 and 2, within 30 days of the date of the letter transmitting this Notice. This reply  
docketed correspondence, if the correspondence adequately addresses the required response.
should be clearly marked as a Reply to a Notice of Violation; VIO 05000454/2015008-09;  
If an adequate reply is not received within the time specified in this Notice, an order or a
05000455/2015008-09, and should include for each violation: (1) the reason for the violation,  
Demand for Information may be issued as to why the license should not be modified,
or, if contested, the basis for disputing the violation or severity level; (2) the corrective steps that  
suspended, or revoked, or why such other action as may be proper should not be taken.
have been taken and the results achieved; (3) the corrective steps that will be taken; and (4) the  
Where good cause is shown, consideration will be given to extending the response time.
date when full compliance will be achieved. Your response may reference or include previous  
If you contest this enforcement action, you should also provide a copy of your response, with
docketed correspondence, if the correspondence adequately addresses the required response.
the basis for your denial, to the Director, Office of Enforcement, United States Nuclear
If an adequate reply is not received within the time specified in this Notice, an order or a  
Regulatory Commission, Washington, DC 20555-0001.
Demand for Information may be issued as to why the license should not be modified,  
                                                                                            Enclosure 1
suspended, or revoked, or why such other action as may be proper should not be taken.
Where good cause is shown, consideration will be given to extending the response time.  
If you contest this enforcement action, you should also provide a copy of your response, with  
the basis for your denial, to the Director, Office of Enforcement, United States Nuclear  
Regulatory Commission, Washington, DC 20555-0001.


Because your response will be made available electronically for public inspection in the
NRC Public Document Room or from ADAMS, accessible from the NRC Web site at
2
http://www.nrc.gov/reading-rm/adams.html, to the extent possible, it should not include any
Because your response will be made available electronically for public inspection in the  
personal privacy, proprietary, or safeguards information so that it can be made available to the
NRC Public Document Room or from ADAMS, accessible from the NRC Web site at  
public without redaction. If personal privacy or proprietary information is necessary to provide
http://www.nrc.gov/reading-rm/adams.html, to the extent possible, it should not include any  
an acceptable response, then please provide a bracketed copy of your response that identifies
personal privacy, proprietary, or safeguards information so that it can be made available to the  
the information that should be protected and a redacted copy of your response that deletes
public without redaction. If personal privacy or proprietary information is necessary to provide  
such information. If you request withholding of such material, you must specifically identify the
an acceptable response, then please provide a bracketed copy of your response that identifies  
portions of your response that you seek to have withheld and provide in detail the bases for your
the information that should be protected and a redacted copy of your response that deletes  
claim of withholding (e.g., explain why the disclosure of information will create an unwarranted
such information. If you request withholding of such material, you must specifically identify the  
invasion of personal privacy or provide the information required by 10 CFR 2.390(b) to support
portions of your response that you seek to have withheld and provide in detail the bases for your  
a request for withholding confidential commercial or financial information). If safeguards
claim of withholding (e.g., explain why the disclosure of information will create an unwarranted  
information is necessary to provide an acceptable response, please provide the level of
invasion of personal privacy or provide the information required by 10 CFR 2.390(b) to support  
protection described in 10 CFR 73.21.
a request for withholding confidential commercial or financial information). If safeguards  
In accordance with 10 CFR 19.11, you may be required to post this Notice within two working
information is necessary to provide an acceptable response, please provide the level of  
days of receipt.
protection described in 10 CFR 73.21.  
Dated this 21 day of July, 2015.
In accordance with 10 CFR 19.11, you may be required to post this Notice within two working  
                                                2
days of receipt.
Dated this 21 day of July, 2015.  


          U.S. NUCLEAR REGULATORY COMMISSION
                          REGION III
Enclosure 2
Docket No:         50-454; 50-455
U.S. NUCLEAR REGULATORY COMMISSION  
License No:         NPF-37; NPF-66
REGION III  
Report No:         05000454/2015008; 05000455/2015008
Docket No:  
Licensee:           Exelon Generation Company, LLC
50-454; 50-455  
Facility:           Byron Station, Units 1 and 2
License No:  
Location:           Byron, IL
NPF-37; NPF-66  
Dates:             April 20, 2015, through June 16, 2015
Report No:  
Inspectors:         N. Féliz Adorno, Senior Reactor Inspector, Lead
05000454/2015008; 05000455/2015008  
                    B. Palagi, Senior Operations Engineer
Licensee:  
                    D. Betancourt Roldán, Reactor Inspector, Mechanical
Exelon Generation Company, LLC  
                    M. Jones, Reactor Inspector, Mechanical
Facility:  
                    A. Greca, Electrical Contractor
Byron Station, Units 1 and 2  
                    J. Leivo, Electrical Contractor
Location:  
Approved by:       Christine A. Lipa, Chief
Byron, IL  
                    Engineering Branch 2
Dates:  
                    Division of Reactor Safety
April 20, 2015, through June 16, 2015  
                                                                  Enclosure 2
Inspectors:  
N. Féliz Adorno, Senior Reactor Inspector, Lead  
B. Palagi, Senior Operations Engineer  
D. Betancourt Roldán, Reactor Inspector, Mechanical  
M. Jones, Reactor Inspector, Mechanical  
A. Greca, Electrical Contractor  
J. Leivo, Electrical Contractor  
Approved by:  
Christine A. Lipa, Chief  
Engineering Branch 2  
Division of Reactor Safety  


SUMMARY ................................................................................................................................ 2
REPORT DETAILS .................................................................................................................... 7
  1. REACTOR SAFETY ....................................................................................................... 7
      1R21 Component Design Bases Inspection (71111.21) ............................................... 7
SUMMARY ................................................................................................................................ 2  
  4. OTHER ACTIVITIES .....................................................................................................29
REPORT DETAILS .................................................................................................................... 7  
      4OA2 Identification and Resolution of Problems ..........................................................29
1. REACTOR SAFETY ....................................................................................................... 7  
      4OA6 Management Meetings ......................................................................................38
1R21 Component Design Bases Inspection (71111.21) ............................................... 7  
SUPPLEMENTAL INFORMATION............................................................................................. 2
4. OTHER ACTIVITIES .....................................................................................................29  
  KEY POINTS OF CONTACT .............................................................................................. 2
4OA2 Identification and Resolution of Problems ..........................................................29  
  LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED ................................................... 2
4OA6 Management Meetings ......................................................................................38  
  LIST OF DOCUMENTS REVIEWED .................................................................................. 3
SUPPLEMENTAL INFORMATION ............................................................................................. 2  
  LIST OF ACRONYMS USED .............................................................................................19
KEY POINTS OF CONTACT .............................................................................................. 2  
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED ................................................... 2  
LIST OF DOCUMENTS REVIEWED .................................................................................. 3  
LIST OF ACRONYMS USED .............................................................................................19  


                                            SUMMARY
Inspection Report 05000454/2015008; 05000455/2015008, 4/20/2015 - 6/16/2015; Byron
2
Station, Units 1 and 2; Component Design Bases Inspection.
SUMMARY  
The inspection was a 3-week on-site baseline inspection that focused on the design of
Inspection Report 05000454/2015008; 05000455/2015008, 4/20/2015 - 6/16/2015; Byron  
components. The inspection was conducted by four regional engineering inspectors, and
Station, Units 1 and 2; Component Design Bases Inspection.  
two consultants. Seven Green findings were identified by the team. Six of these findings were
The inspection was a 3-week on-site baseline inspection that focused on the design of  
considered Non-Cited Violations of U.S. Nuclear Regulatory Commission (NRC) regulations
components. The inspection was conducted by four regional engineering inspectors, and  
while one of these findings was considered a Notice of Violation of NRC regulations. The
two consultants. Seven Green findings were identified by the team. Six of these findings were  
significance of inspection findings is indicated by their color (i.e., greater than Green, or
considered Non-Cited Violations of U.S. Nuclear Regulatory Commission (NRC) regulations  
Green, White, Yellow, Red), and determined using Inspection Manual Chapter (IMC) 0609,
while one of these findings was considered a Notice of Violation of NRC regulations. The  
Significance Determination Process, dated April 29, 2015. Cross-cutting aspects are
significance of inspection findings is indicated by their color (i.e., greater than Green, or  
determined using IMC 0310, Aspects Within the Cross-Cutting Areas effective date
Green, White, Yellow, Red), and determined using Inspection Manual Chapter (IMC) 0609,  
December 4, 2014. All violations of NRC requirements are dispositioned in accordance with
Significance Determination Process, dated April 29, 2015. Cross-cutting aspects are  
the NRCs Enforcement Policy, dated July 9, 2013. The NRC's program for overseeing the
determined using IMC 0310, Aspects Within the Cross-Cutting Areas effective date  
safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor
December 4, 2014. All violations of NRC requirements are dispositioned in accordance with  
Oversight Process, Revision 5, dated February 2014.
the NRCs Enforcement Policy, dated July 9, 2013. The NRC's program for overseeing the  
        NRC-Identified and Self-Revealing Findings
safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor  
        Cornerstone: Mitigating Systems
Oversight Process, Revision 5, dated February 2014.  
    *   Green: The team identified a finding of very-low safety significance (Green), and an
NRC-Identified and Self-Revealing Findings  
        associated cited violation of Title 10, Code of Federal Regulations (CFR), Part 50,
Cornerstone: Mitigating Systems  
        Appendix B, Criterion XVI, Corrective Actions, for the failure to correct a Condition
*  
        Adverse to Quality (CAQ). Specifically, on June 15, 2012, the U.S. Nuclear Regulatory
Green: The team identified a finding of very-low safety significance (Green), and an  
        Commission (NRC) issued a Non-Cited Violation (NCV) for the failure to provide means
associated cited violation of Title 10, Code of Federal Regulations (CFR), Part 50,  
        to detect and isolate a leak in the Emergency Core Cooling System (ECCS) within
Appendix B, Criterion XVI, Corrective Actions, for the failure to correct a Condition  
        30 minutes as described in the Updated Final Safety Analysis Report (UFSAR), which
Adverse to Quality (CAQ). Specifically, on June 15, 2012, the U.S. Nuclear Regulatory  
        is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ. This violation
Commission (NRC) issued a Non-Cited Violation (NCV) for the failure to provide means  
        is being cited because the licensee had not restored compliance, or demonstrated
to detect and isolate a leak in the Emergency Core Cooling System (ECCS) within  
        objective evidence of plans to restore compliance in a reasonable period following the
30 minutes as described in the Updated Final Safety Analysis Report (UFSAR), which  
        identification of the CAQ. The licensee captured this finding into their Corrective Action
is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ. This violation  
        Program (CAP) to promptly restore compliance.
is being cited because the licensee had not restored compliance, or demonstrated  
        The performance deficiency was determined to be more than minor because it was
objective evidence of plans to restore compliance in a reasonable period following the  
        associated with the Mitigating Systems cornerstone attribute of procedure quality, and
identification of the CAQ. The licensee captured this finding into their Corrective Action  
        affected the cornerstone objective of ensuring the availability, reliability, and capability of
Program (CAP) to promptly restore compliance.  
        mitigating systems to respond to initiating events to prevent undesirable consequences.
The performance deficiency was determined to be more than minor because it was  
        In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure
associated with the Mitigating Systems cornerstone attribute of procedure quality, and  
        quality, and affected the cornerstone objective of providing reasonable assurance that
affected the cornerstone objective of ensuring the availability, reliability, and capability of  
        physical design barriers protect the public from radionuclide releases caused by
mitigating systems to respond to initiating events to prevent undesirable consequences.
        accidents or events. The finding screened as very-low safety significance (Green)
In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure  
        because it did not result in the loss of operability or functionality, and it did not represent
quality, and affected the cornerstone objective of providing reasonable assurance that  
        an actual pathway in the physical integrity of reactor containment. Specifically, the
physical design barriers protect the public from radionuclide releases caused by  
        licensee reasonably demonstrated that an ECCS leak could be detected and isolated
accidents or events. The finding screened as very-low safety significance (Green)  
        before it could adversely affect long-term cooling of the plant. The team determined that
because it did not result in the loss of operability or functionality, and it did not represent  
        the associated finding had a cross-cutting aspect in the area of human performance
an actual pathway in the physical integrity of reactor containment. Specifically, the  
        because the licensee did not use a consistent and systematic approach to make
licensee reasonably demonstrated that an ECCS leak could be detected and isolated  
        decisions. Specifically, the creation and management of the associated corrective action
before it could adversely affect long-term cooling of the plant. The team determined that  
        assignments were not consistent with the instructions contained in their CAP procedure.
the associated finding had a cross-cutting aspect in the area of human performance  
        [H.13] (Section 4OA2.1.b(1))
because the licensee did not use a consistent and systematic approach to make  
                                                  2
decisions. Specifically, the creation and management of the associated corrective action  
assignments were not consistent with the instructions contained in their CAP procedure.
[H.13] (Section 4OA2.1.b(1))


* Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),
  Changes, Tests, and Experiments, and an associated finding of very-low safety
3
  significance (Green) for the licensees failure to perform a written safety evaluation that
*  
  provided the bases for the determination that a change which resulted in the sharing of
Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),  
  the refueling water storage tanks (RWSTs) of both reactor units did not require a license
Changes, Tests, and Experiments, and an associated finding of very-low safety  
  amendment. Specifically, the licensee did not evaluate the adverse effect of reducing
significance (Green) for the licensees failure to perform a written safety evaluation that  
  reactor unit independence. The licensee captured this issue into their CAP with a
provided the bases for the determination that a change which resulted in the sharing of  
  proposed action to revise the associated calculation to remove the dependence on the
the refueling water storage tanks (RWSTs) of both reactor units did not require a license  
  opposite unit, and/or review the implications of crediting the opposite unit RWST under
amendment. Specifically, the licensee did not evaluate the adverse effect of reducing  
  their 10 CFR 50.59 process.
reactor unit independence. The licensee captured this issue into their CAP with a  
  The performance deficiency was more than minor because it was associated with the
proposed action to revise the associated calculation to remove the dependence on the  
  Mitigating Systems cornerstone attribute of design control, and affected the cornerstone
opposite unit, and/or review the implications of crediting the opposite unit RWST under  
  objective of ensuring the availability, reliability, and capability of mitigating systems to
their 10 CFR 50.59 process.  
  respond to initiating events to prevent undesirable consequences. In addition, it was
The performance deficiency was more than minor because it was associated with the  
  associated with the Barrier Integrity cornerstone attribute of design control, and affected
Mitigating Systems cornerstone attribute of design control, and affected the cornerstone  
  the cornerstone objective of providing reasonable assurance that physical design
objective of ensuring the availability, reliability, and capability of mitigating systems to  
  barriers protect the public from radionuclide releases caused by accidents or events.
respond to initiating events to prevent undesirable consequences. In addition, it was  
  In addition, the associated traditional enforcement violation was more than minor
associated with the Barrier Integrity cornerstone attribute of design control, and affected  
  because the team could not reasonably determine that the changes would not have
the cornerstone objective of providing reasonable assurance that physical design  
  ultimately required NRC prior approval. The finding screened as very-low safety
barriers protect the public from radionuclide releases caused by accidents or events.
  significance (Green) because it did not result in the loss of operability or functionality,
In addition, the associated traditional enforcement violation was more than minor  
  and it did not represent an actual open pathway in the physical integrity of the reactor
because the team could not reasonably determine that the changes would not have  
  containment. Specifically, the licensee reviewed the affected calculation and reasonably
ultimately required NRC prior approval. The finding screened as very-low safety  
  determined that enough conservatism existed such that adequate net positive suction
significance (Green) because it did not result in the loss of operability or functionality,  
  head (NPSH) could be maintained without sharing the RWSTs of both reactor units.
and it did not represent an actual open pathway in the physical integrity of the reactor  
  The team did not identify a cross-cutting aspect associated with this finding because it
containment. Specifically, the licensee reviewed the affected calculation and reasonably  
  was confirmed not to be reflective of current performance due to the age of the
determined that enough conservatism existed such that adequate net positive suction  
  performance deficiency. (Section 1R21.5.b(1))
head (NPSH) could be maintained without sharing the RWSTs of both reactor units.
* Green. The team identified a finding of very-low safety significance (Green), and an
The team did not identify a cross-cutting aspect associated with this finding because it  
  associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the
was confirmed not to be reflective of current performance due to the age of the  
  licensees failure to translate applicable design basis into Technical Specifications (TSs)
performance deficiency. (Section 1R21.5.b(1))  
  Surveillance Requirement 3.5.4.2 implementing procedures. Specifically, these
*  
  procedures did not verify the RWST vent line was free of ice blockage at the locations,
Green. The team identified a finding of very-low safety significance (Green), and an  
  and during all applicable MODEs of reactor operation assumed by the ECCS and
associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the  
  containment spray (CS) pump NPSH calculation. The licensee captured this issue into
licensees failure to translate applicable design basis into Technical Specifications (TSs)  
  their CAP to reconcile the affected procedures and calculation.
Surveillance Requirement 3.5.4.2 implementing procedures. Specifically, these  
  The performance deficiency was determined to be more than minor because it was
procedures did not verify the RWST vent line was free of ice blockage at the locations,  
  associated with the Mitigating Systems cornerstone attribute of design control, and
and during all applicable MODEs of reactor operation assumed by the ECCS and  
  affected the cornerstone objective of ensuring the availability, reliability, and capability of
containment spray (CS) pump NPSH calculation. The licensee captured this issue into  
  mitigating systems to respond to initiating events to prevent undesirable consequences.
their CAP to reconcile the affected procedures and calculation.  
  Additionally, it was associated with the Barrier Integrity cornerstone attribute of design
The performance deficiency was determined to be more than minor because it was  
  control, and affected the cornerstone objective of providing reasonable assurance that
associated with the Mitigating Systems cornerstone attribute of design control, and  
  physical design barriers protect the public from radionuclide releases caused by
affected the cornerstone objective of ensuring the availability, reliability, and capability of  
  accidents or events. The finding screened as very-low safety significance (Green)
mitigating systems to respond to initiating events to prevent undesirable consequences.
  because it did not result in the loss of operability or functionality, and it did not represent
Additionally, it was associated with the Barrier Integrity cornerstone attribute of design  
  an actual open pathway in the physical integrity of reactor containment. Specifically, the
control, and affected the cornerstone objective of providing reasonable assurance that  
  licensee performed a historical review of the last 3 years of operation, and did not find
physical design barriers protect the public from radionuclide releases caused by  
  any instances in which the vent path temperature fell below 35 degrees Fahrenheit.
accidents or events. The finding screened as very-low safety significance (Green)  
                                              3
because it did not result in the loss of operability or functionality, and it did not represent  
an actual open pathway in the physical integrity of reactor containment. Specifically, the  
licensee performed a historical review of the last 3 years of operation, and did not find  
any instances in which the vent path temperature fell below 35 degrees Fahrenheit.


  The inspectors did not identify a cross-cutting aspect associated with this finding
  because it was confirmed not to be reflective of current performance due to the age
4
  of the performance deficiency. (Section 1R21.5.b(2))
The inspectors did not identify a cross-cutting aspect associated with this finding  
* Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),
because it was confirmed not to be reflective of current performance due to the age  
  Changes, Tests, and Experiments, and an associated finding of very-low safety
of the performance deficiency. (Section 1R21.5.b(2))  
  significance (Green) for the licensees failure to perform a written evaluation that
*  
  provided the bases for the determination that the changes to the emergency service
Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),  
  water cooling tower (SXCT) tornado analysis as described in the UFSAR did not require
Changes, Tests, and Experiments, and an associated finding of very-low safety  
  a license amendment. Specifically, the associated 10 CFR 50.59 Evaluation did not
significance (Green) for the licensees failure to perform a written evaluation that  
  address the introduction of a new failure mode, the resulting loss of heat removal
provided the bases for the determination that the changes to the emergency service  
  capacity during worst postulated conditions, and addition of operator actions that have
water cooling tower (SXCT) tornado analysis as described in the UFSAR did not require  
  not been demonstrated can be completed within the required time to restore the required
a license amendment. Specifically, the associated 10 CFR 50.59 Evaluation did not  
  SXCT heat removal capacity during worst case conditions. The licensee captured this
address the introduction of a new failure mode, the resulting loss of heat removal  
  issue in their CAP with a proposed action to revise the 10 CFR 50.59 Evaluation and
capacity during worst postulated conditions, and addition of operator actions that have  
  submit a Licensee Amendment Request.
not been demonstrated can be completed within the required time to restore the required  
  The performance deficiency was determined to be more than minor because it was
SXCT heat removal capacity during worst case conditions. The licensee captured this  
  associated with the Mitigating Systems cornerstone attribute of protection against
issue in their CAP with a proposed action to revise the 10 CFR 50.59 Evaluation and  
  external events, and affected the cornerstone objective of ensuring the availability,
submit a Licensee Amendment Request.  
  reliability, and capability of mitigating systems to respond to initiating events to prevent
The performance deficiency was determined to be more than minor because it was  
  undesirable consequences. In addition, the associated tradition enforcement violation
associated with the Mitigating Systems cornerstone attribute of protection against  
  was determined to be more than minor because the team could not reasonably
external events, and affected the cornerstone objective of ensuring the availability,  
  determine that the changes would not have ultimately required prior NRC approval.
reliability, and capability of mitigating systems to respond to initiating events to prevent  
  The finding screened as of very-low safety significance (Green) using a detailed
undesirable consequences. In addition, the associated tradition enforcement violation  
  evaluation because a loss of SXCT during a tornado event would degrade one or more
was determined to be more than minor because the team could not reasonably  
  trains of a system that supports a risk-significant system or function. The bounding
determine that the changes would not have ultimately required prior NRC approval.
  change to the core damage frequency was less than 5.4E-8/year. The team did not
The finding screened as of very-low safety significance (Green) using a detailed  
  identify a cross-cutting aspect associated with this finding because the finding was not
evaluation because a loss of SXCT during a tornado event would degrade one or more  
  representative of current performance due to the age of the performance deficiency.
trains of a system that supports a risk-significant system or function. The bounding  
  (Section 1R21.5.b(3))
change to the core damage frequency was less than 5.4E-8/year. The team did not  
* Green. The team identified a finding of very-low safety significance and an associated
identify a cross-cutting aspect associated with this finding because the finding was not  
  NCV of TS 5.4, Procedures, for the failure to maintain emergency operating
representative of current performance due to the age of the performance deficiency.
  procedures (EOPs) for transfer to cold leg recirculation. Specifically, the EOPs for
(Section 1R21.5.b(3))  
  transfer to cold leg recirculation did not contain instructions for transferring the ECCS
*  
  and CS systems to the recirculation mode that ensured prevention of potential pump
Green. The team identified a finding of very-low safety significance and an associated  
  damage when the RWST is emptied. The licensee captured this finding into their CAP
NCV of TS 5.4, Procedures, for the failure to maintain emergency operating  
  to create a standing order instructing operators to secure all pumps aligned to the RWST
procedures (EOPs) for transfer to cold leg recirculation. Specifically, the EOPs for  
  when it is emptied, and implement long term corrective actions to restore compliance.
transfer to cold leg recirculation did not contain instructions for transferring the ECCS  
  The performance deficiency was determined to be more than minor because it was
and CS systems to the recirculation mode that ensured prevention of potential pump  
  associated with the Mitigating Systems cornerstone attribute of procedure quality, and
damage when the RWST is emptied. The licensee captured this finding into their CAP  
  affected the cornerstone objective of ensuring the availability, reliability, and capability of
to create a standing order instructing operators to secure all pumps aligned to the RWST  
  mitigating systems to respond to initiating events to prevent undesirable consequences.
when it is emptied, and implement long term corrective actions to restore compliance.  
  In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure
The performance deficiency was determined to be more than minor because it was  
  quality, and affected the cornerstone objective of providing reasonable assurance that
associated with the Mitigating Systems cornerstone attribute of procedure quality, and  
  physical design barriers protect the public from radionuclide releases caused by
affected the cornerstone objective of ensuring the availability, reliability, and capability of  
  accidents or events. The finding screened as of very-low safety significance (Green)
mitigating systems to respond to initiating events to prevent undesirable consequences.
  because it did not result in the loss of operability or functionality of mitigating systems,
In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure  
  represent an actual open pathway in the physical integrity of reactor containment, and
quality, and affected the cornerstone objective of providing reasonable assurance that  
                                              4
physical design barriers protect the public from radionuclide releases caused by  
accidents or events. The finding screened as of very-low safety significance (Green)  
because it did not result in the loss of operability or functionality of mitigating systems,  
represent an actual open pathway in the physical integrity of reactor containment, and  


  involved an actual reduction in function of hydrogen igniters in the reactor containment.
  Specifically, the incorrect caution would only be used in the event that transfer to sump
5
  recirculation was not completed prior to reaching tank low-level, or if the RWST suction
involved an actual reduction in function of hydrogen igniters in the reactor containment.
  isolation valves fail to close. With respect to transfer to sump recirculation prior to
Specifically, the incorrect caution would only be used in the event that transfer to sump  
  reaching tank low-level, a review of simulator test results reasonably determined that
recirculation was not completed prior to reaching tank low-level, or if the RWST suction  
  operators reliably complete the transfer to sump recirculation prior to reaching this set
isolation valves fail to close. With respect to transfer to sump recirculation prior to  
  point. With respect to the failure of the RWST suction isolation valves, a review of
reaching tank low-level, a review of simulator test results reasonably determined that  
  quarterly test results reasonably determined the valves would have isolated the tank
operators reliably complete the transfer to sump recirculation prior to reaching this set  
  when required. The team did not identify a cross-cutting aspect associated with this
point. With respect to the failure of the RWST suction isolation valves, a review of  
  finding because it was not confirmed to reflect current performance due to the age of the
quarterly test results reasonably determined the valves would have isolated the tank  
  performance deficiency. (Section 1R21.6.b(1))
when required. The team did not identify a cross-cutting aspect associated with this  
* Green. The team identified a finding of very-low safety significance (Green), and an
finding because it was not confirmed to reflect current performance due to the age of the  
  associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,
performance deficiency. (Section 1R21.6.b(1))  
  and Drawings, for the failure to make an operability determination without relying on the
*  
  use of probabilistic tools. Specifically, an operability evaluation for an SXCT degraded
Green. The team identified a finding of very-low safety significance (Green), and an  
  condition used probabilities of occurrence of tornado events which was contrary to the
associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,  
  requirements of the licensee procedure established for assessing operability of
and Drawings, for the failure to make an operability determination without relying on the  
  structures, systems, and components (SSCs). The licensee captured the teams
use of probabilistic tools. Specifically, an operability evaluation for an SXCT degraded  
  concern in their CAP to revise the affected operability evaluation without using
condition used probabilities of occurrence of tornado events which was contrary to the  
  probability of occurrence of tornado events.
requirements of the licensee procedure established for assessing operability of  
  The performance deficiency was more than minor because it was associated with the
structures, systems, and components (SSCs). The licensee captured the teams  
  Mitigating Systems cornerstone attribute of protection against external events, and
concern in their CAP to revise the affected operability evaluation without using  
  affected the cornerstone objective of ensuring the availability, reliability, and capability of
probability of occurrence of tornado events.  
  mitigating systems to respond to initiating events to prevent undesirable consequences.
The performance deficiency was more than minor because it was associated with the  
  The finding screened as of very-low safety significance (Green) using a detailed
Mitigating Systems cornerstone attribute of protection against external events, and  
  evaluation because a loss of SXCT during a tornado event would degrade one or more
affected the cornerstone objective of ensuring the availability, reliability, and capability of  
  trains of a system that supports a risk-significant system or function. The bounding
mitigating systems to respond to initiating events to prevent undesirable consequences.
  change to the core damage frequency was less than 5.4E-8/year. The team determined
The finding screened as of very-low safety significance (Green) using a detailed  
  that this finding had a cross-cutting aspect in the area of human performance because
evaluation because a loss of SXCT during a tornado event would degrade one or more  
  the licensee did not ensure knowledge transfer to maintain a knowledgeable and
trains of a system that supports a risk-significant system or function. The bounding  
  technically competent workforce. Specifically, the licensee did not ensure personnel
change to the core damage frequency was less than 5.4E-8/year. The team determined  
  were trained on the prohibition of the use of probabilities of occurrence of an event
that this finding had a cross-cutting aspect in the area of human performance because  
  when performing operability evaluations, which was contained in licensee procedure
the licensee did not ensure knowledge transfer to maintain a knowledgeable and  
  established for assessing operability of SSCs. [H.9] (Section 4OA2.1.b(3))
technically competent workforce. Specifically, the licensee did not ensure personnel  
  Cornerstone: Barrier Integrity
were trained on the prohibition of the use of probabilities of occurrence of an event  
* Green. The team identified a finding of very-low safety significance, and an associated
when performing operability evaluations, which was contained in licensee procedure  
  NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and
established for assessing operability of SSCs. [H.9] (Section 4OA2.1.b(3))  
  Drawings, for the failure to have procedures to maintain the accuracy within necessary
Cornerstone: Barrier Integrity  
  limits of the instrument loops used to verify compliance with the containment average
*  
  air temperature TS limit of 120 degrees Fahrenheit. Specifically, in 2007, the licensee
Green. The team identified a finding of very-low safety significance, and an associated  
  cancelled the periodic preventive maintenance (PM) intended to maintain the necessary
NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and  
  instrument loops accuracy. The licensee entered this issue into their CAP and
Drawings, for the failure to have procedures to maintain the accuracy within necessary  
  reasonably established that the 120 degrees Fahrenheit limit was not exceeded
limits of the instrument loops used to verify compliance with the containment average  
  by reviewing applicable historical records from 2002 to time of this inspection.
air temperature TS limit of 120 degrees Fahrenheit. Specifically, in 2007, the licensee  
                                            5
cancelled the periodic preventive maintenance (PM) intended to maintain the necessary  
instrument loops accuracy. The licensee entered this issue into their CAP and  
reasonably established that the 120 degrees Fahrenheit limit was not exceeded  
by reviewing applicable historical records from 2002 to time of this inspection.  


The performance deficiency was determined to be more than minor because it was
associated with the configuration control attribute of the Barrier Integrity Cornerstone,
6
and adversely affected the cornerstone objective to ensure that physical design barriers
The performance deficiency was determined to be more than minor because it was  
protect the public from radionuclide releases caused by accidents or events. The finding
associated with the configuration control attribute of the Barrier Integrity Cornerstone,  
screened as very-low safety significance (Green) because it did not represent an actual
and adversely affected the cornerstone objective to ensure that physical design barriers  
open pathway in the physical integrity of reactor containment or involved an actual
protect the public from radionuclide releases caused by accidents or events. The finding  
reduction in hydrogen igniter function. Specifically, the containment integrity remained
screened as very-low safety significance (Green) because it did not represent an actual  
intact and the finding did not impact the hydrogen igniter function. The team determined
open pathway in the physical integrity of reactor containment or involved an actual  
that this finding had a cross-cutting aspect in the area of problem identification and
reduction in hydrogen igniter function. Specifically, the containment integrity remained  
resolution because the licensee did not identify issues completely and accurately in
intact and the finding did not impact the hydrogen igniter function. The team determined  
accordance with the CAP. Specifically, on January 15, 2015, the licensee captured the
that this finding had a cross-cutting aspect in the area of problem identification and  
lack of periodic PM activities for the containment air temperature instrument loops in the
resolution because the licensee did not identify issues completely and accurately in  
CAP. However, the licensee failed to completely and accurately identify the issue in that
accordance with the CAP. Specifically, on January 15, 2015, the licensee captured the  
it was not treated as a CAQ. As a consequence, no corrective actions were
lack of periodic PM activities for the containment air temperature instrument loops in the  
implemented. [P.1] (Section 4OA2.1.b(2))
CAP. However, the licensee failed to completely and accurately identify the issue in that  
                                          6
it was not treated as a CAQ. As a consequence, no corrective actions were  
implemented. [P.1] (Section 4OA2.1.b(2))  


                                      REPORT DETAILS
1.   REACTOR SAFETY
7
    Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
REPORT DETAILS  
1R21 Component Design Bases Inspection (71111.21)
1.  
.1  Introduction
REACTOR SAFETY  
    The objective of the Component Design Bases Inspection (CDBI) is to verify that design
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity  
    bases have been correctly implemented for the selected risk-significant components,
1R21 Component Design Bases Inspection (71111.21)  
    and that operating procedures and operator actions are consistent with design and
.1  
    licensing bases. As plants age, their design bases may be difficult to determine, and
Introduction  
    an important design feature may be altered or disabled during a modification. The
The objective of the Component Design Bases Inspection (CDBI) is to verify that design  
    Probabilistic Risk Assessment (PRA) model assumes the capability of safety systems
bases have been correctly implemented for the selected risk-significant components,  
    and components to perform their intended safety function successfully. This inspectable
and that operating procedures and operator actions are consistent with design and  
    area verifies aspects of the Initiating Events, Mitigating Systems, and Barrier Integrity
licensing bases. As plants age, their design bases may be difficult to determine, and  
    cornerstones for which there are no indicators to measure performance.
an important design feature may be altered or disabled during a modification. The  
    Specific documents reviewed during the inspection are listed in the Attachment to the
Probabilistic Risk Assessment (PRA) model assumes the capability of safety systems  
    report.
and components to perform their intended safety function successfully. This inspectable  
.2 Inspection Sample Selection Process
area verifies aspects of the Initiating Events, Mitigating Systems, and Barrier Integrity  
    The team used information contained in the licensees PRA and the Byron Station,
cornerstones for which there are no indicators to measure performance.  
    Units 1 and 2, Standardized Plant Analysis Risk (SPAR) Model to identify two scenarios
Specific documents reviewed during the inspection are listed in the Attachment to the  
    to use as the basis for component selection. The scenarios selected were a feed and
report.  
    bleed of the reactor coolant system (RCS), and a loss of ultimate heat sink (UHS).
.2  
    Based on these scenarios, a number of risk-significant components, including those
Inspection Sample Selection Process  
    with Large Early Release Frequency (LERF) implications, were selected for the
The team used information contained in the licensees PRA and the Byron Station,  
    inspection.
Units 1 and 2, Standardized Plant Analysis Risk (SPAR) Model to identify two scenarios  
    The team also used additional component information such as a margin assessment
to use as the basis for component selection. The scenarios selected were a feed and  
    in the selection process. This design margin assessment considered original design
bleed of the reactor coolant system (RCS), and a loss of ultimate heat sink (UHS).
    margin reductions caused by design modification, power uprates, or reductions due to
Based on these scenarios, a number of risk-significant components, including those  
    degraded material condition. Equipment reliability issues were also considered in the
with Large Early Release Frequency (LERF) implications, were selected for the  
    selection of components for detailed review. These included items such as performance
inspection.  
    test results, significant corrective actions, repeated maintenance activities, Maintenance
The team also used additional component information such as a margin assessment  
    Rule (a)(1) status, components requiring an operability evaluation, U.S. Nuclear
in the selection process. This design margin assessment considered original design  
    Regulatory Commission (NRC) resident inspector input of problem areas/equipment,
margin reductions caused by design modification, power uprates, or reductions due to  
    and system health reports. Consideration was also given to the uniqueness and
degraded material condition. Equipment reliability issues were also considered in the  
    complexity of the design, operating experience, and the available defense in depth
selection of components for detailed review. These included items such as performance  
    margins. A summary of the reviews performed and the specific inspection findings
test results, significant corrective actions, repeated maintenance activities, Maintenance  
    identified are included in the following sections of the report.
Rule (a)(1) status, components requiring an operability evaluation, U.S. Nuclear  
    The team also identified procedures and modifications for review that were associated
Regulatory Commission (NRC) resident inspector input of problem areas/equipment,  
    with the selected components. In addition, the team selected operating experience
and system health reports. Consideration was also given to the uniqueness and  
    issues associated with the selected components.
complexity of the design, operating experience, and the available defense in depth  
                                                7
margins. A summary of the reviews performed and the specific inspection findings  
identified are included in the following sections of the report.  
The team also identified procedures and modifications for review that were associated  
with the selected components. In addition, the team selected operating experience  
issues associated with the selected components.  


    This inspection constituted 16 samples (12 components, of which 3 had LERF
    implications, and 4 operating experience) as defined in Inspection
8
    Procedure 71111.21-05.
This inspection constituted 16 samples (12 components, of which 3 had LERF  
.3   Component Design
implications, and 4 operating experience) as defined in Inspection  
  a. Inspection Scope
Procedure 71111.21-05.  
    The team reviewed the Updated Final Safety Analysis Report (UFSAR), Technical
.3  
    Specification (TS), design basis documents, drawings, calculations and other available
Component Design  
    design basis information, to determine the performance requirements of the selected
a.  
    components. The team used applicable industry standards, such as the American
Inspection Scope  
    Society of Mechanical Engineers Code, and Institute of Electrical and Electronics
The team reviewed the Updated Final Safety Analysis Report (UFSAR), Technical  
    Engineers Standards, to evaluate acceptability of the systems design. The NRC
Specification (TS), design basis documents, drawings, calculations and other available  
    also evaluated licensee actions, if any, taken in response to NRC issued operating
design basis information, to determine the performance requirements of the selected  
    experience, such as Information Notices (INs). The review verified that the selected
components. The team used applicable industry standards, such as the American  
    components would function as designed when required and support proper operation of
Society of Mechanical Engineers Code, and Institute of Electrical and Electronics  
    the associated systems. The attributes that were needed for a component to perform its
Engineers Standards, to evaluate acceptability of the systems design. The NRC  
    required function included process medium, energy sources, control systems, operator
also evaluated licensee actions, if any, taken in response to NRC issued operating  
    actions, and heat removal. The attributes to verify that the component condition and
experience, such as Information Notices (INs). The review verified that the selected  
    tested capability were consistent with the design bases and appropriate may have
components would function as designed when required and support proper operation of  
    included installed configuration, system operation, detailed design, system testing,
the associated systems. The attributes that were needed for a component to perform its  
    equipment and environmental qualification, equipment protection, component inputs
required function included process medium, energy sources, control systems, operator  
    and outputs, operating experience, and component degradation.
actions, and heat removal. The attributes to verify that the component condition and  
    For each of the components selected, the team reviewed the maintenance history, PM
tested capability were consistent with the design bases and appropriate may have  
    activities, system health reports, operating experience-related information, vendor
included installed configuration, system operation, detailed design, system testing,  
    manuals, electrical and mechanical drawings, and licensee corrective action documents.
equipment and environmental qualification, equipment protection, component inputs  
    Field walkdowns were conducted for all accessible components to assess material
and outputs, operating experience, and component degradation.  
    condition, including age-related degradation, and to verify that the as-built condition was
For each of the components selected, the team reviewed the maintenance history, PM  
    consistent with the design. Other attributes reviewed are included as part of the scope
activities, system health reports, operating experience-related information, vendor  
    for each individual component.
manuals, electrical and mechanical drawings, and licensee corrective action documents.
    The following 12 components (samples) were reviewed:
Field walkdowns were conducted for all accessible components to assess material  
    *       Safety Injection Pump (1SI01PB): The team reviewed analyses associated
condition, including age-related degradation, and to verify that the as-built condition was  
              with inadvertent safety injection (SI) actuation and hydraulic calculations to
consistent with the design. Other attributes reviewed are included as part of the scope  
              assess the pump capability to provide its required accident mitigation function.
for each individual component.  
              The reviewed hydraulic analyses included pump minimum required flow, runout
The following 12 components (samples) were reviewed:  
              flow, flow capacity/balance, minimum required net positive suction head (NPSH),
*  
              and air entraining vortices. In addition, the team reviewed a sample of operating
Safety Injection Pump (1SI01PB): The team reviewed analyses associated  
              procedures associated with pump operation under normal and accident
with inadvertent safety injection (SI) actuation and hydraulic calculations to  
              conditions to assess their consistency with applicable design basis analyses.
assess the pump capability to provide its required accident mitigation function.
              The team also reviewed test procedures and completed surveillance tests,
The reviewed hydraulic analyses included pump minimum required flow, runout  
              including quarterly and comprehensive in-service testing and flow balances,
flow, flow capacity/balance, minimum required net positive suction head (NPSH),  
              to assess the associated acceptance criteria and test results. The team also
and air entraining vortices. In addition, the team reviewed a sample of operating  
              reviewed the supporting electrical calculations associated with performance of
procedures associated with pump operation under normal and accident  
              the SI pump under design basis conditions. This included review of brake
conditions to assess their consistency with applicable design basis analyses.
              horsepower requirements for the pump motor, performance under degraded
The team also reviewed test procedures and completed surveillance tests,  
              voltage conditions, and motor protection to assess the capability of the motor to
including quarterly and comprehensive in-service testing and flow balances,  
              perform its safety function under design basis conditions. In addition, the team
to assess the associated acceptance criteria and test results. The team also  
                                                8
reviewed the supporting electrical calculations associated with performance of  
the SI pump under design basis conditions. This included review of brake  
horsepower requirements for the pump motor, performance under degraded  
voltage conditions, and motor protection to assess the capability of the motor to  
perform its safety function under design basis conditions. In addition, the team  


  reviewed voltage drop calculations to assess the availability of direct current (DC)
  control voltage at the associated bus needed to operate the pump circuit breaker.
9
  The team also performed a non-intrusive visual inspection of the component to
reviewed voltage drop calculations to assess the availability of direct current (DC)  
  assess overall material condition, configuration, and potential vulnerabilities to
control voltage at the associated bus needed to operate the pump circuit breaker.
  hazards. To assess operating trends and the licensees ability to evaluate and
The team also performed a non-intrusive visual inspection of the component to  
  correct problems, the team reviewed system health reports, selected corrective
assess overall material condition, configuration, and potential vulnerabilities to  
  action documents, and PM procedures and records.
hazards. To assess operating trends and the licensees ability to evaluate and  
* Pressurizer Power-Operated Relief Valve (1RY456): The team reviewed the
correct problems, the team reviewed system health reports, selected corrective  
  pressure and temperature limit report and calculations associated with the
action documents, and PM procedures and records.  
  power-operated relief valve (PORV) lift settings, relief capacity, and set points for
*  
  low-temperature overpressure (LTOP) scenarios to assess the PORV capability
Pressurizer Power-Operated Relief Valve (1RY456): The team reviewed the  
  to provide its RCS overpressure protection function. The team also reviewed test
pressure and temperature limit report and calculations associated with the  
  procedures and completed surveillances to assess the associated acceptance
power-operated relief valve (PORV) lift settings, relief capacity, and set points for  
  criteria and test results. In addition, the team reviewed a sample of associated
low-temperature overpressure (LTOP) scenarios to assess the PORV capability  
  operating procedures to assess their consistency with applicable design basis
to provide its RCS overpressure protection function. The team also reviewed test  
  analyses. The team also reviewed the schematic diagrams for the PORV control
procedures and completed surveillances to assess the associated acceptance  
  circuit to assess its suitability for bleed-and-feed operation as prescribed by
criteria and test results. In addition, the team reviewed a sample of associated  
  operating procedures, and to assess the pilot solenoid and position limit switches
operating procedures to assess their consistency with applicable design basis  
  qualification for post-accident environmental conditions. The team reviewed
analyses. The team also reviewed the schematic diagrams for the PORV control  
  voltage drop calculations to assess the availability of the voltage needed at the
circuit to assess its suitability for bleed-and-feed operation as prescribed by  
  solenoid valve to operate the PORV. The team also reviewed control wiring
operating procedures, and to assess the pilot solenoid and position limit switches  
  schematics and associated instrument loop diagrams to assess the consistency
qualification for post-accident environmental conditions. The team reviewed  
  between operations and system design requirements. This review included a
voltage drop calculations to assess the availability of the voltage needed at the  
  circuit protection evaluation intended to demonstrate that the containment
solenoid valve to operate the PORV. The team also reviewed control wiring  
  electrical penetration was not adversely affected by in-containment faults. The
schematics and associated instrument loop diagrams to assess the consistency  
  team also reviewed documentation associated with environmental qualifications
between operations and system design requirements. This review included a  
  for the postulated containment accident conditions and replacement of
circuit protection evaluation intended to demonstrate that the containment  
  components susceptible to aging. The team reviewed system health reports,
electrical penetration was not adversely affected by in-containment faults. The  
  selected corrective action documents, and PM procedures and records to assess
team also reviewed documentation associated with environmental qualifications  
  operating trends and the licensees ability to evaluate and correct problems.
for the postulated containment accident conditions and replacement of  
* Power-Operated Relief Valve Accumulator (1RY32MB): The team reviewed the
components susceptible to aging. The team reviewed system health reports,  
  accumulator sizing calculation, PORV pressure set point, accumulator stress
selected corrective action documents, and PM procedures and records to assess  
  analysis, and maximum allowed accumulator leak rate to assess the accumulator
operating trends and the licensees ability to evaluate and correct problems.  
  capability to supply the required amount of air pressure and volume to stroke
*  
  open its associated PORV on a loss of normal air supply. Additionally, the team
Power-Operated Relief Valve Accumulator (1RY32MB): The team reviewed the  
  reviewed the design calculation that established the minimum number of PORV
accumulator sizing calculation, PORV pressure set point, accumulator stress  
  strokes required during certain events, such as LTOP and natural circulation
analysis, and maximum allowed accumulator leak rate to assess the accumulator  
  cooldown. The team also reviewed test procedures and completed surveillances
capability to supply the required amount of air pressure and volume to stroke  
  to assess the associated acceptance criteria and test results. In addition, the
open its associated PORV on a loss of normal air supply. Additionally, the team  
  team reviewed a sample of associated operating procedures to assess their
reviewed the design calculation that established the minimum number of PORV  
  consistency with applicable design basis analyses. Finally, the team reviewed
strokes required during certain events, such as LTOP and natural circulation  
  system health reports, selected corrective action documents, and recent
cooldown. The team also reviewed test procedures and completed surveillances  
  modifications and operability evaluations to assess operating trends and the
to assess the associated acceptance criteria and test results. In addition, the  
  licensees ability to evaluate and correct problems.
team reviewed a sample of associated operating procedures to assess their  
* Refueling Water Storage Tank (1SI01T): The team reviewed a sample of
consistency with applicable design basis analyses. Finally, the team reviewed  
  associated operating procedures under normal and emergency conditions to
system health reports, selected corrective action documents, and recent  
  assess their consistency with applicable design basis analyses. The team
modifications and operability evaluations to assess operating trends and the  
  also performed a non-intrusive visual inspection of the refueling water storage
licensees ability to evaluate and correct problems.  
                                        9
*  
Refueling Water Storage Tank (1SI01T): The team reviewed a sample of  
associated operating procedures under normal and emergency conditions to  
assess their consistency with applicable design basis analyses. The team  
also performed a non-intrusive visual inspection of the refueling water storage  


  tank (RWST) to assess overall material condition, configuration, and potential
  vulnerabilities to hazards. To assess operating trends, component health, and
10
  the licensees ability to evaluate and correct problems, the team reviewed system
tank (RWST) to assess overall material condition, configuration, and potential  
  health reports, selected corrective action documents, and recent modifications.
vulnerabilities to hazards. To assess operating trends, component health, and  
  The team reviewed design analyses associated with the ability of the RWST
the licensees ability to evaluate and correct problems, the team reviewed system  
  system to maintain its design function during external events such as tornados
health reports, selected corrective action documents, and recent modifications.
  and earthquakes. Additionally, the team reviewed design calculations related to
The team reviewed design analyses associated with the ability of the RWST  
  level set points, temperature limits, and minimum required RWST volume to
system to maintain its design function during external events such as tornados  
  mitigate a loss of coolant accident (LOCA), and to support feed-and-bleed
and earthquakes. Additionally, the team reviewed design calculations related to  
  scenarios. The team also reviewed the schematic diagrams and instrument
level set points, temperature limits, and minimum required RWST volume to  
  uncertainty calculations to assess the low-low RWST level signal (i.e., LO-2)
mitigate a loss of coolant accident (LOCA), and to support feed-and-bleed  
  capability to automatically open the containment sump isolation valves
scenarios. The team also reviewed the schematic diagrams and instrument  
  (i.e., 1SI8811A/B) following a LOCA, and its consistency with the associated set
uncertainty calculations to assess the low-low RWST level signal (i.e., LO-2)  
  point calculation including instrument uncertainty considerations. To assess
capability to automatically open the containment sump isolation valves  
  operating trends, component health, and the licensees ability to evaluate and
(i.e., 1SI8811A/B) following a LOCA, and its consistency with the associated set  
  correct problems, the team reviewed system health reports, selected corrective
point calculation including instrument uncertainty considerations. To assess  
  action documents, recent modifications, and PM/calibration procedures and
operating trends, component health, and the licensees ability to evaluate and  
  records.
correct problems, the team reviewed system health reports, selected corrective  
* Emergency Service Water Makeup Pump (0SX02PA): The team reviewed
action documents, recent modifications, and PM/calibration procedures and  
  design documents and procedures to assess consistency with vendor
records.  
  specifications. The team reviewed calculations associated with pump capability
*  
  and performance to assess the pump capability to perform its design function of
Emergency Service Water Makeup Pump (0SX02PA): The team reviewed  
  providing sufficient inventory to the associated Emergency Service Water
design documents and procedures to assess consistency with vendor  
  Cooling Tower (SXCT) basin under different postulated scenarios. The team
specifications. The team reviewed calculations associated with pump capability  
  reviewed the water inventory availability from the suction source under routine
and performance to assess the pump capability to perform its design function of  
  service as well as extreme conditions. This review included low and high-river
providing sufficient inventory to the associated Emergency Service Water  
  water levels and temperatures, pump NPSH, pump suction submergence, and
Cooling Tower (SXCT) basin under different postulated scenarios. The team  
  minimum flow protection. The team also reviewed procedures associated with
reviewed the water inventory availability from the suction source under routine  
  protection against flooding, seismic, and tornado events since the makeup pump
service as well as extreme conditions. This review included low and high-river  
  is credited to some extent during these postulated events. The team also
water levels and temperatures, pump NPSH, pump suction submergence, and  
  performed a non-intrusive visual inspection of the pump to assess overall
minimum flow protection. The team also reviewed procedures associated with  
  material condition, configuration, and potential vulnerabilities to hazards.
protection against flooding, seismic, and tornado events since the makeup pump  
  Work orders and maintenance procedures were reviewed to verify effectiveness
is credited to some extent during these postulated events. The team also  
  of site maintenance. The team also reviewed test procedures and completed
performed a non-intrusive visual inspection of the pump to assess overall  
  surveillances to assess the associated acceptance criteria and test results.
material condition, configuration, and potential vulnerabilities to hazards.
  To assess operating trends, component health, and the licensees ability to
Work orders and maintenance procedures were reviewed to verify effectiveness  
  evaluate and correct problems, the team reviewed system health reports and
of site maintenance. The team also reviewed test procedures and completed  
  selected corrective action documents.
surveillances to assess the associated acceptance criteria and test results.
* Emergency Service Water Makeup Pump Diesel Engine (0SX02PA-K): The
To assess operating trends, component health, and the licensees ability to  
  team reviewed design documents and procedures to assess consistency with
evaluate and correct problems, the team reviewed system health reports and  
  vendor specifications. The team reviewed diesel fuel oil day tank level alarm
selected corrective action documents.  
  response procedures and sizing analyses including the engine diesel fuel oil
*  
  consumption rate calculation, tank capacity, vortexing calculation, level
Emergency Service Water Makeup Pump Diesel Engine (0SX02PA-K): The  
  indicators, and alarm setpoint. In addition, the team reviewed the control circuit
team reviewed design documents and procedures to assess consistency with  
  electrical diagram to assess the consistency between operations and design
vendor specifications. The team reviewed diesel fuel oil day tank level alarm  
  basis requirements. The team also reviewed the set point calculation for the
response procedures and sizing analyses including the engine diesel fuel oil  
  SXCT basin level switch associated with the starting logic of the diesel engine
consumption rate calculation, tank capacity, vortexing calculation, level  
  to assess consistency between the specified setting and applicable design basis
indicators, and alarm setpoint. In addition, the team reviewed the control circuit  
  requirements. In addition, the team reviewed recent level instrument calibration
electrical diagram to assess the consistency between operations and design  
                                    10
basis requirements. The team also reviewed the set point calculation for the  
SXCT basin level switch associated with the starting logic of the diesel engine  
to assess consistency between the specified setting and applicable design basis  
requirements. In addition, the team reviewed recent level instrument calibration  


  results. The team also reviewed circuit protection and control voltage to assess
  the diesel engine capability to start on demand. The inspectors reviewed
11
  completed work orders to assess the as-found and as-left condition of the
results. The team also reviewed circuit protection and control voltage to assess  
  diesel engine following recent maintenance activities. The team also reviewed
the diesel engine capability to start on demand. The inspectors reviewed  
  test procedures and completed surveillances to assess the associated
completed work orders to assess the as-found and as-left condition of the  
  acceptance criteria and test results. The team also performed a non-intrusive
diesel engine following recent maintenance activities. The team also reviewed  
  visual inspection of the engine to assess overall material condition, configuration,
test procedures and completed surveillances to assess the associated  
  and potential vulnerabilities to hazards. To assess operating trends and the
acceptance criteria and test results. The team also performed a non-intrusive  
  licensees ability to evaluate and correct problems, the team reviewed system
visual inspection of the engine to assess overall material condition, configuration,  
  health reports, selected corrective action documents, modifications, and PM
and potential vulnerabilities to hazards. To assess operating trends and the  
  procedures and records.
licensees ability to evaluate and correct problems, the team reviewed system  
* Emergency Service Water Cooling Tower (0SX02AA/B and 0SX03CA/H):
health reports, selected corrective action documents, modifications, and PM  
  The team reviewed design calculations and procedures associated with fan
procedures and records.  
  performance, basin sizing, heat transfer, and makeup requirements during
*  
  postulated events including LOCA, tornado, and seismic events. The electrical
Emergency Service Water Cooling Tower (0SX02AA/B and 0SX03CA/H):
  calculations associated with fan performance under design basis conditions
The team reviewed design calculations and procedures associated with fan  
  were reviewed to assess consistency with the design bases and the motor
performance, basin sizing, heat transfer, and makeup requirements during  
  capability to perform its specified safety function. This review considered fan
postulated events including LOCA, tornado, and seismic events. The electrical  
  motor brake horsepower requirements, performance under degraded voltage
calculations associated with fan performance under design basis conditions  
  conditions, and motor protection. The team reviewed voltage drop calculations
were reviewed to assess consistency with the design bases and the motor  
  to assess the availability of the DC control voltage needed at the associated load
capability to perform its specified safety function. This review considered fan  
  center for the closing and tripping of the cooling tower fan circuit breakers. The
motor brake horsepower requirements, performance under degraded voltage  
  team also reviewed the alternating current (AC) and DC electrical distribution
conditions, and motor protection. The team reviewed voltage drop calculations  
  systems to assess the SXCT capability to perform its specified safety function
to assess the availability of the DC control voltage needed at the associated load  
  assuming a single failure of electrical components. The team also reviewed
center for the closing and tripping of the cooling tower fan circuit breakers. The  
  control wiring diagrams of the deep well pump and associated control valves to
team also reviewed the alternating current (AC) and DC electrical distribution  
  assess consistency between their operation and design requirements. The team
systems to assess the SXCT capability to perform its specified safety function  
  also performed a non-intrusive visual inspection of the SXCT basin structure, fan
assuming a single failure of electrical components. The team also reviewed  
  motors, valve houses, and electrical equipment rooms to assess overall material
control wiring diagrams of the deep well pump and associated control valves to  
  condition, configuration, and potential vulnerabilities to hazards. The team also
assess consistency between their operation and design requirements. The team  
  reviewed test procedures and completed surveillances to evaluate the associated
also performed a non-intrusive visual inspection of the SXCT basin structure, fan  
  acceptance criteria and test results. To assess operating trends and the
motors, valve houses, and electrical equipment rooms to assess overall material  
  licensees ability to evaluate and correct problems, the team reviewed system
condition, configuration, and potential vulnerabilities to hazards. The team also  
  health reports, selected corrective action documents, operability evaluations,
reviewed test procedures and completed surveillances to evaluate the associated  
  modifications, and PM procedures and records.
acceptance criteria and test results. To assess operating trends and the  
* 4160 Volts Alternating Current Bus 142: The team reviewed voltage drop
licensees ability to evaluate and correct problems, the team reviewed system  
  calculations to assess the availability of the DC control voltage needed at the
health reports, selected corrective action documents, operability evaluations,  
  associated bus for the operation of the associated circuit breakers. The team
modifications, and PM procedures and records.  
  reviewed calculations associated with load flow, degraded voltage, and protective
*  
  settings for selected electrical load paths served by the bus and associated with
4160 Volts Alternating Current Bus 142: The team reviewed voltage drop  
  the inspection samples to assess the bus capability to support the loads required
calculations to assess the availability of the DC control voltage needed at the  
  safety functions under design basis conditions. The team also performed a
associated bus for the operation of the associated circuit breakers. The team  
  non-intrusive visual inspection of the switchgear to assess overall material
reviewed calculations associated with load flow, degraded voltage, and protective  
  condition, configuration, and potential vulnerabilities to hazards or extreme
settings for selected electrical load paths served by the bus and associated with  
  service environments. To assess operating trends and the licensees ability to
the inspection samples to assess the bus capability to support the loads required  
  evaluate and correct problems, the team reviewed system health reports,
safety functions under design basis conditions. The team also performed a  
  selected corrective action documents, and selected PM procedures and records.
non-intrusive visual inspection of the switchgear to assess overall material  
                                    11
condition, configuration, and potential vulnerabilities to hazards or extreme  
service environments. To assess operating trends and the licensees ability to  
evaluate and correct problems, the team reviewed system health reports,  
selected corrective action documents, and selected PM procedures and records.  


* 120 Volts Alternating Current Instrument Bus 111: The team reviewed the DC
  voltage drop calculations to assess the availability of the voltage needed for the
12
  proper operation of the associated inverter, including during a loss of AC power.
*  
  The team also reviewed the bus loading and breaker ratings to assess the bus
120 Volts Alternating Current Instrument Bus 111: The team reviewed the DC  
  and loads protection against spurious tripping. In addition, the team reviewed a
voltage drop calculations to assess the availability of the voltage needed for the  
  modification which installed forced air cooling units for the inverter serving the
proper operation of the associated inverter, including during a loss of AC power.
  bus to assess the modification implementation and any potential impact on the
The team also reviewed the bus loading and breaker ratings to assess the bus  
  inverter. To assess operating trends and the licensees ability to evaluate and
and loads protection against spurious tripping. In addition, the team reviewed a  
  correct problems, the team reviewed system health reports, selected corrective
modification which installed forced air cooling units for the inverter serving the  
  action documents, and PM procedures and records for the bus.
bus to assess the modification implementation and any potential impact on the  
* 125 Volts Direct Current Bus 111: The team reviewed bus loading and short
inverter. To assess operating trends and the licensees ability to evaluate and  
  circuit calculations as well as cable, bus, and circuit breaker ratings to assess
correct problems, the team reviewed system health reports, selected corrective  
  bus and cable capabilities of carrying the maximum anticipated loading and
action documents, and PM procedures and records for the bus.  
  protection against faulted conditions. The team also reviewed voltage drop and
*  
  battery sizing calculations to assess the capability to support momentary and
125 Volts Direct Current Bus 111: The team reviewed bus loading and short  
  continuous loading for the duration of the duty cycle during accident conditions
circuit calculations as well as cable, bus, and circuit breaker ratings to assess  
  and the loss of all AC power (i.e., station blackout). Additionally, the team
bus and cable capabilities of carrying the maximum anticipated loading and  
  reviewed the battery charger sizing calculation to assess its capability of
protection against faulted conditions. The team also reviewed voltage drop and  
  maintaining the battery in a charged state and recharging the battery in a timely
battery sizing calculations to assess the capability to support momentary and  
  manner following a loss of AC power event. The team also reviewed room
continuous loading for the duration of the duty cycle during accident conditions  
  heat-up calculations to ensure that the DC components were not adversely
and the loss of all AC power (i.e., station blackout). Additionally, the team  
  affected by steam line breaks in the turbine building. In addition, the team
reviewed the battery charger sizing calculation to assess its capability of  
  reviewed purchase specifications, vendor documents, seismic test reports,
maintaining the battery in a charged state and recharging the battery in a timely  
  certificate of compliance, and cable separation to assess consistency of the
manner following a loss of AC power event. The team also reviewed room  
  installed component to the design requirements. For the battery, this review
heat-up calculations to ensure that the DC components were not adversely  
  included an assessment of the inter-cell resistance conformance to voltage drop
affected by steam line breaks in the turbine building. In addition, the team  
  calculations. Breaker/fuse coordination was also reviewed to assess the
reviewed purchase specifications, vendor documents, seismic test reports,  
  capability to interrupt overloads and faulted conditions. The team also reviewed
certificate of compliance, and cable separation to assess consistency of the  
  testing procedures and associated recent results, recent system health reports,
installed component to the design requirements. For the battery, this review  
  molded-case circuit breaker testing, maintenance activities, and recent corrective
included an assessment of the inter-cell resistance conformance to voltage drop  
  action documents to assess component health history.
calculations. Breaker/fuse coordination was also reviewed to assess the  
* 24 Volts Direct Current Bus 035-2: The team reviewed the sizing calculation for
capability to interrupt overloads and faulted conditions. The team also reviewed  
  the diesel start system and the control batteries to assess their capability of
testing procedures and associated recent results, recent system health reports,  
  providing adequate voltage to the associated components for the duration of the
molded-case circuit breaker testing, maintenance activities, and recent corrective  
  duty cycle during accident conditions and loss of all AC power. The team also
action documents to assess component health history.  
  reviewed components and wiring schematics related to the diesel start and
*  
  control logic to assess the bus capability to perform its intended function.
24 Volts Direct Current Bus 035-2: The team reviewed the sizing calculation for  
  Additionally, the team reviewed the battery charger sizing calculation to assess
the diesel start system and the control batteries to assess their capability of  
  its capability to maintain the batteries in a charged state, and to recharge them in
providing adequate voltage to the associated components for the duration of the  
  a timely manner following a loss of AC power event. The team reviewed
duty cycle during accident conditions and loss of all AC power. The team also  
  purchase specifications, vendor documents, seismic test report, and certificate of
reviewed components and wiring schematics related to the diesel start and  
  conformance to assess consistency of the installed component to the design
control logic to assess the bus capability to perform its intended function.
  requirements. The team also reviewed testing procedures and associated recent
Additionally, the team reviewed the battery charger sizing calculation to assess  
  results, health reports, maintenance activities, and recent corrective action
its capability to maintain the batteries in a charged state, and to recharge them in  
  documents to assess component health history.
a timely manner following a loss of AC power event. The team reviewed  
* 480 Volts Alternating Current Motor Control Center 132Z1: The team assessed
purchase specifications, vendor documents, seismic test report, and certificate of  
  conformance to the applicable design and licensing basis by performing an
conformance to assess consistency of the installed component to the design  
  engineering review of the motor control center (MCC) loading, MCC and control
requirements. The team also reviewed testing procedures and associated recent  
                                    12
results, health reports, maintenance activities, and recent corrective action  
documents to assess component health history.  
*  
480 Volts Alternating Current Motor Control Center 132Z1: The team assessed  
conformance to the applicable design and licensing basis by performing an  
engineering review of the motor control center (MCC) loading, MCC and control  


            circuits degraded voltage and maximum voltage, electrical protection, and
            electrical isolation/physical circuit separation of the MCC from non-safety class
13
            loads. The loads considered during this review were the SXCT riser motor
circuits degraded voltage and maximum voltage, electrical protection, and  
            operated valves (MOVs) (i.e., 0SX163E/F), SXCT makeup MOV (i.e., 0SX157A),
electrical isolation/physical circuit separation of the MCC from non-safety class  
            and basin bypass MOV (i.e., 0SX162B). The team reviewed the calculations that
loads. The loads considered during this review were the SXCT riser motor  
            determined minimum terminal voltages for these MOVs to assess consistency
operated valves (MOVs) (i.e., 0SX163E/F), SXCT makeup MOV (i.e., 0SX157A),  
            with the associated MOV thrust calculations. The team also reviewed the
and basin bypass MOV (i.e., 0SX162B). The team reviewed the calculations that  
            thermal overload sizing calculations for these MOV circuits to assess their
determined minimum terminal voltages for these MOVs to assess consistency  
            protection against premature thermal overload trip and the minimum voltage
with the associated MOV thrust calculations. The team also reviewed the  
            calculations for the 120 volts alternating current (VAC) service to the SXCT basin
thermal overload sizing calculations for these MOV circuits to assess their  
            level control system to assess the availability of the voltage needed for the level
protection against premature thermal overload trip and the minimum voltage  
            instrumentation under design basis conditions. To evaluate whether there were
calculations for the 120 volts alternating current (VAC) service to the SXCT basin  
            adverse operating trends and to assess the licensees ability to evaluate and
level control system to assess the availability of the voltage needed for the level  
            correct problems, the team reviewed system health reports, selected corrective
instrumentation under design basis conditions. To evaluate whether there were  
            action documents, and PM procedures and records for the MCC.
adverse operating trends and to assess the licensees ability to evaluate and  
b. Findings
correct problems, the team reviewed system health reports, selected corrective  
(1) Question Regarding the Maximum Wet Bulb Temperature Value Assumed in the
action documents, and PM procedures and records for the MCC.  
    Emergency Service Water Cooling Tower Tornado Analysis
b.  
    Introduction: The team identified an unresolved item (URI) regarding the maximum
Findings  
    wet-bulb temperature value assumed in the SXCT tornado analysis. Specifically, the
(1) Question Regarding the Maximum Wet Bulb Temperature Value Assumed in the  
    team noted the analysis used a value which was less restrictive than the highest 3-hour
Emergency Service Water Cooling Tower Tornado Analysis  
    wet-bulb temperature recorded for the site as described in the UFSAR.
Introduction: The team identified an unresolved item (URI) regarding the maximum  
    Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a
wet-bulb temperature value assumed in the SXCT tornado analysis. Specifically, the  
    Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile
team noted the analysis used a value which was less restrictive than the highest 3-hour  
    event has been made. It also stated that, A maximum outside air wet-bulb temperature
wet-bulb temperature recorded for the site as described in the UFSAR.  
    of 78 degrees Fahrenheit is assumed and is conservatively held constant throughout the
Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a  
    transient. In addition, this UFSAR section stated that, The analysis was performed
Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile  
    using service water cooling tower performance curves generated using the method
event has been made. It also stated that, A maximum outside air wet-bulb temperature  
    described in UFSAR Section 9.2.5.3.1.1.2 [...]. The analysis of the UHS cooling
of 78 degrees Fahrenheit is assumed and is conservatively held constant throughout the  
    capability for a tornado missile event was calculation BYR09-002, UHS Capability with
transient. In addition, this UFSAR section stated that, The analysis was performed  
    Loss of SX [Emergency Service Water] Fans due to a Tornado Event, which used a
using service water cooling tower performance curves generated using the method  
    constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit
described in UFSAR Section 9.2.5.3.1.1.2 [...]. The analysis of the UHS cooling  
    consistent with UFSAR Section 3.5.4.
capability for a tornado missile event was calculation BYR09-002, UHS Capability with  
    However, the team noted the assumed maximum outside air wet-bulb temperature value
Loss of SX [Emergency Service Water] Fans due to a Tornado Event, which used a  
    of 78 degrees Fahrenheit appeared to be inconsistent with the method described in
constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit  
    UFSAR Section 9.2.5.3.1.1.2, Steady State Tower Performance Analysis. Specifically,
consistent with UFSAR Section 3.5.4.  
    it stated that, The design wet-bulb temperature during warm weather operation is
However, the team noted the assumed maximum outside air wet-bulb temperature value  
    82 degrees Fahrenheit (Refer to UFSAR Section 2.3.1.2.4). In Section 2.3.1.2.4 of
of 78 degrees Fahrenheit appeared to be inconsistent with the method described in  
    the UFSAR, Ultimate Heat Sink Design, stated that, This analysis [described in
UFSAR Section 9.2.5.3.1.1.2, Steady State Tower Performance Analysis. Specifically,  
    Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour wet-bulb temperature,
it stated that, The design wet-bulb temperature during warm weather operation is  
    82 degrees Fahrenheit, which was recorded on July 30, 1961, at 3:00 pm. This UFSAR
82 degrees Fahrenheit (Refer to UFSAR Section 2.3.1.2.4). In Section 2.3.1.2.4 of  
    section also stated that, Per Regulatory Guide 1.27, the ultimate heat sink must be
the UFSAR, Ultimate Heat Sink Design, stated that, This analysis [described in  
    capable of performing its cooling function during the design basis event for this worst
Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour wet-bulb temperature,  
    case 3-hour wet-bulb temperature. In addition, it stated, However, the design
82 degrees Fahrenheit, which was recorded on July 30, 1961, at 3:00 pm. This UFSAR  
    operating wet-bulb temperature of the ultimate heat sink is 78 degrees Fahrenheit
section also stated that, Per Regulatory Guide 1.27, the ultimate heat sink must be  
    (ASHRAE 1 percent exceedance value).
capable of performing its cooling function during the design basis event for this worst  
                                                13
case 3-hour wet-bulb temperature. In addition, it stated, However, the design  
operating wet-bulb temperature of the ultimate heat sink is 78 degrees Fahrenheit  
(ASHRAE 1 percent exceedance value).  


    This issue is unresolved pending further review by the Office of Nuclear Reactor
    Regulation (NRR) of the licensing basis related to the wet-bulb temperature value
14
    applicable for the SXCT tornado analysis, and the team determination of further NRC
This issue is unresolved pending further review by the Office of Nuclear Reactor  
    actions to resolve the issue. (URI 05000454/2015008-01; 05000455/2015008-01,
Regulation (NRR) of the licensing basis related to the wet-bulb temperature value  
    Question Regarding the Maximum Wet-Bulb Temperature Value Assumed in the SXCT
applicable for the SXCT tornado analysis, and the team determination of further NRC  
    Tornado Analysis)
actions to resolve the issue. (URI 05000454/2015008-01; 05000455/2015008-01,  
(2) Maximum Wet-Bulb Temperature Value Assumed in Emergency Service Water Cooling
Question Regarding the Maximum Wet-Bulb Temperature Value Assumed in the SXCT  
    Tower Analysis Was Not Monitored
Tornado Analysis)  
    Introduction: The team identified an URI regarding the lack of monitoring the maximum
(2) Maximum Wet-Bulb Temperature Value Assumed in Emergency Service Water Cooling  
    wet-bulb temperature value assumed in SXCT analysis. Specifically, the team noted the
Tower Analysis Was Not Monitored  
    maximum wet-bulb temperature value was a critical parameter for the SXCT analyses,
Introduction: The team identified an URI regarding the lack of monitoring the maximum  
    but the licensee had not established a testing program to verify actual values were
wet-bulb temperature value assumed in SXCT analysis. Specifically, the team noted the  
    bounded.
maximum wet-bulb temperature value was a critical parameter for the SXCT analyses,  
    Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a
but the licensee had not established a testing program to verify actual values were  
    Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile
bounded.  
    event has been made. It also stated that, A maximum outside air wet-bulb temperature
Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a  
    of 78 degrees Fahrenheit is assumed, and is conservatively held constant throughout
Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile  
    the transient.
event has been made. It also stated that, A maximum outside air wet-bulb temperature  
    In Section 9.2.5.3.1.1 of the UFSAR, Design Basis Reconstitution, stated that,
of 78 degrees Fahrenheit is assumed, and is conservatively held constant throughout  
    The design basis event for the Byron ultimate heat sink is a LOCA coincident with a
the transient.  
    loss-of-off-site power (LOOP) in one unit, and the concurrent orderly shutdown from
In Section 9.2.5.3.1.1 of the UFSAR, Design Basis Reconstitution, stated that,  
    maximum power to cold shutdown of the other unit using normal shutdown operating
The design basis event for the Byron ultimate heat sink is a LOCA coincident with a  
    procedures. It also stated that, The design wet-bulb temperature during warm
loss-of-off-site power (LOOP) in one unit, and the concurrent orderly shutdown from  
    weather operation is 82 degrees Fahrenheit (Refer to the UFSAR Section 2.3.1.2.4).
maximum power to cold shutdown of the other unit using normal shutdown operating  
    In Section 2.3.1.2.4 of the UFSAR, Ultimate Heat Sink Design, stated that, This
procedures. It also stated that, The design wet-bulb temperature during warm  
    analysis [described in Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour
weather operation is 82 degrees Fahrenheit (Refer to the UFSAR Section 2.3.1.2.4).
    wet-bulb temperature, 82 degrees Fahrenheit, which was recorded on July 30, 1961, at
In Section 2.3.1.2.4 of the UFSAR, Ultimate Heat Sink Design, stated that, This  
    3:00 pm.
analysis [described in Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour  
    The analysis of the UHS cooling capability for a tornado missile event was calculation
wet-bulb temperature, 82 degrees Fahrenheit, which was recorded on July 30, 1961, at  
    BYR09-002, UHS Capability with Loss of SX Fans due to a Tornado Event, which used
3:00 pm.  
    a constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit
The analysis of the UHS cooling capability for a tornado missile event was calculation  
    consistent with UFSAR Section 3.5.4. The analysis of the UHS cooling capability for a
BYR09-002, UHS Capability with Loss of SX Fans due to a Tornado Event, which used  
    LOCA coincident with a LOOP was calculation UHS-01, Ultimate Heat Sink Design
a constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit  
    Basis LOCA Single Failure Scenarios, which used a constant maximum outside air
consistent with UFSAR Section 3.5.4. The analysis of the UHS cooling capability for a  
    wet-bulb temperature value of 82 degrees Fahrenheit consistent with the UFSAR
LOCA coincident with a LOOP was calculation UHS-01, Ultimate Heat Sink Design  
    Section 9.2.5.3.1.1.
Basis LOCA Single Failure Scenarios, which used a constant maximum outside air  
    However, the licensee had not established a testing program to verify actual
wet-bulb temperature value of 82 degrees Fahrenheit consistent with the UFSAR  
    environmental conditions were bounded by these analyses and design basis limits.
Section 9.2.5.3.1.1.  
    In response to the team questions, the licensee stated that this approach was
However, the licensee had not established a testing program to verify actual  
    acceptable because historical data showed wet-bulb temperature had a cyclic nature,
environmental conditions were bounded by these analyses and design basis limits.
    maximum wet-bulb temperature lasted for relatively short durations, and the analyses
In response to the team questions, the licensee stated that this approach was  
    assumed constant wet-bulb temperature values.
acceptable because historical data showed wet-bulb temperature had a cyclic nature,  
                                            14
maximum wet-bulb temperature lasted for relatively short durations, and the analyses  
assumed constant wet-bulb temperature values.  


    This issue is unresolved pending further NRR review of the acceptability of the
    licensee approach to ensure the SXCT analyses bounded actual environmental
15
    conditions, and the team determination of further NRC actions to resolve the issue.
This issue is unresolved pending further NRR review of the acceptability of the  
    (URI 05000454/2015008-02; 05000455/2015008-02, Maximum Wet-Bulb Temperature
licensee approach to ensure the SXCT analyses bounded actual environmental  
    Value Assumed in SXCT Analysis Was Not Monitored)
conditions, and the team determination of further NRC actions to resolve the issue.
.4   Operating Experience
(URI 05000454/2015008-02; 05000455/2015008-02, Maximum Wet-Bulb Temperature  
  a. Inspection Scope
Value Assumed in SXCT Analysis Was Not Monitored)  
    The team reviewed four operating experience issues (samples) to ensure that NRC
.4  
    generic concerns had been adequately evaluated and addressed by the licensee.
Operating Experience  
    The operating experience issues listed below were reviewed as part of this inspection:
a.  
    *       IN 2013-05, Battery Expected Life and Its Potential Impact on Surveillance
Inspection Scope  
            Requirements;
The team reviewed four operating experience issues (samples) to ensure that NRC  
    *       IN 2010-26, Submerged Electrical Cables;
generic concerns had been adequately evaluated and addressed by the licensee.
    *       IN 2013-12, Improperly Sloped Instrument Sensing Lines; and
The operating experience issues listed below were reviewed as part of this inspection:  
    *       IN 2012-01, Refueling Water Storage Tank Degradation.
*  
  b. Findings
IN 2013-05, Battery Expected Life and Its Potential Impact on Surveillance  
    No findings were identified.
Requirements;  
.5   Modifications
*  
  a. Inspection Scope
IN 2010-26, Submerged Electrical Cables;  
    The team reviewed five permanent plant modifications related to selected risk-significant
*  
    components to verify that the design bases, licensing bases, and performance capability
IN 2013-12, Improperly Sloped Instrument Sensing Lines; and  
    of the components had not been degraded through modifications. The modifications
*  
    listed below were reviewed as part of this inspection effort:
IN 2012-01, Refueling Water Storage Tank Degradation.  
    *       Engineering Change (EC) 385951, Multiple Spurious Operation - Scenario 14,
b.  
            1SI8811A/B;
Findings  
    *       EC396016, Increase U1 Pressurizer PORV Accumulator Tank Operating
No findings were identified.  
            Pressure to Increase Number of PORV Open/Close Cycles from Accumulator;
.5  
    *       EC388735, Detailed Review of the FC Purification for Use of Non-Safety
Modifications  
            Related Portion Connected to Safety Related Piping;
a.  
    *       DRP 11-052, Clarify References to RWST Internal Pressure in the ECCS and
Inspection Scope  
            the CS Pumps NPHS Analysis; and
The team reviewed five permanent plant modifications related to selected risk-significant  
    *       EC385829, Tornado Missile Design Basis for the Essential Service Water
components to verify that the design bases, licensing bases, and performance capability  
            Cooling Towers.
of the components had not been degraded through modifications. The modifications  
                                            15
listed below were reviewed as part of this inspection effort:
*  
Engineering Change (EC) 385951, Multiple Spurious Operation - Scenario 14,  
1SI8811A/B;  
*  
EC396016, Increase U1 Pressurizer PORV Accumulator Tank Operating  
Pressure to Increase Number of PORV Open/Close Cycles from Accumulator;  
*  
EC388735, Detailed Review of the FC Purification for Use of Non-Safety  
Related Portion Connected to Safety Related Piping;  
*  
DRP 11-052, Clarify References to RWST Internal Pressure in the ECCS and  
the CS Pumps NPHS Analysis; and  
*  
EC385829, Tornado Missile Design Basis for the Essential Service Water  
Cooling Towers.  


b. Findings
(1) Failure to Evaluate the Adverse Effects of Sharing the Refueling Water Storage Tanks of
16
    Both Reactor Units
b.  
    Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),
Findings  
    Changes, Tests, and Experiments, and an associated finding of very-low safety
(1) Failure to Evaluate the Adverse Effects of Sharing the Refueling Water Storage Tanks of  
    significance (Green) for the licensees failure to perform a written safety evaluation that
Both Reactor Units  
    provided the bases for the determination that a change which resulted in the sharing of
Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),  
    the RWSTs of both reactor units did not require a license amendment. Specifically,
Changes, Tests, and Experiments, and an associated finding of very-low safety  
    screening 6E-05-0172, UFSAR Change Package (DRP) 11-052, did not address the
significance (Green) for the licensees failure to perform a written safety evaluation that  
    reduction in reactor unit independence associated with sharing the RWSTs air space of
provided the bases for the determination that a change which resulted in the sharing of  
    both reactor units.
the RWSTs of both reactor units did not require a license amendment. Specifically,  
    Description: Each reactor unit has one RWST, which supplies borated water to both
screening 6E-05-0172, UFSAR Change Package (DRP) 11-052, did not address the  
    trains of the Emergency Core Cooling System (ECCS) and Containment Spray (CS)
reduction in reactor unit independence associated with sharing the RWSTs air space of  
    systems during the injection phase of a LOCA recovery. The UFSAR Section 6.3,
both reactor units.  
    Emergency Core Cooling System, and UFSAR Section 6.5.2, Containment Spray
Description: Each reactor unit has one RWST, which supplies borated water to both  
    Systems, described the NPSH analyses for the ECCS and CS pumps when their
trains of the Emergency Core Cooling System (ECCS) and Containment Spray (CS)  
    suctions are aligned to their associated RWST. Before November 16, 2005, these
systems during the injection phase of a LOCA recovery. The UFSAR Section 6.3,  
    UFSAR sections described the RWST as being under atmospheric pressure during
Emergency Core Cooling System, and UFSAR Section 6.5.2, Containment Spray  
    the injection mode. The licensee changed these UFSAR descriptions following the
Systems, described the NPSH analyses for the ECCS and CS pumps when their  
    discovery that the RWST would not be under atmospheric pressure because the RWST
suctions are aligned to their associated RWST. Before November 16, 2005, these  
    vent did not have the capacity to prevent vacuum during the high outflow expected
UFSAR sections described the RWST as being under atmospheric pressure during  
    during the injection phase, and the vent vacuum relief device was not safety related.
the injection mode. The licensee changed these UFSAR descriptions following the  
    This discovery was captured in the CAP as AR00239280.
discovery that the RWST would not be under atmospheric pressure because the RWST  
    The licensee reviewed this UFSAR change in Title 10, Code of Federal Regulations
vent did not have the capacity to prevent vacuum during the high outflow expected  
    (CFR), Part 50.59 screening 6E-05-0172, Clarify References to RWST Internal
during the injection phase, and the vent vacuum relief device was not safety related.
    Pressure in the ECCS and CS Pumps NPSH Analysis. The screening concluded that
This discovery was captured in the CAP as AR00239280.  
    the change did not require a 10 CFR 50.59 safety evaluation and, consequently, NRC
The licensee reviewed this UFSAR change in Title 10, Code of Federal Regulations  
    prior approval because the change did not result in an adverse effect to the ECCS and
(CFR), Part 50.59 screening 6E-05-0172, Clarify References to RWST Internal  
    CS systems. Specifically, the licensee determined the expected vacuum would not
Pressure in the ECCS and CS Pumps NPSH Analysis. The screening concluded that  
    affect the structural integrity of the tank. In addition, the licensee determined in
the change did not require a 10 CFR 50.59 safety evaluation and, consequently, NRC  
    calculation BYR 04-016, [Residual Heat Removal] RHR, SI, [Chemical and Volume
prior approval because the change did not result in an adverse effect to the ECCS and  
    Control] CV, and CS Pump NPSH during ECCS Injection Mode, that the available
CS systems. Specifically, the licensee determined the expected vacuum would not  
    NPSH for the pumps while taking suction from the RWST remained adequate when
affect the structural integrity of the tank. In addition, the licensee determined in  
    considering the expected vacuum.
calculation BYR 04-016, [Residual Heat Removal] RHR, SI, [Chemical and Volume  
    However, the team noted that revised calculation BYR 04-016 credited the entire RWST
Control] CV, and CS Pump NPSH during ECCS Injection Mode, that the available  
    vent line, which was common to the RWSTs of both reactor units. Consequently, the
NPSH for the pumps while taking suction from the RWST remained adequate when  
    change credited the free air space of both tanks to mitigate the vacuum expected during
considering the expected vacuum.  
    tank drawdown. The team also noted that UFSAR Section 3.1.2.1.5, Evaluation Against
However, the team noted that revised calculation BYR 04-016 credited the entire RWST  
    Criterion 5 - Sharing of Structures, Systems, and Components, described those SSCs
vent line, which was common to the RWSTs of both reactor units. Consequently, the  
    important to safety shared by the two reactor units, and the RWSTs were not included
change credited the free air space of both tanks to mitigate the vacuum expected during  
    as shared SSCs. Thus, the team noted the licensee implemented a change to the
tank drawdown. The team also noted that UFSAR Section 3.1.2.1.5, Evaluation Against  
    facility as described in the UFSAR that resulted in a reduction of reactor unit
Criterion 5 - Sharing of Structures, Systems, and Components, described those SSCs  
    independence. Changes to the facility as described in the UFSAR that reduce reactor
important to safety shared by the two reactor units, and the RWSTs were not included  
    unit independence adversely impact 10 CFR 50.59 change evaluation criteria because
as shared SSCs. Thus, the team noted the licensee implemented a change to the  
    they result in more than a minimal increase in the likelihood of occurrence of a
facility as described in the UFSAR that resulted in a reduction of reactor unit  
    malfunction of an SSC important to safety. Since the licensee failed to appropriately
independence. Changes to the facility as described in the UFSAR that reduce reactor  
                                                16
unit independence adversely impact 10 CFR 50.59 change evaluation criteria because  
they result in more than a minimal increase in the likelihood of occurrence of a  
malfunction of an SSC important to safety. Since the licensee failed to appropriately  


evaluate this adverse effect in a 10 CFR 50.59 safety evaluation, the team could not
reasonably determine that the change would not have ultimately required NRC prior
17
approval.
evaluate this adverse effect in a 10 CFR 50.59 safety evaluation, the team could not  
The licensee captured this issue in their CAP as AR 02496142. The corrective actions
reasonably determine that the change would not have ultimately required NRC prior  
considered at the time of this inspection were to revise calculation BYR04-016 to not
approval.  
credit the opposite unit RWSTs air space and/or revise 10 CFR 50.59 screening
The licensee captured this issue in their CAP as AR 02496142. The corrective actions  
6E-05-0172 to consider the implications of crediting the opposite unit RWST air space.
considered at the time of this inspection were to revise calculation BYR04-016 to not  
The team also noted the licensee did not correctly implement this change into
credit the opposite unit RWSTs air space and/or revise 10 CFR 50.59 screening  
associated surveillance procedures intended to verify RWST operability. This separate
6E-05-0172 to consider the implications of crediting the opposite unit RWST air space.  
concern is discussed in detail in Section 1R21.5.b(2) of this report.
The team also noted the licensee did not correctly implement this change into  
Analysis: The team determined that the failure to provide a written evaluation that
associated surveillance procedures intended to verify RWST operability. This separate  
provided the bases for the determination that a change which resulted in the sharing of
concern is discussed in detail in Section 1R21.5.b(2) of this report.  
the RWSTs of both reactor units did not require a license amendment, was contrary to
Analysis: The team determined that the failure to provide a written evaluation that  
the requirements of 10 CFR 50.59(d)(1), and was a performance deficiency. The
provided the bases for the determination that a change which resulted in the sharing of  
performance deficiency was more than minor because it was associated with the
the RWSTs of both reactor units did not require a license amendment, was contrary to  
Mitigating Systems cornerstone attribute of design control, and affected the cornerstone
the requirements of 10 CFR 50.59(d)(1), and was a performance deficiency. The  
objective of ensuring the availability, reliability, and capability of mitigating systems to
performance deficiency was more than minor because it was associated with the  
respond to initiating events to prevent undesirable consequences. In addition, it was
Mitigating Systems cornerstone attribute of design control, and affected the cornerstone  
associated with the Barrier Integrity cornerstone attribute of design control, and affected
objective of ensuring the availability, reliability, and capability of mitigating systems to  
the cornerstone objective of providing reasonable assurance that physical design
respond to initiating events to prevent undesirable consequences. In addition, it was  
barriers protect the public from radionuclide releases caused by accidents or events.
associated with the Barrier Integrity cornerstone attribute of design control, and affected  
Specifically, the change did not ensure the RWST capability to support ECCS and CS
the cornerstone objective of providing reasonable assurance that physical design  
mitigating and barrier functions because it eliminated the capability to achieve the RWST
barriers protect the public from radionuclide releases caused by accidents or events.
supporting function while maintaining separation of the reactor units.
Specifically, the change did not ensure the RWST capability to support ECCS and CS  
In addition, the associated violation was determined to be more than minor because the
mitigating and barrier functions because it eliminated the capability to achieve the RWST  
team could not reasonably determine the changes would not have ultimately required
supporting function while maintaining separation of the reactor units.  
NRC prior approval.
In addition, the associated violation was determined to be more than minor because the  
Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process
team could not reasonably determine the changes would not have ultimately required  
instead of the Significance Determination Process (SDP) because they are considered
NRC prior approval.  
to be violations that potentially impede or impact the regulatory process. This violation is
Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process  
associated with a finding that has been evaluated by the SD, and communicated with an
instead of the Significance Determination Process (SDP) because they are considered  
SDP color reflective of the safety impact of the deficient licensee performance. The
to be violations that potentially impede or impact the regulatory process. This violation is  
SDP, however, does not specifically consider the regulatory process impact. Thus,
associated with a finding that has been evaluated by the SD, and communicated with an  
although related to a common regulatory concern, it is necessary to address the violation
SDP color reflective of the safety impact of the deficient licensee performance. The  
and finding using different processes to correctly reflect both the regulatory importance
SDP, however, does not specifically consider the regulatory process impact. Thus,  
of the violation and the safety significance of the associated finding.
although related to a common regulatory concern, it is necessary to address the violation  
In this case, the team determined that the finding could be evaluated using the SDP in
and finding using different processes to correctly reflect both the regulatory importance  
accordance with Inspection Manual Chapter (IMC) 0609, Significance Determination
of the violation and the safety significance of the associated finding.  
Process by using Attachment 0609.04, Initial Characterization of Findings. Since the
In this case, the team determined that the finding could be evaluated using the SDP in  
finding impacted the Mitigating Systems and Barrier Integrity cornerstones, the
accordance with Inspection Manual Chapter (IMC) 0609, Significance Determination  
inspectors screened the finding through IMC 0609 Appendix A, The Significance
Process by using Attachment 0609.04, Initial Characterization of Findings. Since the  
Determination Process for Findings At-Power, using Exhibit 2, Mitigating Systems
finding impacted the Mitigating Systems and Barrier Integrity cornerstones, the  
Screening Questions, and Exhibit 3, Barrier Integrity Screening Questions. The
inspectors screened the finding through IMC 0609 Appendix A, The Significance  
finding screened as very-low safety significance (Green) because it did not result in the
Determination Process for Findings At-Power, using Exhibit 2, Mitigating Systems  
loss of operability or functionality, and it did not represent an actual open pathway in the
Screening Questions, and Exhibit 3, Barrier Integrity Screening Questions. The  
physical integrity of the reactor containment. Specifically, the licensee reviewed
finding screened as very-low safety significance (Green) because it did not result in the  
                                            17
loss of operability or functionality, and it did not represent an actual open pathway in the  
physical integrity of the reactor containment. Specifically, the licensee reviewed  


calculation BYR 04-016, and reasonably determined that enough conservatism existed
such that adequate NPSH could be maintained without sharing the RWSTs of both
18
reactor units.
calculation BYR 04-016, and reasonably determined that enough conservatism existed  
In accordance with Section 6.1.d of the NRC Enforcement Policy, this violation is
such that adequate NPSH could be maintained without sharing the RWSTs of both  
categorized as Severity Level IV because the resulting change was evaluated by the
reactor units.
SDP as having very-low safety significance (i.e., Green finding).
In accordance with Section 6.1.d of the NRC Enforcement Policy, this violation is  
The inspectors did not identify a cross-cutting aspect associated with this finding
categorized as Severity Level IV because the resulting change was evaluated by the  
because it was confirmed not to be reflective of current performance. Specifically, the
SDP as having very-low safety significance (i.e., Green finding).  
finding occurred approximately 10 years ago.
The inspectors did not identify a cross-cutting aspect associated with this finding  
Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)
because it was confirmed not to be reflective of current performance. Specifically, the  
requires, in part, the licensee to maintain records of changes in the facility, of changes in
finding occurred approximately 10 years ago.  
procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These
Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)  
records must include a written evaluation which provides the bases for the determination
requires, in part, the licensee to maintain records of changes in the facility, of changes in  
that the change, test, or experiment does not require a license amendment pursuant to
procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These  
Paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall
records must include a written evaluation which provides the bases for the determination  
obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed
that the change, test, or experiment does not require a license amendment pursuant to  
change, test, or experiment if the change, test, or experiment would result in more than a
Paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall  
minimal increase in the likelihood of occurrence of a malfunction of an SSC important to
obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed  
safety previously evaluated in the UFSAR. In the UFSAR Sections 6.3 and 6.5 describe
change, test, or experiment if the change, test, or experiment would result in more than a  
the NPSH evaluations for ECCS and CS pumps when their suctions are aligned to their
minimal increase in the likelihood of occurrence of a malfunction of an SSC important to  
associated RWST. Additionally, UFSAR Section 3.1.2.1.5 states that Those systems,
safety previously evaluated in the UFSAR. In the UFSAR Sections 6.3 and 6.5 describe  
structures, and components important to safety shared by the two units are the ultimate
the NPSH evaluations for ECCS and CS pumps when their suctions are aligned to their  
heat sinks and the associated Byron makeup water systems; various heating, ventilating,
associated RWST. Additionally, UFSAR Section 3.1.2.1.5 states that Those systems,  
and air conditioning systems within the shared auxiliary and fuel handling building; and a
structures, and components important to safety shared by the two units are the ultimate  
component cooling heat exchanger which can be valved to serve one unit or the other.
heat sinks and the associated Byron makeup water systems; various heating, ventilating,  
The RWSTs are not included as shared SSCs.
and air conditioning systems within the shared auxiliary and fuel handling building; and a  
Contrary to the above, on November 16, 2005, the licensee failed to maintain a record
component cooling heat exchanger which can be valved to serve one unit or the other.
of a change in the facility made pursuant to 10 CFR 50.59(c) that included a written
The RWSTs are not included as shared SSCs.  
evaluation which provided the bases for the determination that the change did not
Contrary to the above, on November 16, 2005, the licensee failed to maintain a record  
require a license amendment pursuant to 10 CFR 50.90(c)(2). Specifically, the licensee
of a change in the facility made pursuant to 10 CFR 50.59(c) that included a written  
changed the ECCS and CS pumps NPSH calculation for their injection mode of
evaluation which provided the bases for the determination that the change did not  
operation (i.e., calculation BYR 04-016) to credit the entire vent line common to the
require a license amendment pursuant to 10 CFR 50.90(c)(2). Specifically, the licensee  
RWSTs of both reactor units and, consequently, the free air space of both tanks to
changed the ECCS and CS pumps NPSH calculation for their injection mode of  
mitigate the vacuum expected during tank drawdown. However, the licensee failed to
operation (i.e., calculation BYR 04-016) to credit the entire vent line common to the  
perform a written evaluation that provided the bases for the determination that the
RWSTs of both reactor units and, consequently, the free air space of both tanks to  
change effect of reducing reactor unit independence by sharing their RWSTs did not
mitigate the vacuum expected during tank drawdown. However, the licensee failed to  
result in more than a minimal increase in the likelihood of occurrence of a malfunction of
perform a written evaluation that provided the bases for the determination that the  
the RWSTs and their supported safety systems.
change effect of reducing reactor unit independence by sharing their RWSTs did not  
The licensee is still evaluating its planned corrective actions. However, the team
result in more than a minimal increase in the likelihood of occurrence of a malfunction of  
determined that the continued non-compliance does not present an immediate safety
the RWSTs and their supported safety systems.  
concern because the licensee reasonably determined that the affected analysis
The licensee is still evaluating its planned corrective actions. However, the team  
contained enough conservatism such that adequate NPSH could be maintained
determined that the continued non-compliance does not present an immediate safety  
without sharing the RWSTs of both reactor units.
concern because the licensee reasonably determined that the affected analysis  
                                          18
contained enough conservatism such that adequate NPSH could be maintained  
without sharing the RWSTs of both reactor units.  


    Because this was a Severity Level IV violation and was entered into the licensee
    Corrective Action Program (CAP) as AR 02496142, this violation is being treated
19
    as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy.
Because this was a Severity Level IV violation and was entered into the licensee  
    (NCV 05000454/2015008-03; 05000455/2015008-03; Failure to Evaluate the Adverse
Corrective Action Program (CAP) as AR 02496142, this violation is being treated  
    Effects of Sharing the RWSTs of Both Reactor Units)
as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy.
    The associated finding is evaluated separately from the traditional enforcement violation
(NCV 05000454/2015008-03; 05000455/2015008-03; Failure to Evaluate the Adverse  
    and, therefore, the finding is being assigned a separate tracking number.
Effects of Sharing the RWSTs of Both Reactor Units)  
    (FIN 05000454/2015008-04; 05000455/2015008-04; Failure to Evaluate the Adverse
The associated finding is evaluated separately from the traditional enforcement violation  
    Effects of Sharing the RWSTs of Both Reactor Units)
and, therefore, the finding is being assigned a separate tracking number.
(2) Failure to Adequately Implement a Design Change Associated with the RWSTs
(FIN 05000454/2015008-04; 05000455/2015008-04; Failure to Evaluate the Adverse  
    Introduction: The team identified a finding of very-low safety significance (Green),
Effects of Sharing the RWSTs of Both Reactor Units)  
    and an associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control,
(2) Failure to Adequately Implement a Design Change Associated with the RWSTs  
    for the licensees failure to translate applicable design basis into TS Surveillance
Introduction: The team identified a finding of very-low safety significance (Green),  
    Requirement (SR) 3.5.4.2 implementing procedures. Specifically, these procedures
and an associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control,  
    did not verify RWST vent line was free of ice blockage at the locations and during all
for the licensees failure to translate applicable design basis into TS Surveillance  
    applicable MODEs of reactor operation assumed by the ECCS and CS pump NPSH
Requirement (SR) 3.5.4.2 implementing procedures. Specifically, these procedures  
    calculation.
did not verify RWST vent line was free of ice blockage at the locations and during all  
    Description: Each reactor unit has one RWST, which supplies borated water to both
applicable MODEs of reactor operation assumed by the ECCS and CS pump NPSH  
    trains of the ECCS and CS systems during the injection phase of a LOCA recovery.
calculation.  
    The TS 3.5.4, Refueling Water Storage Tank, required the RWSTs to be operable
Description: Each reactor unit has one RWST, which supplies borated water to both  
    when their associated reactor unit is in MODEs 1, 2, 3, or 4. A vent line is installed at
trains of the ECCS and CS systems during the injection phase of a LOCA recovery.
    the top of each RWST. The vent lines are routed into the auxiliary building where they
The TS 3.5.4, Refueling Water Storage Tank, required the RWSTs to be operable  
    connect to a common header which joins to a filtration system. Because the header is
when their associated reactor unit is in MODEs 1, 2, 3, or 4. A vent line is installed at  
    common to both vents, the free air spaces of the RWSTs are communicated via their
the top of each RWST. The vent lines are routed into the auxiliary building where they  
    vent lines. The vent line portions located between the tanks and the auxiliary building
connect to a common header which joins to a filtration system. Because the header is  
    are exposed to outside ambient conditions. For this reason, TS SR 3.5.4.2 stated,
common to both vents, the free air spaces of the RWSTs are communicated via their  
    Verify RWST vent path temperature is 35 degrees Fahrenheit. The associated TS
vent lines. The vent line portions located between the tanks and the auxiliary building  
    Basis explained that Heat traced portions of the RWST vent path should be verified to
are exposed to outside ambient conditions. For this reason, TS SR 3.5.4.2 stated,  
    be within the temperature limit needed to prevent ice blockage and subsequent vacuum
Verify RWST vent path temperature is 35 degrees Fahrenheit. The associated TS  
    formation in the tank during rapid level decreases caused by accident conditions. The
Basis explained that Heat traced portions of the RWST vent path should be verified to  
    licensee established procedures 1/2 BOSR 01-1,2,3, Modes 1, 2, and 3 Shiftily and
be within the temperature limit needed to prevent ice blockage and subsequent vacuum  
    Daily Operating Surveillance, and 1/2 BOSR 01-4, Mode 4 Shiftily and Daily Operating
formation in the tank during rapid level decreases caused by accident conditions. The  
    Surveillance, as the implementing procedures for SR 3.5.4.2.
licensee established procedures 1/2 BOSR 01-1,2,3, Modes 1, 2, and 3 Shiftily and  
    Originally, the RWSTs design assumed they were atmospheric tanks by crediting their
Daily Operating Surveillance, and 1/2 BOSR 01-4, Mode 4 Shiftily and Daily Operating  
    associated vent line capability to prevent vacuum during tank drawdown. However, on
Surveillance, as the implementing procedures for SR 3.5.4.2.  
    November 16, 2005, the licensee implemented a design change to credit the vent lines
Originally, the RWSTs design assumed they were atmospheric tanks by crediting their  
    capability to communicate the free air space of both tanks following the discovery that
associated vent line capability to prevent vacuum during tank drawdown. However, on  
    the RWST vents did not have the capacity to prevent vacuum during the high outflow
November 16, 2005, the licensee implemented a design change to credit the vent lines  
    expected during the injection phase, and the vent vacuum relief devices were not safety
capability to communicate the free air space of both tanks following the discovery that  
    related. This discovery was captured in the CAP as AR00239280.
the RWST vents did not have the capacity to prevent vacuum during the high outflow  
    As a result, calculation BYR 04-016, RHR, SI, CV and CS Pump NPSH during ECCS
expected during the injection phase, and the vent vacuum relief devices were not safety  
    Injection Mode, credited the vent lines of both RWSTs to mitigate the vacuum expected
related. This discovery was captured in the CAP as AR00239280.  
    during the drawdown of one tank during accident conditions. However, the team noted
As a result, calculation BYR 04-016, RHR, SI, CV and CS Pump NPSH during ECCS  
    this change was not correctly implemented into procedures 1/2 BOSR 01-1,2,3 and
Injection Mode, credited the vent lines of both RWSTs to mitigate the vacuum expected  
    1/2 BOSR 01-4. Specifically, these procedures were reactor unit specific in that their
during the drawdown of one tank during accident conditions. However, the team noted  
    instructions only required verifying the RWST vent line portions that were associated
this change was not correctly implemented into procedures 1/2 BOSR 01-1,2,3 and  
                                              19
1/2 BOSR 01-4. Specifically, these procedures were reactor unit specific in that their  
instructions only required verifying the RWST vent line portions that were associated  


with the applicable reactor unit RWST; that is, the portions between the associated
RWST and the auxiliary building. As a consequence, the team was concerned because,
20
if one vent line is found to be blocked with ice, the procedures would only recognize one
with the applicable reactor unit RWST; that is, the portions between the associated  
RWST as being inoperable. In addition, the procedures were only implemented when
RWST and the auxiliary building. As a consequence, the team was concerned because,  
the associated reactor unit was in MODEs 1, 2, 3, or 4 consistent with the applicability
if one vent line is found to be blocked with ice, the procedures would only recognize one  
requirements of TS 3.5.4. Thus, the team was also concerned that a potentially
RWST as being inoperable. In addition, the procedures were only implemented when  
inoperable condition would not be detected because the procedures would not verify
the associated reactor unit was in MODEs 1, 2, 3, or 4 consistent with the applicability  
both vent lines were free of ice blockage when one reaction unit is in MODE 5 or 6
requirements of TS 3.5.4. Thus, the team was also concerned that a potentially  
while the other reactor unit is in MODE 1, 2, 3, or 4.
inoperable condition would not be detected because the procedures would not verify  
The licensee captured the team concerns in their CAP as AR 02496766. The immediate
both vent lines were free of ice blockage when one reaction unit is in MODE 5 or 6  
corrective action was to verify that outside air temperatures were not forecasted to fall
while the other reactor unit is in MODE 1, 2, 3, or 4.  
below 35 degrees Fahrenheit for the foreseeable future. Additionally, the licensee
The licensee captured the team concerns in their CAP as AR 02496766. The immediate  
determined the RWSTs remained operable during the last 3 years by performing a
corrective action was to verify that outside air temperatures were not forecasted to fall  
historical review which did not find instances in which the vent lines temperature fell
below 35 degrees Fahrenheit for the foreseeable future. Additionally, the licensee  
below 35 degrees Fahrenheit. The proposed corrective actions to restore compliance
determined the RWSTs remained operable during the last 3 years by performing a  
at the time of this inspection included revising the applicable calculations to remove
historical review which did not find instances in which the vent lines temperature fell  
dependence on the opposite unit, and/or revising the affected procedures to be
below 35 degrees Fahrenheit. The proposed corrective actions to restore compliance  
consistent with the applicable calculation.
at the time of this inspection included revising the applicable calculations to remove  
The team also noted the licensee did not perform a written safety evaluation that
dependence on the opposite unit, and/or revising the affected procedures to be  
provided the bases for the determination that this change, which resulted in a reduction
consistent with the applicable calculation.  
of reactor unit independence, did not require a license amendment. This separate
The team also noted the licensee did not perform a written safety evaluation that  
concern is discussed in detail in Section 1R21.5.b(1) of this report.
provided the bases for the determination that this change, which resulted in a reduction  
Analysis: The team determined the failure to translate applicable design basis into
of reactor unit independence, did not require a license amendment. This separate  
TS SR 3.5.4.2 implementing procedures was contrary to 10 CFR Part 50, Appendix B,
concern is discussed in detail in Section 1R21.5.b(1) of this report.  
Criterion III, Design Control, and was a performance deficiency. The performance
Analysis: The team determined the failure to translate applicable design basis into  
deficiency was determined to be more than minor because it was associated with the
TS SR 3.5.4.2 implementing procedures was contrary to 10 CFR Part 50, Appendix B,  
Mitigating Systems cornerstone attribute of design control, and affected the cornerstone
Criterion III, Design Control, and was a performance deficiency. The performance  
objective of ensuring the availability, reliability, and capability of mitigating systems to
deficiency was determined to be more than minor because it was associated with the  
respond to initiating events to prevent undesirable consequences. Additionally, it was
Mitigating Systems cornerstone attribute of design control, and affected the cornerstone  
associated with the Barrier Integrity cornerstone attribute of design control, and affected
objective of ensuring the availability, reliability, and capability of mitigating systems to  
the cornerstone objective of providing reasonable assurance that physical design
respond to initiating events to prevent undesirable consequences. Additionally, it was  
barriers protect the public from radionuclide releases caused by accidents or events.
associated with the Barrier Integrity cornerstone attribute of design control, and affected  
Specifically, TS SR 3.5.4.2 implementing procedures were inadequate to verify RWST
the cornerstone objective of providing reasonable assurance that physical design  
operability because they did not verify all critical assumptions made by the design
barriers protect the public from radionuclide releases caused by accidents or events.
calculations. The RWST supports ECCS, which is a mitigating system, and CS, which
Specifically, TS SR 3.5.4.2 implementing procedures were inadequate to verify RWST  
is part of the physical design barrier.
operability because they did not verify all critical assumptions made by the design  
The team determined the finding could be evaluated using the SDP in accordance
calculations. The RWST supports ECCS, which is a mitigating system, and CS, which  
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial
is part of the physical design barrier.  
Characterization of Findings. Since the finding impacted the Mitigating Systems and
The team determined the finding could be evaluated using the SDP in accordance  
Barrier Integrity cornerstones, the inspectors screened the finding through IMC 0609,
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial  
Appendix A, The Significance Determination Process for Findings At-Power, using
Characterization of Findings. Since the finding impacted the Mitigating Systems and  
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity
Barrier Integrity cornerstones, the inspectors screened the finding through IMC 0609,  
Screening Questions. The finding screened as very-low safety significance (Green)
Appendix A, The Significance Determination Process for Findings At-Power, using  
because it did not result in the loss of operability or functionality, and it did not represent
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity  
an actual open pathway in the physical integrity of reactor containment. Specifically, the
Screening Questions. The finding screened as very-low safety significance (Green)  
licensee performed a historical review of the last 3 years of operation and did not find
because it did not result in the loss of operability or functionality, and it did not represent  
any instances in which the vent path temperature fell below 35 degrees Fahrenheit.
an actual open pathway in the physical integrity of reactor containment. Specifically, the  
                                          20
licensee performed a historical review of the last 3 years of operation and did not find  
any instances in which the vent path temperature fell below 35 degrees Fahrenheit.  


    The inspectors did not identify a cross-cutting aspect associated with this finding
    because it was confirmed not to be reflective of current performance due to the age
21
    of the performance deficiency. Specifically, the finding occurred approximately
The inspectors did not identify a cross-cutting aspect associated with this finding  
    10-years ago.
because it was confirmed not to be reflective of current performance due to the age  
    Enforcement: Title 10 CFR Part 50, Appendix B, Criterion III, Design Control, requires,
of the performance deficiency. Specifically, the finding occurred approximately  
    in part, that design changes, including field changes, be subjected to design control
10-years ago.  
    measures commensurate with those applied to the original design.
Enforcement: Title 10 CFR Part 50, Appendix B, Criterion III, Design Control, requires,  
    Contrary to the above, on November 16, 2005, the licensee performed a design change
in part, that design changes, including field changes, be subjected to design control  
    and failed to subject it to design control measures commensurate to those applied to the
measures commensurate with those applied to the original design.  
    original design. Specifically, the licensee changed the ECCS and CS pump NPSH
Contrary to the above, on November 16, 2005, the licensee performed a design change  
    calculation for their injection mode of operation (i.e., calculation BYR 04-016) to credit
and failed to subject it to design control measures commensurate to those applied to the  
    the capability of the vent lines of both RWSTs to support the operability of any one
original design. Specifically, the licensee changed the ECCS and CS pump NPSH  
    RWST. However, the design control measures failed to correctly translate the new
calculation for their injection mode of operation (i.e., calculation BYR 04-016) to credit  
    design basis into procedures 1/2 BOSR 01-1,2,3 and 1/2 BOSR 01-4 in that they were
the capability of the vent lines of both RWSTs to support the operability of any one  
    not revised to verify the capability of the vent lines of both RWSTs to support the
RWST. However, the design control measures failed to correctly translate the new  
    operability of any one RWST.
design basis into procedures 1/2 BOSR 01-1,2,3 and 1/2 BOSR 01-4 in that they were  
    The licensee is still evaluating its planned corrective actions. However, the team
not revised to verify the capability of the vent lines of both RWSTs to support the  
    determined that the continued non-compliance does not present an immediate safety
operability of any one RWST.  
    concern because outside air temperatures were not forecasted to fall below 35 degrees
The licensee is still evaluating its planned corrective actions. However, the team  
    Fahrenheit for the foreseeable future. Additionally, a corrective action tracking item was
determined that the continued non-compliance does not present an immediate safety  
    created to develop compensatory actions if compliance is not restored prior to the next
concern because outside air temperatures were not forecasted to fall below 35 degrees  
    season when temperatures can potentially decrease below 35 degrees Fahrenheit.
Fahrenheit for the foreseeable future. Additionally, a corrective action tracking item was  
    Because this violation was of very-low safety significance and was entered into the
created to develop compensatory actions if compliance is not restored prior to the next  
    licensees CAP as AR 02496766, this violation is being treated as a NCV, consistent
season when temperatures can potentially decrease below 35 degrees Fahrenheit.  
    with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-05;
Because this violation was of very-low safety significance and was entered into the  
    05000455/2015008-05; Failure to Adequately Implement a Design Change Associated
licensees CAP as AR 02496766, this violation is being treated as a NCV, consistent  
    with the RWSTs)
with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-05;  
(3) Failure to Evaluate the Adverse Effects of Changing the Emergency Service Water
05000455/2015008-05; Failure to Adequately Implement a Design Change Associated  
    Cooling Tower Tornado Analysis as Described in the Updated Final Safety Analysis
with the RWSTs)  
    Report
(3) Failure to Evaluate the Adverse Effects of Changing the Emergency Service Water  
    Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),
Cooling Tower Tornado Analysis as Described in the Updated Final Safety Analysis  
    Changes, Tests, and Experiments, and an associated finding of very-low safety
Report  
    significance (Green) for the licensees failure to perform a written evaluation that
Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),  
    provided the bases for the determination that the changes to the SXCT tornado analysis
Changes, Tests, and Experiments, and an associated finding of very-low safety  
    as described in the UFSAR did not require a license amendment. Specifically,
significance (Green) for the licensees failure to perform a written evaluation that  
    50.59 Evaluation 6G-11-0041, Tornado Missile Design Basis for the Essential Service
provided the bases for the determination that the changes to the SXCT tornado analysis  
    Water Cooling Towers, did not address the introduction of a new failure mode, the
as described in the UFSAR did not require a license amendment. Specifically,  
    resulting loss of heat removal capacity during worst postulated conditions, and addition
50.59 Evaluation 6G-11-0041, Tornado Missile Design Basis for the Essential Service  
    of operator actions that have not been demonstrated can be completed within the
Water Cooling Towers, did not address the introduction of a new failure mode, the  
    required time to restore the required SXCT heat removal capacity during worst case
resulting loss of heat removal capacity during worst postulated conditions, and addition  
    conditions.
of operator actions that have not been demonstrated can be completed within the  
    Description: During the 2005 NRC Safety Systems Design, Performance and
required time to restore the required SXCT heat removal capacity during worst case  
    Capability (SSDPC) inspection, the inspectors noted that the UFSAR-described
conditions.  
    tornado analysis for the SXCT had not been updated to reflect changes that increased
Description: During the 2005 NRC Safety Systems Design, Performance and  
    the heat load. The SSDPC documented this concern as URI 05000454/2005002-07;
Capability (SSDPC) inspection, the inspectors noted that the UFSAR-described  
                                              21
tornado analysis for the SXCT had not been updated to reflect changes that increased  
the heat load. The SSDPC documented this concern as URI 05000454/2005002-07;  


05000455/2005002-07. In 2007, this URI was subsequently closed to NCV 05000454/
2007004-03; 05000455/2007004-03. As a result, on February 14, 2012, the licensee
22
completed EC 385829, UHS Capability with Loss of SX Fans Due to Tornado Missiles,
05000455/2005002-07. In 2007, this URI was subsequently closed to NCV 05000454/  
to change the UHS tornado missile design basis as described in Revision 7 of the
2007004-03; 05000455/2007004-03. As a result, on February 14, 2012, the licensee  
UFSAR. The EC 385829 evaluated these design basis changes in 10 CFR 50.59 safety
completed EC 385829, UHS Capability with Loss of SX Fans Due to Tornado Missiles,  
evaluation 6G-11-004, Tornado Missile Design Basis for the Essential Service Water
to change the UHS tornado missile design basis as described in Revision 7 of the  
Cooling Towers, dated February 9, 2012. This 10 CFR 50.59 safety evaluation
UFSAR. The EC 385829 evaluated these design basis changes in 10 CFR 50.59 safety  
concluded that the design basis changes could be implemented without obtaining a
evaluation 6G-11-004, Tornado Missile Design Basis for the Essential Service Water  
license amendment.
Cooling Towers, dated February 9, 2012. This 10 CFR 50.59 safety evaluation  
However, the team noted that the licensee did not address the adverse effects of the
concluded that the design basis changes could be implemented without obtaining a  
changes in the 10 CFR 50.59 safety evaluation. Specifically, the change reduced the
license amendment.  
amount of missiles from multiple to single, and changed the SXCT design from
However, the team noted that the licensee did not address the adverse effects of the  
natural draft cooling to mechanical draft cooling (i.e., from passive to active system).
changes in the 10 CFR 50.59 safety evaluation. Specifically, the change reduced the  
These changes adversely impacted 10 CFR 50.59 change evaluation criteria because
amount of missiles from multiple to single, and changed the SXCT design from  
they would result in more than a minimal increase in the likelihood of occurrence of a
natural draft cooling to mechanical draft cooling (i.e., from passive to active system).
malfunction of the SXCT during a tornado event. Specifically:
These changes adversely impacted 10 CFR 50.59 change evaluation criteria because  
*       The change introduced a new failure mode (i.e., fan failures) that was not
they would result in more than a minimal increase in the likelihood of occurrence of a  
        bounded by the previous analysis. Specifically, Revision 7 of the UFSAR
malfunction of the SXCT during a tornado event. Specifically:  
        Section 3.5.4, Analysis of Multiple Missiles Generated by a Tornado, stated
*  
        that the SXCT fans, fan motors, and fan drives were not protected from tornado
The change introduced a new failure mode (i.e., fan failures) that was not  
        missiles. It also stated, An analysis of cooling tower capacity without fans
bounded by the previous analysis. Specifically, Revision 7 of the UFSAR  
        [emphasis added] has been made. In contrast, this statement was revised to,
Section 3.5.4, Analysis of Multiple Missiles Generated by a Tornado, stated  
        An analysis of the UHS cooling capability for a tornado missile event has been
that the SXCT fans, fan motors, and fan drives were not protected from tornado  
        made. The new analysis required multiple operating fans to ensure enough
missiles. It also stated, An analysis of cooling tower capacity without fans  
        cooling capacity to mitigate the effects of a single tornado missile. The fans, fan
[emphasis added] has been made. In contrast, this statement was revised to,  
        motors, and fan drives were not modified to add tornado missile protection. In
An analysis of the UHS cooling capability for a tornado missile event has been  
        addition, Revision 7 of the UFSAR Section 9.2.5.3.2, Essential Service Water
made. The new analysis required multiple operating fans to ensure enough  
        Cooling Towers, stated An analysis of the effect of multiple [emphasis added]
cooling capacity to mitigate the effects of a single tornado missile. The fans, fan  
        tornado missiles on the essential service water cooling towers has been
motors, and fan drives were not modified to add tornado missile protection. In  
        performed. This statement was revised to delete the word multiple.
addition, Revision 7 of the UFSAR Section 9.2.5.3.2, Essential Service Water  
        Following this revision, the analysis only considered the effects of one
Cooling Towers, stated An analysis of the effect of multiple [emphasis added]  
        tornado-generated missile.
tornado missiles on the essential service water cooling towers has been  
*       Revision 1 of NEI 96-07, Guidelines for 10 CFR 50.59 Evaluations, which
performed. This statement was revised to delete the word multiple.
        has been endorsed by the NRC in Regulatory Guide 1.187, Guidance for
Following this revision, the analysis only considered the effects of one  
        Implementation of 10 CFR 50.59, Changes, Tests, and Experiments, stated, in
tornado-generated missile.  
        part, that a change would result in less than a minimal increase in the likelihood
*  
        of occurrence of an SSC malfunction provided it satisfies applicable design
Revision 1 of NEI 96-07, Guidelines for 10 CFR 50.59 Evaluations, which  
        basis requirements. In contrast, this change did not satisfy the design basis
has been endorsed by the NRC in Regulatory Guide 1.187, Guidance for  
        requirements for protection against natural phenomena as described in the
Implementation of 10 CFR 50.59, Changes, Tests, and Experiments, stated, in  
        USAR Section 3.1.2.1.2, Evaluation Against Criterion 2 - Design Bases for
part, that a change would result in less than a minimal increase in the likelihood  
        Protection Against Natural Phenomena. Specifically, Revision 7 and the
of occurrence of an SSC malfunction provided it satisfies applicable design  
        revision in effect at the time of this inspection of UFSAR Section 3.1.2.1.2 stated,
basis requirements. In contrast, this change did not satisfy the design basis  
        The systems, components, and structures important to safety have been
requirements for protection against natural phenomena as described in the  
        designed to accommodate, without loss of capability [emphasis added], effects of
USAR Section 3.1.2.1.2, Evaluation Against Criterion 2 - Design Bases for  
        the design-basis natural phenomena along with appropriate combinations of
Protection Against Natural Phenomena. Specifically, Revision 7 and the  
        normal and accident conditions. However, this change would result in the loss
revision in effect at the time of this inspection of UFSAR Section 3.1.2.1.2 stated,  
        of SXCT capability to perform its safety function during the worst case conditions
The systems, components, and structures important to safety have been  
        in that the required number of fans would not be available necessitating operator
designed to accommodate, without loss of capability [emphasis added], effects of  
                                            22
the design-basis natural phenomena along with appropriate combinations of  
normal and accident conditions. However, this change would result in the loss  
of SXCT capability to perform its safety function during the worst case conditions  
in that the required number of fans would not be available necessitating operator  


        actions to delay shutdown cooling initiation until an adequate number of SXCT
        fans are available to support the shutdown cooling heat load and, consequently,
23
        transition to MODE 5 where design basis accidents (DBAs) are not postulated.
actions to delay shutdown cooling initiation until an adequate number of SXCT  
*       The change involved a new operator action that supports the SXCT function
fans are available to support the shutdown cooling heat load and, consequently,  
        which is not reflected in plant procedures and training programs. Specifically,
transition to MODE 5 where design basis accidents (DBAs) are not postulated.  
        UFSAR Section 3.5.4 was revised to credit new operator actions to delay
*  
        RHR initiation until an adequate number of SXCT fans are available for shutdown
The change involved a new operator action that supports the SXCT function  
        cooling [emphasis added] and to stagger RHR initiation for the two units.
which is not reflected in plant procedures and training programs. Specifically,  
        The revised UFSAR-described analysis assumed For the worst case design
UFSAR Section 3.5.4 was revised to credit new operator actions to delay  
        conditions the first unit is assumed to be placed on RHR cooling 24 hours after
RHR initiation until an adequate number of SXCT fans are available for shutdown  
        the event and the second unit at 30 hours after the event. NEI 96-07 states, in
cooling [emphasis added] and to stagger RHR initiation for the two units.
        part, that a new operator action that supports a design function credited in a
The revised UFSAR-described analysis assumed For the worst case design  
        safety analysis results in less than a minimal increase in the likelihood of
conditions the first unit is assumed to be placed on RHR cooling 24 hours after  
        occurrence of an SSC malfunction provided the action is reflected in plant
the event and the second unit at 30 hours after the event. NEI 96-07 states, in  
        procedures and training programs, and these actions have been demonstrated
part, that a new operator action that supports a design function credited in a  
        can be completed in the time required considering the aggregate effects.
safety analysis results in less than a minimal increase in the likelihood of  
        However, the licensee had not created procedures and training material to
occurrence of an SSC malfunction provided the action is reflected in plant  
        restore an adequate number of SXCT fans. In addition, the licensee had not
procedures and training programs, and these actions have been demonstrated  
        demonstrated that these actions can be completed in the time required
can be completed in the time required considering the aggregate effects.
        considering the aggregate effects, such as the expected conditions when the
However, the licensee had not created procedures and training material to  
        actions are required.
restore an adequate number of SXCT fans. In addition, the licensee had not  
In addition, the change would create a possibility for an SXCT malfunction with a
demonstrated that these actions can be completed in the time required  
different result than any previously evaluated in the UFSAR because:
considering the aggregate effects, such as the expected conditions when the  
*       Nuclear Energy Institute (NEI) 96-07 states, A malfunction that involves an
actions are required.  
        initiator or failure whose effects are not bounded by those explicitly described in
In addition, the change would create a possibility for an SXCT malfunction with a  
        the UFSAR is a malfunction with a different result. In contrast, this change
different result than any previously evaluated in the UFSAR because:  
        would result in the loss of SXCT capability to perform its safety function during
*  
        the worst case conditions in that the required number of fans would not be
Nuclear Energy Institute (NEI) 96-07 states, A malfunction that involves an  
        available to support RHR initiation necessitating a delay of RHR initiation until an
initiator or failure whose effects are not bounded by those explicitly described in  
        adequate number of fans are available. The previous UFSAR-described analysis
the UFSAR is a malfunction with a different result. In contrast, this change  
        assumed the SXCT design remained capable of performing its safety function
would result in the loss of SXCT capability to perform its safety function during  
        during the worst case conditions because it did not require any fans to support
the worst case conditions in that the required number of fans would not be  
        RHR initiation and operation; and
available to support RHR initiation necessitating a delay of RHR initiation until an  
*       NEI 96-07 stated, An example of a change that would create the possibility for a
adequate number of fans are available. The previous UFSAR-described analysis  
        malfunction with a different result is a substantial modification that creates a
assumed the SXCT design remained capable of performing its safety function  
        new or common cause failure that is not bounded by previous analyses or
during the worst case conditions because it did not require any fans to support  
        evaluations. In contrast, this change introduced a new failure that was not
RHR initiation and operation; and  
        bounded by previous analysis as previously explained.
*  
The licensee captured the team concern in their CAP as AR 2506214 to request a
NEI 96-07 stated, An example of a change that would create the possibility for a  
license amendment. The potential operability implications of this issue are discussed
malfunction with a different result is a substantial modification that creates a  
in Section 4OA2.1.b(3) of this report.
new or common cause failure that is not bounded by previous analyses or  
Analysis: The team determined that the failure to perform a written evaluation that
evaluations. In contrast, this change introduced a new failure that was not  
provided the bases for the determination that the changes to the SXCT tornado analysis
bounded by previous analysis as previously explained.  
as described in the UFSAR did not require a license amendment was contrary to the
The licensee captured the team concern in their CAP as AR 2506214 to request a  
requirements of 10 CFR 50.59(d)(1) and was a performance deficiency. The
license amendment. The potential operability implications of this issue are discussed  
                                          23
in Section 4OA2.1.b(3) of this report.  
Analysis: The team determined that the failure to perform a written evaluation that  
provided the bases for the determination that the changes to the SXCT tornado analysis  
as described in the UFSAR did not require a license amendment was contrary to the  
requirements of 10 CFR 50.59(d)(1) and was a performance deficiency. The  


performance deficiency was more than minor because it was associated with the
Mitigating Systems cornerstone attribute of protection against external events, and
24
affected the cornerstone objective of ensuring the availability, reliability, and capability of
performance deficiency was more than minor because it was associated with the  
mitigating systems to respond to initiating events to prevent undesirable consequences.
Mitigating Systems cornerstone attribute of protection against external events, and  
Specifically, the change did not ensure the SXCT reliability and availability during and
affected the cornerstone objective of ensuring the availability, reliability, and capability of  
following a tornado event because it introduced a new failure mode, and added reliance
mitigating systems to respond to initiating events to prevent undesirable consequences.
on operator actions that have not been demonstrated can be completed in the required
Specifically, the change did not ensure the SXCT reliability and availability during and  
time. The change also did not ensure the SXCT capability to perform its safety function
following a tornado event because it introduced a new failure mode, and added reliance  
during the worst case conditions during and following a tornado event in that the
on operator actions that have not been demonstrated can be completed in the required  
required number of fans would not be available necessitating timely operator action
time. The change also did not ensure the SXCT capability to perform its safety function  
to restore the required heat removal capability.
during the worst case conditions during and following a tornado event in that the  
In addition, the associated violation was determined to be more than minor because the
required number of fans would not be available necessitating timely operator action  
team could not reasonably determine the changes would not have ultimately required
to restore the required heat removal capability.  
NRC prior approval.
In addition, the associated violation was determined to be more than minor because the  
Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process
team could not reasonably determine the changes would not have ultimately required  
instead of the SDP because they are considered to be violations that potentially impede
NRC prior approval.  
or impact the regulatory process. This violation is associated with a finding that has
Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process  
been evaluated by the SDP, and communicated with an SDP color reflective of the
instead of the SDP because they are considered to be violations that potentially impede  
safety impact of the deficient licensee performance. The SDP, however, does not
or impact the regulatory process. This violation is associated with a finding that has  
specifically consider the regulatory process impact. Thus, although related to a common
been evaluated by the SDP, and communicated with an SDP color reflective of the  
regulatory concern, it is necessary to address the violation and finding using different
safety impact of the deficient licensee performance. The SDP, however, does not  
processes to correctly reflect both the regulatory importance of the violation and the
specifically consider the regulatory process impact. Thus, although related to a common  
safety significance of the associated finding.
regulatory concern, it is necessary to address the violation and finding using different  
In this case, the team determined the finding could be evaluated using the SDP in
processes to correctly reflect both the regulatory importance of the violation and the  
accordance with IMC 0609, Significance Determination Process, Attachment 0609.04,
safety significance of the associated finding.  
Initial Characterization of Findings. Because the finding impacted the Mitigating
In this case, the team determined the finding could be evaluated using the SDP in  
System cornerstone, the team screened the finding through IMC 0609, Appendix A, The
accordance with IMC 0609, Significance Determination Process, Attachment 0609.04,  
Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating
Initial Characterization of Findings. Because the finding impacted the Mitigating  
Systems Screening Questions." In accordance with Exhibit 2, the team screened the
System cornerstone, the team screened the finding through IMC 0609, Appendix A, The  
finding using Exhibit 4, External Events Screening Questions, because the finding
Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating  
involved the degradation of equipment or function specifically designed to mitigate a
Systems Screening Questions." In accordance with Exhibit 2, the team screened the  
severe weather initiating event. The team conservatively screened the finding as
finding using Exhibit 4, External Events Screening Questions, because the finding  
necessitating a detailed risk evaluation because the loss of UHS during a tornado event
involved the degradation of equipment or function specifically designed to mitigate a  
would degrade one or more trains of a system that supports a risk-significant system or
severe weather initiating event. The team conservatively screened the finding as  
function.
necessitating a detailed risk evaluation because the loss of UHS during a tornado event  
The Senior Reactor Analysts (SRAs) performed a bounding risk evaluation for the delta
would degrade one or more trains of a system that supports a risk-significant system or  
core damage frequency (CDF) of tornado missile strike(s) causing a core damage
function.  
event at Byron due to damage to the SXCT fans:
The Senior Reactor Analysts (SRAs) performed a bounding risk evaluation for the delta  
*       The SRAs assumed that a tornado with wind speed exceeding 100 mph would
core damage frequency (CDF) of tornado missile strike(s) causing a core damage  
        be required to generate damaging missiles;
event at Byron due to damage to the SXCT fans:  
*       The frequency of this tornado for Byron is approximately 1.13E-4/yr from the Risk
*  
        Assessment Standardization Project (RASP) website;
The SRAs assumed that a tornado with wind speed exceeding 100 mph would  
                                        24
be required to generate damaging missiles;  
*  
The frequency of this tornado for Byron is approximately 1.13E-4/yr from the Risk  
Assessment Standardization Project (RASP) website;  


*       The tornado missiles were assumed to cause damage and fail an entire set of
        SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans
25
        conservative assumption); and
*  
*       The SRAs further assumed that the tornado also caused a severe weather loss
The tornado missiles were assumed to cause damage and fail an entire set of  
        of offsite power event.
SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans  
The Byron SPAR Model Version 8.27 and Systems Analysis Programs for Hands-on
conservative assumption); and  
Integrated Reliability Evaluations (SAPHIRE) Version 8.1.2 software were used by the
*  
SRAs to evaluate the risk significance of this finding. Using the Byron SPAR model, the
The SRAs further assumed that the tornado also caused a severe weather loss  
Conditional Core Damage Probability (CCDP) (i.e., if the tornado event occurred and
of offsite power event.  
damaged one train of SXCT fans) is approximately 4.8E-4. Thus, a bounding CDF
The Byron SPAR Model Version 8.27 and Systems Analysis Programs for Hands-on  
calculated due to the SXCT vulnerability to missiles is approximately 5.4E-8/yr
Integrated Reliability Evaluations (SAPHIRE) Version 8.1.2 software were used by the  
(i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).
SRAs to evaluate the risk significance of this finding. Using the Byron SPAR model, the  
Based on the detailed risk evaluation, the SRAs determined that the finding was of
Conditional Core Damage Probability (CCDP) (i.e., if the tornado event occurred and  
very-low safety significance (Green). As a result, this violation is categorized as
damaged one train of SXCT fans) is approximately 4.8E-4. Thus, a bounding CDF  
Severity Level IV in accordance with Section 6.1.d of the NRC Enforcement Policy.
calculated due to the SXCT vulnerability to missiles is approximately 5.4E-8/yr  
The team did not identify a cross-cutting aspect associated with this finding because the
(i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).  
finding was not representative of current performance. Specifically, the change was
Based on the detailed risk evaluation, the SRAs determined that the finding was of  
evaluated through the licensee 50.59 process in February 9, 2012.
very-low safety significance (Green). As a result, this violation is categorized as  
Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)
Severity Level IV in accordance with Section 6.1.d of the NRC Enforcement Policy.  
requires, in part, the licensee to maintain records of changes in the facility, of changes in
The team did not identify a cross-cutting aspect associated with this finding because the  
procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These
finding was not representative of current performance. Specifically, the change was  
records must include a written evaluation which provides the bases for the determination
evaluated through the licensee 50.59 process in February 9, 2012.  
that the change, test, or experiment does not require a license amendment pursuant to
Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)  
paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall
requires, in part, the licensee to maintain records of changes in the facility, of changes in  
obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed
procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These  
change, test, or experiment if the change, test, or experiment would result in more than a
records must include a written evaluation which provides the bases for the determination  
minimal increase in the likelihood of occurrence of a malfunction of an SSC important to
that the change, test, or experiment does not require a license amendment pursuant to  
safety previously evaluated in the UFSAR. In addition, 10 CFR(c)(2)(vi) states, in part,
paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall  
that a licensee shall obtain a license amendment pursuant to 10 CFR 50.90 prior to
obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed  
implementing a proposed change, test, or experiment if the change, test, or experiment
change, test, or experiment if the change, test, or experiment would result in more than a  
would create a possibility for a malfunction of an SSC important to safety with a different
minimal increase in the likelihood of occurrence of a malfunction of an SSC important to  
result than any previously evaluated in the Final Safety Analysis Report (FSAR)as
safety previously evaluated in the UFSAR. In addition, 10 CFR(c)(2)(vi) states, in part,  
updated.
that a licensee shall obtain a license amendment pursuant to 10 CFR 50.90 prior to  
The UFSAR Section 9.2.5.3.2 in effect prior to the change implementation stated, An
implementing a proposed change, test, or experiment if the change, test, or experiment  
analysis of the effect of multiple [emphasis added] tornado missiles on the essential
would create a possibility for a malfunction of an SSC important to safety with a different  
service water cooling towers has been performed. In addition, UFSAR Sections 3.5.4.1
result than any previously evaluated in the Final Safety Analysis Report (FSAR)as  
and 9.2.5.3.2 in effect prior to the change implementation stated, An analysis of cooling
updated.  
tower capacity without fans [emphasis added] has been made. Moreover, UFSAR
The UFSAR Section 9.2.5.3.2 in effect prior to the change implementation stated, An  
Section 3.1.2.1.2 in effect prior to the change implementation and at the time of this
analysis of the effect of multiple [emphasis added] tornado missiles on the essential  
inspection stated, The systems, components, and structures important to safety have
service water cooling towers has been performed. In addition, UFSAR Sections 3.5.4.1  
been designed to accommodate, without loss of capability [emphasis added], effects of
and 9.2.5.3.2 in effect prior to the change implementation stated, An analysis of cooling  
the design-basis natural phenomena along with appropriate combinations of normal and
tower capacity without fans [emphasis added] has been made. Moreover, UFSAR  
accident conditions.
Section 3.1.2.1.2 in effect prior to the change implementation and at the time of this  
                                          25
inspection stated, The systems, components, and structures important to safety have  
been designed to accommodate, without loss of capability [emphasis added], effects of  
the design-basis natural phenomena along with appropriate combinations of normal and  
accident conditions.  


    Contrary to the above, on February 9, 2012, the licensee failed to maintain a record of
    a change in the facility made pursuant to 10 CFR 50.59(c) that included a written
26
    evaluation which provided the bases for the determination that the change did not
Contrary to the above, on February 9, 2012, the licensee failed to maintain a record of  
    require a license amendment pursuant to 10 CFR 50.59(c)(2). Specifically, the licensee
a change in the facility made pursuant to 10 CFR 50.59(c) that included a written  
    made changes to the UFSAR-described SXCT tornado analysis and evaluated this
evaluation which provided the bases for the determination that the change did not  
    change in 50.59 Evaluation 6G-11-0041. However, this evaluation did not consider
require a license amendment pursuant to 10 CFR 50.59(c)(2). Specifically, the licensee  
    the adverse effects of the introduction of a new failure mode, the resulting loss of heat
made changes to the UFSAR-described SXCT tornado analysis and evaluated this  
    removal capacity during worst postulated conditions, and addition of operator actions
change in 50.59 Evaluation 6G-11-0041. However, this evaluation did not consider  
    that have not been demonstrated can be completed in the required time to restore the
the adverse effects of the introduction of a new failure mode, the resulting loss of heat  
    required SXCT heat removal capacity during worst case conditions. As a result, the
removal capacity during worst postulated conditions, and addition of operator actions  
    evaluation did not provide a basis for the determination that the change did not result in
that have not been demonstrated can be completed in the required time to restore the  
    a more than a minimal increase in the likelihood of occurrence of a malfunction of the
required SXCT heat removal capacity during worst case conditions. As a result, the  
    SXCT during and following a tornado event, and would not create a possibility for a
evaluation did not provide a basis for the determination that the change did not result in  
    malfunction of the SXCT with a different result than any previously evaluated.
a more than a minimal increase in the likelihood of occurrence of a malfunction of the  
    The licensee is still evaluating its planned corrective actions to restore compliance. As
SXCT during and following a tornado event, and would not create a possibility for a  
    an immediate corrective action, the licensee performed an operability evaluation. At the
malfunction of the SXCT with a different result than any previously evaluated.  
    time of the CDBI exit meeting on June 16, 2015, the team was still reviewing the revised
The licensee is still evaluating its planned corrective actions to restore compliance. As  
    operability evaluation with the assistance of NRR.
an immediate corrective action, the licensee performed an operability evaluation. At the  
    Because this was a Severity Level IV violation, and was entered into the licensees CAP
time of the CDBI exit meeting on June 16, 2015, the team was still reviewing the revised  
    as AR 02506214, this violation is being treated as an NCV, consistent with Section 2.3.2
operability evaluation with the assistance of NRR.  
    of the NRC Enforcement Policy. (NCV 05000454/2015008-06; 05000455/2015008-06,
Because this was a Severity Level IV violation, and was entered into the licensees CAP  
    Failure to Evaluate the Adverse Effects of Changing the SXCT Tornado Analysis as
as AR 02506214, this violation is being treated as an NCV, consistent with Section 2.3.2  
    Described in the UFSAR)
of the NRC Enforcement Policy. (NCV 05000454/2015008-06; 05000455/2015008-06,  
    The associated finding is evaluated separately from the traditional enforcement violation
Failure to Evaluate the Adverse Effects of Changing the SXCT Tornado Analysis as  
    and, therefore, the finding is being assigned a separate tracking number.
Described in the UFSAR)  
    (FIN 05000454/2015008-07; 05000455/2015008-07, Failure to Evaluate the Adverse
The associated finding is evaluated separately from the traditional enforcement violation  
    Effects of Changing the SXCT Tornado Analysis as Described in the UFSAR)
and, therefore, the finding is being assigned a separate tracking number.
.6   Operating Procedure Accident Scenarios
(FIN 05000454/2015008-07; 05000455/2015008-07, Failure to Evaluate the Adverse  
  a. Inspection Scope
Effects of Changing the SXCT Tornado Analysis as Described in the UFSAR)  
    The team performed a detailed reviewed of the procedures listed below. The
.6  
    procedures were chosen because they were associated with feed-and-bleed of the
Operating Procedure Accident Scenarios  
    RCS, a loss of UHS, and other aspects of this inspection. For the procedures listed
a.  
    time critical operator actions were reviewed for reasonableness, in plant action were
Inspection Scope  
    walked down with a licensed operator, and any interfaces with other departments were
The team performed a detailed reviewed of the procedures listed below. The  
    evaluated. The procedures were compared to the UFSAR, design assumptions, and
procedures were chosen because they were associated with feed-and-bleed of the  
    training materials to assess consistency.
RCS, a loss of UHS, and other aspects of this inspection. For the procedures listed  
    The following operating procedures were reviewed in detail:
time critical operator actions were reviewed for reasonableness, in plant action were  
    *       1BFR-H1, Response to Loss of Secondary Heat Sink Unit1, Revision 203;
walked down with a licensed operator, and any interfaces with other departments were  
    *       0BOA PRI-7, Loss of Ultimate Heat Sink Unit 0, Revision 1;
evaluated. The procedures were compared to the UFSAR, design assumptions, and  
    *       1BOA PRI-7, Essential Service Water Malfunction Unit 1, Revision 106;
training materials to assess consistency.  
    *       1BOA PRI-5, Control Room Inaccessibility, Revision 108;
The following operating procedures were reviewed in detail:  
                                              26
*  
1BFR-H1, Response to Loss of Secondary Heat Sink Unit1, Revision 203;  
*  
0BOA PRI-7, Loss of Ultimate Heat Sink Unit 0, Revision 1;  
*  
1BOA PRI-7, Essential Service Water Malfunction Unit 1, Revision 106;  
*  
1BOA PRI-5, Control Room Inaccessibility, Revision 108;  


    *       1BOA ELEC-5, Local Emergency Control of Safe Shutdown Equipment,
            Revision 106;
27
    *       1BEP ES-1.3, Transfer to Cold Leg Recirculation Unit 1, Revision 204; and
*  
    *       1BCA-1.2, LOCA Outside Containment Unit 1, Revision 200.
1BOA ELEC-5, Local Emergency Control of Safe Shutdown Equipment,  
b. Findings
Revision 106;  
(1) Failure to Provide Proper Direction for Low Level Isolation of the Refueling Water
*  
    Storage Tank in Emergency Operating Procedures
1BEP ES-1.3, Transfer to Cold Leg Recirculation Unit 1, Revision 204; and  
    Introduction: The team identified a finding of very-low safety significance (Green), and
*  
    an associated NCV of TS 5.4, Procedures, for the failure to EOPs for transfer to cold
1BCA-1.2, LOCA Outside Containment Unit 1, Revision 200.  
    leg recirculation. Specifically, Revision 204 of EOPs 1/2BEP ES-1.3, Transfer to Cold
b.  
    Leg Recirculation, did not contain instructions for transferring the ECCS and CS
Findings  
    systems to the recirculation mode that ensured prevention of potential pump damage
(1) Failure to Provide Proper Direction for Low Level Isolation of the Refueling Water  
    when the RWST is emptied following a LOCA.
Storage Tank in Emergency Operating Procedures  
    Description: Procedures 1/2BEP ES-1.3 were established as the implementing EOPs
Introduction: The team identified a finding of very-low safety significance (Green), and  
    for transferring ECCS and CS system suction from the RWST to containment sump
an associated NCV of TS 5.4, Procedures, for the failure to EOPs for transfer to cold  
    recirculation. These EOPs were intended to be consistent with the technical guidelines
leg recirculation. Specifically, Revision 204 of EOPs 1/2BEP ES-1.3, Transfer to Cold  
    of Westinghouse Owners Group Guidelines (WOG) Emergency Response Guideline
Leg Recirculation, did not contain instructions for transferring the ECCS and CS  
    (ERG) ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005. The technical
systems to the recirculation mode that ensured prevention of potential pump damage  
    guideline of WOG ERG ES-1.3 included the following caution statement: Any pumps
when the RWST is emptied following a LOCA.  
    taking suction from the RWST should be stopped if RWST level decreases to (U.03).
Description: Procedures 1/2BEP ES-1.3 were established as the implementing EOPs  
    The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also
for transferring ECCS and CS system suction from the RWST to containment sump  
    stated, Based on pump suction piping configuration, the plant specific value of (U.03)
recirculation. These EOPs were intended to be consistent with the technical guidelines  
    may need to consider the possibility of vortexing and air entrainment. The ERG basis
of Westinghouse Owners Group Guidelines (WOG) Emergency Response Guideline  
    for this caution stated, Any pumps taking suction from the RWST must be stopped
(ERG) ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005. The technical  
    when the level in the tank reaches the empty alarm set point in order to prevent loss of
guideline of WOG ERG ES-1.3 included the following caution statement: Any pumps  
    suction flow and potential pump damage. The licensee established 9 percent RWST
taking suction from the RWST should be stopped if RWST level decreases to (U.03).
    level as the empty alarm set point to prevent air-entraining vortices and ensured
The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also  
    adequate pump NPSH.
stated, Based on pump suction piping configuration, the plant specific value of (U.03)  
    In 1996, the licensee changed EOPs 1/2BEP ES-1.3 to include a deviation to this ERG
may need to consider the possibility of vortexing and air entrainment. The ERG basis  
    caution. Specifically, the revised EOP caution stated Any pumps taking suction from
for this caution stated, Any pumps taking suction from the RWST must be stopped  
    the RWST should be stropped if level drops to 9 percent, unless a flow path also exists
when the level in the tank reaches the empty alarm set point in order to prevent loss of  
    from the CNMT [containment] sump. The EOP deviation document stated This will
suction flow and potential pump damage. The licensee established 9 percent RWST  
    allow continuing with switchover without securing pumps if an acceptable flow path
level as the empty alarm set point to prevent air-entraining vortices and ensured  
    exists. It also stated CNMT pressure should isolate the RWST flow path once aligned
adequate pump NPSH.  
    to the sump. However, the licensee did not perform any evaluation to support this
In 1996, the licensee changed EOPs 1/2BEP ES-1.3 to include a deviation to this ERG  
    rationale.
caution. Specifically, the revised EOP caution stated Any pumps taking suction from  
    The team was concerned because the revised caution did not assure to prevent air
the RWST should be stropped if level drops to 9 percent, unless a flow path also exists  
    entrainment into the piping system to avoid ECCS and CS pump air binding and/or
from the CNMT [containment] sump. The EOP deviation document stated This will  
    cavitation leading to potential damage. The licensee captured the team concern in
allow continuing with switchover without securing pumps if an acceptable flow path  
    their CAP as AR 02495580. The immediate corrective action was to create a standing
exists. It also stated CNMT pressure should isolate the RWST flow path once aligned  
    order instructing operators to secure all pumps aligned to the RWST when it reaches
to the sump. However, the licensee did not perform any evaluation to support this  
    9 percent level. The proposed corrective actions to restore compliance at the time of
rationale.  
    this inspection included performing a detailed engineering analysis of the hydrodynamic
The team was concerned because the revised caution did not assure to prevent air  
    fluid mechanics with a dual suction source option or removing the dual suction source
entrainment into the piping system to avoid ECCS and CS pump air binding and/or  
    option.
cavitation leading to potential damage. The licensee captured the team concern in  
                                              27
their CAP as AR 02495580. The immediate corrective action was to create a standing  
order instructing operators to secure all pumps aligned to the RWST when it reaches  
9 percent level. The proposed corrective actions to restore compliance at the time of  
this inspection included performing a detailed engineering analysis of the hydrodynamic  
fluid mechanics with a dual suction source option or removing the dual suction source  
option.


Analysis: The team determined that the failure to maintain an EOP for transfer to cold
leg recirculation was contrary to TS 5.4, Procedures, and was a performance
28
deficiency. The performance deficiency was determined to be more than minor because
Analysis: The team determined that the failure to maintain an EOP for transfer to cold  
it was associated with the Mitigating Systems cornerstone attribute of procedure quality,
leg recirculation was contrary to TS 5.4, Procedures, and was a performance  
and affected the cornerstone objective of ensuring the availability, reliability, and
deficiency. The performance deficiency was determined to be more than minor because  
capability of mitigating systems to respond to initiating events to prevent undesirable
it was associated with the Mitigating Systems cornerstone attribute of procedure quality,  
consequences. In addition, it was associated with the Barrier Integrity cornerstone
and affected the cornerstone objective of ensuring the availability, reliability, and  
attribute of procedure quality, and affected the cornerstone objective of providing
capability of mitigating systems to respond to initiating events to prevent undesirable  
reasonable assurance that physical design barriers protect the public from radionuclide
consequences. In addition, it was associated with the Barrier Integrity cornerstone  
releases caused by accidents or events. Specifically, failure to maintain an EOP for
attribute of procedure quality, and affected the cornerstone objective of providing  
transfer to cold leg recirculation does not ensure that air entrainment into the piping
reasonable assurance that physical design barriers protect the public from radionuclide  
system is prevented. As a consequence, the availability, reliability, and capability of
releases caused by accidents or events. Specifically, failure to maintain an EOP for  
the ECCS pumps to meet their mitigating function are not ensured. Similarly, the
transfer to cold leg recirculation does not ensure that air entrainment into the piping  
performance deficiency does not provide reasonable assurance the CS pumps would
system is prevented. As a consequence, the availability, reliability, and capability of  
remain capable of supporting the reactor containment barrier function.
the ECCS pumps to meet their mitigating function are not ensured. Similarly, the  
The team determined the finding could be evaluated using the SDP in accordance
performance deficiency does not provide reasonable assurance the CS pumps would  
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial
remain capable of supporting the reactor containment barrier function.  
Characterization of Findings. Because the finding impacted the Mitigating Systems
The team determined the finding could be evaluated using the SDP in accordance  
and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial  
Appendix A, The Significance Determination Process for Findings At-Power, using
Characterization of Findings. Because the finding impacted the Mitigating Systems  
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity
and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,  
Screening Questions. The finding screened as of very-low safety significance (Green)
Appendix A, The Significance Determination Process for Findings At-Power, using  
because it did not result in the loss of operability or functionality of mitigating systems,
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity  
represent an actual open pathway in the physical integrity of reactor containment, and
Screening Questions. The finding screened as of very-low safety significance (Green)  
involved an actual reduction in function of hydrogen igniters in the reactor containment.
because it did not result in the loss of operability or functionality of mitigating systems,  
Specifically, the incorrect caution would only be used in the event that transfer to sump
represent an actual open pathway in the physical integrity of reactor containment, and  
recirculation was not completed by 9 percent tank level or if the RWST suction isolation
involved an actual reduction in function of hydrogen igniters in the reactor containment.
valves fail to close. With respect to transfer to sump recirculation by 9 percent tank
Specifically, the incorrect caution would only be used in the event that transfer to sump  
level, this is a time critical operator action that is tested and verified periodically on the
recirculation was not completed by 9 percent tank level or if the RWST suction isolation  
plant simulator. A review of these simulator test results reasonably determined that
valves fail to close. With respect to transfer to sump recirculation by 9 percent tank  
operators reliably complete the transfer to sump recirculation prior to reaching this set
level, this is a time critical operator action that is tested and verified periodically on the  
point. With respect to the failure of the RWST suction isolation valves, these valves are
plant simulator. A review of these simulator test results reasonably determined that  
test quarterly to demonstrate operability. A review of these test results for the last
operators reliably complete the transfer to sump recirculation prior to reaching this set  
3 years reasonably determined the valves would have isolated the tank when required.
point. With respect to the failure of the RWST suction isolation valves, these valves are  
The team did not identify a cross-cutting aspect associated with this finding because the
test quarterly to demonstrate operability. A review of these test results for the last  
finding was not representative of current performance. Specifically, the inadequate
3 years reasonably determined the valves would have isolated the tank when required.  
caution had been added to 1/2BEP ES-1.3 in 1996.
The team did not identify a cross-cutting aspect associated with this finding because the  
Enforcement: In TS Section 5.4.1b states, in part, that written procedures shall be
finding was not representative of current performance. Specifically, the inadequate  
established, implemented, and maintained covering the EOPs required to implement the
caution had been added to 1/2BEP ES-1.3 in 1996.  
requirements of NUREG-0737 and NUREG-0737, Supplement 1, as stated in Generic
Enforcement: In TS Section 5.4.1b states, in part, that written procedures shall be  
Letter (GL) 82-33, Section 7.1. NUREG-0737, Supplement 1, Section 7.1.c, states,
established, implemented, and maintained covering the EOPs required to implement the  
Upgrade EOPs to be consistent with Technical Guidelines and an appropriate
requirements of NUREG-0737 and NUREG-0737, Supplement 1, as stated in Generic  
procedure Writers Guide. The applicable technical guideline contained in WOG ERG
Letter (GL) 82-33, Section 7.1. NUREG-0737, Supplement 1, Section 7.1.c, states,  
ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005, stated, Any pumps
Upgrade EOPs to be consistent with Technical Guidelines and an appropriate  
taking suction from the RWST should be stopped if RWST level decreases to (U.03).
procedure Writers Guide. The applicable technical guideline contained in WOG ERG  
The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also
ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005, stated, Any pumps  
stated, Based on pump suction piping configuration, the plant specific value of (U.03)
taking suction from the RWST should be stopped if RWST level decreases to (U.03).
may need to consider the possibility of vortexing and air entrainment.
The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also  
                                            28
stated, Based on pump suction piping configuration, the plant specific value of (U.03)  
may need to consider the possibility of vortexing and air entrainment.  


      The licensee established Revision 204 of 1/2BEP ES-1.3, Transfer to Cold Leg
      Recirculation, as the implementing procedures for WOG ERG ES-1.3 to specify the
29
      actions required for transfer to containment sump recirculation. In addition, the licensee
The licensee established Revision 204 of 1/2BEP ES-1.3, Transfer to Cold Leg  
      established 9 percent RWST level as the empty alarm set point, in part, to prevent air
Recirculation, as the implementing procedures for WOG ERG ES-1.3 to specify the  
      entrainment.
actions required for transfer to containment sump recirculation. In addition, the licensee  
      Contrary to the above, between 1996 to at least May 4, 2015, the licensee failed to
established 9 percent RWST level as the empty alarm set point, in part, to prevent air  
      maintain a written procedure covering the EOPs required to implement the requirements
entrainment.  
      of NUREG-0737 and NUREG-0737, Supplement 1, as stated in GL 82-33, Section 7.1.
Contrary to the above, between 1996 to at least May 4, 2015, the licensee failed to  
      Specifically, the licensee did not upgrade EOPs 1/2BEP ES-1.3 to be consistent with the
maintain a written procedure covering the EOPs required to implement the requirements  
      technical guideline contained in WOG ERG ES-1.3 in that the EOPs did not instructed
of NUREG-0737 and NUREG-0737, Supplement 1, as stated in GL 82-33, Section 7.1.
      operators to stop any pumps taking suction from the RWST if level decreases below the
Specifically, the licensee did not upgrade EOPs 1/2BEP ES-1.3 to be consistent with the  
      9 percent RWST empty alarm set point when a flow path from the containment sump
technical guideline contained in WOG ERG ES-1.3 in that the EOPs did not instructed  
      existed.
operators to stop any pumps taking suction from the RWST if level decreases below the  
      The licensee is still evaluating its planned corrective actions. However, the team
9 percent RWST empty alarm set point when a flow path from the containment sump  
      determined that the continued non-compliance does not present an immediate safety
existed.  
      concern because the licensee created a standing order instructing operators to secure
The licensee is still evaluating its planned corrective actions. However, the team  
      all pumps aligned to the RWST when it reaches 9 percent level.
determined that the continued non-compliance does not present an immediate safety  
      Because this violation was of very-low safety significance, and was entered into the
concern because the licensee created a standing order instructing operators to secure  
      licensees CAP as AR 02495580, this violation is being treated as an NCV, consistent
all pumps aligned to the RWST when it reaches 9 percent level.  
      with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-08;
Because this violation was of very-low safety significance, and was entered into the  
      05000455/2015008-08, Failure to Provide Proper Direction for Low Level Isolation of
licensees CAP as AR 02495580, this violation is being treated as an NCV, consistent  
      the RWST in EOPs)
with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-08;  
4.   OTHER ACTIVITIES
05000455/2015008-08, Failure to Provide Proper Direction for Low Level Isolation of  
4OA2 Identification and Resolution of Problems
the RWST in EOPs)  
.1   Review of Items Entered Into the Corrective Action Program
4.  
  a. Inspection Scope
OTHER ACTIVITIES  
      The team reviewed a sample of the selected component problems identified by the
4OA2 Identification and Resolution of Problems  
      licensee, and entered into the CAP. The team reviewed these issues to verify an
.1  
      appropriate threshold for identifying issues, and to evaluate the effectiveness of
Review of Items Entered Into the Corrective Action Program  
      corrective actions related to design issues. In addition, corrective action documents
a.  
      written on issues identified during the inspection were reviewed to verify adequate
Inspection Scope  
      problem identification and incorporation of the problem into the CAP. The specific
The team reviewed a sample of the selected component problems identified by the  
      corrective action documents sampled and reviewed by the team are listed in the
licensee, and entered into the CAP. The team reviewed these issues to verify an  
      attachment to this report.
appropriate threshold for identifying issues, and to evaluate the effectiveness of  
      The team also selected three issues identified during previous CDBIs to verify that
corrective actions related to design issues. In addition, corrective action documents  
      the concern was adequately evaluated and corrective actions were identified and
written on issues identified during the inspection were reviewed to verify adequate  
      implemented to resolve the concern, as necessary. The following issues were reviewed:
problem identification and incorporation of the problem into the CAP. The specific  
      *       NCV 05000454/2012007-01; 05000455/2012007-01, Non-Conforming 480/120
corrective action documents sampled and reviewed by the team are listed in the  
              VAC Motor Control Contactors;
attachment to this report.  
      *       NCV 05000454/2012007-03; 05000455/2012007-03, Non-Conservative
The team also selected three issues identified during previous CDBIs to verify that  
              Calibration Tolerance Limits for Electrical Relay Settings; and
the concern was adequately evaluated and corrective actions were identified and  
                                                29
implemented to resolve the concern, as necessary. The following issues were reviewed:  
*  
NCV 05000454/2012007-01; 05000455/2012007-01, Non-Conforming 480/120  
VAC Motor Control Contactors;  
*  
NCV 05000454/2012007-03; 05000455/2012007-03, Non-Conservative  
Calibration Tolerance Limits for Electrical Relay Settings; and  


    *       NCV 05000454/2012007-05; 05000455/2012007-05, Failure to Provide Means
            to Detect Leak in Emergency Core Cooling Flow Path.
30
b. Findings
*  
(1) Failure to Promptly Correct an NRC-Identified Non-Cited Violation Associated with the
NCV 05000454/2012007-05; 05000455/2012007-05, Failure to Provide Means  
    Capability to Detect and Isolate Emergency Core Cooling System Leakage
to Detect Leak in Emergency Core Cooling Flow Path.  
    Introduction: A finding of very-low safety significance (Green), and an associated cited
b.  
    violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Actions, was
Findings  
    identified by the team for the failure to correct a condition adverse to quality (CAQ).
(1) Failure to Promptly Correct an NRC-Identified Non-Cited Violation Associated with the  
    Specifically, on June 15, 2012, the NRC issued an NCV for the failure to provide means
Capability to Detect and Isolate Emergency Core Cooling System Leakage  
    to detect and isolate a leak in the ECCS within 30 minutes as described in the UFSAR,
Introduction: A finding of very-low safety significance (Green), and an associated cited  
    which is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ.
violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Actions, was  
    Description: On June 15, 2012 the NRC identified that the licensee had failed to provide
identified by the team for the failure to correct a condition adverse to quality (CAQ).
    a means to detect and isolate a leak in the ECCS flow path within 30 minutes, as
Specifically, on June 15, 2012, the NRC issued an NCV for the failure to provide means  
    described in UFSAR 6.3.2.5, System Reliability. Specifically, UFSAR 6.3.2.5 stated,
to detect and isolate a leak in the ECCS within 30 minutes as described in the UFSAR,  
    in part, that the design of the auxiliary building and related equipment was based upon
which is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ.  
    handling of leaks up to a maximum of 50 gallons per minute (gpm). In addition, it stated
Description: On June 15, 2012 the NRC identified that the licensee had failed to provide  
    Means were provided to detect and isolate such leaks in the emergency core cooling
a means to detect and isolate a leak in the ECCS flow path within 30 minutes, as  
    flow path within 30 minutes. The 2012 CDBI team identified that the licensee had failed
described in UFSAR 6.3.2.5, System Reliability. Specifically, UFSAR 6.3.2.5 stated,  
    to provide a means to detect and isolate an ECCS leak within 30 minutes. This issue
in part, that the design of the auxiliary building and related equipment was based upon  
    was documented as NCV 05000454/2012007-05; 05000455/2012007-05, Failure to
handling of leaks up to a maximum of 50 gallons per minute (gpm). In addition, it stated  
    Provide Means to Detect Leak in ECCS Flow Path, in Inspection Report (IR) 05000454/
Means were provided to detect and isolate such leaks in the emergency core cooling  
    2012007; 05000455/2012007.
flow path within 30 minutes. The 2012 CDBI team identified that the licensee had failed  
    The licensee captured this NCV in their CAP as AR 01378257 and AR 01398434. The
to provide a means to detect and isolate an ECCS leak within 30 minutes. This issue  
    assigned corrective action tracking item (CA) was AR01378257-04, which stated:
was documented as NCV 05000454/2012007-05; 05000455/2012007-05, Failure to  
            Investigate the bases/sources of the values assigned to the single failure
Provide Means to Detect Leak in ECCS Flow Path, in Inspection Report (IR) 05000454/  
            (50 gpm and 30 minutes), including whether there is a commitment associated.
2012007; 05000455/2012007.  
            Create additional corrective actions (CA type) as necessary. If UFSAR change is
The licensee captured this NCV in their CAP as AR 01378257 and AR 01398434. The  
            determined feasible, include an action to determination of the impact of the leak
assigned corrective action tracking item (CA) was AR01378257-04, which stated:  
            duration lasting longer than 30 minutes on flood level inside containment and the
Investigate the bases/sources of the values assigned to the single failure  
            Auxiliary Building.
(50 gpm and 30 minutes), including whether there is a commitment associated.
    The CA due date was extended eight times and, eventually, the CA was downgraded to
Create additional corrective actions (CA type) as necessary. If UFSAR change is  
    an action tracking item (ACIT) because the licensee recognized that it did not correct the
determined feasible, include an action to determination of the impact of the leak  
    issue. Procedure PI-AA-125, Corrective Action Program Procedure, defined ACIT as
duration lasting longer than 30 minutes on flood level inside containment and the  
    Action items that are completed to improve performance, or correct minor problems that
Auxiliary Building.  
    do not represent CAQ. On February 18, 2015, the licensee discovered that a new CA
The CA due date was extended eight times and, eventually, the CA was downgraded to  
    type assignment was not generated to address the NCV following the AR 01378257-04
an action tracking item (ACIT) because the licensee recognized that it did not correct the  
    downgrade from a CA to an ACIT type. This was inconsistent with step 4.5.2 of
issue. Procedure PI-AA-125, Corrective Action Program Procedure, defined ACIT as  
    procedure PI-AA-125 in that it required, in part, the creation of a CA for any planned
Action items that are completed to improve performance, or correct minor problems that  
    action necessary to correct a CAQ. This discovery was captured in the CAP as
do not represent CAQ. On February 18, 2015, the licensee discovered that a new CA  
    AR 02454767. The associated CA assignment stated:
type assignment was not generated to address the NCV following the AR 01378257-04  
            Design Engineering will determine if UFSAR section 6.3.2.5 requires revision
downgrade from a CA to an ACIT type. This was inconsistent with step 4.5.2 of  
            using the information provided in IR 01378257 and IR 1398434. If it is concluded
procedure PI-AA-125 in that it required, in part, the creation of a CA for any planned  
            a revision is required, an additional CA to track the change will be created.
action necessary to correct a CAQ. This discovery was captured in the CAP as  
                                              30
AR 02454767. The associated CA assignment stated:  
Design Engineering will determine if UFSAR section 6.3.2.5 requires revision  
using the information provided in IR 01378257 and IR 1398434. If it is concluded  
a revision is required, an additional CA to track the change will be created.  


During this inspection period, the team noted that the actions assigned by this CA were
similar to those of AR 01378257-04, which the licensee had previously determined
31
did not correct the NCV. The team was concerned because, as of May 22, 2015, the
During this inspection period, the team noted that the actions assigned by this CA were  
licensee failed to restore compliance and failed to have objective plans to restore
similar to those of AR 01378257-04, which the licensee had previously determined  
compliance in a reasonable period following the NRC identification of the NCV on
did not correct the NCV. The team was concerned because, as of May 22, 2015, the  
June 15, 2012.
licensee failed to restore compliance and failed to have objective plans to restore  
The licensee captured the teams concern in their CAP as AR 02501454 to promptly
compliance in a reasonable period following the NRC identification of the NCV on  
restore compliance. As an immediate corrective action, the licensee reasonably
June 15, 2012.  
determined ECCS remained operable by reviewing procedures and calculations.
The licensee captured the teams concern in their CAP as AR 02501454 to promptly  
Specifically, the licensee reasonably determined procedures used when responding to
restore compliance. As an immediate corrective action, the licensee reasonably  
postulated events would direct operators to detect and isolate an ECCS leak before it
determined ECCS remained operable by reviewing procedures and calculations.
could adversely affect the system mitigating function or result in a radionuclide release
Specifically, the licensee reasonably determined procedures used when responding to  
in excess of applicable limits.
postulated events would direct operators to detect and isolate an ECCS leak before it  
Analysis: The team determined that the failure to correct an NRC-identified NCV
could adversely affect the system mitigating function or result in a radionuclide release  
associated with the capability to detect and isolate ECCS leakage, which is a CAQ, was
in excess of applicable limits.  
contrary to 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, and was a
Analysis: The team determined that the failure to correct an NRC-identified NCV  
performance deficiency. The performance deficiency was determined to be more than
associated with the capability to detect and isolate ECCS leakage, which is a CAQ, was  
minor because it was associated with the Mitigating Systems cornerstone attribute of
contrary to 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, and was a  
design control, and affected the cornerstone objective of ensuring the availability,
performance deficiency. The performance deficiency was determined to be more than  
reliability, and capability of mitigating systems to respond to initiating events to prevent
minor because it was associated with the Mitigating Systems cornerstone attribute of  
undesirable consequences. In addition, it was associated with the Barrier Integrity
design control, and affected the cornerstone objective of ensuring the availability,  
cornerstone attribute of design control, and affected the cornerstone objective of
reliability, and capability of mitigating systems to respond to initiating events to prevent  
providing reasonable assurance that physical design barriers protect the public from
undesirable consequences. In addition, it was associated with the Barrier Integrity  
radionuclide releases caused by accidents or events. Specifically, the failure to detect
cornerstone attribute of design control, and affected the cornerstone objective of  
and isolate a leak in the ECCS flow path within 30 minutes could compromise long term
providing reasonable assurance that physical design barriers protect the public from  
cooling, adversely affecting its capability to mitigate a DBA. In addition, a detection and
radionuclide releases caused by accidents or events. Specifically, the failure to detect  
isolation time greater than the time assumed by the design basis for an ECCS leak
and isolate a leak in the ECCS flow path within 30 minutes could compromise long term  
following an accident would result in greater radionuclide release to the auxiliary
cooling, adversely affecting its capability to mitigate a DBA. In addition, a detection and  
building, and the environment and, thus, does not assure that physical design barriers
isolation time greater than the time assumed by the design basis for an ECCS leak  
protect the public from radionuclide releases caused by accidents or events.
following an accident would result in greater radionuclide release to the auxiliary  
The team determined the finding could be evaluated using the SDP in accordance
building, and the environment and, thus, does not assure that physical design barriers  
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial
protect the public from radionuclide releases caused by accidents or events.  
Characterization of Findings. Because the finding impacted the Mitigating Systems
The team determined the finding could be evaluated using the SDP in accordance  
and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial  
Appendix A, The Significance Determination Process for Findings At-Power, using
Characterization of Findings. Because the finding impacted the Mitigating Systems  
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity
and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,  
Screening Questions. The finding screened as very-low safety significance (Green)
Appendix A, The Significance Determination Process for Findings At-Power, using  
because it did not result in the loss of operability or functionality, and it did not represent
Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity  
an actual pathway in the physical integrity of reactor containment. Specifically, the
Screening Questions. The finding screened as very-low safety significance (Green)  
licensee reasonably demonstrated that an ECCS leak could be detected and isolated
because it did not result in the loss of operability or functionality, and it did not represent  
before it could adversely affect long-term cooling of the plant.
an actual pathway in the physical integrity of reactor containment. Specifically, the  
The team determined that the associated finding had a cross-cutting aspect in the area
licensee reasonably demonstrated that an ECCS leak could be detected and isolated  
of human performance because the licensee did not use a consistent and systematic
before it could adversely affect long-term cooling of the plant.  
approach to make decisions. Specifically, the licensee downgraded the original CA to
The team determined that the associated finding had a cross-cutting aspect in the area  
an ACIT without creating a new CA, which was inconsistent with the instructions
of human performance because the licensee did not use a consistent and systematic  
contained in procedure PI-AA-125. Additionally, when the licensee subsequently
approach to make decisions. Specifically, the licensee downgraded the original CA to  
discovered a CA type assignment was not created to address the NCV, the licensee
an ACIT without creating a new CA, which was inconsistent with the instructions  
                                            31
contained in procedure PI-AA-125. Additionally, when the licensee subsequently  
discovered a CA type assignment was not created to address the NCV, the licensee  


    created a CA assignment to track actions that were similar to those tracked by the ACIT,
    which was inconsistent with the licensee previous determination that those actions did
32
    not correct the NCV. [H.13]
created a CA assignment to track actions that were similar to those tracked by the ACIT,  
    Enforcement: Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action,
which was inconsistent with the licensee previous determination that those actions did  
    states, in part, that measures shall be established to assure that conditions adverse to
not correct the NCV. [H.13]  
    quality, such as failures, malfunctions, deficiencies, deviations, defective material and
Enforcement: Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action,  
    equipment, and non-conformances are promptly identified and corrected.
states, in part, that measures shall be established to assure that conditions adverse to  
    Contrary to the above, from June 15, 2012, to at least May 22, 2015, the licensee failed
quality, such as failures, malfunctions, deficiencies, deviations, defective material and  
    to correct a CAQ. Specifically, on June 15, 2012, the NRC issued NCV 05000454
equipment, and non-conformances are promptly identified and corrected.  
    /2012007-05; 05000455/2012007-05 for the failure to provide means to detect and
Contrary to the above, from June 15, 2012, to at least May 22, 2015, the licensee failed  
    isolate a leak in the ECCS within 30 minutes for Byron Station, Units 1 and 2, as
to correct a CAQ. Specifically, on June 15, 2012, the NRC issued NCV 05000454  
    described in UFSAR Section 6.3.2.5, which is a CAQ. As of May 22, 2015, the
/2012007-05; 05000455/2012007-05 for the failure to provide means to detect and  
    licensee had not corrected the CAQ in a reasonable period. Instead, the licensee
isolate a leak in the ECCS within 30 minutes for Byron Station, Units 1 and 2, as  
    created ACTI to develop a plan to correct the CAQ, and the associated due date was
described in UFSAR Section 6.3.2.5, which is a CAQ. As of May 22, 2015, the  
    extended at least eight times.
licensee had not corrected the CAQ in a reasonable period. Instead, the licensee  
    The licensee is still evaluating corrective actions. However, the team determined that
created ACTI to develop a plan to correct the CAQ, and the associated due date was  
    the continued non-compliance does not present an immediate safety concern because
extended at least eight times.  
    the licensee reasonably demonstrated that a leak could be detected and isolated before
The licensee is still evaluating corrective actions. However, the team determined that  
    it could adversely affect long-term cooling of the plant or result in a radionuclide release
the continued non-compliance does not present an immediate safety concern because  
    in excess of applicable limits.
the licensee reasonably demonstrated that a leak could be detected and isolated before  
    This violation is being cited as described in the Notice, which is enclosed with this IR.
it could adversely affect long-term cooling of the plant or result in a radionuclide release  
    This is consistent with the NRC Enforcement Policy, Section 2.3.2.a.2, which states, in
in excess of applicable limits.  
    part, that the licensee must restore compliance within a reasonable period of time (i.e., in
This violation is being cited as described in the Notice, which is enclosed with this IR.
    a timeframe commensurate with the significance of the violation) after a violation is
This is consistent with the NRC Enforcement Policy, Section 2.3.2.a.2, which states, in  
    identified. The NRC identified NCV 05000454/2012007-05; 05000455/2012007-05 on
part, that the licensee must restore compliance within a reasonable period of time (i.e., in  
    June 15, 2012, and documented it in IR 05000454/2012007. The team determined that
a timeframe commensurate with the significance of the violation) after a violation is  
    the licensee failed to restore compliance within a reasonable time following issuance of
identified. The NRC identified NCV 05000454/2012007-05; 05000455/2012007-05 on  
    this NCV and failed to have objective plans to restore compliance. (VIO 05000454
June 15, 2012, and documented it in IR 05000454/2012007. The team determined that  
    /2015008-09; 05000455/2015008-09, Failure to Promptly Correct an NRC-Identified
the licensee failed to restore compliance within a reasonable time following issuance of  
    NCV Associated with the Capability to Detect and Isolate ECCS Leakage)
this NCV and failed to have objective plans to restore compliance. (VIO 05000454  
(2) Failure to Maintain the Accuracy of the Instrument Loops Used to Verify Compliance with
/2015008-09; 05000455/2015008-09, Failure to Promptly Correct an NRC-Identified  
    the Containment Average Air Temperature Technical Specification Limit
NCV Associated with the Capability to Detect and Isolate ECCS Leakage)  
    Introduction: The team identified a finding of very-low safety significance (Green), and
(2) Failure to Maintain the Accuracy of the Instrument Loops Used to Verify Compliance with  
    an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,
the Containment Average Air Temperature Technical Specification Limit  
    Procedures, and Drawings, for the failure to have procedures to maintain the accuracy
Introduction: The team identified a finding of very-low safety significance (Green), and  
    within the necessary limits of instrument loops used to verify compliance with the
an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,  
    containment average air temperature TS limit of 120 degrees Farhenheit. Specifically,
Procedures, and Drawings, for the failure to have procedures to maintain the accuracy  
    in 2007, the licensee cancelled the periodic PMs intended to maintain the instrument
within the necessary limits of instrument loops used to verify compliance with the  
    accuracy necessary for verifying compliance with the limiting condition for operation
containment average air temperature TS limit of 120 degrees Farhenheit.   Specifically,  
    (LCO) of TS 3.6.5, Containment Air Temperature.
in 2007, the licensee cancelled the periodic PMs intended to maintain the instrument  
    Description: The team reviewed selected corrective action documents initiated by the
accuracy necessary for verifying compliance with the limiting condition for operation  
    licensee as a result of their recent Focused Self-Assessment titled, Readiness Review
(LCO) of TS 3.6.5, Containment Air Temperature.  
    for 2015 NRC Component Design Basis Inspection. The reviewed corrective action
Description: The team reviewed selected corrective action documents initiated by the  
    document sample included AR 02437973. This corrective action document was initiated
licensee as a result of their recent Focused Self-Assessment titled, Readiness Review  
    on January 15, 2015, in part, for the discovery that the four instrument loops used for
for 2015 NRC Component Design Basis Inspection. The reviewed corrective action  
                                              32
document sample included AR 02437973. This corrective action document was initiated  
on January 15, 2015, in part, for the discovery that the four instrument loops used for  


determining containment average air temperature (i.e., loops 1/2VP-030, 1/2VP-031,
1/2VP-032, and 1/2VP-033) were removed from the PM Program in 2007 via Service
33
Request 47654. The corrective action document also noted that the PMs were last
determining containment average air temperature (i.e., loops 1/2VP-030, 1/2VP-031,  
performed in 2001 for 1VP-030; 2002 for 1/2VP-031, 1/2VP-032, 2VP-030, and
1/2VP-032, and 1/2VP-033) were removed from the PM Program in 2007 via Service  
2VP-033; and 2009 for 1VP-033.
Request 47654. The corrective action document also noted that the PMs were last  
This corrective action document created an ACIT to determine if the PMs should be
performed in 2001 for 1VP-030; 2002 for 1/2VP-031, 1/2VP-032, 2VP-030, and  
reestablished. Procedure PI-AA-125, Corrective Action Program Procedure, defined
2VP-033; and 2009 for 1VP-033.  
ACIT as Action items that are completed to improve performance, or correct minor
This corrective action document created an ACIT to determine if the PMs should be  
problems that do not represent CAQ. On March 3, 2015, the ACIT concluded that there
reestablished. Procedure PI-AA-125, Corrective Action Program Procedure, defined  
was no need to reestablish the PMs due to the instrument loop reliability, previous
ACIT as Action items that are completed to improve performance, or correct minor  
calibration history, loop design, redundancy, and daily monitoring which the licensee
problems that do not represent CAQ. On March 3, 2015, the ACIT concluded that there  
believed would notice instrument drift. However, the team noted that TS SR 3.6.5.1
was no need to reestablish the PMs due to the instrument loop reliability, previous  
required verifying containment air temperature is less than 120 degrees Fahrenheit
calibration history, loop design, redundancy, and daily monitoring which the licensee  
by averaging the instrument readings and, thus, instrument reading variability was
believed would notice instrument drift. However, the team noted that TS SR 3.6.5.1  
expected. In addition, the team noted the licensee had not established a variability limit
required verifying containment air temperature is less than 120 degrees Fahrenheit  
(i.e., acceptance criteria) among the instrument loops and relied on operator judgment to
by averaging the instrument readings and, thus, instrument reading variability was  
identify adverse drifts.
expected. In addition, the team noted the licensee had not established a variability limit  
The team was concerned because these instrument loops were not maintained to
(i.e., acceptance criteria) among the instrument loops and relied on operator judgment to  
ensure their accuracy was within the necessary limits to verify compliance with the
identify adverse drifts.  
containment average air temperature TS limit of 120 degrees Fahrenheit. Containment
The team was concerned because these instrument loops were not maintained to  
average air temperature is an initial condition used in DBA analyses, and is an important
ensure their accuracy was within the necessary limits to verify compliance with the  
consideration in establishing the containment environmental qualification operating
containment average air temperature TS limit of 120 degrees Fahrenheit. Containment  
envelope for both pressure and temperature. This TS limit ensures that initial conditions
average air temperature is an initial condition used in DBA analyses, and is an important  
assumed in these analyses are met during unit operations.
consideration in establishing the containment environmental qualification operating  
The licensee captured the teams concern in their CAP as AR 02502846. As an
envelope for both pressure and temperature. This TS limit ensures that initial conditions  
immediate corrective action, the licensee reasonably established that the 120 degrees
assumed in these analyses are met during unit operations.  
Fahrenheit limit was not exceeded by reviewing applicable historical records from 2002
The licensee captured the teams concern in their CAP as AR 02502846. As an  
to time of this inspection. The proposed corrective action to restore compliance at the
immediate corrective action, the licensee reasonably established that the 120 degrees  
time of this inspection was to reconstitute PM procedures for these instrument loops to
Fahrenheit limit was not exceeded by reviewing applicable historical records from 2002  
assure they are maintained.
to time of this inspection. The proposed corrective action to restore compliance at the  
Analysis: The team determined that the failure to have procedures to maintain the
time of this inspection was to reconstitute PM procedures for these instrument loops to  
accuracy within necessary limits of the instrument loops used during SR 3.6.5.1 was
assure they are maintained.  
contrary to 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and
Analysis: The team determined that the failure to have procedures to maintain the  
Drawings, and was a performance deficiency. The performance deficiency was
accuracy within necessary limits of the instrument loops used during SR 3.6.5.1 was  
determined to be more than minor because it was associated with the configuration
contrary to 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and  
control attribute of the Barrier Integrity Cornerstone, and adversely affected the
Drawings, and was a performance deficiency. The performance deficiency was  
cornerstone objective to ensure that physical design barriers protect the public from
determined to be more than minor because it was associated with the configuration  
radionuclide releases caused by accidents or events. Specifically, the failure to have
control attribute of the Barrier Integrity Cornerstone, and adversely affected the  
procedures to maintain the accuracy of the containment air temperature instrumentation
cornerstone objective to ensure that physical design barriers protect the public from  
loops within necessary limits does not ensure the instrument loop accuracy is
radionuclide releases caused by accidents or events. Specifically, the failure to have  
maintained such that SR 3.6.5.1 activities are effective at verifying compliance with the
procedures to maintain the accuracy of the containment air temperature instrumentation  
containment average air temperature TS limit. As a result, the potential exists for an
loops within necessary limits does not ensure the instrument loop accuracy is  
inoperable condition to go undetected.
maintained such that SR 3.6.5.1 activities are effective at verifying compliance with the  
The team determined the finding could be evaluated using the SDP in accordance
containment average air temperature TS limit. As a result, the potential exists for an  
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial
inoperable condition to go undetected.  
Characterization of Findings. Because the finding impacted the Barrier Integrity
The team determined the finding could be evaluated using the SDP in accordance  
                                            33
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial  
Characterization of Findings. Because the finding impacted the Barrier Integrity  


    cornerstone, the team screened the finding through IMC 0609, Appendix A, The
    Significance Determination Process for Findings At-Power, using Exhibit 3, Barrier
34
    Integrity Screening Questions. The finding screened as of very-low safety significance
cornerstone, the team screened the finding through IMC 0609, Appendix A, The  
    (Green) because it did not represent an actual open pathway in the physical integrity of
Significance Determination Process for Findings At-Power, using Exhibit 3, Barrier  
    reactor containment or involved an actual reduction in hydrogen igniter function.
Integrity Screening Questions. The finding screened as of very-low safety significance  
    Specifically, the containment integrity remained intact and the finding did not impact
(Green) because it did not represent an actual open pathway in the physical integrity of  
    the hydrogen igniter function.
reactor containment or involved an actual reduction in hydrogen igniter function.
    The team determined that this finding had a cross-cutting aspect in the area of problem
Specifically, the containment integrity remained intact and the finding did not impact  
    identification and resolution because the licensee did not identify issues completely and
the hydrogen igniter function.  
    accurately in accordance with the CAP. Specifically, on January 15, 2015, the licensee
The team determined that this finding had a cross-cutting aspect in the area of problem  
    captured the lack of periodic PM activities for the containment air temperature instrument
identification and resolution because the licensee did not identify issues completely and  
    loops in the CAP. However, the licensee failed to completely and accurately identify the
accurately in accordance with the CAP. Specifically, on January 15, 2015, the licensee  
    issue in that it was not treated as a CAQ. As a consequence, no corrective actions were
captured the lack of periodic PM activities for the containment air temperature instrument  
    implemented. [P.1]
loops in the CAP. However, the licensee failed to completely and accurately identify the  
    Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,
issue in that it was not treated as a CAQ. As a consequence, no corrective actions were  
    and Drawings, requires, in part, that activities affecting quality be prescribed by
implemented. [P.1]  
    documented procedures of a type appropriate to the circumstances and be
Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,  
    accomplished in accordance with these procedures.
and Drawings, requires, in part, that activities affecting quality be prescribed by  
    Contrary to the above, since 2007 to at least May 22, 2015, the licensee failed to have a
documented procedures of a type appropriate to the circumstances and be  
    procedure for maintaining the accuracy within the necessary limits of the instrument
accomplished in accordance with these procedures.  
    loops used while implementing SR 3.6.5.1. Specifically, in 2007, the licensee cancelled
Contrary to the above, since 2007 to at least May 22, 2015, the licensee failed to have a  
    the PMs intended to maintain the instrument loops accuracy necessary for verifying
procedure for maintaining the accuracy within the necessary limits of the instrument  
    compliance with LCO 3.6.5 limit.
loops used while implementing SR 3.6.5.1. Specifically, in 2007, the licensee cancelled  
    The licensee is still evaluating its planned corrective actions. However, the team
the PMs intended to maintain the instrument loops accuracy necessary for verifying  
    determined that the continued non-compliance does not present an immediate safety
compliance with LCO 3.6.5 limit.  
    concern because containment average air temperature readings were significantly lower
The licensee is still evaluating its planned corrective actions. However, the team  
    than the associated TS limit, and are reasonably expected to maintain that margin in the
determined that the continued non-compliance does not present an immediate safety  
    foreseeable future based on past performance.
concern because containment average air temperature readings were significantly lower  
    Because this violation was of very-low safety significance, and was entered into the
than the associated TS limit, and are reasonably expected to maintain that margin in the  
    licensees CAP as AR 02502846, this violation is being treated as an NCV, consistent
foreseeable future based on past performance.  
    with Section 2.3.2 of the NRC Enforcement Policy (NCV 05000454/2015008-10;
Because this violation was of very-low safety significance, and was entered into the  
    05000455/2015008-10, Failure to Maintain the Instrument Loops Used to Verify
licensees CAP as AR 02502846, this violation is being treated as an NCV, consistent  
    Compliance with the Containment Average Air Temperature TS Limit)
with Section 2.3.2 of the NRC Enforcement Policy (NCV 05000454/2015008-10;  
(3) Operability Evaluation Relied on Probabilities of Occurrence of the Associated Event
05000455/2015008-10, Failure to Maintain the Instrument Loops Used to Verify  
    Introduction: The team identified a finding of very-low safety significance (Green),
Compliance with the Containment Average Air Temperature TS Limit)  
    and an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,
(3) Operability Evaluation Relied on Probabilities of Occurrence of the Associated Event  
    Procedures, and Drawings, for the failure to make an operability determination without
Introduction: The team identified a finding of very-low safety significance (Green),  
    relying on the use of probabilistic tools. Specifically, an operability evaluation related to
and an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,  
    an SXCT degraded condition used probabilities of occurrence of tornado events which
Procedures, and Drawings, for the failure to make an operability determination without  
    was contrary to the requirements of Revision 16 of procedure OP-AA-108-115,
relying on the use of probabilistic tools. Specifically, an operability evaluation related to  
    Operability Determinations.
an SXCT degraded condition used probabilities of occurrence of tornado events which  
    Description: Revision 7 of UFSAR Section 3.5.4, Analysis of Multiple Missiles
was contrary to the requirements of Revision 16 of procedure OP-AA-108-115,  
    Generated by a Tornado, stated that the SXCT fans, fan motors, and fan drives were
Operability Determinations.  
    not protected from tornado missiles. It also stated that An analysis of cooling tower
Description: Revision 7 of UFSAR Section 3.5.4, Analysis of Multiple Missiles  
                                              34
Generated by a Tornado, stated that the SXCT fans, fan motors, and fan drives were  
not protected from tornado missiles. It also stated that An analysis of cooling tower  


capacity without fans has been made. In addition, it stated that Using the most
conservative design conditions, it is predicted if the plant is shut down under non-LOCA
35
conditions with loss of offsite power, the temperature of the service water supplied to
capacity without fans has been made. In addition, it stated that Using the most  
the plant will not exceed 110 degrees Farhernheit. However, during the 2005 NRC
conservative design conditions, it is predicted if the plant is shut down under non-LOCA  
SSDPC inspection, the inspectors noted that this analysis had not been updated to
conditions with loss of offsite power, the temperature of the service water supplied to  
reflect changes that increased the heat load. The SSDPC documented this concern as
the plant will not exceed 110 degrees Farhernheit. However, during the 2005 NRC  
URI 05000454/2005002-07; 05000455/2005002-07. In 2007, this URI was subsequently
SSDPC inspection, the inspectors noted that this analysis had not been updated to  
closed to NCV 05000454/2007004-03; 05000455/2007004-03. As a result, on February
reflect changes that increased the heat load. The SSDPC documented this concern as  
14, 2012, the licensee completed EC 385829, UHS Capability with Loss of SX Fans
URI 05000454/2005002-07; 05000455/2005002-07. In 2007, this URI was subsequently  
Due to Tornado Missiles, to change the UHS tornado missile design basis to require
closed to NCV 05000454/2007004-03; 05000455/2007004-03. As a result, on February  
a minimum of two SXCT fans and motors for cooling following a tornado event. The
14, 2012, the licensee completed EC 385829, UHS Capability with Loss of SX Fans  
change did not include adding tornado protection to the fans, fan motors, and fan drives.
Due to Tornado Missiles, to change the UHS tornado missile design basis to require  
On August 9, 2013, the licensee initiated corrective action document IR 01545153 for
a minimum of two SXCT fans and motors for cooling following a tornado event. The  
the NRC discovery that the associated written safety evaluation intended to provide
change did not include adding tornado protection to the fans, fan motors, and fan drives.  
the bases for the determination that this change did not require a license amendment
On August 9, 2013, the licensee initiated corrective action document IR 01545153 for  
failed to consider the change adverse effects. On August 14, 2013, the licensee
the NRC discovery that the associated written safety evaluation intended to provide  
initiated corrective action document AR 1546621 to address the associated technical
the bases for the determination that this change did not require a license amendment  
implications. This corrective action document resulted in Revision 0 of Operability
failed to consider the change adverse effects. On August 14, 2013, the licensee  
Evaluation 13-007, Ultimate Heat Sink Capability with Loss of Essential Service Water
initiated corrective action document AR 1546621 to address the associated technical  
Cooling Tower Fans, intended to reasonably demonstrate UHS operability until
implications. This corrective action document resulted in Revision 0 of Operability  
corrective actions to restore compliance were implemented.
Evaluation 13-007, Ultimate Heat Sink Capability with Loss of Essential Service Water  
During this inspection period, the CDBI team noted that Operability Evaluation 13-007
Cooling Tower Fans, intended to reasonably demonstrate UHS operability until  
relied on the probability of occurrence of a tornado. Specifically, it stated The UHS is
corrective actions to restore compliance were implemented.  
capable of providing the required cooling because, given a tornado strike under the
During this inspection period, the CDBI team noted that Operability Evaluation 13-007  
design conditions in the UFSAR, the probability of occurrence is less than the
relied on the probability of occurrence of a tornado. Specifically, it stated The UHS is  
acceptance criteria of 10E-7 /year in SRP 2.2.3. It also stated that The software used
capable of providing the required cooling because, given a tornado strike under the  
to determine the missile hit probability is called [Tornado Missile Risk Evaluation
design conditions in the UFSAR, the probability of occurrence is less than the  
Methodology] TORMIS. In addition, it stated that The software uses site specific
acceptance criteria of 10E-7 /year in SRP 2.2.3. It also stated that The software used  
factors such as predicted tornado characteristics, tornado occurrence rates, building
to determine the missile hit probability is called [Tornado Missile Risk Evaluation  
layout, potential missile sources and types, missile distribution and the number of
Methodology] TORMIS. In addition, it stated that The software uses site specific  
potential missiles. The supporting analysis used the UFSAR Section 2.3.1.2.2,
factors such as predicted tornado characteristics, tornado occurrence rates, building  
Tornadoes and Severe Winds. tornado probability of occurrence value of 21E-4 per
layout, potential missile sources and types, missile distribution and the number of  
year.
potential missiles. The supporting analysis used the UFSAR Section 2.3.1.2.2,  
Procedure OP-AA-108-115, Operability Determinations, Section 4.5.13, Use of PRA,
Tornadoes and Severe Winds. tornado probability of occurrence value of 21E-4 per  
stated:
year.  
        PRA is a valuable tool for evaluating accident scenarios because it can consider
Procedure OP-AA-108-115, Operability Determinations, Section 4.5.13, Use of PRA,  
        the probabilities of occurrence of accidents or external events. Nevertheless, the
stated:  
        definition of operability is that the SSC must be capable of performing its
PRA is a valuable tool for evaluating accident scenarios because it can consider  
        specified function or functions, which inherently assumes that the event occurs
the probabilities of occurrence of accidents or external events. Nevertheless, the  
        and that the safety function or functions can be performed. Therefore, the use of
definition of operability is that the SSC must be capable of performing its  
        PRA or probabilities of occurrence of accidents or external events is not
specified function or functions, which inherently assumes that the event occurs  
        consistent with the assumption that the event occurs, and is not acceptable for
and that the safety function or functions can be performed. Therefore, the use of  
        making operability decisions.
PRA or probabilities of occurrence of accidents or external events is not  
Thus, the team determined that the use of TORMIS, the probability for occurrence of
consistent with the assumption that the event occurs, and is not acceptable for  
tornados, and the probabilities of missile strikes was not acceptable and contrary to
making operability decisions.  
licensee procedure OP-AA-108-115. The team, in consultation with NRR, also
Thus, the team determined that the use of TORMIS, the probability for occurrence of  
                                            35
tornados, and the probabilities of missile strikes was not acceptable and contrary to  
licensee procedure OP-AA-108-115. The team, in consultation with NRR, also  


determined that this procedure requirement was consistent with Attachment C.06 of
NRC IMC 0326, Operability Determinations & Functionality Assessments for Conditions
36
Adverse to Quality or Safety, which was established to assist NRC inspectors review of
determined that this procedure requirement was consistent with Attachment C.06 of  
licensee determinations of operability and resolution of degraded or nonconforming
NRC IMC 0326, Operability Determinations & Functionality Assessments for Conditions  
conditions.
Adverse to Quality or Safety, which was established to assist NRC inspectors review of  
In addition, the team noted that Byron had not obtained NRC approval for the site
licensee determinations of operability and resolution of degraded or nonconforming  
specific use of TORMIS as stated in Regulatory Issue Summary (RIS) 2008-14, Use of
conditions.  
TORMIS Computer Code for Assessment of Tornado Missile Protection. Specifically,
In addition, the team noted that Byron had not obtained NRC approval for the site  
the RIS stated that The initial use of the TORMIS methodology as described in this
specific use of TORMIS as stated in Regulatory Issue Summary (RIS) 2008-14, Use of  
RIS requires a license amendment in accordance with 10 CFR 50.59(c)(2)(viii) and
TORMIS Computer Code for Assessment of Tornado Missile Protection. Specifically,  
subsequent revision to the plant licensing basis because it is a Departure from the
the RIS stated that The initial use of the TORMIS methodology as described in this  
method of evaluation described in the FSAR, as updated, used in establishing the
RIS requires a license amendment in accordance with 10 CFR 50.59(c)(2)(viii) and  
design bases or in the safety analysis as defined in 10 CFR 50.59(a)(2).
subsequent revision to the plant licensing basis because it is a Departure from the  
The team was concerned because Operability Evaluation 13-007 did not reasonably
method of evaluation described in the FSAR, as updated, used in establishing the  
demonstrate the degraded UHS would be capable of performing its function following a
design bases or in the safety analysis as defined in 10 CFR 50.59(a)(2).  
tornado event. The licensee captured the team concern in their CAP as AR 2504624 to
The team was concerned because Operability Evaluation 13-007 did not reasonably  
revise Operability Evaluation 13-007 without using PRA tools.
demonstrate the degraded UHS would be capable of performing its function following a  
Analysis: The team determined that the failure to make an operability determination
tornado event. The licensee captured the team concern in their CAP as AR 2504624 to  
without relying on the use of probabilistic tools was contrary to licensee procedure
revise Operability Evaluation 13-007 without using PRA tools.  
OP-AA-108-115 and was a performance deficiency. The performance deficiency was
Analysis: The team determined that the failure to make an operability determination  
determined to be more than minor because it was associated with the Mitigating
without relying on the use of probabilistic tools was contrary to licensee procedure  
Systems cornerstone attribute of protection against external events, and affected the
OP-AA-108-115 and was a performance deficiency. The performance deficiency was  
cornerstone objective of ensuring the availability, reliability, and capability of mitigating
determined to be more than minor because it was associated with the Mitigating  
systems to respond to initiating events to prevent undesirable consequences.
Systems cornerstone attribute of protection against external events, and affected the  
Specifically, failure to perform an adequate operability evaluation does not ensure the
cornerstone objective of ensuring the availability, reliability, and capability of mitigating  
SXCT would remain capable of performing its safety function, and had the potential to
systems to respond to initiating events to prevent undesirable consequences.
allow an inoperable condition to go undetected.
Specifically, failure to perform an adequate operability evaluation does not ensure the  
The team determined the finding could be evaluated using the SDP in accordance
SXCT would remain capable of performing its safety function, and had the potential to  
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial
allow an inoperable condition to go undetected.  
Characterization of Findings. Because the finding impacted the Mitigating System
The team determined the finding could be evaluated using the SDP in accordance  
cornerstone, the team screened the finding through IMC 0609, Appendix A, The
with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial  
Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating
Characterization of Findings. Because the finding impacted the Mitigating System  
Systems Screening Questions." In accordance with Exhibit 2, the team screened the
cornerstone, the team screened the finding through IMC 0609, Appendix A, The  
finding using Exhibit 4, External Events Screening Questions, because the finding
Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating  
involved the degradation of equipment or function specifically designed to mitigate a
Systems Screening Questions." In accordance with Exhibit 2, the team screened the  
severe weather initiating event. The team conservatively screened the finding as
finding using Exhibit 4, External Events Screening Questions, because the finding  
necessitating a detailed risk evaluation because the loss of UHS during a tornado event
involved the degradation of equipment or function specifically designed to mitigate a  
would degrade one or more trains of a system that supports a risk-significant system or
severe weather initiating event. The team conservatively screened the finding as  
function.
necessitating a detailed risk evaluation because the loss of UHS during a tornado event  
The SRAs performed a bounding risk evaluation for the CDF of tornado missile
would degrade one or more trains of a system that supports a risk-significant system or  
strike(s) causing a core damage event at Byron due to damage to the SXCT fans:
function.  
*       The SRAs assumed that a tornado with wind speed exceeding 100 mph would
The SRAs performed a bounding risk evaluation for the CDF of tornado missile  
        be required to generate damaging missiles.
strike(s) causing a core damage event at Byron due to damage to the SXCT fans:  
*       The frequency of this tornado for Byron is approximately 1.13E-4/yr from the
*  
        RASP website;
The SRAs assumed that a tornado with wind speed exceeding 100 mph would  
                                          36
be required to generate damaging missiles.  
*  
The frequency of this tornado for Byron is approximately 1.13E-4/yr from the  
RASP website;  


*       The tornado missiles were assumed to cause damage and fail an entire set of
        SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans
37
        - conservative assumption); and
*  
*       The SRAs further assumed that the tornado also caused a severe weather loss
The tornado missiles were assumed to cause damage and fail an entire set of  
        of offsite power event.
SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans  
The Byron SPAR Model Version 8.27 and SAPHIRE Version 8.1.2 software were used
- conservative assumption); and  
by the SRAs to evaluate the risk significance of this finding. Using the Byron SPAR
*  
model, the CCDP (i.e., if the tornado event occurred and damaged one train of SXCT
The SRAs further assumed that the tornado also caused a severe weather loss  
fans) is approximately 4.8E-4. Thus, a bounding CDF calculated due to the SXCT
of offsite power event.  
vulnerability to missiles is approximately 5.4E-8/yr (i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).
The Byron SPAR Model Version 8.27 and SAPHIRE Version 8.1.2 software were used  
Based on the detailed risk evaluation, the SRAs determined that the finding was of very
by the SRAs to evaluate the risk significance of this finding. Using the Byron SPAR  
low safety significance (Green).
model, the CCDP (i.e., if the tornado event occurred and damaged one train of SXCT  
The team determined that this finding had a cross-cutting aspect in the area of human
fans) is approximately 4.8E-4. Thus, a bounding CDF calculated due to the SXCT  
performance because the licensee did not ensure knowledge transfer to maintain a
vulnerability to missiles is approximately 5.4E-8/yr (i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).  
knowledgeable and technically competent workforce. Specifically, the licensee did not
Based on the detailed risk evaluation, the SRAs determined that the finding was of very  
ensure personnel were trained on the prohibition of the use of probabilities of occurrence
low safety significance (Green).  
of an event when performing operability evaluations, which was contained in procedure
The team determined that this finding had a cross-cutting aspect in the area of human  
OP-AA-108-115. [H.9]
performance because the licensee did not ensure knowledge transfer to maintain a  
Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,
knowledgeable and technically competent workforce. Specifically, the licensee did not  
and Drawings, requires, in part, that activities affecting quality be prescribed by
ensure personnel were trained on the prohibition of the use of probabilities of occurrence  
documented procedures of a type appropriate to the circumstances and be
of an event when performing operability evaluations, which was contained in procedure  
accomplished in accordance with these procedures.
OP-AA-108-115. [H.9]  
The licensee established Revision 16 of procedure OP-AA-108-115, Operability
Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,  
Determinations, as the implementing procedure for assessing operability of SSCs, an
and Drawings, requires, in part, that activities affecting quality be prescribed by  
activity affecting quality. Section 4.5.13, Use of Probabilistic Risk Assessment, stated
documented procedures of a type appropriate to the circumstances and be  
[] the use of PRA or probabilities of occurrence of accidents or external events is not
accomplished in accordance with these procedures.  
consistent with the assumption that the event occurs, and is not acceptable for making
The licensee established Revision 16 of procedure OP-AA-108-115, Operability  
operability decisions.
Determinations, as the implementing procedure for assessing operability of SSCs, an  
Contrary to the above, on August 20, 2013, the licensee failed to follow Section 4.5.13 of
activity affecting quality. Section 4.5.13, Use of Probabilistic Risk Assessment, stated  
procedure OP-AA-108-115. Specifically, the licensee used a PRA tool (i.e., TORMIS)
[] the use of PRA or probabilities of occurrence of accidents or external events is not  
and probabilities of occurrence of an external event (i.e., tornado) when making an
consistent with the assumption that the event occurs, and is not acceptable for making  
operability decision related to the SXCT degradation when mitigating tornado events.
operability decisions.  
Establishing a reasonable expectation of operability is an activity affecting quality.
Contrary to the above, on August 20, 2013, the licensee failed to follow Section 4.5.13 of  
As an immediate corrective action, the licensee revised the affected operability
procedure OP-AA-108-115. Specifically, the licensee used a PRA tool (i.e., TORMIS)  
evaluation without using PRA tools. At the time of the CDBI exit meeting on
and probabilities of occurrence of an external event (i.e., tornado) when making an  
June 16, 2015, the team was still reviewing the revised operability evaluation with
operability decision related to the SXCT degradation when mitigating tornado events.
the assistance of NRR.
Establishing a reasonable expectation of operability is an activity affecting quality.  
Because this violation was of very-low safety significance and was entered into the
As an immediate corrective action, the licensee revised the affected operability  
licensees CAP as AR 2504624, this violation is being treated as an NCV, consistent
evaluation without using PRA tools. At the time of the CDBI exit meeting on  
with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-11;
June 16, 2015, the team was still reviewing the revised operability evaluation with  
05000455/2015008-11, Operability Evaluation Relied on Probabilities of Occurrence of
the assistance of NRR.  
the Associated Event)
Because this violation was of very-low safety significance and was entered into the  
                                          37
licensees CAP as AR 2504624, this violation is being treated as an NCV, consistent  
with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-11;  
05000455/2015008-11, Operability Evaluation Relied on Probabilities of Occurrence of  
the Associated Event)  


4OA6 Management Meetings
.1 Interim Exit Meeting Summary
38
    On May 22, 2015, the team presented the inspection results to Mr. R. Kearney, and
4OA6 Management Meetings  
    other members of the licensee staff. The licensee acknowledged the issues presented.
.1  
    The inspectors had outstanding questions that required additional review and a follow-up
Interim Exit Meeting Summary  
    exit meeting.
On May 22, 2015, the team presented the inspection results to Mr. R. Kearney, and  
.2 Exit Meeting Summary
other members of the licensee staff. The licensee acknowledged the issues presented.
    On June 16, 2015, the team presented the inspection results to Mr. B. Currier, and other
The inspectors had outstanding questions that required additional review and a follow-up  
    members of the licensee staff. The licensee acknowledged the issues presented. The
exit meeting.  
    team asked the licensee whether any materials examined during the inspection should
.2  
    be considered proprietary. Several documents reviewed by the team were considered
Exit Meeting Summary  
    proprietary information and were either returned to the licensee or handled in
On June 16, 2015, the team presented the inspection results to Mr. B. Currier, and other  
    accordance with NRC policy on proprietary information.
members of the licensee staff. The licensee acknowledged the issues presented. The  
ATTACHMENT: SUPPLEMENTAL INFORMATION
team asked the licensee whether any materials examined during the inspection should  
                                            38
be considered proprietary. Several documents reviewed by the team were considered  
proprietary information and were either returned to the licensee or handled in  
accordance with NRC policy on proprietary information.  
ATTACHMENT: SUPPLEMENTAL INFORMATION


                                SUPPLEMENTAL INFORMATION
                                  KEY POINTS OF CONTACT
Attachment
Licensee
SUPPLEMENTAL INFORMATION  
R. Kearney, Site Vice President
KEY POINTS OF CONTACT  
T. Chalmers, Plant Manager
Licensee  
C. Keller, Engineering Director
R. Kearney, Site Vice President  
B. Currier, Senior Manager of Design Engineering
T. Chalmers, Plant Manager  
D. Spitzer, Regulatory Assurance Manager
C. Keller, Engineering Director  
J. Cunzeman, Mechanical/Structural Design Manager
B. Currier, Senior Manager of Design Engineering  
A. Corrigan, NRC Coordinator
D. Spitzer, Regulatory Assurance Manager  
U.S. Nuclear Regulatory Commission
J. Cunzeman, Mechanical/Structural Design Manager  
C. Lipa, Chief, Engineering Branch 2
A. Corrigan, NRC Coordinator  
J. Ellegood, Chief, Reactor Projects Branch 3 (Acting)
U.S. Nuclear Regulatory Commission  
N. Féliz Adorno, Senior Reactor Inspector
C. Lipa, Chief, Engineering Branch 2  
C. Zoia, Senior Resident Inspector (Acting)
J. Ellegood, Chief, Reactor Projects Branch 3 (Acting)  
J. Draper, Resident Inspector
N. Féliz Adorno, Senior Reactor Inspector  
                    LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
C. Zoia, Senior Resident Inspector (Acting)  
Opened
J. Draper, Resident Inspector  
                                      Question Regarding the Maximum Wet Bulb
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED  
05000454/2015008-01;
Opened  
                            URI       Temperature Value Assumed in the SXCT Tornado
05000454/2015008-01;  
05000455/2015008-01
05000455/2015008-01
                                      Analysis (Section 1R21.3.b(1))
URI  
                                      Maximum Wet Bulb Temperature Value Assumed in
Question Regarding the Maximum Wet Bulb
05000454/2015008-02;
Temperature Value Assumed in the SXCT Tornado  
                            URI      SXCT Analysis Was Not Monitored
Analysis (Section 1R21.3.b(1))  
05000455/2015008-02
05000454/2015008-02;
                                      (Section 1R21.3.b(2))
05000455/2015008-02
05000454/2015008-03;                 Failure to Evaluate the Adverse Effects of Sharing the
URI
                            NCV
Maximum Wet Bulb Temperature Value Assumed in  
05000455/2015008-03                  RWSTs of Both Reactor Units (Section 1R21.5.b(1))
SXCT Analysis Was Not Monitored  
05000454/2015008-04;                 Failure to Evaluate the Adverse Effects of Sharing the
(Section 1R21.3.b(2))  
                            FIN
05000454/2015008-03;  
05000455/2015008-04                  RWSTs of Both Reactor Units (Section 1R21.5.b(1))
05000455/2015008-03
05000454/2015008-05;                 Failure to Adequately Implement a Design Change
NCV
                            NCV
Failure to Evaluate the Adverse Effects of Sharing the  
05000455/2015008-05                  Associated with the RWSTs (Section 1R21.5.b(2))
RWSTs of Both Reactor Units (Section 1R21.5.b(1))  
                                      Failure to Evaluate the Adverse Effects of Changing the
05000454/2015008-04;  
05000454/2015008-06;
05000455/2015008-04
                            NCV      SXCT Tornado Analysis as Described in the UFSAR
FIN
05000455/2015008-06
Failure to Evaluate the Adverse Effects of Sharing the  
                                      (Section 1R21.5.b(3))
RWSTs of Both Reactor Units (Section 1R21.5.b(1))  
                                      Failure to Evaluate the Adverse Effects of Changing the
05000454/2015008-05;  
05000454/2015008-07;
05000455/2015008-05
                            FIN      SXCT Tornado Analysis as Described in the UFSAR
NCV
05000455/2015008-07
Failure to Adequately Implement a Design Change  
                                      (Section 1R21.5.b(3))
Associated with the RWSTs (Section 1R21.5.b(2))  
05000454/2015008-08;                 Failure to Provide Proper Direction for Low Level
05000454/2015008-06;
                            NCV
05000455/2015008-06
05000455/2015008-08                  Isolation of the RWST in EOPs (Section 1R21.6.b(1))
NCV
                                      Failure to Promptly Correct an NRC-Identified NCV
Failure to Evaluate the Adverse Effects of Changing the  
05000454/2015008-09;
SXCT Tornado Analysis as Described in the UFSAR  
                            VIO      Associated with the Capability to Detect and Isolate
(Section 1R21.5.b(3))  
05000455/2015008-09
05000454/2015008-07;
                                      ECCS Leakage (Section 4OA2.1.b(1))
05000455/2015008-07
                                                                                    Attachment
FIN
Failure to Evaluate the Adverse Effects of Changing the  
SXCT Tornado Analysis as Described in the UFSAR  
(Section 1R21.5.b(3))  
05000454/2015008-08;  
05000455/2015008-08
NCV
Failure to Provide Proper Direction for Low Level  
Isolation of the RWST in EOPs (Section 1R21.6.b(1))  
05000454/2015008-09;
05000455/2015008-09
VIO
Failure to Promptly Correct an NRC-Identified NCV  
Associated with the Capability to Detect and Isolate  
ECCS Leakage (Section 4OA2.1.b(1))  


                          Failure to Maintain the Instrument Loops Used to Verify
05000454/2015008-10;
2
                      NCV Compliance with the Containment Average Air
05000454/2015008-10;
05000455/2015008-10
05000455/2015008-10
                          Temperature TS Limit (Section 4OA2.1.b(2))
NCV
                          Operability Evaluation Relied on Probabilities of
Failure to Maintain the Instrument Loops Used to Verify  
05000454/2015008-11;
Compliance with the Containment Average Air  
                      NCV Occurrence of the Associated Event
Temperature TS Limit (Section 4OA2.1.b(2))  
05000455/2015008-11
05000454/2015008-11;  
                          (Section 4OA2.1.b(3))
05000455/2015008-11
Closed
NCV  
05000454/2015008-03;     Failure to Evaluate the Adverse Effects of Sharing the
Operability Evaluation Relied on Probabilities of
                      NCV
Occurrence of the Associated Event  
05000455/2015008-03      RWSTs of Both Reactor Units (Section 1R21.5.b(1))
(Section 4OA2.1.b(3))  
05000454/2015008-04;     Failure to Evaluate the Adverse Effects of Sharing the
Closed  
                      FIN
05000454/2015008-03;  
05000455/2015008-04      RWSTs of Both Reactor Units (Section 1R21.5.b(1))
05000455/2015008-03
05000454/2015008-05;     Failure to Adequately Implement a Design Change
NCV
                      NCV
Failure to Evaluate the Adverse Effects of Sharing the  
05000455/2015008-05      Associated with the RWSTs (Section 1R21.5.b(2))
RWSTs of Both Reactor Units (Section 1R21.5.b(1))  
                          Failure to Evaluate the Adverse Effects of Changing the
05000454/2015008-04;  
05000454/2015008-06;
05000455/2015008-04
                      NCV SXCT Tornado Analysis as Described in the UFSAR
FIN
05000455/2015008-06
Failure to Evaluate the Adverse Effects of Sharing the  
                          (Section 1R21.5.b(3))
RWSTs of Both Reactor Units (Section 1R21.5.b(1))  
                          Failure to Evaluate the Adverse Effects of Changing the
05000454/2015008-05;  
05000454/2015008-07;
05000455/2015008-05
                      FIN SXCT Tornado Analysis as Described in the UFSAR
NCV
05000455/2015008-07
Failure to Adequately Implement a Design Change  
                          (Section 1R21.5.b(3))
Associated with the RWSTs (Section 1R21.5.b(2))  
05000454/2015008-08;     Failure to Provide Proper Direction for Low Level
05000454/2015008-06;
                      NCV
05000455/2015008-06
05000455/2015008-08      Isolation of the RWST in EOPs (Section 1R21.6.b(1))
NCV
                          Failure to Maintain the Instrument Loops Used to Verify
Failure to Evaluate the Adverse Effects of Changing the  
05000454/2015008-10;
SXCT Tornado Analysis as Described in the UFSAR  
                      NCV Compliance with the Containment Average Air
(Section 1R21.5.b(3))  
05000455/2015008-10
05000454/2015008-07;
                          Temperature TS Limit (Section 4OA2.1.b(2))
05000455/2015008-07
                          Operability Evaluation Relied on Probabilities of
FIN
05000454/2015008-11;
Failure to Evaluate the Adverse Effects of Changing the  
                      NCV Occurrence of the Associated Event
SXCT Tornado Analysis as Described in the UFSAR  
05000455/2015008-11
(Section 1R21.5.b(3))  
                          (Section 4OA2.1.b(3))
05000454/2015008-08;  
                                  2
05000455/2015008-08
NCV
Failure to Provide Proper Direction for Low Level  
Isolation of the RWST in EOPs (Section 1R21.6.b(1))  
05000454/2015008-10;
05000455/2015008-10
NCV
Failure to Maintain the Instrument Loops Used to Verify  
Compliance with the Containment Average Air  
Temperature TS Limit (Section 4OA2.1.b(2))  
05000454/2015008-11;  
05000455/2015008-11
NCV  
Operability Evaluation Relied on Probabilities of
Occurrence of the Associated Event  
(Section 4OA2.1.b(3))  


                                  LIST OF DOCUMENTS REVIEWED
The following is a list of documents reviewed during the inspection. Inclusion on this list does
3
not imply that the NRC inspectors reviewed the documents in their entirety, but rather, that
LIST OF DOCUMENTS REVIEWED  
selected sections of portions of the documents were evaluated as part of the overall inspection
The following is a list of documents reviewed during the inspection. Inclusion on this list does  
effort. Inclusion of a document on this list does not imply NRC acceptance of the document or
not imply that the NRC inspectors reviewed the documents in their entirety, but rather, that  
any part of it, unless this is stated in the body of the inspection report.
selected sections of portions of the documents were evaluated as part of the overall inspection  
  CALCULATIONS
effort. Inclusion of a document on this list does not imply NRC acceptance of the document or  
  Number               Description or Title                                           Revision
any part of it, unless this is stated in the body of the inspection report.  
  4391/19D-11         Sizing of Replacement Battery Charger for Diesel Driven       0
CALCULATIONS  
                      Pumps
Number  
  BYR08-035           Essential Service Water Cooling Tower Basin Level             0
Description or Title  
                      Indication Uncertainty Analysis
Revision  
  BYR12-070           Auxiliary Building Environment following a High Energy Line   2
4391/19D-11  
                      Break in the Turbine Building
Sizing of Replacement Battery Charger for Diesel Driven  
  BYR12-072           Thermal Endurance Evaluation of the Safety Related             0
Pumps  
                      Electrical Equipment in the Essential Service Water (SX)
0
                      Cooling Tower Switchgear Rooms
BYR08-035  
  BYR97-193           Battery Duty Cycle and Sizing for the Byron Diesel Driven     1-1E
Essential Service Water Cooling Tower Basin Level  
                      Auxiliary Feedwater Pumps and the Byron Diesel Driven
Indication Uncertainty Analysis  
                      Essential Service Water Makeup Pumps
0
  BYR97-205           125VDC Battery Charger Sizing Calculation                     2
BYR12-070  
  BYR97-204           125 VDC Battery Sizing Calculation                             3-3K
Auxiliary Building Environment following a High Energy Line  
  BYR97-224           125Vdc Voltage Drop Calculation                               4-4A
Break in the Turbine Building  
  BYR97-226           125 V DC System Short Circuit Calculation                     4
2
  BYR97-239           SX Cooling Tower Basin Level Auto Start Level Set Point       1
BYR12-072  
                      Analysis
Thermal Endurance Evaluation of the Safety Related  
  BYR97-336           SX Cooling Tower Basin - Time to Reach the Low Level           1
Electrical Equipment in the Essential Service Water (SX)  
                      Alarm Set Point
Cooling Tower Switchgear Rooms  
  BYR2000-136         Voltage Drop Calculation for 4160V Switchgear Breaker         1
0
                      Control Circuits
BYR97-193  
  BYR2000-191         Voltage Drop Calculation for 480V Switchgear Breaker           0 -0C
Battery Duty Cycle and Sizing for the Byron Diesel Driven  
                      Control Circuits
Auxiliary Feedwater Pumps and the Byron Diesel Driven  
  4391/19-AN-3         Protective Relay Settings for 4.16 kV ESF Switchgear           16
Essential Service Water Makeup Pumps  
  19-AQ-24             Voltage Drop on 480-120V AC Control Transformer Circuits       8
1-1E
  19-AQ-63             Division Specific Degraded Voltage Analysis                   7A
BYR97-205  
  19-AQ-69             Evaluation of the Adequacy of the 120 Vac Distribution         16
125VDC Battery Charger Sizing Calculation  
                      Circuit at the Degraded Voltage Setpoint
2  
  19-AQ-75             Essential Service Water Cooling Tower 480V Buses               1
BYR97-204  
                      Maximum Voltage
125 VDC Battery Sizing Calculation  
  19-AU-4             480 V Unit Substation Breaker and Relay Settings               19
3-3K  
  19-G-1               Cable Ampacity                                                 2
BYR97-224  
  19-T-5               Diesel Generator Loading During LOOP/LOCA                     7
125Vdc Voltage Drop Calculation  
  BYR01-068           Environmental Parameters of EQ Zones                           2
4-4A  
  BYR01-084           Generic Thermal Overload Heater Sizing Calculation for         000
BYR97-226  
                      Motor Operated Valves
125 V DC System Short Circuit Calculation  
                                                    3
4  
BYR97-239  
SX Cooling Tower Basin Level Auto Start Level Set Point  
Analysis  
1
BYR97-336  
SX Cooling Tower Basin - Time to Reach the Low Level  
Alarm Set Point  
1
BYR2000-136  
Voltage Drop Calculation for 4160V Switchgear Breaker
Control Circuits  
1
BYR2000-191  
Voltage Drop Calculation for 480V Switchgear Breaker
Control Circuits
0 -0C  
4391/19-AN-3  
Protective Relay Settings for 4.16 kV ESF Switchgear  
16  
19-AQ-24  
Voltage Drop on 480-120V AC Control Transformer Circuits  
8  
19-AQ-63  
Division Specific Degraded Voltage Analysis  
7A  
19-AQ-69  
Evaluation of the Adequacy of the 120 Vac Distribution  
Circuit at the Degraded Voltage Setpoint  
16
19-AQ-75  
Essential Service Water Cooling Tower 480V Buses  
Maximum Voltage  
1
19-AU-4  
480 V Unit Substation Breaker and Relay Settings  
19  
19-G-1  
Cable Ampacity  
2  
19-T-5  
Diesel Generator Loading During LOOP/LOCA  
7  
BYR01-068  
Environmental Parameters of EQ Zones  
2  
BYR01-084  
Generic Thermal Overload Heater Sizing Calculation for  
Motor Operated Valves  
000


CALCULATIONS
Number       Description or Title                                         Revision
4
BYR01-095     Motor Operated Valves (MOV) Actuator Motor Terminal           1
CALCULATIONS  
              Voltage and Thermal Overload Sizing Calculation - Essential
Number  
              Service Water (SX) System
Description or Title  
BYR06-111     Model APT-30K-11 SXCT Fan Blade Pitch Setting                 1
Revision  
BYR12-042     Essential Service Water Discharge Header Temperature         0
BYR01-095  
              Indication Uncertainty
Motor Operated Valves (MOV) Actuator Motor Terminal  
BYR95-005     120 VAC Instrument Bus/SSPS Cabinet Fuse Sizing and           0
Voltage and Thermal Overload Sizing Calculation - Essential  
              Coordination
Service Water (SX) System  
BYR96-128     Refueling Water Storage Tank (RWST) Level Alarm               2
1
              Bistables and Level Indication Accuracy
BYR06-111  
DIT BB-EPED- Design Information Transmittal: Minimum Starting/Running     5/14/93
Model APT-30K-11 SXCT Fan Blade Pitch Setting  
0189          Voltages for Essential Motors
1  
DIT BB-EXT-   Design Information Transmittal: Essential Service Water       12/9/92
BYR12-042  
0406          Cooling Tower Fan Motors [starting duty]
Essential Service Water Discharge Header Temperature  
DIT-BRW-2002- Design Information Transmittal: Basis for EDG loading         10/15/02
Indication Uncertainty  
033
0
SI-90-01     Minimum Containment Flood Level                               11
BYR95-005  
BYR04-016     RHR, SI, CV, and CS Pump NPSH During ECCS Injection           2
120 VAC Instrument Bus/SSPS Cabinet Fuse Sizing and  
              Mode
Coordination  
BYR14-053     Pressurizer PORV Air Accumulator Tank Requirements           0
0
BYR06-029     Byron/Braidwood SI/RHR/CS/CV system hydraulic analysis       5
BYR96-128  
              in support of GSI-191
Refueling Water Storage Tank (RWST) Level Alarm  
BYR06-058     NPSHA for RHR & CS Pumps During Post-LOCA                     0
Bistables and Level Indication Accuracy  
              Recirculation
2
BYR07-055     Determination of the Correlation for the Critical Submergence 0
DIT BB-EPED-
              Height (Vortexing) for the RWST
0189
SM-SI0930     RWST Level                                                   D
Design Information Transmittal: Minimum Starting/Running  
SITH-1       Refueling Water Storage Tank (RWST) Level Set points         8
Voltages for Essential Motors
CN-RRA-00-47 Byron/Braidwood Natural Circulation Cooldown TREAT           3
5/14/93  
              Analysis for RSG and Uprating Programm
DIT BB-EXT-
CN-RRA-00-47 Byron/Braidwood Natural Circulation Cooldown TREAT           4
0406
              Analysis for RSG and Uprating Program
Design Information Transmittal: Essential Service Water  
CQD-200074   PORV Accumulator Tank                                         Z2
Cooling Tower Fan Motors [starting duty]  
8.1.16       Refueling Water Storage Tanks Analysis and Design             5
12/9/92
BYR97-287     Determination of RWST Free Air Volume above Maximum           2
DIT-BRW-2002-
              RWST Water Level
033
SM-SI0930     RWST Level                                                   D
Design Information Transmittal: Basis for EDG loading  
SM-SI0931     RWST Level                                                   D
10/15/02  
SM-SI0932     RWST Level                                                   D
SI-90-01  
SM-SI0933     RWST Level                                                   D
Minimum Containment Flood Level  
ATD-0062     Heat Load to the Ultimate Heat Sink During a Loss of         5
11  
              Coolant Accident
BYR04-016  
BYR03-131     Evaluation of UHS Make Up for CST-based Cooldown Profile     1
RHR, SI, CV, and CS Pump NPSH During ECCS Injection  
BYR05-018     Tornado Missile Risk Assessment of Vulnerable Targets of     0
Mode  
              Essential Service Water Cooling Towers
2
BYR06-111     Model APT-30K-11 SXCT Fan Blade Pitch Setting                 1
BYR14-053  
                                        4
Pressurizer PORV Air Accumulator Tank Requirements  
0  
BYR06-029  
Byron/Braidwood SI/RHR/CS/CV system hydraulic analysis  
in support of GSI-191  
5
BYR06-058  
NPSHA for RHR & CS Pumps During Post-LOCA  
Recirculation
0
BYR07-055  
Determination of the Correlation for the Critical Submergence  
Height (Vortexing) for the RWST  
0
SM-SI0930  
RWST Level  
D  
SITH-1  
Refueling Water Storage Tank (RWST) Level Set points
8  
CN-RRA-00-47  
Byron/Braidwood Natural Circulation Cooldown TREAT  
Analysis for RSG and Uprating Programm  
3
CN-RRA-00-47  
Byron/Braidwood Natural Circulation Cooldown TREAT  
Analysis for RSG and Uprating Program  
4
CQD-200074  
PORV Accumulator Tank  
Z2  
8.1.16  
Refueling Water Storage Tanks Analysis and Design  
5  
BYR97-287  
Determination of RWST Free Air Volume above Maximum  
RWST Water Level  
2
SM-SI0930  
RWST Level  
D  
SM-SI0931  
RWST Level  
D  
SM-SI0932  
RWST Level  
D  
SM-SI0933  
RWST Level  
D  
ATD-0062  
Heat Load to the Ultimate Heat Sink During a Loss of  
Coolant Accident  
5
BYR03-131  
Evaluation of UHS Make Up for CST-based Cooldown Profile 1  
BYR05-018  
Tornado Missile Risk Assessment of Vulnerable Targets of  
Essential Service Water Cooling Towers  
0
BYR06-111  
Model APT-30K-11 SXCT Fan Blade Pitch Setting  
1  


CALCULATIONS
Number       Description or Title                                     Revision
5
BYR09-002   UHS Capability with Loss of SX Fans due to a Tornado     1
CALCULATIONS  
            Event
Number  
BYR09-002   UHS Capability with Loss of SX Fans due to a Tornado     1
Description or Title  
            Event
Revision  
BYR97*239     SX Cooling Tower Basin Level Auto Start Setpoint Error 1
BYR09-002  
            Analysis
UHS Capability with Loss of SX Fans due to a Tornado  
BYR97-034   Essential Service Water Cooling Tower Basin Minimum     0a
Event  
            Volume Versus Level and Minimum
1
            Usable Volume Calculation
BYR09-002  
BYR97-034   Essential Service Water Cooling Tower Basin Minimum     0A
UHS Capability with Loss of SX Fans due to a Tornado  
            Volume Versus Level and Minimum
Event  
            Usable Volume Calculation
1
BYR97-127   Byron Ultimate Heat Sink Cooling Tower Performance       1
BYR97*239  
            Calculations
SX Cooling Tower Basin Level Auto Start Setpoint Error  
BYR97-134   Heat Load on the UHS - 2 Unit Shutdown                   3
Analysis  
BYR97-366   SX Cooling Tower Basin - Time to Reach the Low Level     1
1
            Alarm Set Point
BYR97-034  
BYRO8-035   Essential Service Water Cooling Tower Basin Level       0
Essential Service Water Cooling Tower Basin Minimum  
            Indication Uncertainty Analysis
Volume Versus Level and Minimum  
NED-M-MSD-   Byron Ultimate Heat Sink Cooling Tower Basin Temperature 8B
Usable Volume Calculation  
009          Calculation: Part IV
0a
NED-M-MSD-   Byron Ultimate Heat Sink Cooling Tower Basin Makeup     9
BYR97-034  
014          Calculation
Essential Service Water Cooling Tower Basin Minimum  
UHS-01       Ultimate Heat Sink Design Basis LOCA Single Failure     4
Volume Versus Level and Minimum  
            Scenarios
Usable Volume Calculation  
SL-101       ELMS-AC Report: Running Voltage Summary, Division 12     1/21/15
0A
SL-102       ELMS-AC Report: Short Circuit Summary for High Voltage   1/21/15
BYR97-127  
            Buses
Byron Ultimate Heat Sink Cooling Tower Performance  
SL-109       ELMS-AC Report: Connection Loading, Division 12         1/21/15
Calculations  
SL-112       ELMS-AC Report: Single Bus Summary, Bus 142             4/20/15
1
CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection
BYR97-134  
Number       Description or Title                                     Date
Heat Load on the UHS - 2 Unit Shutdown
AR02488878   2015 CDBI - Design Analysis Inconsistency Identified     4/21/15
3  
AR02489108   NRC CDBI: Loose Parts Found During Walkdown of RWST     4/22/15
BYR97-366
AR02489149   CDBI - Bucket Collecting Diesel Fuel Drips from 0DO088A 4/22/15
SX Cooling Tower Basin - Time to Reach the Low Level  
AR02489198   CDBI - SX Make-Up Pump Temperature Recorder Panel       4/22/15
Alarm Set Point  
            Memory Full
1
AR02489297  CDBI - Outdated Information in SystemIQ                 4/22/15
BYRO8-035  
AR02489456   NRC ID: Jumpers Not Readily Available for 1/2BOA PRI-5   4/22/15
Essential Service Water Cooling Tower Basin Level  
AR02489360   Negative Vibration Reading on Idle 0E SXCT Fan           4/22/15
Indication Uncertainty Analysis  
AR02490324   CDBI - ID 1RY456 WO As-Found Not as Expected, No IR     4/24/15
0
            Written
NED-M-MSD-
AR02493191  CDBI - Issues Identified in Calculation BYR 97-224       4/30/15
009
AR02493990   CDBI - Issue Identified in Calculation 19-AQ-69         5/1/15
Byron Ultimate Heat Sink Cooling Tower Basin Temperature  
AR02495580   CDBI Question Related to BEP ES-1.3 Cold Leg             5/4/15
Calculation: Part IV  
            Recirculation
8B
                                        5
NED-M-MSD-
014
Byron Ultimate Heat Sink Cooling Tower Basin Makeup  
Calculation  
9
UHS-01  
Ultimate Heat Sink Design Basis LOCA Single Failure  
Scenarios  
4
SL-101  
ELMS-AC Report: Running Voltage Summary, Division 12  
1/21/15  
SL-102  
ELMS-AC Report: Short Circuit Summary for High Voltage  
Buses
1/21/15  
SL-109  
ELMS-AC Report: Connection Loading, Division 12  
1/21/15  
SL-112  
ELMS-AC Report: Single Bus Summary, Bus 142  
4/20/15  
CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection  
Number  
Description or Title  
Date  
AR02488878  
2015 CDBI - Design Analysis Inconsistency Identified  
4/21/15  
AR02489108  
NRC CDBI: Loose Parts Found During Walkdown of RWST  
4/22/15  
AR02489149  
CDBI - Bucket Collecting Diesel Fuel Drips from 0DO088A  
4/22/15  
AR02489198  
CDBI - SX Make-Up Pump Temperature Recorder Panel  
Memory Full
4/22/15  
AR02489297
CDBI - Outdated Information in SystemIQ  
4/22/15  
AR02489456  
NRC ID: Jumpers Not Readily Available for 1/2BOA PRI-5  
4/22/15  
AR02489360  
Negative Vibration Reading on Idle 0E SXCT Fan  
4/22/15  
AR02490324  
CDBI - ID 1RY456 WO As-Found Not as Expected, No IR  
Written
4/24/15  
AR02493191
CDBI - Issues Identified in Calculation BYR 97-224  
4/30/15  
AR02493990  
CDBI - Issue Identified in Calculation 19-AQ-69  
5/1/15  
AR02495580  
CDBI Question Related to BEP ES-1.3 Cold Leg  
Recirculation
5/4/15  


CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection
Number       Description or Title                                       Date
6
AR02495584   CDBI - FC Purification Flow Not Considered in RWST NPSH   5/4/15
CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection  
            Calc
Number  
AR02495866  CDBI - NRC Identified Issues in BYR97-193                 5/5/15
Description or Title  
AR02496142   CDBI - 50.59 and DRP did not explicitly evaluate GDC 5     5/5/15
Date  
AR02495973   NRC CDBI - Error Discovered in EACE Investigation         5/6/15
AR02495584  
AR02496766   CDBI - RWST Calc May Lead to Inconsistent Application of   5/6/15
CDBI - FC Purification Flow Not Considered in RWST NPSH  
            TS
Calc
AR02497347  NRC CDBI: Procedure Enhancement for ECCS Flow             5/6/15
5/4/15  
            Balancing
AR02495866
AR02497940  CDBI Deficiency Identified - THD Testing for Instrument   5/8/15
CDBI - NRC Identified Issues in BYR97-193  
            Inverter
5/5/15  
AR02497925  Lightning Rod on SX Cooling Tower Bent; Clarify Inspection 5/8/15
AR02496142  
            WO Instructions
CDBI - 50.59 and DRP did not explicitly evaluate GDC 5  
AR02501392  CDBI 2015 - VTIP for Containment DP Has Limited Lead       5/15/15
5/5/15  
            Length
AR02495973  
AR02501454  CDBI - CA Created for NCV Does Not Resolve Issue           5/15/15
NRC CDBI - Error Discovered in EACE Investigation  
AR02502846   No Routine PM on Containment Temperature Loops             5/19/15
5/6/15  
AR02504624   CDBI Concern Regarding Op Eval 13-007                     5/22/15
AR02496766  
AR02504475   CDBI - TS Clarification Needed for Transition to LTOPs     5/22/15
CDBI - RWST Calc May Lead to Inconsistent Application of  
AR02506214   2012 50.59 for SXCT Tornado Analysis                       5/19/15
TS
CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection
5/6/15  
Number       Description or Title                                       Date
AR02497347
AR00301744   Design of RWST Vacuum Relief System                       2/15/05
NRC CDBI: Procedure Enhancement for ECCS Flow  
AR00239280   RWST Vent / Vacuum Breaker Design Basis Issues             7/27/04
Balancing
AR00880223   0A SX M/U PP Failures                                     2/13/09
5/6/15  
AR00881611   0A SX MU Pump Did Not Stop When Local CS Taken to Off     2/17/09
AR02497940
AR01053940   1DC08E Battery, 1DC08E 123 Bus and DC 123 Batt Low         4/8/10
CDBI Deficiency Identified - THD Testing for Instrument  
AR01115570   DC Bus 123 Low Voltage                                     9/21/10
Inverter
AR01204963   Megger Test of Submerged Cable (1SX172)                   4/20/11
5/8/15  
AR01217212   Check/Adjust Charger 123 Float Voltage                     5/17/11
AR02497925
AR01263407   0A SX MU PP Failed to Start at the Desired Setpoint SPC   9/15/11
Lightning Rod on SX Cooling Tower Bent; Clarify Inspection  
AR01318043   0A SX M/U PP Battery Bank Test                             1/25/12
WO Instructions
AR01362643   Replace Breaker for MCC 035-2-C5 (0CW03PC-C)               5/4/12
5/8/15  
AR01368220   CDBI ESF MCC Contactors not Tested at Assumed Pickup       5/18/12
AR02501392
            Volt
CDBI 2015 - VTIP for Containment DP Has Limited Lead  
AR01376793  CDBI Follow-up on MCC Contactors (IR 1368220)             6/11/12
Length
AR01377764   NRC CDBI - Protective Relay Setting Tolerances             6/12/12
5/15/15  
AR01378259   Need Engineering to Evaluate Test Frequency               6/15/12
AR02501454
AR01380744   Action Tracking Needed for Size 3 and 4 Contactors         6/22/12
CDBI - CA Created for NCV Does Not Resolve Issue  
AR01387518   The Station 111 ESF Battery Needs to Be Replaced in       7/11/12
5/15/15  
            B1R19
AR02502846  
AR01387520  The Station 112 ESF Battery Needs to be Replaced in       7/11/12
No Routine PM on Containment Temperature Loops  
            B1R19
5/19/15  
AR01390648  Protective Relay Tolerances Require Fleet Review           7/19/12
AR02504624  
                                        6
CDBI Concern Regarding Op Eval 13-007  
5/22/15  
AR02504475  
CDBI - TS Clarification Needed for Transition to LTOPs  
5/22/15  
AR02506214  
2012 50.59 for SXCT Tornado Analysis  
5/19/15  
CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection  
Number  
Description or Title  
Date  
AR00301744  
Design of RWST Vacuum Relief System  
2/15/05  
AR00239280  
RWST Vent / Vacuum Breaker Design Basis Issues  
7/27/04  
AR00880223  
0A SX M/U PP Failures  
2/13/09  
AR00881611  
0A SX MU Pump Did Not Stop When Local CS Taken to Off  
2/17/09  
AR01053940  
1DC08E Battery, 1DC08E 123 Bus and DC 123 Batt Low  
4/8/10  
AR01115570  
DC Bus 123 Low Voltage  
9/21/10  
AR01204963  
Megger Test of Submerged Cable (1SX172)  
4/20/11  
AR01217212  
Check/Adjust Charger 123 Float Voltage  
5/17/11  
AR01263407  
0A SX MU PP Failed to Start at the Desired Setpoint SPC  
9/15/11  
AR01318043  
0A SX M/U PP Battery Bank Test  
1/25/12  
AR01362643
Replace Breaker for MCC 035-2-C5 (0CW03PC-C)  
5/4/12  
AR01368220  
CDBI ESF MCC Contactors not Tested at Assumed Pickup  
Volt
5/18/12  
AR01376793
CDBI Follow-up on MCC Contactors (IR 1368220)  
6/11/12  
AR01377764  
NRC CDBI - Protective Relay Setting Tolerances  
6/12/12  
AR01378259  
Need Engineering to Evaluate Test Frequency  
6/15/12  
AR01380744  
Action Tracking Needed for Size 3 and 4 Contactors  
6/22/12  
AR01387518  
The Station 111 ESF Battery Needs to Be Replaced in  
B1R19
7/11/12  
AR01387520
The Station 112 ESF Battery Needs to be Replaced in  
B1R19
7/11/12  
AR01390648
Protective Relay Tolerances Require Fleet Review  
7/19/12  


CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection
Number       Description or Title                                     Date
7
AR01398419   NRC IDD CDBI Green NCV Non-Conforming 480/120 VAC       6/15/12
CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection  
            Motor Contactors
Number  
AR01398426  NRC CDBI Green NCV Non-Conservative Cal Tolerance for     6/15/12
Description or Title  
            Elec Relays
Date  
AR01413695  Engineering Evaluate Frequency of Battery Capacity Test   9/16/12
AR01398419  
AR01502583   0A SX Makeup Pump Failed to Auto Start per 0BOSR 7.9.6-   4/16/13
NRC IDD CDBI Green NCV Non-Conforming 480/120 VAC  
            1
Motor Contactors
AR01518720  Breaker Will Not Reset During Oden Testing               5/29/13
6/15/12  
AR01570572   0A SX M/U PP Had To Be Tripped During Monthly Run         10/10/13
AR01398426
AR01588590   Loss of Instrument Bus 111                               11/21/13
NRC CDBI Green NCV Non-Conservative Cal Tolerance for  
AR01589264   Need New Contingency Work Order ofr Instrument Inverter   11/23/13
Elec Relays
            111
6/15/12  
AR01590368  NRC ID - PCM Template/Vendor Manual Recommendation       11/26/13
AR01413695
AR01611287   0A SX Makeup Pump Auto Start Level Setpoint               1/23/14
Engineering Evaluate Frequency of Battery Capacity Test  
AR01654589   Erratic Reading on Ammeter (111-IP001) for Inverter 111   4/30/14
9/16/12  
AR01658463   Specific Gravity of Battery Cell Still Low After Equalize 5/10/14
AR01502583  
AR01680303   0A SX MU PP Trouble Alarm Continues to Alarm             7/10/14
0A SX Makeup Pump Failed to Auto Start per 0BOSR 7.9.6-
AR01693147   Gradual Float Current Trend on 111 Battery Charger       4/15/14
1
AR02407275   0SX02PA Kept Running                                     11/5/14
4/16/13  
AR02417160   Pump As Found Condition/Dry Start Improvement           11/25/14
AR01518720
            Opportunity
Breaker Will Not Reset During Oden Testing  
AR02440865  Thermography Needed on FRT for Instrument Inverter 111   11/29/14
5/29/13  
AR02448283   0A SX MU Failed Surveillance                             2/5/15
AR01570572  
AR01299897   Replace Breaker for MCC 132Z1-A4 (0SX157A)               12/8/11
0A SX M/U PP Had To Be Tripped During Monthly Run  
AR01056715   NER-NC-10-008-Y - Buried Cable                           4/14/10
10/10/13  
AR01322720   B2F26 Bus 142 Undervoltage Relay                         2/3/12
AR01588590  
AR01409309   Safety-Related Cable Vault 1M1G(1G1) Inspection - Repairs 9/5/12
Loss of Instrument Bus 111  
AR01417720   MCC 132Z1-A5 Tripped Out of Tolerance                     9/24/12
11/21/13  
AR01425642   Safety-Related Cable Vault 1J2 Inspection - Repairs       10/12/12
AR01589264  
AR01592242   Operating Experience Applicable to Byron (SXCT Fan       12/2/13
Need New Contingency Work Order ofr Instrument Inverter  
            Reverse Rotation)
111
AR01625774  Degraded Voltage Relay Target did not Change State       2/25/14
11/23/13  
AR01648079   Step Change Identified in Unit 1 Containment Air         4/16/14
AR01590368
            Temperature in PI
NRC ID - PCM Template/Vendor Manual Recommendation  
AR01687277  Safety Related Cable Vault PM and Engineering Inspections 7/30/14
11/26/13  
AR02437410   Cable Vault PM and Engineering Inspections               1/14/15
AR01611287  
AR02437973   CDBI FASA - Review of Robinson and Wolf Creek Findings   1/15/15
0A SX Makeup Pump Auto Start Level Setpoint  
AR00239280   RWST Vent/Vacuum Breaker Design Basis Issue               7/27/04
1/23/14  
AR01360789   U-1 RWST level                                           4/30/12
AR01654589  
AR01361308   U-1 RWST on FC Purification                               5/2/12
Erratic Reading on Ammeter (111-IP001) for Inverter 111  
AR01361838   U-1 RWST level loss During Purification                   5/3/12
4/30/14  
AR0128230   NRC Information Notice 2012-01: Seismic Considerations - 5/9/12
AR01658463  
            Principally Issues Involving Tanks
Specific Gravity of Battery Cell Still Low After Equalize  
AR01398434  NRC CDBI Green NCV-Leak Detection for ECCS Flowpath       6/15/12
5/10/14  
            Lacking
AR01680303  
AR01378257  CDBI, Question about ECCS leakage                         6/15/12
0A SX MU PP Trouble Alarm Continues to Alarm
                                        7
7/10/14  
AR01693147  
Gradual Float Current Trend on 111 Battery Charger  
4/15/14  
AR02407275  
0SX02PA Kept Running  
11/5/14  
AR02417160  
Pump As Found Condition/Dry Start Improvement  
Opportunity
11/25/14  
AR02440865
Thermography Needed on FRT for Instrument Inverter 111  
11/29/14  
AR02448283  
0A SX MU Failed Surveillance  
2/5/15  
AR01299897  
Replace Breaker for MCC 132Z1-A4 (0SX157A)  
12/8/11  
AR01056715  
NER-NC-10-008-Y - Buried Cable  
4/14/10  
AR01322720  
B2F26 Bus 142 Undervoltage Relay  
2/3/12  
AR01409309  
Safety-Related Cable Vault 1M1G(1G1) Inspection - Repairs  
9/5/12  
AR01417720  
MCC 132Z1-A5 Tripped Out of Tolerance  
9/24/12  
AR01425642  
Safety-Related Cable Vault 1J2 Inspection - Repairs  
10/12/12  
AR01592242  
Operating Experience Applicable to Byron (SXCT Fan  
Reverse Rotation)
12/2/13  
AR01625774
Degraded Voltage Relay Target did not Change State  
2/25/14  
AR01648079  
Step Change Identified in Unit 1 Containment Air  
Temperature in PI
4/16/14  
AR01687277
Safety Related Cable Vault PM and Engineering Inspections  
7/30/14  
AR02437410  
Cable Vault PM and Engineering Inspections  
1/14/15  
AR02437973  
CDBI FASA - Review of Robinson and Wolf Creek Findings  
1/15/15  
AR00239280  
RWST Vent/Vacuum Breaker Design Basis Issue  
7/27/04  
AR01360789  
U-1 RWST level  
4/30/12  
AR01361308  
U-1 RWST on FC Purification  
5/2/12  
AR01361838  
U-1 RWST level loss During Purification  
5/3/12  
AR0128230  
NRC Information Notice 2012-01: Seismic Considerations -  
Principally Issues Involving Tanks
5/9/12  
AR01398434
NRC CDBI Green NCV-Leak Detection for ECCS Flowpath  
Lacking 
6/15/12  
AR01378257
CDBI, Question about ECCS leakage  
6/15/12  


CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection
Number       Description or Title                                     Date
8
AR01465872   Review of Braidwood IR 1459353 Pzr PORV Accumlator       1/23/13
CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection  
              Press
Number  
AR01635829    1B PZR PORV Accum Failed Decay Test                       3/19/14
Description or Title  
AR02454767   NOS ID: No CA to Correct an NRC NCV                       2/18/15
Date  
IR298958     SSD&PC: Inaccurate Setpoints Referenced in BYR97-034     6/30/05
AR01465872  
AR 01546621   Inadequate 50.59 for EC 385829 (SXCT Tornado Missiles)   8/14/13
Review of Braidwood IR 1459353 Pzr PORV Accumlator  
AR295141     Ssd&pc Question on Tornado Anaylsis Supporting UFSAR     1/28/05
Press
              Stmnt
1/23/13  
AR1677584    Clarification Needed on UHS Passive Failure Design       7/1/14
AR01635829
AR1567903     NRC Question and Feedback on UHS Temperature Analysis   10/3/13
1B PZR PORV Accum Failed Decay Test  
AR1677513     UFSAR Section 2.4.11.6 Needs Revision                     7/1/14
3/19/14  
AR1677646     Recommendation from UHS Assessment                       7/1/14
AR02454767  
AR1546621     Inadequate 50.59 for EC 385829                           2/9/12
NOS ID: No CA to Correct an NRC NCV  
AR2406579     Failed Spider Bearing on 0A SX Makeup Pump             11/4/14
2/18/15  
AR1269014     Obsolete SX Makeup Pump D/O Storage Tank Level           9/28/11
IR298958  
              Indicator
SSD&PC: Inaccurate Setpoints Referenced in BYR97-034
AR2437508    Review of Flow Anomaly On 0B SX Makeup                   1/14/15
6/30/05  
AR2448283     0A SX MU Failed Surveillance                             2/5/15
AR 01546621  
DRAWINGS
Inadequate 50.59 for EC 385829 (SXCT Tornado Missiles)  
Number       Description or Title                                     Revision
8/14/13  
S-529         Essential Service Cooling Tower Drainage Duct Plan,       H
AR295141  
              Section Details
Ssd&pc Question on Tornado Anaylsis Supporting UFSAR  
6E-0-4030SX09 Schematic Diagram - Essential Service Water Make-up       P
Stmnt 
              Pump 0A 0SX02PA
1/28/05  
6E-0-4030SX23 Schematic Diagram - Essential Service Water Make-up       S
AR1677584
              Pump 0A Control Cabinet (Diesel Driven) 0SX02JA
Clarification Needed on UHS Passive Failure Design  
6E-0-4030SX24 Schematic Diagram - Essential Service Water Make-up       F
7/1/14  
              Pump 0A Control Cabinet (Diesel Driven) 0SX02JA
AR1567903  
              Annunciator
NRC Question and Feedback on UHS Temperature Analysis 10/3/13  
6E-0-         Schematic Diagram - Essential service Water Cooling Tower D
AR1677513  
4030CW11      0A & 0B Well Water Make-up Valves 0CW100A & B
UFSAR Section 2.4.11.6 Needs Revision
6E-0-         Schematic Diagram - Deep Well Pump 0A - 0WW01PA           M
7/1/14  
4030WW01
AR1677646
6E-0-         Schematic Diagram - Deep Well Pump 0B - 0WW01PB           H
Recommendation from UHS Assessment  
4030WW02
7/1/14  
6E-0-         Schematic Diagram - Essential service Water Cooling Tower E
AR1546621
4030WW05      0A & 0B Circulating Water Make-up Valves 0WW019A & B
Inadequate 50.59 for EC 385829  
6E-1-4001A   Station One Line Diagram                                 P
2/9/12  
6E-1-4001E   Station Key Diagram                                       O
AR2406579  
6E-1-4002E   Single Line Diagram - 120V AC ESF Instrument Inverter Bus K
Failed Spider Bearing on 0A SX Makeup Pump  
              111 and 113, 125V DC ESF Distribution Center 111
11/4/14  
6E-1-4007A   Byron - Unit 1 - Key Diagram 480V ESF Substation Bus     M
AR1269014
              131X (1AP10E)
Obsolete SX Makeup Pump D/O Storage Tank Level  
6E-1-4010A   Key Diagram - 125V DC ESF Distribution Center Bus 111     M
Indicator 
              (1DC05E) Part 1
9/28/11  
                                        8
AR2437508
Review of Flow Anomaly On 0B SX Makeup  
1/14/15  
AR2448283  
0A SX MU Failed Surveillance  
2/5/15  
DRAWINGS  
Number  
Description or Title  
Revision  
S-529  
Essential Service Cooling Tower Drainage Duct Plan,  
Section Details  
H
6E-0-4030SX09  
Schematic Diagram - Essential Service Water Make-up  
Pump 0A 0SX02PA  
P
6E-0-4030SX23  
Schematic Diagram - Essential Service Water Make-up  
Pump 0A Control Cabinet (Diesel Driven) 0SX02JA  
S
6E-0-4030SX24  
Schematic Diagram - Essential Service Water Make-up  
Pump 0A Control Cabinet (Diesel Driven) 0SX02JA  
Annunciator  
F
6E-0-
4030CW11
Schematic Diagram - Essential service Water Cooling Tower  
0A & 0B Well Water Make-up Valves 0CW100A & B  
D
6E-0-
4030WW01
Schematic Diagram - Deep Well Pump 0A - 0WW01PA  
M  
6E-0-
4030WW02
Schematic Diagram - Deep Well Pump 0B - 0WW01PB  
H  
6E-0-
4030WW05
Schematic Diagram - Essential service Water Cooling Tower  
0A & 0B Circulating Water Make-up Valves 0WW019A & B  
E
6E-1-4001A  
Station One Line Diagram  
P  
6E-1-4001E  
Station Key Diagram  
O  
6E-1-4002E  
Single Line Diagram - 120V AC ESF Instrument Inverter Bus  
111 and 113, 125V DC ESF Distribution Center 111
K
6E-1-4007A  
Byron - Unit 1 - Key Diagram 480V ESF Substation Bus  
131X (1AP10E)  
M
6E-1-4010A  
Key Diagram - 125V DC ESF Distribution Center Bus 111  
(1DC05E) Part 1  
M


DRAWINGS
Number       Description or Title                                     Revision
9
6E-1-4010B   Key Diagram - 125V DC ESF Distribution Center Bus 111     G
DRAWINGS  
              (1DC05E) Part 2
Number  
6E-1-4010C   Key Diagram - 125V DC Non Safety Related Distribution     K
Description or Title  
              Panel 113 (1DC05EB)
Revision  
6E-1-4030DC05 Schematic Diagram - 125 VDC ESF Distribution Center, Bus U
6E-1-4010B  
              111, Part 1, 1DC05E
Key Diagram - 125V DC ESF Distribution Center Bus 111  
6E-1-4030IP01 Schematic Diagram 7.5KVA Fixed Frequency Inverter for     0
(1DC05E) Part 2  
              Instrument Bus 111 (1IP05E)
G
6E-1-4030RC31 Schematic Diagram - Reactor Coolant System High Pressure G
6E-1-4010C  
              & Low Temperature Control & Alarms
Key Diagram - 125V DC Non Safety Related Distribution  
6E-1-4030RH02 Schematic Diagram - Residual Heat Removal Pump 1B -       N
Panel 113 (1DC05EB)
              1RH01PB
K
6E-1-4030RY14 Schematic Diagram - Pressurizer Pressure & Level Control F
6E-1-4030DC05  
              Safety Related & Non-Safety Related (Div 12)
Schematic Diagram - 125 VDC ESF Distribution Center, Bus  
6E-1-4030RY17 Schematic Diagram - Pressurizer Power Relief Valves -     V
111, Part 1, 1DC05E
              1RY455A & 1RY456; Pressurizer Relief Tank Primary Water
U
              Supply Isolation Valve - 1RY8030; Pressurizer Relief Tank
6E-1-4030IP01  
              Drain Isolation Valve 1RY8031
Schematic Diagram 7.5KVA Fixed Frequency Inverter for  
6E-1-4031RC26 Loop Schematic Diagram - Reactor Coolant System Cold     S
Instrument Bus 111 (1IP05E)  
              Overpressurization System Control 1A & 1D Control Cabinet
0
              5&6
6E-1-4030RC31  
6E-1-4031RY15 Loop Schematic Diagram - Pressurizer Pressure & Level     O
Schematic Diagram - Reactor Coolant System High Pressure  
              Control Cabinet 6 (1PA06J) Part 1
& Low Temperature Control & Alarms  
6E-1-4031RY19 Loop Schematic Diagram - Pressurizer Pressure Safety     F
G
              Valve Discharge Temp & Pressure Control (ITE-0464)
6E-1-4030RH02  
              Control Cabinet 7 (1PA07J)
Schematic Diagram - Residual Heat Removal Pump 1B -  
M-42 Sh. 6   Diagram of Essential Service Water                       BC
1RH01PB  
M-60 Sh. 5   Diagram of Reactor Coolant                               AO
N
M-2042 Sh. 5 P&ID/C&I Diagram ESS Service Water System - SX           F
6E-1-4030RY14  
6E-0-1003     Duct Runs, Outdoor Plan, Southeast Area                   AC
Schematic Diagram - Pressurizer Pressure & Level Control  
6E-0-1004     Duct Runs, Outdoor Plan, Southwest Area                   Y
Safety Related & Non-Safety Related (Div 12)  
6E-0-1009     Duct Runs, Sections                                       F
F
6E-0-3502     Electrical Installation, ESW Cooling Tower 0A Plan -     AZ
6E-1-4030RY17  
              Switchgear Room, Elev. 874-6
Schematic Diagram - Pressurizer Power Relief Valves -  
6E-0-3502CT1 Conduit Tabulation, ESW Cooling Tower 0A Plan -           T
1RY455A & 1RY456; Pressurizer Relief Tank Primary Water  
              Switchgear Room, Elev. 874-6
Supply Isolation Valve - 1RY8030; Pressurizer Relief Tank  
6E-0-3502D01 Electrical Installation, ESW Cooling Tower 0A Switchgear N
Drain Isolation Valve 1RY8031  
              Room Partial Plans and Sections
V
6E-0-3507     Electrical Installation, ESW Cooling Tower 0B Plan -     BN
6E-1-4031RC26  
              Switchgear Room, Elev. 874-6
Loop Schematic Diagram - Reactor Coolant System Cold  
6E-0-3507CT1 Conduit Tabulation, ESW Cooling Tower 0B Plan -           Y
Overpressurization System Control 1A & 1D Control Cabinet  
              Switchgear Room, Elev. 874-6
5 & 6  
6E-0-3507D01 Electrical Installation, ESW Cooling Tower 0B Switchgear W
S
              Room Partial Plans and Sections
6E-1-4031RY15  
6E-0-4030SX01 Schematic Diagram, Essential Service Water Cooling Tower V
Loop Schematic Diagram - Pressurizer Pressure & Level  
              0A, Fan 0A
Control Cabinet 6 (1PA06J) Part 1  
6E-0-3680     Duct Run Routing Outdoor - West of Station               AC
O
                                          9
6E-1-4031RY19  
Loop Schematic Diagram - Pressurizer Pressure Safety  
Valve Discharge Temp & Pressure Control (ITE-0464)  
Control Cabinet 7 (1PA07J)  
F
M-42 Sh. 6  
Diagram of Essential Service Water  
BC  
M-60 Sh. 5  
Diagram of Reactor Coolant  
AO  
M-2042 Sh. 5  
P&ID/C&I Diagram ESS Service Water System - SX  
F  
6E-0-1003  
Duct Runs, Outdoor Plan, Southeast Area  
AC  
6E-0-1004  
Duct Runs, Outdoor Plan, Southwest Area  
Y  
6E-0-1009  
Duct Runs, Sections  
F  
6E-0-3502  
Electrical Installation, ESW Cooling Tower 0A Plan -  
Switchgear Room, Elev. 874-6  
AZ
6E-0-3502CT1  
Conduit Tabulation, ESW Cooling Tower 0A Plan -  
Switchgear Room, Elev. 874-6  
T
6E-0-3502D01  
Electrical Installation, ESW Cooling Tower 0A Switchgear  
Room Partial Plans and Sections  
N
6E-0-3507  
Electrical Installation, ESW Cooling Tower 0B Plan -  
Switchgear Room, Elev. 874-6  
BN
6E-0-3507CT1  
Conduit Tabulation, ESW Cooling Tower 0B Plan -  
Switchgear Room, Elev. 874-6  
Y
6E-0-3507D01  
Electrical Installation, ESW Cooling Tower 0B Switchgear  
Room Partial Plans and Sections  
W
6E-0-4030SX01  
Schematic Diagram, Essential Service Water Cooling Tower  
0A, Fan 0A  
V
6E-0-3680  
Duct Run Routing Outdoor - West of Station  
AC  


DRAWINGS
Number         Description or Title                                     Revision
10
6E-0-4030SX02   Schematic Diagram, Essential Service Water Cooling Tower U
DRAWINGS  
                0A, Fan 0B
Number  
6E-0-4030SX03   Schematic Diagram, Essential Service Water Cooling Tower U
Description or Title  
                0A, Fan 0C
Revision  
6E-0-4030SX04   Schematic Diagram, Essential Service Water Cooling Tower W
6E-0-4030SX02  
                0A, Fan 0D
Schematic Diagram, Essential Service Water Cooling Tower  
6E-0-4030SX05   Schematic Diagram, Essential Service Water Cooling Tower V
0A, Fan 0B  
                0B, Fan 0E
U
6E-0-4030SX06   Schematic Diagram, Essential Service Water Cooling Tower W
6E-0-4030SX03  
                0B, Fan 0F
Schematic Diagram, Essential Service Water Cooling Tower  
6E-0-4030SX07   Schematic Diagram, Essential Service Water Cooling Tower W
0A, Fan 0C  
                0B, Fan 0G
U
6E-0-4030SX08   Schematic Diagram, Essential Service Water Cooling Tower W
6E-0-4030SX04  
                0B, Fan 0H
Schematic Diagram, Essential Service Water Cooling Tower  
6E-1-4001A     Station One Line Diagram                                 P
0A, Fan 0D  
6E-1-4006B     Key Diagram, 4160V ESF Switchgear Bus 142               J
W
6E-1-4008AN     Key Diagram, 480V ESW Cooling Tower ESF MCC 132Z1       R
6E-0-4030SX05  
6E-1-4012A     Key Diagram, 120 Vac Instrument Bus 111                 W
Schematic Diagram, Essential Service Water Cooling Tower  
6E-1-4018B     Relaying & Metering Diagram, 4160 ESF Switchgear Bus     U
0B, Fan 0E  
                142
V
6E-1-           Schematic Diagram, Tripping Circuit, 480V ESW Cooling   A
6E-0-4030SX06  
4030AP115      Tower MCC 131Z1A, 132Z1A
Schematic Diagram, Essential Service Water Cooling Tower  
6E-1-4030RY17   Schematic Diagram, Pressurizer Power Relief Valve 1RV456 V
0B, Fan 0F  
6E-1-4030SI02   Schematic Diagram, Safety Injection Pump 1B             N
W
6E-1-4030SI14   Schematic Diagram, Containment Sumps 1A and 1B           Q
6E-0-4030SX07  
                Isolation Valves SI8811A & B
Schematic Diagram, Essential Service Water Cooling Tower  
6E-1-4031VP11   Loop Schematic Diagram [containment inside/outside       K
0B, Fan 0G  
                differential pressure]
W
M-61, Sh. 1B   Diagram of Safety Injection                             AX
6E-0-4030SX08  
M-136, Sh. 1   Diagram of Safety Injection                             BB
Schematic Diagram, Essential Service Water Cooling Tower  
M-63, Sh. 1A   Diagram of Fuel Pool Cooling and Clean up               BI
0B, Fan 0H  
S-1404         Refueling Water Storage Tank Sections & Details         I
W
M-60, Sh. 8     Diagram of Reactor Coolant                               AA
6E-1-4001A  
98Z512-001-2,   Pressurizer PORV Air Relief Valve                       0
Station One Line Diagram  
Sh. 1
P  
M-60, Sh.5     Diagram of Reactor Coolant                               AO
6E-1-4006B  
10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)
Key Diagram, 4160V ESF Switchgear Bus 142  
Number           Description or Title                                     Date
J  
6G-97-0110       DCP 9600355 ESW Cooling Tower Basin Level Switch         7/3/97
6E-1-4008AN  
EC385829         Tornado Missile Design Basis for the Essential Service   0
Key Diagram, 480V ESW Cooling Tower ESF MCC 132Z1  
                Water Cooling Tower
R  
6G-11-004       Tornado Missile Design Basis for the Essential Service   2/9/12
6E-1-4012A  
                Water Cooling Towers
Key Diagram, 120 Vac Instrument Bus 111  
EC385951        Multiple Spurious Operation - Scenario 14, 1SI8811A/B   12/9/11
W  
6E-05-0172       UFSAR Change Package (DRP) 11-052                       11/16/05
6E-1-4018B  
                                          10
Relaying & Metering Diagram, 4160 ESF Switchgear Bus  
142  
U
6E-1-
4030AP115
Schematic Diagram, Tripping Circuit, 480V ESW Cooling  
Tower MCC 131Z1A, 132Z1A  
A
6E-1-4030RY17  
Schematic Diagram, Pressurizer Power Relief Valve 1RV456  
V  
6E-1-4030SI02  
Schematic Diagram, Safety Injection Pump 1B  
N  
6E-1-4030SI14  
Schematic Diagram, Containment Sumps 1A and 1B  
Isolation Valves SI8811A & B  
Q
6E-1-4031VP11  
Loop Schematic Diagram [containment inside/outside  
differential pressure]  
K
M-61, Sh. 1B  
Diagram of Safety Injection  
AX  
M-136, Sh. 1  
Diagram of Safety Injection  
BB  
M-63, Sh. 1A  
Diagram of Fuel Pool Cooling and Clean up  
BI  
S-1404  
Refueling Water Storage Tank Sections & Details  
I  
M-60, Sh. 8  
Diagram of Reactor Coolant  
AA  
98Z512-001-2,  
Sh. 1
Pressurizer PORV Air Relief Valve  
0  
M-60, Sh.5  
Diagram of Reactor Coolant  
AO  
10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)  
Number  
Description or Title  
Date  
6G-97-0110  
DCP 9600355 ESW Cooling Tower Basin Level Switch  
7/3/97  
EC385829  
Tornado Missile Design Basis for the Essential Service  
Water Cooling Tower
0
6G-11-004  
Tornado Missile Design Basis for the Essential Service  
Water Cooling Towers
2/9/12  
EC385951
Multiple Spurious Operation - Scenario 14, 1SI8811A/B  
12/9/11  
6E-05-0172  
UFSAR Change Package (DRP) 11-052  
11/16/05  


10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)
Number           Description or Title                                       Date
11
6E-15-035       Increase Pressurizer PORV tank Operating Pressure to       0
10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)  
                Increase Margin for PORV Operation (Unit 1)
Number  
6H-00-0155       Technical Requirements Manual (TRM) Revision to Delete     9/19/00
Description or Title  
                TLCO 3.4.a, Pressurizer Safety Valves-Shutdown
Date  
MISCELLANEOUS
6E-15-035  
Number         Description or Title                                       Date or
Increase Pressurizer PORV tank Operating Pressure to  
                                                                            Revision
Increase Margin for PORV Operation (Unit 1)
                IST Program Plan - Service Water System                     8/26/14
0
Standing Order Emergency Operating Procedure Cold Leg Recirc.             5/15/15
6H-00-0155  
15-020
Technical Requirements Manual (TRM) Revision to Delete  
DW-09-004       ERG Feedback                                               2/27/09
TLCO 3.4.a, Pressurizer Safety Valves-Shutdown  
                Stewart & Stevenson Certificate of Conformance for Battery 11/4/81
9/19/00
                Chargers Serial No. 2165, 2167, 2170, 2174, 4 Batterrie 20
                Cells/Set and 8 Battery Racks, Purchase Order No. 203731
MISCELLANEOUS
06EN003246     FLT Series Flex Switch - Flow, Level, Temperature Switch   2
Number  
                Monitor
Description or Title  
01492090-03     Level 3 OPEX Evaluation - NRC IN 2013-05: Battery           5/16/13
Date or  
                Expected Life and Its Potential Impact on Surveillance
Revision  
                Requirements
CQD-009436     Seismic Qualification Test Report for Nife Ni-Cad Batteries 8/17/83
IST Program Plan - Service Water System
                H-410 (1,2 AF01EA-A, EA-B, EB-A, EB-B/0SX02EA, EB-A,
8/26/14  
                EC-A, ED-A
Standing Order  
CQD-012527     Review of Seismic Qualification Test Report for Battery     10/2/13
15-020
                Chargers (1&2 DC03E, 04E)
Emergency Operating Procedure Cold Leg Recirc.  
CQD-049161     Justification for the Application of Permatex Form A Gasket 1
5/15/15  
                with EPT Diaphragms
DW-09-004  
CQD-200164     Dynamic Qualification of Battery Chargers 0SX02EA-1         5/29/86
ERG Feedback  
                through 0SX02ED-1; 1,2AF01EA-1 and 1,2AF01EB-1
2/27/09  
NEC-06-6066     Procurement of Safety Related 125 Volt Batteries           B
604990-70-F1   Reliance Electric Dimension Sheet [SX Cooling tower fan     4/4/78
Stewart & Stevenson Certificate of Conformance for Battery  
                motor data sheet]
Chargers Serial No. 2165, 2167, 2170, 2174, 4 Batterrie 20  
EQ-GEN023       EQ Binder for NAMCO EA180 limit switches                   13
Cells/Set and 8 Battery Racks, Purchase Order No. 203731  
EC-397415       EQ Evaluation - Pressurizer PORV Diaphragm Design           0
11/4/81
                Pressure
06EN003246  
EQER-06-98-     EQ Evaluation for PORVs 1(2) FSV-RY-455A & 1(2)FSV-RY-     2/29/99
FLT Series Flex Switch - Flow, Level, Temperature Switch  
002            456
Monitor  
                Low Temperature Protection (LTOP) System Evaluation for     9/7/10
2
                Byron and Braidwood Units 1 and 2 Measurement
01492090-03  
                Uncertainty Recapture (MUR) Power Uprate Program
Level 3 OPEX Evaluation - NRC IN 2013-05: Battery  
Simulator Work PZR PORV Testing reveals lower than design flow             4/25/12
Expected Life and Its Potential Impact on Surveillance  
Request 13961
Requirements  
                Byron Unit 1 Pressure and Temperature Limits Report         3/14
5/16/13
EC 381986       Summary of the Design and Licensing Basis for Inadvertent   0
CQD-009436  
                ECCS Actuation at Power
Seismic Qualification Test Report for Nife Ni-Cad Batteries  
                                            11
H-410 (1,2 AF01EA-A, EA-B, EB-A, EB-B/0SX02EA, EB-A,  
EC-A, ED-A  
8/17/83
CQD-012527  
Review of Seismic Qualification Test Report for Battery  
Chargers (1&2 DC03E, 04E)  
10/2/13
CQD-049161  
Justification for the Application of Permatex Form A Gasket  
with EPT Diaphragms  
1
CQD-200164  
Dynamic Qualification of Battery Chargers 0SX02EA-1  
through 0SX02ED-1; 1,2AF01EA-1 and 1,2AF01EB-1  
5/29/86
NEC-06-6066  
Procurement of Safety Related 125 Volt Batteries  
B  
604990-70-F1  
Reliance Electric Dimension Sheet [SX Cooling tower fan  
motor data sheet]
4/4/78  
EQ-GEN023  
EQ Binder for NAMCO EA180 limit switches  
13  
EC-397415  
EQ Evaluation - Pressurizer PORV Diaphragm Design  
Pressure  
0
EQER-06-98-
002
EQ Evaluation for PORVs 1(2) FSV-RY-455A & 1(2)FSV-RY-
456
2/29/99  
Low Temperature Protection (LTOP) System Evaluation for  
Byron and Braidwood Units 1 and 2 Measurement  
Uncertainty Recapture (MUR) Power Uprate Program  
9/7/10
Simulator Work  
Request 13961
PZR PORV Testing reveals lower than design flow  
4/25/12  
Byron Unit 1 Pressure and Temperature Limits Report  
3/14  
EC 381986  
Summary of the Design and Licensing Basis for Inadvertent  
ECCS Actuation at Power  
0


MODIFICATIONS
Number         Description or Title                                         Date or
12
                                                                            Revision
MODIFICATIONS
EC394865       Ultimate Heat Sink Capability with Loss of Essential Service 2
Number  
                Water Cooling Tower Fans
Description or Title  
EC385829       UHS Capability with Loss of SX Fans Due to Tornado           2/14/12
Date or  
                Missiles
Revision  
M6-1(2)-87-142 Install Fan Cooling to Instrument Power Inverter Cubicles   10/17/90
EC394865  
EC385951       Multiple Spurious Operation - Scenario 14, 1SI8811A/B       12/9/11
Ultimate Heat Sink Capability with Loss of Essential Service  
EC388735       Detailed Review of FC Purification System for Use of Non     0
Water Cooling Tower Fans  
                Safety Related Portion Connected to Safety Related Piping
2
EC396016       Increase U1 Pressurizer PORV Accumulator Tank Operating     0
EC385829  
                Pressure to Increase number of PORV Open/Close Cycles
UHS Capability with Loss of SX Fans Due to Tornado  
                from Accumulator
Missiles
OPERABILITY EVALUATIONS
2/14/12  
Number         Description or Title                                         Date
M6-1(2)-87-142  
13-001         Capacity of the Pressurizer PORV Air Accumulator During     5
Install Fan Cooling to Instrument Power Inverter Cubicles  
                Natural Circulation Cooldown
10/17/90  
13-007         Ultimate Heat Sink Capability with Loss of Essential Service 1
EC385951  
                Water Cooling Tower Fans
Multiple Spurious Operation - Scenario 14, 1SI8811A/B  
PROCEDURES
12/9/11  
Number         Description or Title                                         Revision
EC388735  
1BOA PRI-5     Control Room Inaccessibility                                 108
Detailed Review of FC Purification System for Use of Non  
1BOA ELEC-5     Local Emergency Control of Safe Shutdown Equipment           106
Safety Related Portion Connected to Safety Related Piping  
0BOA PRI-7     Loss of Ultimate Heat Sink Unit 0                           1
0
1BOA PRI-7     Essential Service Water Malfunction Unit 1                   106
EC396016  
1BEP ES-1.3     Transfer to Cold Leg Recirculation Unit 1                   204
Increase U1 Pressurizer PORV Accumulator Tank Operating  
1BCA-1.2       LOCA Outside Containment Unit 1                             200
Pressure to Increase number of PORV Open/Close Cycles  
OP-AA-102-106   Operator Response Time Program                               3
from Accumulator  
OP-BY-102-106   Operator Response Time Program at Byron Station             7
0
1BOA S/D-2     Shutdown LOCA Unit 1                                         105
1BOSR XRS-Q1   Unit One Remote Shutdown Panel Quarterly Surveillance       13
OPERABILITY EVALUATIONS
1BFR-H1         Response to Loss of Secondary Heat Sink Unit1               203
Number  
0BHSR 8.4.2-1   Unit Zero Comprehensive Inservice Testing (IST)             8
Description or Title  
                Requirements for Essential Service Water Makeup Pump 0A
Date  
0BHSR SX-1     Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test       0
13-001  
0BHSR SX-5     0A SX Makeup Pump Battery Bank D Capacity Test               0
Capacity of the Pressurizer PORV Air Accumulator During  
0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin   7
Natural Circulation Cooldown  
                0A Level Switch (SX)
5
0BOSR Z.7.a.2- Unit Common Deepwell Pump Operability Monthly               1
13-007  
1               Surveillance
Ultimate Heat Sink Capability with Loss of Essential Service  
0BOSR 7.9.6-1   Essential Service Water Makeup Pump 0A Monthly               32
Water Cooling Tower Fans  
                Operability Surveillance
1
0BVSR SX-1     Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test       3
0BVSR SX-4     Unit 0 0A SX Makeup Pump Battery Bank D Capacity Test       3
PROCEDURES
0BVSR WW-1       Biennial Deep Well Pump Structure Inspection               2
Number  
1BHSR 8.4.2-1   Unit 1 Bus 111 125V Battery Charger Operability             1
Description or Title  
                                            12
Revision  
1BOA PRI-5  
Control Room Inaccessibility  
108  
1BOA ELEC-5  
Local Emergency Control of Safe Shutdown Equipment  
106  
0BOA PRI-7  
Loss of Ultimate Heat Sink Unit 0  
1  
1BOA PRI-7  
Essential Service Water Malfunction Unit 1
106  
1BEP ES-1.3  
Transfer to Cold Leg Recirculation Unit 1  
204  
1BCA-1.2  
LOCA Outside Containment Unit 1  
200  
OP-AA-102-106  
Operator Response Time Program  
3  
OP-BY-102-106  
Operator Response Time Program at Byron Station  
7  
1BOA S/D-2  
Shutdown LOCA Unit 1  
105  
1BOSR XRS-Q1 Unit One Remote Shutdown Panel Quarterly Surveillance
13  
1BFR-H1  
Response to Loss of Secondary Heat Sink Unit1  
203  
0BHSR 8.4.2-1  
Unit Zero Comprehensive Inservice Testing (IST)  
Requirements for Essential Service Water Makeup Pump 0A  
8
0BHSR SX-1  
Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test  
0  
0BHSR SX-5  
0A SX Makeup Pump Battery Bank D Capacity Test  
0  
0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin  
0A Level Switch (SX)  
7
0BOSR Z.7.a.2-
1
Unit Common Deepwell Pump Operability Monthly  
Surveillance
1  
0BOSR 7.9.6-1  
Essential Service Water Makeup Pump 0A Monthly  
Operability Surveillance  
32
0BVSR SX-1  
Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test  
3  
0BVSR SX-4  
Unit 0 0A SX Makeup Pump Battery Bank D Capacity Test  
3  
0BVSR WW-1  
Biennial Deep Well Pump Structure Inspection  
2  
1BHSR 8.4.2-1  
Unit 1 Bus 111 125V Battery Charger Operability  
1  


PROCEDURES
Number         Description or Title                                         Revision
13
1BHSR 8.4.3-1   Unit 1 125 Volt Battery Bank 111 Service Test               3
PROCEDURES
1BHSR 8.6.6-1   Unit 1 Battery 111 125 Volt Battery Bank 5 Year Modified     0&2
Number  
                Performance Test
Description or Title  
1BHSR AF-1AA   Unit 1 1B Diesel Aux Feed Pump Battery Bank A Battery A     1
Revision  
                (1AF01EA-A) Capacity Test
1BHSR 8.4.3-1  
1BOA ELEC-1     Loss of DC Bus Unit 1                                       103
Unit 1 125 Volt Battery Bank 111 Service Test  
1BOSR 8.4-1     125V DC Bus 111 Load Shed When Cross-Tied to DC Bus         12
3  
                211
1BHSR 8.6.6-1  
2BHSR 8.4.2-1   Unit 2 Bus 211 125V Battery Charger Operability             1
Unit 1 Battery 111 125 Volt Battery Bank 5 Year Modified  
BISR 3.1.10-206 Pressurizer Pressure Protection Channel II (RY) Test Report 8
Performance Test
                Package)
0 & 2  
BISR 3.1.10-207 Pressurizer Pressure Protection Channel III (RY) Test Report 8
1BHSR AF-1AA  
                Package)
Unit 1 1B Diesel Aux Feed Pump Battery Bank A Battery A  
BISR 4.12.8-200 Wide Range Reactor Coolant Pressure Loop 1A Hot Leg         7
(1AF01EA-A) Capacity Test  
                (RC)
1
BOP-AP-93       MCC 035-2 Outage                                             1
1BOA ELEC-1  
BOP SX-3       Essential Service Water Make-up Pump Startup                 30
Loss of DC Bus Unit 1  
BOP SX17       Shutdown of SX Makeup Pump Battery Chargers                 3
103  
BOP SX18       Placing the SX Makeup Pump Battery Chargers in               8
1BOSR 8.4-1  
                Operation/Equalize
125V DC Bus 111 Load Shed When Cross-Tied to DC Bus  
CC-AA-308       Control and Tracking of Electrical Load Changes             4
211  
ER-AA-310-     Maintenance Rule - Performance Monitoring                   13
12
1004
2BHSR 8.4.2-1  
MA-BY-026-     Seismic Housekeeping                                         2
Unit 2 Bus 211 125V Battery Charger Operability  
1001
1  
MA-BY-721-060   125 Volt Battery Bank 18 Month Surveillance                 11
BISR 3.1.10-206 Pressurizer Pressure Protection Channel II (RY) Test Report  
MA-BY-721-061   125 Volt Battery Bank Quarterly Surveillance                 12 & 15
Package)  
MA-BY-723-053   Station Battery Charger 18 Month Surveillance               18
8
MA-BY-723-     0B SX Makeup Pump A Battery Charger 0SX02EA Battery         0
BISR 3.1.10-207 Pressurizer Pressure Protection Channel III (RY) Test Report  
053-001        Charger Test
Package)  
MA-BY-723-     0B SX Makeup Pump D Battery Charger 0SX02ED Battery         1
8
053-002        Charger Test
BISR 4.12.8-200 Wide Range Reactor Coolant Pressure Loop 1A Hot Leg  
MA-BY-723-     0B SX Makeup Pump B Battery Charger 0SX02EB Battery         0
(RC)  
053-003        Charger Test
7
MA-BY-723-     0B SX Makeup Pump C Battery Charger 0SX02EC Battery         1
BOP-AP-93  
053-004        Charger Test
MCC 035-2 Outage  
MA-BY-723-054   Nickel Cadmium Battery Bank Surveillance                     14
1  
0BHSR SX-3     Annual Surveillance for Essential Service Water Cooling     2
BOP SX-3  
                Tower Fan Motors
Essential Service Water Make-up Pump Startup  
0BOSR 7.9.4-1   ESW Cooling Tower Fan Monthly Surveillance                   6
30  
1BOSR IP-R1     Instructions to Cycle Instrument Bus 111 Distribution Panel 0
BOP SX17  
                Molded Case Circuit Breakers
Shutdown of SX Makeup Pump Battery Chargers  
1BOSR 3.2.9-1   Train A Manual Safety Injection Initiation and Manual Phase 22
3  
                A Initiation Surveillance
BOP SX18  
1BOSR 8.9.1-2   Unit 1 ESF Onsite Power Distribution Weekly Surveillance     10
Placing the SX Makeup Pump Battery Chargers in  
                Division 12
Operation/Equalize  
BOP MP-19       Adjusting Reactive Load                                     12
8
                                          13
CC-AA-308  
Control and Tracking of Electrical Load Changes  
4  
ER-AA-310-
1004
Maintenance Rule - Performance Monitoring  
13  
MA-BY-026-
1001
Seismic Housekeeping  
2  
MA-BY-721-060  
125 Volt Battery Bank 18 Month Surveillance  
11  
MA-BY-721-061  
125 Volt Battery Bank Quarterly Surveillance  
12 & 15  
MA-BY-723-053  
Station Battery Charger 18 Month Surveillance  
18  
MA-BY-723-
053-001
0B SX Makeup Pump A Battery Charger 0SX02EA Battery  
Charger Test  
0
MA-BY-723-
053-002
0B SX Makeup Pump D Battery Charger 0SX02ED Battery  
Charger Test  
1
MA-BY-723-
053-003
0B SX Makeup Pump B Battery Charger 0SX02EB Battery  
Charger Test  
0
MA-BY-723-
053-004
0B SX Makeup Pump C Battery Charger 0SX02EC Battery  
Charger Test  
1
MA-BY-723-054  
Nickel Cadmium Battery Bank Surveillance
14  
0BHSR SX-3  
Annual Surveillance for Essential Service Water Cooling  
Tower Fan Motors  
2
0BOSR 7.9.4-1  
ESW Cooling Tower Fan Monthly Surveillance  
6  
1BOSR IP-R1  
Instructions to Cycle Instrument Bus 111 Distribution Panel  
Molded Case Circuit Breakers  
0
1BOSR 3.2.9-1  
Train A Manual Safety Injection Initiation and Manual Phase  
A Initiation Surveillance  
22
1BOSR 8.9.1-2  
Unit 1 ESF Onsite Power Distribution Weekly Surveillance  
Division 12  
10
BOP MP-19  
Adjusting Reactive Load  
12  


PROCEDURES
Number         Description or Title                                           Revision
14
ER-AA-300-150   Cable Condition Monitoring Program                             1
PROCEDURES
MA-AA-723-330   Electrical Testing of AC Motors Using Baker Instrument         3
Number  
                Advanced Winding Analyzer
Description or Title  
MA-AA-725-102   Preventative Maintenance on Westinghouse Type DHP 4kv,         8
Revision  
                6.9kv, and 13.8kv Circuit Breakers
ER-AA-300-150  
1BGP-100-5     Plant Shutdown and Cooldown                                     68
Cable Condition Monitoring Program  
BOP FC-7       Startup of the Purification System to Purify or Recirculate the 13
1  
                Refueling Water Storage Tank
MA-AA-723-330  
1BEP ES-0.2     Natural Circulation Cooldown Unit 1                             202
Electrical Testing of AC Motors Using Baker Instrument  
BAR 1-12-C4     RCS Press High at Low Temp                                     2
Advanced Winding Analyzer  
1BOSR 5.C.3.1   Safety Injection System Cold Leg Flow Balance                   3
3
2BOSR 0.1-4     Unit 2 Mode 4 Shiftly and Daily Operating Surveillance         25
MA-AA-725-102  
1BOSR 0.1-     Unit 1 Mode 1,2,3 TRM and Tech Spec and Non Tech Spec           56
Preventative Maintenance on Westinghouse Type DHP 4kv,  
1,2,3          Data Sheet D5
6.9kv, and 13.8kv Circuit Breakers  
BIP 2500-088   Calibration of Refueling Water Storage Tank Outlet             5
8
                Temperature Loop (SI)
1BGP-100-5  
1BOSR           Unit 1 Comprehensive Inservice Testing (IST) Requirements       5
Plant Shutdown and Cooldown  
5.5.8.SI.5-2C  for Safety Injection Pump 1SI01PB
68  
1BOSR          Unit 1 Group A Inservice Testing (IST) Requirements for         1
BOP FC-7  
5.5.8.SI.5-2a  Safty Injection Pumps 1SI01PB
Startup of the Purification System to Purify or Recirculate the  
0BOSR NLO-     Non-Licensed Operator TRM, ISFSI, and NPDES Data Daily         18
Refueling Water Storage Tank  
TRM            Logs
13
1BGP 100-5     Plant Shutdown and Cooldown                                     68
1BEP ES-0.2  
BOP SX-T2       SX Basin Level Tree                                             5
Natural Circulation Cooldown Unit 1  
BOP SX-11       SXCT Fan Startup                                               9
202  
BOP SX-12       Makeup to an Essential Service Water Mechanical Draft           10
BAR 1-12-C4  
                Cooling Tower
RCS Press High at Low Temp  
0BOA ENV-1     Adverse Weather Conditions                                     114
2  
1BOA PRI-5     Control Room Inaccessibility                                   108
1BOSR 5.C.3.1  
1BOA ELEC-5     Local Emergency Control of Safe Shutdown Equipment Unit         106
Safety Injection System Cold Leg Flow Balance  
                1
3  
1BEP-1         Reactor Trip or Safety Injection                               207
2BOSR 0.1-4  
1BEP ES-0.1     Reactor Trip Response                                           203
Unit 2 Mode 4 Shiftly and Daily Operating Surveillance
1BEP ES-0.2     Natural Circulation Cooldown                                   202
25  
BOP RH-6       Operation of the RH System In Shutdown Cooling                 46
1BOSR 0.1-
OP-AA-108       Oversight and and Control of Operator Burdens                   2
1,2,3
BOP CC-1       Component Cooling Water System Startup                         12
Unit 1 Mode 1,2,3 TRM and Tech Spec and Non Tech Spec  
SURVEILLANCES (Completed)
Data Sheet D5  
Number         Description or Title                                           Date or
56
                                                                                Revision
BIP 2500-088  
0BHSR SX-1     0A SX Makeup Pump Battery Bank A Capacity Test                 6/14/12
Calibration of Refueling Water Storage Tank Outlet  
0BHSR SX-5     0A SX Makeup Pump Battery Bank D Capacity Test                 9/14/12
Temperature Loop (SI)  
0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin     8/7/14
5
                0A Level Switch (SX)
1BOSR  
0BOSR          0SX02PA Comprehensive IST Req for SX Makeup Pump                2/5/15
5.5.8.SI.5-2C
5.5.8.SX.5-1c
Unit 1 Comprehensive Inservice Testing (IST) Requirements  
                                            14
for Safety Injection Pump 1SI01PB 
5  
1BOSR
5.5.8.SI.5-2a
Unit 1 Group A Inservice Testing (IST) Requirements for  
Safty Injection Pumps 1SI01PB  
1
0BOSR NLO-
TRM
Non-Licensed Operator TRM, ISFSI, and NPDES Data Daily  
Logs  
18
1BGP 100-5  
Plant Shutdown and Cooldown  
68  
BOP SX-T2  
SX Basin Level Tree  
5  
BOP SX-11  
SXCT Fan Startup  
9  
BOP SX-12  
Makeup to an Essential Service Water Mechanical Draft  
Cooling Tower  
10
0BOA ENV-1  
Adverse Weather Conditions  
114  
1BOA PRI-5  
Control Room Inaccessibility  
108  
1BOA ELEC-5  
Local Emergency Control of Safe Shutdown Equipment Unit  
1  
106
1BEP-1  
Reactor Trip or Safety Injection  
207  
1BEP ES-0.1  
Reactor Trip Response  
203  
1BEP ES-0.2
Natural Circulation Cooldown  
202  
BOP RH-6  
Operation of the RH System In Shutdown Cooling
46  
OP-AA-108  
Oversight and and Control of Operator Burdens  
2  
BOP CC-1  
Component Cooling Water System Startup  
12  
SURVEILLANCES (Completed)  
Number  
Description or Title  
Date or  
Revision  
0BHSR SX-1  
0A SX Makeup Pump Battery Bank A Capacity Test  
6/14/12  
0BHSR SX-5  
0A SX Makeup Pump Battery Bank D Capacity Test  
9/14/12  
0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin  
0A Level Switch (SX)  
8/7/14
0BOSR
5.5.8.SX.5-1c  
0SX02PA Comprehensive IST Req for SX Makeup Pump
2/5/15


SURVEILLANCES (Completed)
Number         Description or Title                                   Date or
15
                                                                        Revision
SURVEILLANCES (Completed)  
0BOSR 7.9.6-1   0A SX Makeup Pump Operability Surveillance             3/12/13
Number  
0BOSR 7.9.6-1   0A SX Makeup Pump Operability Surveillance             2/4/15
Description or Title  
0BOSR 7.9.6-1   0A SX Makeup Pump Battery Bank A Capacity Test         3/11/15
Date or  
0BVSR SX-1     0A SX Makeup Pump Battery Bank A Capacity Test         10/17/06
Revision  
0BVSR SX-4     0A SX Makeup Pump Battery Bank D Capacity Test         6/19/06
0BOSR 7.9.6-1  
1BHSR 8.4.2-1   Unit 1 Bus 111 125V Battery Charger Operability Test   11/8/11
0A SX Makeup Pump Operability Surveillance  
1BHSR 8.4.2-1   Unit 1 Bus 111 125V Battery Charger Operability Test   9/17/13
3/12/13  
1BHSR 8.4.3-1   111 A Train 125V Battery Bank Service Test           3/20/14
0BOSR 7.9.6-1  
1BHSR 8.6.6-1   111 A Train 125V Battery Bank 5Yr Capacity Test       4/1/08
0A SX Makeup Pump Operability Surveillance  
1BHSR 8.6.6-1   111 A Train 125V Battery Bank 5Yr Capacity Test       9/11/12
2/4/15  
BISR 3.1.10-206 Pressurize Pressure Protection Channel 2 Loop 1RY-0456 4/6/15
0BOSR 7.9.6-1  
BISR 3.1.10-207 Pressurizer Pressure Protection Channel 3 Loop 1RY-0457 4/13/15
0A SX Makeup Pump Battery Bank A Capacity Test  
BISR 4.12.8-200 Cal of Wide Range RC Pressure Loop 1A Hot Leg 1P-406   4/28/14
3/11/15  
M A-BY-721-     125 Volt Battery Bank Quarterly Surveillance           9/11/12
0BVSR SX-1  
060
0A SX Makeup Pump Battery Bank A Capacity Test  
M A-BY-721-     125 Volt Battery Bank Quarterly Surveillance           3/20/14
10/17/06  
060
0BVSR SX-4  
M A-BY-721-     125 Volt Battery Bank 18 Months Surveillance           9/16/12
0A SX Makeup Pump Battery Bank D Capacity Test  
061
6/19/06  
M A-BY-721-     125 Volt Battery Bank 18 Months Surveillance           3/22/14
1BHSR 8.4.2-1  
061
Unit 1 Bus 111 125V Battery Charger Operability Test  
M A-BY-721-     125 Volt Battery Bank 18 Months Surveillance           9/15/14
11/8/11  
061
1BHSR 8.4.2-1  
M A-BY-721-     125 Volt Battery Bank 18 Months Surveillance           12/16/14
Unit 1 Bus 111 125V Battery Charger Operability Test  
061
9/17/13  
MA-BY-723-053   EM 18 Month Battery Charger Surveillance - 0B SX M/U   1/15/13
1BHSR 8.4.3-1  
                Pump 0B Batt Chgr # 0SX02EB-1
111 A Train 125V Battery Bank Service Test  
MA-BY-723-053   EM 18 Month Battery Charger Surveillance - 0A SX M/U   2/6/14
3/20/14  
                Pump 0A Batt Chgr # 0SX02EA-1
1BHSR 8.6.6-1  
MA-BY-723-053   EM 18 Month Battery Charger Surveillance - 0A SX M/U   8/5/14
111 A Train 125V Battery Bank 5Yr Capacity Test  
                Pump 0D Batt Chgr # 0SX02ED-1
4/1/08  
MA-BY-723-053   EM 18 Month Battery Charger Surveillance - 0B SX M/U   3/27/15
1BHSR 8.6.6-1  
                Pump 0C Batt Chgr # 0SX02EC-1
111 A Train 125V Battery Bank 5Yr Capacity Test  
MA-BY-723-     0B SX Makeup Pump A Battery Charger 0SX02EA Battery     2/4/14
9/11/12  
053-001        Charger Test
BISR 3.1.10-206 Pressurize Pressure Protection Channel 2 Loop 1RY-0456  
MA-BY-723-     0B SX Makeup Pump D Battery Charger 0SX02ED Battery     8/6/14
4/6/15  
053-002        Charger Test
BISR 3.1.10-207 Pressurizer Pressure Protection Channel 3 Loop 1RY-0457  
MA-BY-723-     0B SX Makeup Pump B Battery Charger 0SX02EB Battery     1/15/13
4/13/15  
053-003        Charger Test
BISR 4.12.8-200 Cal of Wide Range RC Pressure Loop 1A Hot Leg 1P-406  
MA-BY-723-     0B SX Makeup Pump B Battery Charger 0SX02EC Battery     3/27/15
4/28/14  
053-004        Charger Test
M A-BY-721-
MA-BY-723-054   Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel 8/5/14
060
                SX- 0SX02ED-A
125 Volt Battery Bank Quarterly Surveillance  
MA-BY-723-054   Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel 9/5/14
9/11/12  
                SX- 0SX02EA-A
M A-BY-721-
                                        15
060
125 Volt Battery Bank Quarterly Surveillance  
3/20/14  
M A-BY-721-
061
125 Volt Battery Bank 18 Months Surveillance  
9/16/12  
M A-BY-721-
061
125 Volt Battery Bank 18 Months Surveillance  
3/22/14  
M A-BY-721-
061
125 Volt Battery Bank 18 Months Surveillance  
9/15/14  
M A-BY-721-
061
125 Volt Battery Bank 18 Months Surveillance  
12/16/14  
MA-BY-723-053  
EM 18 Month Battery Charger Surveillance - 0B SX M/U  
Pump 0B Batt Chgr # 0SX02EB-1  
1/15/13
MA-BY-723-053  
EM 18 Month Battery Charger Surveillance - 0A SX M/U  
Pump 0A Batt Chgr # 0SX02EA-1  
2/6/14
MA-BY-723-053  
EM 18 Month Battery Charger Surveillance - 0A SX M/U  
Pump 0D Batt Chgr # 0SX02ED-1  
8/5/14
MA-BY-723-053  
EM 18 Month Battery Charger Surveillance - 0B SX M/U  
Pump 0C Batt Chgr # 0SX02EC-1  
3/27/15
MA-BY-723-
053-001
0B SX Makeup Pump A Battery Charger 0SX02EA Battery  
Charger Test
2/4/14  
MA-BY-723-
053-002
0B SX Makeup Pump D Battery Charger 0SX02ED Battery  
Charger Test
8/6/14  
MA-BY-723-
053-003
0B SX Makeup Pump B Battery Charger 0SX02EB Battery  
Charger Test
1/15/13  
MA-BY-723-
053-004
0B SX Makeup Pump B Battery Charger 0SX02EC Battery  
Charger Test
3/27/15  
MA-BY-723-054  
Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel  
SX- 0SX02ED-A  
8/5/14
MA-BY-723-054  
Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel  
SX- 0SX02EA-A  
9/5/14


SURVEILLANCES (Completed)
Number       Description or Title                                     Date or
16
                                                                        Revision
SURVEILLANCES (Completed)  
MA-BY-723-054 Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel   10/30/14
Number  
              SX- 0SX02EA-A
Description or Title  
MA-BY-723-054 NiCad Battery Surveillance M/U Diesel SX- 0SX02E         11/6/14
Date or  
WO01579586   Unit 1 Pressurizer PORV Accumulator Press Decay Test     3/19/14
Revision  
WO01774289   SI pump ECCS Flow Balance Test (After System Alteration) 10/5/14
MA-BY-723-054  
WO01243123   OP 2BOSR 5.C.3-2 Unit 2 SI to HL Flow Balance             4/2/10
Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel  
WO01243120   Unit 1 Safety Injection System Hot Leg Flow Balance       9/4/09
SX- 0SX02EA-A  
WO01243119   SI pump ECCS Flow Balance Test (After System Alterations) 9/4/09
10/30/14
WO01582134   1SI01PB Comprehensive IST RQMTS For Safety Injection     1/28/14
MA-BY-723-054  
              Pump
NiCad Battery Surveillance M/U Diesel SX- 0SX02E  
WO01425077    1SI01PB Comprehensive IST RQMTS For Safety Injection     8/9/12
11/6/14  
              Pump
WO01579586  
WO01451296    STT/PIT For 1RY455A and 1RY456                           9/28/12
Unit 1 Pressurizer PORV Accumulator Press Decay Test  
WO01585186   STT/PIT For 1RY455A and 1RY456                           2/7/14
3/19/14  
PMID 140860   0BOSR 7.9.6-1 0A SX Makeup Pump Operability Review       4/18/13
WO01774289  
TRAINING DOCUMENTS
SI pump ECCS Flow Balance Test (After System Alteration)  
Number       Description or Title                                     Date or
10/5/14  
                                                                        Revision
WO01243123  
BY 14-2-2     Requalification Simulator Scenario Guide                 1
OP 2BOSR 5.C.3-2 Unit 2 SI to HL Flow Balance  
10-1-5       Requalification Simulator Scenario Guide                 0
4/2/10  
P1-SPBY-1401 BEP-1, BEP-2                                             2
WO01243120  
OPBYLLORT5   BFR H, Heat Sink Series                                   8/28/13
Unit 1 Safety Injection System Hot Leg Flow Balance  
WORK DOCUMENTS
9/4/09  
Number       Description or Title                                     Date or
WO01243119  
                                                                        Revision
SI pump ECCS Flow Balance Test (After System Alterations)  
00961518     Replace Entire Solenoid to Meet EQ Requirements - EM     4/1/08
9/4/09  
              ASCO Solenoid Valve Replacement (EQ) - 1FSV-RY456-2
WO01582134  
01057719     Test All MCC Breakers in This MCC in a Bus Outage -       5/2813
1SI01PB Comprehensive IST RQMTS For Safety Injection  
              Assembly 480V RSH MCC 035-2
Pump
01094421     Replace Float and Equalize Voltage Adjustment             11/29/11
1/28/14  
              Potentiometer
WO01425077
01490541      111 A Train 125 V Battery Charger Operability Test     9/18/13
1SI01PB Comprehensive IST RQMTS For Safety Injection  
01536066     Essential Service Water Cooling Tower Level 0SX-064 IM   3/3/14
Pump
              Calibration
8/9/12  
01558514      B1R19 Replace 111 ESF Batteries                           3/29/14
WO01451296
01578627     Test Replace Actuator Hose 1RY456                         3/14/14
STT/PIT For 1RY455A and 1RY456  
01599481     Calibration of Wide Range RC Pressure Loop 1A Hot Leg     4/28/14
9/28/12  
              Pressure Loop 1RC-0406
WO01585186  
01600072     Clean/Inspect/Check Connections on DC Bus/Panel 111 and   3/30/14
STT/PIT For 1RY455A and 1RY456  
              Perform Therm. on Distr. Panel Breakers
2/7/14  
01621944     Support Diver Insp./Cleaning RSH South 0B Intake/SED PM   6/25/13
PMID 140860  
              ID 30
0BOSR 7.9.6-1 0A SX Makeup Pump Operability Review  
01652815      211 A Train 125 V Battery Charger Operability Test     5/14/14
4/18/13  
                                        16
TRAINING DOCUMENTS
Number  
Description or Title  
Date or  
Revision  
BY 14-2-2  
Requalification Simulator Scenario Guide  
1  
10-1-5  
Requalification Simulator Scenario Guide  
0  
P1-SPBY-1401  
BEP-1, BEP-2  
2  
OPBYLLORT5  
BFR H, Heat Sink Series  
8/28/13  
WORK DOCUMENTS
Number  
Description or Title  
Date or  
Revision  
00961518  
Replace Entire Solenoid to Meet EQ Requirements - EM  
ASCO Solenoid Valve Replacement (EQ) - 1FSV-RY456-2  
4/1/08
01057719  
Test All MCC Breakers in This MCC in a Bus Outage -  
Assembly 480V RSH MCC 035-2  
5/2813
01094421  
Replace Float and Equalize Voltage Adjustment  
Potentiometer
11/29/11  
01490541
111 A Train 125 V Battery Charger Operability Test  
9/18/13  
01536066  
Essential Service Water Cooling Tower Level 0SX-064 IM  
Calibration
3/3/14  
01558514
B1R19 Replace 111 ESF Batteries  
3/29/14  
01578627  
Test Replace Actuator Hose 1RY456  
3/14/14  
01599481  
Calibration of Wide Range RC Pressure Loop 1A Hot Leg  
Pressure Loop 1RC-0406  
4/28/14
01600072  
Clean/Inspect/Check Connections on DC Bus/Panel 111 and  
Perform Therm. on Distr. Panel Breakers  
3/30/14
01621944  
Support Diver Insp./Cleaning RSH South 0B Intake/SED PM  
ID 30
6/25/13  
01652815
211 A Train 125 V Battery Charger Operability Test  
5/14/14  


WORK DOCUMENTS
Number     Description or Title                                     Date or
17
                                                                      Revision
WORK DOCUMENTS
01017127   Perform Dynamic Baker Testing - 1SI01PB Motor             8/26/08
Number  
01085998   Perform Static Baker Test and MA-AA-723-310 Inspection of 4/27/09
Description or Title  
            SX Cooling Tower Fan Motor 0SX03CC
Date or  
01117942   PM for 4kV Bus 142, breaker ACB 1425Z                     9/21/09
Revision  
01119375   Lightning Protection System 5 Year Inspection [Includes   11/18/09
01017127  
            Document 1 attachment to WO]
Perform Dynamic Baker Testing - 1SI01PB Motor  
01120491   PM for 4kV Bus 142, breaker ACB 1424                     9/29/09
8/26/08  
01129028   Inspection of SX Cooling Tower Fan Motor 0SX03D           10/28/09
01085998  
01136617   PM for 4kV Bus 142, breaker ACB 1422                     3/15/09
Perform Static Baker Test and MA-AA-723-310 Inspection of  
01141049   Perform Static Baker Test and MA-AA-723-310 Inspection of 3/19/10
SX Cooling Tower Fan Motor 0SX03CC  
            SX Cooling Tower Fan Motor 0SX03CB
4/27/09
01216011   Perform Dynamic Baker Testing - 1SI01PB Motor             8/26/10
01117942  
01258194   Calibration of OLS-XS097                                 1/6/11
PM for 4kV Bus 142, breaker ACB 1425Z  
01265167   PM for 4kV Bus 142, breaker ACB 1421                     10/26/11
9/21/09  
01287321   Inspection of SX Cooling Tower Fan Motor 0SX03CE         9/1/11
01119375  
01299949   Containment Inside/Outside DP Loop 1VP-231               6/30/11
Lightning Protection System 5 Year Inspection [Includes  
01343409   Inspection of SX Cooling Tower Fan Motor 0SX03CH         11/21/11
Document 1 attachment to WO]  
01367641   PM for 4kV Bus 142, breaker ACB 1SI01PB                   2/21/12
11/18/09
01372340   PM for 4kV Bus 142, breaker ACB 1422                     11/11/12
01120491  
01382271   Perform Static Baker Test and MA-AA-723-310 Inspection of 6/12/12
PM for 4kV Bus 142, breaker ACB 1424  
            SX Cooling Tower Fan Motor 0SX03CC
9/29/09  
01384474-01 Inspection of SX Cooling Tower Fan Motor 0SX03CF         11/26/12
01129028  
01380551-01 Inspection of SX Cooling Tower Fan Motor 0SX03CA         6/8/12
Inspection of SX Cooling Tower Fan Motor 0SX03D  
01393782   Inspection of SX Cooling Tower Fan Motor 0SX03CG         10/30/11
10/28/09  
01401180   Calibration of OLS-XS097                                 8/24/12
01136617  
01419437   PM for 4kV Bus 142, breaker ACB 1425Z                     9/23/12
PM for 4kV Bus 142, breaker ACB 1422  
01419758   Test All MCC 132Z1 Breakers - Oden Testing               9/23/12
3/15/09  
01420365   PM for 4kV Bus 142, breaker ACB 1424                     9/23/12
01141049  
01421751   Unit 1 Train A Manual SI and Manual Phase A Initiation   9/11/12
Perform Static Baker Test and MA-AA-723-310 Inspection of  
            Surveillance
SX Cooling Tower Fan Motor 0SX03CB  
01433378-01 Inspection of SX Cooling Tower Fan Motor 0SX03CD         3/12/13
3/19/10
01453350   Containment Inside/Outside DP Loop 1VP-231               3/19/15
01216011  
01471461   Calibration of OLS-XS096                                 9/6/11
Perform Dynamic Baker Testing - 1SI01PB Motor  
01473594-01 Perform Static Baker Test and MA-AA-723-310 Inspection of 5/17/13
8/26/10  
            SX Cooling Tower Fan Motor 0SX03CB
01258194  
01480666-01 Testing of Power Cables 2AP178                           4/20/13
Calibration of OLS-XS097  
01486337   Calibration of OLS-XS096                                 2/8/13
1/6/11  
01538412   PM for 4kV Bus 142, breaker ACB 1423                     11/30/13
01265167  
01564018-01 Testing of Power Cables 1AP178 (North SX towers)         3/18/14
PM for 4kV Bus 142, breaker ACB 1421  
01569220   Calibration of OLS-XS097                                 6/2/14
10/26/11  
01585654-02 Testing of Power Cables 2AP183 (Bus 242, Cubicle 20)     10/6/14
01287321  
01615167   Calibration of OLS-XS096                                 8/8/14
Inspection of SX Cooling Tower Fan Motor 0SX03CE  
01621573-01 Perform Surveillance of SX Cooling Tower Fan Motor       9/16/14
9/1/11  
            0SX03CE
01299949  
01639602    PM for 4kV Bus 142, breaker ACB 1421                     11/19/14
Containment Inside/Outside DP Loop 1VP-231  
                                      17
6/30/11  
01343409  
Inspection of SX Cooling Tower Fan Motor 0SX03CH  
11/21/11  
01367641  
PM for 4kV Bus 142, breaker ACB 1SI01PB  
2/21/12  
01372340  
PM for 4kV Bus 142, breaker ACB 1422  
11/11/12  
01382271  
Perform Static Baker Test and MA-AA-723-310 Inspection of  
SX Cooling Tower Fan Motor 0SX03CC  
6/12/12
01384474-01  
Inspection of SX Cooling Tower Fan Motor 0SX03CF  
11/26/12  
01380551-01  
Inspection of SX Cooling Tower Fan Motor 0SX03CA  
6/8/12  
01393782  
Inspection of SX Cooling Tower Fan Motor 0SX03CG  
10/30/11  
01401180  
Calibration of OLS-XS097  
8/24/12  
01419437  
PM for 4kV Bus 142, breaker ACB 1425Z  
9/23/12  
01419758  
Test All MCC 132Z1 Breakers - Oden Testing  
9/23/12  
01420365  
PM for 4kV Bus 142, breaker ACB 1424  
9/23/12  
01421751  
Unit 1 Train A Manual SI and Manual Phase A Initiation  
Surveillance
9/11/12  
01433378-01  
Inspection of SX Cooling Tower Fan Motor 0SX03CD  
3/12/13  
01453350  
Containment Inside/Outside DP Loop 1VP-231  
3/19/15  
01471461  
Calibration of OLS-XS096  
9/6/11  
01473594-01  
Perform Static Baker Test and MA-AA-723-310 Inspection of  
SX Cooling Tower Fan Motor 0SX03CB  
5/17/13
01480666-01  
Testing of Power Cables 2AP178
4/20/13  
01486337  
Calibration of OLS-XS096  
2/8/13  
01538412  
PM for 4kV Bus 142, breaker ACB 1423  
11/30/13  
01564018-01  
Testing of Power Cables 1AP178 (North SX towers)  
3/18/14  
01569220  
Calibration of OLS-XS097  
6/2/14  
01585654-02  
Testing of Power Cables 2AP183 (Bus 242, Cubicle 20)  
10/6/14  
01615167  
Calibration of OLS-XS096  
8/8/14  
01621573-01  
Perform Surveillance of SX Cooling Tower Fan Motor  
0SX03CE
9/16/14  
01639602
PM for 4kV Bus 142, breaker ACB 1421  
11/19/14  


WORK DOCUMENTS
Number     Description or Title                                     Date or
18
                                                                    Revision
WORK DOCUMENTS
01644724-01 Perform Surveillance of SX Cooling Tower Fan Motor       11/20/14
Number  
            0SX03CH
Description or Title  
01652671    PM for 4kV Bus 142, breaker ACB 1SI01PB                 3/29/15
Date or  
01667453   Calibration of 1SX-015 Loop                             2/17/15
Revision  
01680518   Calibration of 1SX-016 Loop                             3/31/15
01644724-01  
01543156   Calibration of 2SX-015 Loop                             2/12/14
Perform Surveillance of SX Cooling Tower Fan Motor  
01716477   Calibration of 2SX-016 Loop                             3/23/15
0SX03CH
01734645-01 SX Cooling Tower Fan Motor Surveillance - 0SX03CG       11/4/14
11/20/14  
01734645-02 SX Cooling Tower Fan Motor Surveillance & Triannual     11/5/14
01652671
            Inspection - 0SX03CG
PM for 4kV Bus 142, breaker ACB 1SI01PB  
01760801    PM for 4kV Bus 142, breaker ACB 1423                     1/30/15
3/29/15  
01805922   ESW Cooling Tower Fan Monthly Surveillance               3/10/15
01667453  
01419750   Replace Actuator Diaphragm                               9/20/12
Calibration of 1SX-015 Loop  
01515448   Refueling Water Storage Tank Outlet Temp LOOP 1SI-058   2/24/14
2/17/15  
01186461   Refueling Water Storage Tank Outlet Temp LOOP 1SI-058   4/21/10
01680518  
01544629   Calibration of Refueling Water Storage Tank (RWST) level 9/20/13
Calibration of 1SX-016 Loop  
01374939   Calibration of Refueling Water Storage Tank (RWST) level 2/28/12
3/31/15  
00915331   Minor Leakage from 0A WW Pump Well Head                 8/20/08
01543156  
00768385   0B WW PP 10 Year Rebuild                                 11/09/06
Calibration of 2SX-015 Loop  
01754077   Received 0A SX Make Up Pp Trouble alarm                 7/17/14
2/12/14  
00921203   SXCT Fan Assembly Replacement EC 356417                 8/23/12
01716477  
00921198   SXCT Fan Assembly Replacement EC 356417                 1/10/07
Calibration of 2SX-016 Loop  
01634644   Replace Start Contactor Relay K1B at 0SX02PA-B           4/17/13
3/23/15  
01682260   Support Diver Insp/Cleaning SXCT South 0B Basin         10/31/14
01734645-01  
01691008   Support Diver Insp/Cleaning SXCT South 0A Basin         11/14/14
SX Cooling Tower Fan Motor Surveillance - 0SX03CG  
                                      18
11/4/14  
01734645-02  
SX Cooling Tower Fan Motor Surveillance & Triannual  
Inspection - 0SX03CG
11/5/14  
01760801
PM for 4kV Bus 142, breaker ACB 1423  
1/30/15  
01805922  
ESW Cooling Tower Fan Monthly Surveillance  
3/10/15  
01419750  
Replace Actuator Diaphragm
9/20/12  
01515448  
Refueling Water Storage Tank Outlet Temp LOOP 1SI-058  
2/24/14  
01186461  
Refueling Water Storage Tank Outlet Temp LOOP 1SI-058  
4/21/10  
01544629  
Calibration of Refueling Water Storage Tank (RWST) level  
9/20/13  
01374939  
Calibration of Refueling Water Storage Tank (RWST) level  
2/28/12  
00915331  
Minor Leakage from 0A WW Pump Well Head  
8/20/08  
00768385  
0B WW PP 10 Year Rebuild  
11/09/06  
01754077  
Received 0A SX Make Up Pp Trouble alarm  
7/17/14  
00921203  
SXCT Fan Assembly Replacement EC 356417
8/23/12  
00921198  
SXCT Fan Assembly Replacement EC 356417  
1/10/07  
01634644  
Replace Start Contactor Relay K1B at 0SX02PA-B  
4/17/13  
01682260  
Support Diver Insp/Cleaning SXCT South 0B Basin  
10/31/14  
01691008  
Support Diver Insp/Cleaning SXCT South 0A Basin  
11/14/14  


                          LIST OF ACRONYMS USED
CDF Delta Core Damage Frequency
19
AC   Alternating Current
LIST OF ACRONYMS USED  
ACIT Action Tracking Item
CDF  
ADAMS Agencywide Document Access Management System
Delta Core Damage Frequency  
CA   Corrective Action Tracking Item
AC  
CAP   Corrective Action Program
Alternating Current  
CAQ   Condition Adverse to Quality
ACIT  
CCDP Conditional Core Damage Probability
Action Tracking Item  
CDBI Component Design Bases Inspection
ADAMS  
CFR   Code of Federal Regulations
Agencywide Document Access Management System  
CNMT Containment
CA  
CS   Containment Spray
Corrective Action Tracking Item  
CV   Chemical and Volume Control
CAP  
DBA   Design Basis Accident
Corrective Action Program  
DC   Direct Current
CAQ  
DRP   Division of Reactor Projects
Condition Adverse to Quality  
DRS   Division of Reactor Safety
CCDP  
EC   Engineering Change
Conditional Core Damage Probability  
ECCS Emergency Core Cooling System
CDBI  
EOP   Emergency Operating Procedure
Component Design Bases Inspection  
ERG   Emergency Response Guideline
CFR  
FSAR Final Safety Analysis Report
Code of Federal Regulations  
gpm   Gallons per Minute
CNMT  
IMC   Inspection Manual Chapter
Containment  
IN   Information Notice
CS  
IR   Inspection Report
Containment Spray  
LCO   Limiting Condition for Operation
CV  
LERF Large Early Release Frequency
Chemical and Volume Control  
LLC   Limited Liability Corporation
DBA  
LOCA Loss of Coolant Accident
Design Basis Accident  
LOOP Loss of Offsite Power
DC  
LTOP  Low Temperature Overpressure Protection
Direct Current  
MCC   Motor Control Center
DRP  
MOV   Motor-Operated Valve
Division of Reactor Projects  
NCV   Non-Cited Violation
DRS  
NEI   Nuclear Energy Institute
Division of Reactor Safety  
NOV   Notice of Violation
EC  
NPSH Net Positive Suction Head
Engineering Change  
NRC   U.S. Nuclear Regulatory Commission
ECCS  
NRR   Nuclear Reactor Regulation
Emergency Core Cooling System  
PARS Publicly Available Records System
EOP  
PM   Preventive Maintenance
Emergency Operating Procedure  
PORV Power-Operated Relief Valve
ERG  
PRA   Probabilistic Risk Assessment
Emergency Response Guideline  
RASP Risk Assessment Standardization Project
FSAR  
RCS   Reactor Coolant System
Final Safety Analysis Report  
RHR   Residual Heat Removal
gpm  
RIS   Regulatory Issue Summary
Gallons per Minute  
RWST  Refueling Water Storage Tank
IMC  
                                      19
Inspection Manual Chapter  
IN  
Information Notice  
IR  
Inspection Report  
LCO  
Limiting Condition for Operation  
LERF  
Large Early Release Frequency  
LLC  
Limited Liability Corporation  
LOCA  
Loss of Coolant Accident  
LOOP  
Loss of Offsite Power  
LTOP   
Low Temperature Overpressure Protection  
MCC
Motor Control Center  
MOV  
Motor-Operated Valve  
NCV  
Non-Cited Violation  
NEI  
Nuclear Energy Institute  
NOV  
Notice of Violation  
NPSH  
Net Positive Suction Head  
NRC  
U.S. Nuclear Regulatory Commission  
NRR  
Nuclear Reactor Regulation  
PARS  
Publicly Available Records System  
PM  
Preventive Maintenance  
PORV  
Power-Operated Relief Valve  
PRA  
Probabilistic Risk Assessment  
RASP  
Risk Assessment Standardization Project  
RCS  
Reactor Coolant System  
RHR  
Residual Heat Removal  
RIS  
Regulatory Issue Summary  
RWST   
Refueling Water Storage Tank  


SAPHIRE Systems Analysis Programs for Hands-on Integrated Reliability Evaluations
SDP     Significance Determination Process
20
SI     Safety Injection
SAPHIRE  
SPAR   Standardized Plant Analysis Risk
Systems Analysis Programs for Hands-on Integrated Reliability Evaluations  
SR     Surveillance Requirement
SDP  
SRA     Senior Reactor Analyst
Significance Determination Process  
SSC     System, Structure, and Component
SI  
SSDPC   Safety Systems Design, Performance and Capability Inspection
Safety Injection  
SX     Emergency Service Water
SPAR
SXCT   Emergency Service Water Cooling Tower
Standardized Plant Analysis Risk  
TORMIS Tornado Missile Risk Evaluation Methodology
SR  
TS     Technical Specification
Surveillance Requirement  
UFSAR   Updated Final Safety Analysis Report
SRA  
UHS     Ultimate Heat Sink
Senior Reactor Analyst  
URI     Unresolved Item
SSC  
VAC     Volts Alternating Current
System, Structure, and Component  
VDC     Volts Direct Current
SSDPC  
WOG     Westinghouse Owners Group
Safety Systems Design, Performance and Capability Inspection  
                                        20
SX  
Emergency Service Water  
SXCT  
Emergency Service Water Cooling Tower  
TORMIS  
Tornado Missile Risk Evaluation Methodology  
TS  
Technical Specification  
UFSAR  
Updated Final Safety Analysis Report  
UHS  
Ultimate Heat Sink  
URI  
Unresolved Item  
VAC  
Volts Alternating Current  
VDC  
Volts Direct Current  
WOG  
Westinghouse Owners Group  


B. Hanson                                                                 -3-
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public
Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy
B. Hanson  
of this letter, its enclosure, and your response (if any) will be available electronically for public
-3-  
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)
In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public  
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy  
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html
of this letter, its enclosure, and your response (if any) will be available electronically for public  
(the Public Electronic Reading Room).
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)  
                                                                          Sincerely,
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
                                                                          /RA/
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html  
                                                                          Christine A. Lipa, Chief
(the Public Electronic Reading Room).  
                                                                          Engineering Branch 2
Sincerely,  
                                                                          Division of Reactor Safety
Docket Nos. 50-454; 50-455
/RA/  
License Nos. NPF-37; NPF-66
Enclosures:
Christine A. Lipa, Chief  
  (1) Notice of Violation
Engineering Branch 2  
  (2) IR 05000454/2015008; 05000455/2015008;
Division of Reactor Safety  
cc w/encl: Distribution via LISTSERV
Docket Nos. 50-454; 50-455  
DISTRIBUTION w/encl:
License Nos. NPF-37; NPF-66  
Kimyata MorganButler
Enclosures:  
RidsNrrDorlLpl3-2 Resource
(1) Notice of Violation  
RidsNrrPMByron Resource
(2) IR 05000454/2015008; 05000455/2015008;  
RidsNrrDirsIrib Resource
cc w/encl: Distribution via LISTSERV  
Cynthia Pederson
DISTRIBUTION w/encl:  
Darrell Roberts
Kimyata MorganButler  
Richard Skokowski
RidsNrrDorlLpl3-2 Resource  
Allan Barker
RidsNrrPMByron Resource  
Carole Ariano
RidsNrrDirsIrib Resource  
Linda Linn
Cynthia Pederson  
DRPIII
Darrell Roberts  
DRSIII
Richard Skokowski  
Jim Clay
Allan Barker  
Carmen Olteanu
Carole Ariano  
ROPreports.Resource@nrc.gov
Linda Linn  
ADAMS Accession Number ML15203A042
DRPIII  
    Publicly Available                   Non-Publicly Available                           Sensitive                 Non-Sensitive
DRSIII  
To receive a copy of this document, indicate in the concurrence box "C" = Copy without attach/encl "E" = Copy with attach/encl "N" = No copy
Jim Clay  
OFFICE             RIII                                               RIII               RIII                           RIII
Carmen Olteanu  
  NAME               MJones for NFeliz-Adorno:cl CLipa:
ROPreports.Resource@nrc.gov  
  DATE               07/21/15                                           07/21/15
                                                          OFFICIAL RECORD COPY
ADAMS Accession Number ML15203A042  
Publicly Available  
Non-Publicly Available  
Sensitive  
Non-Sensitive  
To receive a copy of this document, indicate in the concurrence box "C" = Copy without attach/encl "E" = Copy with attach/encl "N" = No copy  
OFFICE  
RIII  
RIII  
RIII  
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NAME  
MJones for NFeliz-Adorno:cl  
CLipa:  
   
DATE  
07/21/15  
07/21/15  
OFFICIAL RECORD COPY
}}
}}

Latest revision as of 10:22, 10 January 2025

IR 05000454/2015008; 05000455/2015008, on 4/20/2015 - 6/16/2015; Byron Station, Units 1 and 2; Component Design Bases Inspection. (Nfa)
ML15203A042
Person / Time
Site: Byron  Constellation icon.png
Issue date: 07/21/2015
From: Christine Lipa
NRC/RGN-III/DRS/EB2
To: Bryan Hanson
Exelon Generation Co, Exelon Nuclear
References
IR 2015008
Download: ML15203A042 (65)


See also: IR 05000454/2015008

Text

UNITED STATES

NUCLEAR REGULATORY COMMISSION

REGION III

2443 WARRENVILLE RD. SUITE 210

LISLE, IL 60532-4352

July 21, 2015

Mr. Bryan C. Hanson

Senior VP, Exelon Generation Company, LLC

President and CNO, Exelon Nuclear

4300 Winfield Road

Warrenville, IL 60555

SUBJECT: BYRON STATION, UNITS 1 AND 2 - NRC COMPONENT DESIGN BASES

INSPECTION; INSPECTION REPORT 05000454/2015008; 05000455/2015008

AND NOTICE OF VIOLATION

Dear Mr. Hanson:

On June 16, 2015, the U.S. Nuclear Regulatory Commission (NRC) completed a Component

Design Bases Inspection at your Byron Station, Units 1 and 2. The purpose of this inspection

was to verify that design bases have been correctly implemented for the selected risk-significant

components, and that operating procedures and operator actions are consistent with design and

licensing bases. The enclosed report documents the results of this inspection, which were

discussed on June 16, 2015, with Mr. B. Currier, and other members of your staff.

This inspection examined activities conducted under your license as they relate to public

health and safety to confirm compliance with the Commissions rules and regulations, and

with the conditions in your license. Within these areas, the inspection consisted of a selected

examination of procedures and representative records, field observations, and interviews with

personnel.

Based on the results of this inspection, the NRC has identified an issue that was evaluated

under the risk Significance Determination Process as having very-low safety significance

(Green). The NRC has also determined that a violation is associated with this issue. This

violation was evaluated in accordance with the NRC Enforcement Policy. The current

Enforcement Policy is included on the NRCs web site at http://www.nrc.gov/about-nrc/

regulatory/enforcement/enforce-pol.html.

B. Hanson

-2-

The violation is cited in the enclosed Notice of Violation (Notice), and the circumstances

surrounding it are described in detail in the subject inspection report. The violation is being

cited in the Notice because Byron Station, Units 1 and 2, failed to restore compliance and failed

to have objective plans to restore compliance in a reasonable period following the NRC

identification of an associated Non-Cited Violation (NCV) on June 15, 2012. The associated

NCV was documented in Inspection Report 05000454/2012007; 05000455/2012007.

You are required to respond to this letter, and should follow the instructions specified in the

enclosed Notice when preparing your response. If you have additional information that you

believe the NRC should consider, you may provide it in your response to the Notice. The NRC

review of your response to the Notice will also determine whether further enforcement action is

necessary to ensure compliance with regulatory requirements.

Based on the results of this inspection, the NRC has also determined that six additional

NRC-identified findings of very-low safety significance (Green) were identified. The findings

involved violations of NRC requirements. However, because of their very-low safety

significance, and because the issues were entered into your Corrective Action Program, the

NRC is treating the issues as NCVs in accordance with Section 2.3.2 of the NRC Enforcement

Policy. These NCVs are described in the subject inspection report.

If you contest the subject or severity of the Non-Cited-Violation, 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 III; the Director, Office of

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

NRC Resident Inspector at the Byron Station.

In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report,

you should provide a response within 30 days of the date of this inspection report, with the basis

for your disagreement, to the Regional Administrator, Region III, and the NRC Resident

Inspector at the Byron Station.

B. Hanson

-3-

In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public

Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy

of this letter, its enclosure, and your response (if any) will be available electronically for public

inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)

component of the NRC's Agencywide Documents Access and Management 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/

Christine A. Lipa, Chief

Engineering Branch 2

Division of Reactor Safety

Docket Nos. 50-454; 50-455

License Nos. NPF-37; NPF-66

Enclosures:

(1) Notice of Violation

(2) IR 05000454/2015008; 05000455/2015008;

cc w/encl: Distribution via LISTSERV

NOTICE OF VIOLATION

Enclosure 1

Exelon Generation Company, LLC

Docket No. 50-454; 50-455

Byron Station, Units 1 and 2

License No. NPF-37; NPF-66

During an U.S. Nuclear Regulatory Commission (NRC) inspection conducted from

April 20, 2015, through May 22, 2015, a violation of NRC requirements was identified.

In accordance with the NRC Enforcement Policy, the violation is listed below:

Title 10, Code of Federal Regulations (CFR), Part 50, Appendix B, Criterion XVI,

Corrective Action, states, in part, that measures shall be established to assure that

conditions adverse to quality, such as failures, malfunctions, deficiencies, deviations,

defective material and equipment, and non-conformances are promptly identified and

corrected.

Contrary to the above, from June 15, 2012, to May 22, 2015, the licensee failed to

correct a condition adverse to quality (CAQ). Specifically, on June 15, 2012, the

NRC issued a Non-Cited Violation 05000454/2012007-05; 05000455/2012007-05 for the

failure to provide means to detect and isolate a leak in the emergency core cooling

system within 30 minutes for Byron Station, Units 1 and 2, as described in

Section 6.3.2.5 of the Updated Final Safety Analysis Report which is a CAQ. As of

May 22, 2015, the licensee had not corrected the CAQ in a reasonable time period.

Instead, the licensee created action tracking items to develop a plan to correct the

CAQ, and the associated due date was extended at least eight times.

This violation is associated with a Green Significance Determination Process finding.

Pursuant to the provisions of 10 CFR 2.201, Exelon Generation Company, LLC, is hereby

required to submit a written statement or explanation to the U.S. Nuclear Regulatory

Commission, ATTN: Document Control Desk, Washington, DC 20555-0001, with a copy to

the Regional Administrator, Region III; and the NRC Resident Inspector at the Byron Station,

Units 1 and 2, within 30 days of the date of the letter transmitting this Notice. This reply

should be clearly marked as a Reply to a Notice of Violation; VIO 05000454/2015008-09; 05000455/2015008-09, and should include for each violation: (1) the reason for the violation,

or, if contested, the basis for disputing the violation or severity level; (2) the corrective steps that

have been taken and the results achieved; (3) the corrective steps that will be taken; and (4) the

date when full compliance will be achieved. Your response may reference or include previous

docketed correspondence, if the correspondence adequately addresses the required response.

If an adequate reply is not received within the time specified in this Notice, an order or a

Demand for Information may be issued as to why the license should not be modified,

suspended, or revoked, or why such other action as may be proper should not be taken.

Where good cause is shown, consideration will be given to extending the response time.

If you contest this enforcement action, you should also provide a copy of your response, with

the basis for your denial, to the Director, Office of Enforcement, United States Nuclear

Regulatory Commission, Washington, DC 20555-0001.

2

Because your response will be made available electronically for public inspection in the

NRC Public Document Room or from ADAMS, accessible from the NRC Web site at

http://www.nrc.gov/reading-rm/adams.html, to the extent possible, it should not include any

personal privacy, proprietary, or safeguards information so that it can be made available to the

public without redaction. If personal privacy or proprietary information is necessary to provide

an acceptable response, then please provide a bracketed copy of your response that identifies

the information that should be protected and a redacted copy of your response that deletes

such information. If you request withholding of such material, you must specifically identify the

portions of your response that you seek to have withheld and provide in detail the bases for your

claim of withholding (e.g., explain why the disclosure of information will create an unwarranted

invasion of personal privacy or provide the information required by 10 CFR 2.390(b) to support

a request for withholding confidential commercial or financial information). If safeguards

information is necessary to provide an acceptable response, please provide the level of

protection described in 10 CFR 73.21.

In accordance with 10 CFR 19.11, you may be required to post this Notice within two working

days of receipt.

Dated this 21 day of July, 2015.

Enclosure 2

U.S. NUCLEAR REGULATORY COMMISSION

REGION III

Docket No:

50-454; 50-455

License No:

NPF-37; NPF-66

Report No:

05000454/2015008; 05000455/2015008

Licensee:

Exelon Generation Company, LLC

Facility:

Byron Station, Units 1 and 2

Location:

Byron, IL

Dates:

April 20, 2015, through June 16, 2015

Inspectors:

N. Féliz Adorno, Senior Reactor Inspector, Lead

B. Palagi, Senior Operations Engineer

D. Betancourt Roldán, Reactor Inspector, Mechanical

M. Jones, Reactor Inspector, Mechanical

A. Greca, Electrical Contractor

J. Leivo, Electrical Contractor

Approved by:

Christine A. Lipa, Chief

Engineering Branch 2

Division of Reactor Safety

SUMMARY ................................................................................................................................ 2

REPORT DETAILS .................................................................................................................... 7

1. REACTOR SAFETY ....................................................................................................... 7

1R21 Component Design Bases Inspection (71111.21) ............................................... 7

4. OTHER ACTIVITIES .....................................................................................................29

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

4OA6 Management Meetings ......................................................................................38

SUPPLEMENTAL INFORMATION ............................................................................................. 2

KEY POINTS OF CONTACT .............................................................................................. 2

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED ................................................... 2

LIST OF DOCUMENTS REVIEWED .................................................................................. 3

LIST OF ACRONYMS USED .............................................................................................19

2

SUMMARY

Inspection Report 05000454/2015008; 05000455/2015008, 4/20/2015 - 6/16/2015; Byron

Station, Units 1 and 2; Component Design Bases Inspection.

The inspection was a 3-week on-site baseline inspection that focused on the design of

components. The inspection was conducted by four regional engineering inspectors, and

two consultants. Seven Green findings were identified by the team. Six of these findings were

considered Non-Cited Violations of U.S. Nuclear Regulatory Commission (NRC) regulations

while one of these findings was considered a Notice of Violation of NRC regulations. The

significance of inspection findings is indicated by their color (i.e., greater than Green, or

Green, White, Yellow, Red), and determined using Inspection Manual Chapter (IMC) 0609,

Significance Determination Process, dated April 29, 2015. Cross-cutting aspects are

determined using IMC 0310, Aspects Within the Cross-Cutting Areas effective date

December 4, 2014. All violations of NRC requirements are dispositioned in accordance with

the NRCs Enforcement Policy, dated July 9, 2013. The NRC's program for overseeing the

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

Oversight Process, Revision 5, dated February 2014.

NRC-Identified and Self-Revealing Findings

Cornerstone: Mitigating Systems

Green: The team identified a finding of very-low safety significance (Green), and an

associated cited violation of Title 10, Code of Federal Regulations (CFR), Part 50,

Appendix B, Criterion XVI, Corrective Actions, for the failure to correct a Condition

Adverse to Quality (CAQ). Specifically, on June 15, 2012, the U.S. Nuclear Regulatory

Commission (NRC) issued a Non-Cited Violation (NCV) for the failure to provide means

to detect and isolate a leak in the Emergency Core Cooling System (ECCS) within

30 minutes as described in the Updated Final Safety Analysis Report (UFSAR), which

is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ. This violation

is being cited because the licensee had not restored compliance, or demonstrated

objective evidence of plans to restore compliance in a reasonable period following the

identification of the CAQ. The licensee captured this finding into their Corrective Action

Program (CAP) to promptly restore compliance.

The performance deficiency was determined to be more than minor because it was

associated with the Mitigating Systems cornerstone attribute of procedure quality, and

affected the cornerstone objective of ensuring the availability, reliability, and capability of

mitigating systems to respond to initiating events to prevent undesirable consequences.

In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure

quality, and affected the cornerstone objective of providing reasonable assurance that

physical design barriers protect the public from radionuclide releases caused by

accidents or events. The finding screened as very-low safety significance (Green)

because it did not result in the loss of operability or functionality, and it did not represent

an actual pathway in the physical integrity of reactor containment. Specifically, the

licensee reasonably demonstrated that an ECCS leak could be detected and isolated

before it could adversely affect long-term cooling of the plant. The team determined that

the associated finding had a cross-cutting aspect in the area of human performance

because the licensee did not use a consistent and systematic approach to make

decisions. Specifically, the creation and management of the associated corrective action

assignments were not consistent with the instructions contained in their CAP procedure.

[H.13] (Section 4OA2.1.b(1))

3

Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),

Changes, Tests, and Experiments, and an associated finding of very-low safety

significance (Green) for the licensees failure to perform a written safety evaluation that

provided the bases for the determination that a change which resulted in the sharing of

the refueling water storage tanks (RWSTs) of both reactor units did not require a license

amendment. Specifically, the licensee did not evaluate the adverse effect of reducing

reactor unit independence. The licensee captured this issue into their CAP with a

proposed action to revise the associated calculation to remove the dependence on the

opposite unit, and/or review the implications of crediting the opposite unit RWST under

their 10 CFR 50.59 process.

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

Mitigating Systems cornerstone attribute of design control, and affected the cornerstone

objective of ensuring the availability, reliability, and capability of mitigating systems to

respond to initiating events to prevent undesirable consequences. In addition, it was

associated with the Barrier Integrity cornerstone attribute of design control, and affected

the cornerstone objective of providing reasonable assurance that physical design

barriers protect the public from radionuclide releases caused by accidents or events.

In addition, the associated traditional enforcement violation was more than minor

because the team could not reasonably determine that the changes would not have

ultimately required NRC prior approval. The finding screened as very-low safety

significance (Green) because it did not result in the loss of operability or functionality,

and it did not represent an actual open pathway in the physical integrity of the reactor

containment. Specifically, the licensee reviewed the affected calculation and reasonably

determined that enough conservatism existed such that adequate net positive suction

head (NPSH) could be maintained without sharing the RWSTs of both reactor units.

The team did not identify a cross-cutting aspect associated with this finding because it

was confirmed not to be reflective of current performance due to the age of the

performance deficiency. (Section 1R21.5.b(1))

Green. The team identified a finding of very-low safety significance (Green), and an

associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control, for the

licensees failure to translate applicable design basis into Technical Specifications (TSs)

Surveillance Requirement 3.5.4.2 implementing procedures. Specifically, these

procedures did not verify the RWST vent line was free of ice blockage at the locations,

and during all applicable MODEs of reactor operation assumed by the ECCS and

containment spray (CS) pump NPSH calculation. The licensee captured this issue into

their CAP to reconcile the affected procedures and calculation.

The performance deficiency was determined to be more than minor because it was

associated with the Mitigating Systems cornerstone attribute of design control, and

affected the cornerstone objective of ensuring the availability, reliability, and capability of

mitigating systems to respond to initiating events to prevent undesirable consequences.

Additionally, it was associated with the Barrier Integrity cornerstone attribute of design

control, and affected the cornerstone objective of providing reasonable assurance that

physical design barriers protect the public from radionuclide releases caused by

accidents or events. The finding screened as very-low safety significance (Green)

because it did not result in the loss of operability or functionality, and it did not represent

an actual open pathway in the physical integrity of reactor containment. Specifically, the

licensee performed a historical review of the last 3 years of operation, and did not find

any instances in which the vent path temperature fell below 35 degrees Fahrenheit.

4

The inspectors did not identify a cross-cutting aspect associated with this finding

because it was confirmed not to be reflective of current performance due to the age

of the performance deficiency. (Section 1R21.5.b(2))

Severity Level IV. The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),

Changes, Tests, and Experiments, and an associated finding of very-low safety

significance (Green) for the licensees failure to perform a written evaluation that

provided the bases for the determination that the changes to the emergency service

water cooling tower (SXCT) tornado analysis as described in the UFSAR did not require

a license amendment. Specifically, the associated 10 CFR 50.59 Evaluation did not

address the introduction of a new failure mode, the resulting loss of heat removal

capacity during worst postulated conditions, and addition of operator actions that have

not been demonstrated can be completed within the required time to restore the required

SXCT heat removal capacity during worst case conditions. The licensee captured this

issue in their CAP with a proposed action to revise the 10 CFR 50.59 Evaluation and

submit a Licensee Amendment Request.

The performance deficiency was determined to be more than minor because it was

associated with the Mitigating Systems cornerstone attribute of protection against

external events, and affected the cornerstone objective of ensuring the availability,

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

undesirable consequences. In addition, the associated tradition enforcement violation

was determined to be more than minor because the team could not reasonably

determine that the changes would not have ultimately required prior NRC approval.

The finding screened as of very-low safety significance (Green) using a detailed

evaluation because a loss of SXCT during a tornado event would degrade one or more

trains of a system that supports a risk-significant system or function. The bounding

change to the core damage frequency was less than 5.4E-8/year. The team did not

identify a cross-cutting aspect associated with this finding because the finding was not

representative of current performance due to the age of the performance deficiency.

(Section 1R21.5.b(3))

Green. The team identified a finding of very-low safety significance and an associated

NCV of TS 5.4, Procedures, for the failure to maintain emergency operating

procedures (EOPs) for transfer to cold leg recirculation. Specifically, the EOPs for

transfer to cold leg recirculation did not contain instructions for transferring the ECCS

and CS systems to the recirculation mode that ensured prevention of potential pump

damage when the RWST is emptied. The licensee captured this finding into their CAP

to create a standing order instructing operators to secure all pumps aligned to the RWST

when it is emptied, and implement long term corrective actions to restore compliance.

The performance deficiency was determined to be more than minor because it was

associated with the Mitigating Systems cornerstone attribute of procedure quality, and

affected the cornerstone objective of ensuring the availability, reliability, and capability of

mitigating systems to respond to initiating events to prevent undesirable consequences.

In addition, it was associated with the Barrier Integrity cornerstone attribute of procedure

quality, and affected the cornerstone objective of providing reasonable assurance that

physical design barriers protect the public from radionuclide releases caused by

accidents or events. The finding screened as of very-low safety significance (Green)

because it did not result in the loss of operability or functionality of mitigating systems,

represent an actual open pathway in the physical integrity of reactor containment, and

5

involved an actual reduction in function of hydrogen igniters in the reactor containment.

Specifically, the incorrect caution would only be used in the event that transfer to sump

recirculation was not completed prior to reaching tank low-level, or if the RWST suction

isolation valves fail to close. With respect to transfer to sump recirculation prior to

reaching tank low-level, a review of simulator test results reasonably determined that

operators reliably complete the transfer to sump recirculation prior to reaching this set

point. With respect to the failure of the RWST suction isolation valves, a review of

quarterly test results reasonably determined the valves would have isolated the tank

when required. The team did not identify a cross-cutting aspect associated with this

finding because it was not confirmed to reflect current performance due to the age of the

performance deficiency. (Section 1R21.6.b(1))

Green. The team identified a finding of very-low safety significance (Green), and an

associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,

and Drawings, for the failure to make an operability determination without relying on the

use of probabilistic tools. Specifically, an operability evaluation for an SXCT degraded

condition used probabilities of occurrence of tornado events which was contrary to the

requirements of the licensee procedure established for assessing operability of

structures, systems, and components (SSCs). The licensee captured the teams

concern in their CAP to revise the affected operability evaluation without using

probability of occurrence of tornado events.

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

Mitigating Systems cornerstone attribute of protection against external events, and

affected the cornerstone objective of ensuring the availability, reliability, and capability of

mitigating systems to respond to initiating events to prevent undesirable consequences.

The finding screened as of very-low safety significance (Green) using a detailed

evaluation because a loss of SXCT during a tornado event would degrade one or more

trains of a system that supports a risk-significant system or function. The bounding

change to the core damage frequency was less than 5.4E-8/year. The team determined

that this finding had a cross-cutting aspect in the area of human performance because

the licensee did not ensure knowledge transfer to maintain a knowledgeable and

technically competent workforce. Specifically, the licensee did not ensure personnel

were trained on the prohibition of the use of probabilities of occurrence of an event

when performing operability evaluations, which was contained in licensee procedure

established for assessing operability of SSCs. [H.9] (Section 4OA2.1.b(3))

Cornerstone: Barrier Integrity

Green. The team identified a finding of very-low safety significance, and an associated

NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and

Drawings, for the failure to have procedures to maintain the accuracy within necessary

limits of the instrument loops used to verify compliance with the containment average

air temperature TS limit of 120 degrees Fahrenheit. Specifically, in 2007, the licensee

cancelled the periodic preventive maintenance (PM) intended to maintain the necessary

instrument loops accuracy. The licensee entered this issue into their CAP and

reasonably established that the 120 degrees Fahrenheit limit was not exceeded

by reviewing applicable historical records from 2002 to time of this inspection.

6

The performance deficiency was determined to be more than minor because it was

associated with the configuration control attribute of the Barrier Integrity Cornerstone,

and adversely affected the cornerstone objective to ensure that physical design barriers

protect the public from radionuclide releases caused by accidents or events. The finding

screened as very-low safety significance (Green) because it did not represent an actual

open pathway in the physical integrity of reactor containment or involved an actual

reduction in hydrogen igniter function. Specifically, the containment integrity remained

intact and the finding did not impact the hydrogen igniter function. The team determined

that this finding had a cross-cutting aspect in the area of problem identification and

resolution because the licensee did not identify issues completely and accurately in

accordance with the CAP. Specifically, on January 15, 2015, the licensee captured the

lack of periodic PM activities for the containment air temperature instrument loops in the

CAP. However, the licensee failed to completely and accurately identify the issue in that

it was not treated as a CAQ. As a consequence, no corrective actions were

implemented. [P.1] (Section 4OA2.1.b(2))

7

REPORT DETAILS

1.

REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity

1R21 Component Design Bases Inspection (71111.21)

.1

Introduction

The objective of the Component Design Bases Inspection (CDBI) is to verify that design

bases have been correctly implemented for the selected risk-significant components,

and that operating procedures and operator actions are consistent with design and

licensing bases. As plants age, their design bases may be difficult to determine, and

an important design feature may be altered or disabled during a modification. The

Probabilistic Risk Assessment (PRA) model assumes the capability of safety systems

and components to perform their intended safety function successfully. This inspectable

area verifies aspects of the Initiating Events, Mitigating Systems, and Barrier Integrity

cornerstones for which there are no indicators to measure performance.

Specific documents reviewed during the inspection are listed in the Attachment to the

report.

.2

Inspection Sample Selection Process

The team used information contained in the licensees PRA and the Byron Station,

Units 1 and 2, Standardized Plant Analysis Risk (SPAR) Model to identify two scenarios

to use as the basis for component selection. The scenarios selected were a feed and

bleed of the reactor coolant system (RCS), and a loss of ultimate heat sink (UHS).

Based on these scenarios, a number of risk-significant components, including those

with Large Early Release Frequency (LERF) implications, were selected for the

inspection.

The team also used additional component information such as a margin assessment

in the selection process. This design margin assessment considered original design

margin reductions caused by design modification, power uprates, or reductions due to

degraded material condition. Equipment reliability issues were also considered in the

selection of components for detailed review. These included items such as performance

test results, significant corrective actions, repeated maintenance activities, Maintenance

Rule (a)(1) status, components requiring an operability evaluation, U.S. Nuclear

Regulatory Commission (NRC) resident inspector input of problem areas/equipment,

and system health reports. Consideration was also given to the uniqueness and

complexity of the design, operating experience, and the available defense in depth

margins. A summary of the reviews performed and the specific inspection findings

identified are included in the following sections of the report.

The team also identified procedures and modifications for review that were associated

with the selected components. In addition, the team selected operating experience

issues associated with the selected components.

8

This inspection constituted 16 samples (12 components, of which 3 had LERF

implications, and 4 operating experience) as defined in Inspection

Procedure 71111.21-05.

.3

Component Design

a.

Inspection Scope

The team reviewed the Updated Final Safety Analysis Report (UFSAR), Technical

Specification (TS), design basis documents, drawings, calculations and other available

design basis information, to determine the performance requirements of the selected

components. The team used applicable industry standards, such as the American

Society of Mechanical Engineers Code, and Institute of Electrical and Electronics

Engineers Standards, to evaluate acceptability of the systems design. The NRC

also evaluated licensee actions, if any, taken in response to NRC issued operating

experience, such as Information Notices (INs). The review verified that the selected

components would function as designed when required and support proper operation of

the associated systems. The attributes that were needed for a component to perform its

required function included process medium, energy sources, control systems, operator

actions, and heat removal. The attributes to verify that the component condition and

tested capability were consistent with the design bases and appropriate may have

included installed configuration, system operation, detailed design, system testing,

equipment and environmental qualification, equipment protection, component inputs

and outputs, operating experience, and component degradation.

For each of the components selected, the team reviewed the maintenance history, PM

activities, system health reports, operating experience-related information, vendor

manuals, electrical and mechanical drawings, and licensee corrective action documents.

Field walkdowns were conducted for all accessible components to assess material

condition, including age-related degradation, and to verify that the as-built condition was

consistent with the design. Other attributes reviewed are included as part of the scope

for each individual component.

The following 12 components (samples) were reviewed:

Safety Injection Pump (1SI01PB): The team reviewed analyses associated

with inadvertent safety injection (SI) actuation and hydraulic calculations to

assess the pump capability to provide its required accident mitigation function.

The reviewed hydraulic analyses included pump minimum required flow, runout

flow, flow capacity/balance, minimum required net positive suction head (NPSH),

and air entraining vortices. In addition, the team reviewed a sample of operating

procedures associated with pump operation under normal and accident

conditions to assess their consistency with applicable design basis analyses.

The team also reviewed test procedures and completed surveillance tests,

including quarterly and comprehensive in-service testing and flow balances,

to assess the associated acceptance criteria and test results. The team also

reviewed the supporting electrical calculations associated with performance of

the SI pump under design basis conditions. This included review of brake

horsepower requirements for the pump motor, performance under degraded

voltage conditions, and motor protection to assess the capability of the motor to

perform its safety function under design basis conditions. In addition, the team

9

reviewed voltage drop calculations to assess the availability of direct current (DC)

control voltage at the associated bus needed to operate the pump circuit breaker.

The team also performed a non-intrusive visual inspection of the component to

assess overall material condition, configuration, and potential vulnerabilities to

hazards. To assess operating trends and the licensees ability to evaluate and

correct problems, the team reviewed system health reports, selected corrective

action documents, and PM procedures and records.

Pressurizer Power-Operated Relief Valve (1RY456): The team reviewed the

pressure and temperature limit report and calculations associated with the

power-operated relief valve (PORV) lift settings, relief capacity, and set points for

low-temperature overpressure (LTOP) scenarios to assess the PORV capability

to provide its RCS overpressure protection function. The team also reviewed test

procedures and completed surveillances to assess the associated acceptance

criteria and test results. In addition, the team reviewed a sample of associated

operating procedures to assess their consistency with applicable design basis

analyses. The team also reviewed the schematic diagrams for the PORV control

circuit to assess its suitability for bleed-and-feed operation as prescribed by

operating procedures, and to assess the pilot solenoid and position limit switches

qualification for post-accident environmental conditions. The team reviewed

voltage drop calculations to assess the availability of the voltage needed at the

solenoid valve to operate the PORV. The team also reviewed control wiring

schematics and associated instrument loop diagrams to assess the consistency

between operations and system design requirements. This review included a

circuit protection evaluation intended to demonstrate that the containment

electrical penetration was not adversely affected by in-containment faults. The

team also reviewed documentation associated with environmental qualifications

for the postulated containment accident conditions and replacement of

components susceptible to aging. The team reviewed system health reports,

selected corrective action documents, and PM procedures and records to assess

operating trends and the licensees ability to evaluate and correct problems.

Power-Operated Relief Valve Accumulator (1RY32MB): The team reviewed the

accumulator sizing calculation, PORV pressure set point, accumulator stress

analysis, and maximum allowed accumulator leak rate to assess the accumulator

capability to supply the required amount of air pressure and volume to stroke

open its associated PORV on a loss of normal air supply. Additionally, the team

reviewed the design calculation that established the minimum number of PORV

strokes required during certain events, such as LTOP and natural circulation

cooldown. The team also reviewed test procedures and completed surveillances

to assess the associated acceptance criteria and test results. In addition, the

team reviewed a sample of associated operating procedures to assess their

consistency with applicable design basis analyses. Finally, the team reviewed

system health reports, selected corrective action documents, and recent

modifications and operability evaluations to assess operating trends and the

licensees ability to evaluate and correct problems.

Refueling Water Storage Tank (1SI01T): The team reviewed a sample of

associated operating procedures under normal and emergency conditions to

assess their consistency with applicable design basis analyses. The team

also performed a non-intrusive visual inspection of the refueling water storage

10

tank (RWST) to assess overall material condition, configuration, and potential

vulnerabilities to hazards. To assess operating trends, component health, and

the licensees ability to evaluate and correct problems, the team reviewed system

health reports, selected corrective action documents, and recent modifications.

The team reviewed design analyses associated with the ability of the RWST

system to maintain its design function during external events such as tornados

and earthquakes. Additionally, the team reviewed design calculations related to

level set points, temperature limits, and minimum required RWST volume to

mitigate a loss of coolant accident (LOCA), and to support feed-and-bleed

scenarios. The team also reviewed the schematic diagrams and instrument

uncertainty calculations to assess the low-low RWST level signal (i.e., LO-2)

capability to automatically open the containment sump isolation valves

(i.e., 1SI8811A/B) following a LOCA, and its consistency with the associated set

point calculation including instrument uncertainty considerations. To assess

operating trends, component health, and the licensees ability to evaluate and

correct problems, the team reviewed system health reports, selected corrective

action documents, recent modifications, and PM/calibration procedures and

records.

Emergency Service Water Makeup Pump (0SX02PA): The team reviewed

design documents and procedures to assess consistency with vendor

specifications. The team reviewed calculations associated with pump capability

and performance to assess the pump capability to perform its design function of

providing sufficient inventory to the associated Emergency Service Water

Cooling Tower (SXCT) basin under different postulated scenarios. The team

reviewed the water inventory availability from the suction source under routine

service as well as extreme conditions. This review included low and high-river

water levels and temperatures, pump NPSH, pump suction submergence, and

minimum flow protection. The team also reviewed procedures associated with

protection against flooding, seismic, and tornado events since the makeup pump

is credited to some extent during these postulated events. The team also

performed a non-intrusive visual inspection of the pump to assess overall

material condition, configuration, and potential vulnerabilities to hazards.

Work orders and maintenance procedures were reviewed to verify effectiveness

of site maintenance. The team also reviewed test procedures and completed

surveillances to assess the associated acceptance criteria and test results.

To assess operating trends, component health, and the licensees ability to

evaluate and correct problems, the team reviewed system health reports and

selected corrective action documents.

Emergency Service Water Makeup Pump Diesel Engine (0SX02PA-K): The

team reviewed design documents and procedures to assess consistency with

vendor specifications. The team reviewed diesel fuel oil day tank level alarm

response procedures and sizing analyses including the engine diesel fuel oil

consumption rate calculation, tank capacity, vortexing calculation, level

indicators, and alarm setpoint. In addition, the team reviewed the control circuit

electrical diagram to assess the consistency between operations and design

basis requirements. The team also reviewed the set point calculation for the

SXCT basin level switch associated with the starting logic of the diesel engine

to assess consistency between the specified setting and applicable design basis

requirements. In addition, the team reviewed recent level instrument calibration

11

results. The team also reviewed circuit protection and control voltage to assess

the diesel engine capability to start on demand. The inspectors reviewed

completed work orders to assess the as-found and as-left condition of the

diesel engine following recent maintenance activities. The team also reviewed

test procedures and completed surveillances to assess the associated

acceptance criteria and test results. The team also performed a non-intrusive

visual inspection of the engine to assess overall material condition, configuration,

and potential vulnerabilities to hazards. To assess operating trends and the

licensees ability to evaluate and correct problems, the team reviewed system

health reports, selected corrective action documents, modifications, and PM

procedures and records.

Emergency Service Water Cooling Tower (0SX02AA/B and 0SX03CA/H):

The team reviewed design calculations and procedures associated with fan

performance, basin sizing, heat transfer, and makeup requirements during

postulated events including LOCA, tornado, and seismic events. The electrical

calculations associated with fan performance under design basis conditions

were reviewed to assess consistency with the design bases and the motor

capability to perform its specified safety function. This review considered fan

motor brake horsepower requirements, performance under degraded voltage

conditions, and motor protection. The team reviewed voltage drop calculations

to assess the availability of the DC control voltage needed at the associated load

center for the closing and tripping of the cooling tower fan circuit breakers. The

team also reviewed the alternating current (AC) and DC electrical distribution

systems to assess the SXCT capability to perform its specified safety function

assuming a single failure of electrical components. The team also reviewed

control wiring diagrams of the deep well pump and associated control valves to

assess consistency between their operation and design requirements. The team

also performed a non-intrusive visual inspection of the SXCT basin structure, fan

motors, valve houses, and electrical equipment rooms to assess overall material

condition, configuration, and potential vulnerabilities to hazards. The team also

reviewed test procedures and completed surveillances to evaluate the associated

acceptance criteria and test results. To assess operating trends and the

licensees ability to evaluate and correct problems, the team reviewed system

health reports, selected corrective action documents, operability evaluations,

modifications, and PM procedures and records.

4160 Volts Alternating Current Bus 142: The team reviewed voltage drop

calculations to assess the availability of the DC control voltage needed at the

associated bus for the operation of the associated circuit breakers. The team

reviewed calculations associated with load flow, degraded voltage, and protective

settings for selected electrical load paths served by the bus and associated with

the inspection samples to assess the bus capability to support the loads required

safety functions under design basis conditions. The team also performed a

non-intrusive visual inspection of the switchgear to assess overall material

condition, configuration, and potential vulnerabilities to hazards or extreme

service environments. To assess operating trends and the licensees ability to

evaluate and correct problems, the team reviewed system health reports,

selected corrective action documents, and selected PM procedures and records.

12

120 Volts Alternating Current Instrument Bus 111: The team reviewed the DC

voltage drop calculations to assess the availability of the voltage needed for the

proper operation of the associated inverter, including during a loss of AC power.

The team also reviewed the bus loading and breaker ratings to assess the bus

and loads protection against spurious tripping. In addition, the team reviewed a

modification which installed forced air cooling units for the inverter serving the

bus to assess the modification implementation and any potential impact on the

inverter. To assess operating trends and the licensees ability to evaluate and

correct problems, the team reviewed system health reports, selected corrective

action documents, and PM procedures and records for the bus.

125 Volts Direct Current Bus 111: The team reviewed bus loading and short

circuit calculations as well as cable, bus, and circuit breaker ratings to assess

bus and cable capabilities of carrying the maximum anticipated loading and

protection against faulted conditions. The team also reviewed voltage drop and

battery sizing calculations to assess the capability to support momentary and

continuous loading for the duration of the duty cycle during accident conditions

and the loss of all AC power (i.e., station blackout). Additionally, the team

reviewed the battery charger sizing calculation to assess its capability of

maintaining the battery in a charged state and recharging the battery in a timely

manner following a loss of AC power event. The team also reviewed room

heat-up calculations to ensure that the DC components were not adversely

affected by steam line breaks in the turbine building. In addition, the team

reviewed purchase specifications, vendor documents, seismic test reports,

certificate of compliance, and cable separation to assess consistency of the

installed component to the design requirements. For the battery, this review

included an assessment of the inter-cell resistance conformance to voltage drop

calculations. Breaker/fuse coordination was also reviewed to assess the

capability to interrupt overloads and faulted conditions. The team also reviewed

testing procedures and associated recent results, recent system health reports,

molded-case circuit breaker testing, maintenance activities, and recent corrective

action documents to assess component health history.

24 Volts Direct Current Bus 035-2: The team reviewed the sizing calculation for

the diesel start system and the control batteries to assess their capability of

providing adequate voltage to the associated components for the duration of the

duty cycle during accident conditions and loss of all AC power. The team also

reviewed components and wiring schematics related to the diesel start and

control logic to assess the bus capability to perform its intended function.

Additionally, the team reviewed the battery charger sizing calculation to assess

its capability to maintain the batteries in a charged state, and to recharge them in

a timely manner following a loss of AC power event. The team reviewed

purchase specifications, vendor documents, seismic test report, and certificate of

conformance to assess consistency of the installed component to the design

requirements. The team also reviewed testing procedures and associated recent

results, health reports, maintenance activities, and recent corrective action

documents to assess component health history.

480 Volts Alternating Current Motor Control Center 132Z1: The team assessed

conformance to the applicable design and licensing basis by performing an

engineering review of the motor control center (MCC) loading, MCC and control

13

circuits degraded voltage and maximum voltage, electrical protection, and

electrical isolation/physical circuit separation of the MCC from non-safety class

loads. The loads considered during this review were the SXCT riser motor

operated valves (MOVs) (i.e., 0SX163E/F), SXCT makeup MOV (i.e., 0SX157A),

and basin bypass MOV (i.e., 0SX162B). The team reviewed the calculations that

determined minimum terminal voltages for these MOVs to assess consistency

with the associated MOV thrust calculations. The team also reviewed the

thermal overload sizing calculations for these MOV circuits to assess their

protection against premature thermal overload trip and the minimum voltage

calculations for the 120 volts alternating current (VAC) service to the SXCT basin

level control system to assess the availability of the voltage needed for the level

instrumentation under design basis conditions. To evaluate whether there were

adverse operating trends and to assess the licensees ability to evaluate and

correct problems, the team reviewed system health reports, selected corrective

action documents, and PM procedures and records for the MCC.

b.

Findings

(1) Question Regarding the Maximum Wet Bulb Temperature Value Assumed in the

Emergency Service Water Cooling Tower Tornado Analysis

Introduction: The team identified an unresolved item (URI) regarding the maximum

wet-bulb temperature value assumed in the SXCT tornado analysis. Specifically, the

team noted the analysis used a value which was less restrictive than the highest 3-hour

wet-bulb temperature recorded for the site as described in the UFSAR.

Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a

Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile

event has been made. It also stated that, A maximum outside air wet-bulb temperature

of 78 degrees Fahrenheit is assumed and is conservatively held constant throughout the

transient. In addition, this UFSAR section stated that, The analysis was performed

using service water cooling tower performance curves generated using the method

described in UFSAR Section 9.2.5.3.1.1.2 [...]. The analysis of the UHS cooling

capability for a tornado missile event was calculation BYR09-002, UHS Capability with

Loss of SX [Emergency Service Water] Fans due to a Tornado Event, which used a

constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit

consistent with UFSAR Section 3.5.4.

However, the team noted the assumed maximum outside air wet-bulb temperature value

of 78 degrees Fahrenheit appeared to be inconsistent with the method described in

UFSAR Section 9.2.5.3.1.1.2, Steady State Tower Performance Analysis. Specifically,

it stated that, The design wet-bulb temperature during warm weather operation is

82 degrees Fahrenheit (Refer to UFSAR Section 2.3.1.2.4). In Section 2.3.1.2.4 of

the UFSAR, Ultimate Heat Sink Design, stated that, This analysis [described in

Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour wet-bulb temperature,

82 degrees Fahrenheit, which was recorded on July 30, 1961, at 3:00 pm. This UFSAR

section also stated that, Per Regulatory Guide 1.27, the ultimate heat sink must be

capable of performing its cooling function during the design basis event for this worst

case 3-hour wet-bulb temperature. In addition, it stated, However, the design

operating wet-bulb temperature of the ultimate heat sink is 78 degrees Fahrenheit

(ASHRAE 1 percent exceedance value).

14

This issue is unresolved pending further review by the Office of Nuclear Reactor

Regulation (NRR) of the licensing basis related to the wet-bulb temperature value

applicable for the SXCT tornado analysis, and the team determination of further NRC

actions to resolve the issue. (URI 05000454/2015008-01; 05000455/2015008-01,

Question Regarding the Maximum Wet-Bulb Temperature Value Assumed in the SXCT

Tornado Analysis)

(2) Maximum Wet-Bulb Temperature Value Assumed in Emergency Service Water Cooling

Tower Analysis Was Not Monitored

Introduction: The team identified an URI regarding the lack of monitoring the maximum

wet-bulb temperature value assumed in SXCT analysis. Specifically, the team noted the

maximum wet-bulb temperature value was a critical parameter for the SXCT analyses,

but the licensee had not established a testing program to verify actual values were

bounded.

Description: In Section 3.5.4 of the UFSAR, Analysis of Missiles Generated by a

Tornado, stated that, An analysis of the UHS cooling capability for a tornado missile

event has been made. It also stated that, A maximum outside air wet-bulb temperature

of 78 degrees Fahrenheit is assumed, and is conservatively held constant throughout

the transient.

In Section 9.2.5.3.1.1 of the UFSAR, Design Basis Reconstitution, stated that,

The design basis event for the Byron ultimate heat sink is a LOCA coincident with a

loss-of-off-site power (LOOP) in one unit, and the concurrent orderly shutdown from

maximum power to cold shutdown of the other unit using normal shutdown operating

procedures. It also stated that, The design wet-bulb temperature during warm

weather operation is 82 degrees Fahrenheit (Refer to the UFSAR Section 2.3.1.2.4).

In Section 2.3.1.2.4 of the UFSAR, Ultimate Heat Sink Design, stated that, This

analysis [described in Section 9.2.5.3.1.1] includes scenarios with the highest 3-hour

wet-bulb temperature, 82 degrees Fahrenheit, which was recorded on July 30, 1961, at

3:00 pm.

The analysis of the UHS cooling capability for a tornado missile event was calculation

BYR09-002, UHS Capability with Loss of SX Fans due to a Tornado Event, which used

a constant maximum outside air wet-bulb temperature value of 78 degrees Fahrenheit

consistent with UFSAR Section 3.5.4. The analysis of the UHS cooling capability for a

LOCA coincident with a LOOP was calculation UHS-01, Ultimate Heat Sink Design

Basis LOCA Single Failure Scenarios, which used a constant maximum outside air

wet-bulb temperature value of 82 degrees Fahrenheit consistent with the UFSAR

Section 9.2.5.3.1.1.

However, the licensee had not established a testing program to verify actual

environmental conditions were bounded by these analyses and design basis limits.

In response to the team questions, the licensee stated that this approach was

acceptable because historical data showed wet-bulb temperature had a cyclic nature,

maximum wet-bulb temperature lasted for relatively short durations, and the analyses

assumed constant wet-bulb temperature values.

15

This issue is unresolved pending further NRR review of the acceptability of the

licensee approach to ensure the SXCT analyses bounded actual environmental

conditions, and the team determination of further NRC actions to resolve the issue.

(URI 05000454/2015008-02; 05000455/2015008-02, Maximum Wet-Bulb Temperature

Value Assumed in SXCT Analysis Was Not Monitored)

.4

Operating Experience

a.

Inspection Scope

The team reviewed four operating experience issues (samples) to ensure that NRC

generic concerns had been adequately evaluated and addressed by the licensee.

The operating experience issues listed below were reviewed as part of this inspection:

IN 2013-05, Battery Expected Life and Its Potential Impact on Surveillance

Requirements;

IN 2010-26, Submerged Electrical Cables;

IN 2013-12, Improperly Sloped Instrument Sensing Lines; and

IN 2012-01, Refueling Water Storage Tank Degradation.

b.

Findings

No findings were identified.

.5

Modifications

a.

Inspection Scope

The team reviewed five permanent plant modifications related to selected risk-significant

components to verify that the design bases, licensing bases, and performance capability

of the components had not been degraded through modifications. The modifications

listed below were reviewed as part of this inspection effort:

Engineering Change (EC) 385951, Multiple Spurious Operation - Scenario 14,

1SI8811A/B;

EC396016, Increase U1 Pressurizer PORV Accumulator Tank Operating

Pressure to Increase Number of PORV Open/Close Cycles from Accumulator;

EC388735, Detailed Review of the FC Purification for Use of Non-Safety

Related Portion Connected to Safety Related Piping;

DRP 11-052, Clarify References to RWST Internal Pressure in the ECCS and

the CS Pumps NPHS Analysis; and

EC385829, Tornado Missile Design Basis for the Essential Service Water

Cooling Towers.

16

b.

Findings

(1) Failure to Evaluate the Adverse Effects of Sharing the Refueling Water Storage Tanks of

Both Reactor Units

Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),

Changes, Tests, and Experiments, and an associated finding of very-low safety

significance (Green) for the licensees failure to perform a written safety evaluation that

provided the bases for the determination that a change which resulted in the sharing of

the RWSTs of both reactor units did not require a license amendment. Specifically,

screening 6E-05-0172, UFSAR Change Package (DRP)11-052, did not address the

reduction in reactor unit independence associated with sharing the RWSTs air space of

both reactor units.

Description: Each reactor unit has one RWST, which supplies borated water to both

trains of the Emergency Core Cooling System (ECCS) and Containment Spray (CS)

systems during the injection phase of a LOCA recovery. The UFSAR Section 6.3,

Emergency Core Cooling System, and UFSAR Section 6.5.2, Containment Spray

Systems, described the NPSH analyses for the ECCS and CS pumps when their

suctions are aligned to their associated RWST. Before November 16, 2005, these

UFSAR sections described the RWST as being under atmospheric pressure during

the injection mode. The licensee changed these UFSAR descriptions following the

discovery that the RWST would not be under atmospheric pressure because the RWST

vent did not have the capacity to prevent vacuum during the high outflow expected

during the injection phase, and the vent vacuum relief device was not safety related.

This discovery was captured in the CAP as AR00239280.

The licensee reviewed this UFSAR change in Title 10, Code of Federal Regulations

(CFR), Part 50.59 screening 6E-05-0172, Clarify References to RWST Internal

Pressure in the ECCS and CS Pumps NPSH Analysis. The screening concluded that

the change did not require a 10 CFR 50.59 safety evaluation and, consequently, NRC

prior approval because the change did not result in an adverse effect to the ECCS and

CS systems. Specifically, the licensee determined the expected vacuum would not

affect the structural integrity of the tank. In addition, the licensee determined in

calculation BYR 04-016, [Residual Heat Removal] RHR, SI, [Chemical and Volume

Control] CV, and CS Pump NPSH during ECCS Injection Mode, that the available

NPSH for the pumps while taking suction from the RWST remained adequate when

considering the expected vacuum.

However, the team noted that revised calculation BYR 04-016 credited the entire RWST

vent line, which was common to the RWSTs of both reactor units. Consequently, the

change credited the free air space of both tanks to mitigate the vacuum expected during

tank drawdown. The team also noted that UFSAR Section 3.1.2.1.5, Evaluation Against

Criterion 5 - Sharing of Structures, Systems, and Components, described those SSCs

important to safety shared by the two reactor units, and the RWSTs were not included

as shared SSCs. Thus, the team noted the licensee implemented a change to the

facility as described in the UFSAR that resulted in a reduction of reactor unit

independence. Changes to the facility as described in the UFSAR that reduce reactor

unit independence adversely impact 10 CFR 50.59 change evaluation criteria because

they result in more than a minimal increase in the likelihood of occurrence of a

malfunction of an SSC important to safety. Since the licensee failed to appropriately

17

evaluate this adverse effect in a 10 CFR 50.59 safety evaluation, the team could not

reasonably determine that the change would not have ultimately required NRC prior

approval.

The licensee captured this issue in their CAP as AR 02496142. The corrective actions

considered at the time of this inspection were to revise calculation BYR04-016 to not

credit the opposite unit RWSTs air space and/or revise 10 CFR 50.59 screening

6E-05-0172 to consider the implications of crediting the opposite unit RWST air space.

The team also noted the licensee did not correctly implement this change into

associated surveillance procedures intended to verify RWST operability. This separate

concern is discussed in detail in Section 1R21.5.b(2) of this report.

Analysis: The team determined that the failure to provide a written evaluation that

provided the bases for the determination that a change which resulted in the sharing of

the RWSTs of both reactor units did not require a license amendment, was contrary to

the requirements of 10 CFR 50.59(d)(1), and was a performance deficiency. The

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

Mitigating Systems cornerstone attribute of design control, and affected the cornerstone

objective of ensuring the availability, reliability, and capability of mitigating systems to

respond to initiating events to prevent undesirable consequences. In addition, it was

associated with the Barrier Integrity cornerstone attribute of design control, and affected

the cornerstone objective of providing reasonable assurance that physical design

barriers protect the public from radionuclide releases caused by accidents or events.

Specifically, the change did not ensure the RWST capability to support ECCS and CS

mitigating and barrier functions because it eliminated the capability to achieve the RWST

supporting function while maintaining separation of the reactor units.

In addition, the associated violation was determined to be more than minor because the

team could not reasonably determine the changes would not have ultimately required

NRC prior approval.

Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process

instead of the Significance Determination Process (SDP) because they are considered

to be violations that potentially impede or impact the regulatory process. This violation is

associated with a finding that has been evaluated by the SD, and communicated with an

SDP color reflective of the safety impact of the deficient licensee performance. The

SDP, however, does not specifically consider the regulatory process impact. Thus,

although related to a common regulatory concern, it is necessary to address the violation

and finding using different processes to correctly reflect both the regulatory importance

of the violation and the safety significance of the associated finding.

In this case, the team determined that the finding could be evaluated using the SDP in

accordance with Inspection Manual Chapter (IMC) 0609, Significance Determination

Process by using Attachment 0609.04, Initial Characterization of Findings. Since the

finding impacted the Mitigating Systems and Barrier Integrity cornerstones, the

inspectors screened the finding through IMC 0609 Appendix A, The Significance

Determination Process for Findings At-Power, using Exhibit 2, Mitigating Systems

Screening Questions, and Exhibit 3, Barrier Integrity Screening Questions. The

finding screened as very-low safety significance (Green) because it did not result in the

loss of operability or functionality, and it did not represent an actual open pathway in the

physical integrity of the reactor containment. Specifically, the licensee reviewed

18

calculation BYR 04-016, and reasonably determined that enough conservatism existed

such that adequate NPSH could be maintained without sharing the RWSTs of both

reactor units.

In accordance with Section 6.1.d of the NRC Enforcement Policy, this violation is

categorized as Severity Level IV because the resulting change was evaluated by the

SDP as having very-low safety significance (i.e., Green finding).

The inspectors did not identify a cross-cutting aspect associated with this finding

because it was confirmed not to be reflective of current performance. Specifically, the

finding occurred approximately 10 years ago.

Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)

requires, in part, the licensee to maintain records of changes in the facility, of changes in

procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These

records must include a written evaluation which provides the bases for the determination

that the change, test, or experiment does not require a license amendment pursuant to

Paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall

obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed

change, test, or experiment if the change, test, or experiment would result in more than a

minimal increase in the likelihood of occurrence of a malfunction of an SSC important to

safety previously evaluated in the UFSAR. In the UFSAR Sections 6.3 and 6.5 describe

the NPSH evaluations for ECCS and CS pumps when their suctions are aligned to their

associated RWST. Additionally, UFSAR Section 3.1.2.1.5 states that Those systems,

structures, and components important to safety shared by the two units are the ultimate

heat sinks and the associated Byron makeup water systems; various heating, ventilating,

and air conditioning systems within the shared auxiliary and fuel handling building; and a

component cooling heat exchanger which can be valved to serve one unit or the other.

The RWSTs are not included as shared SSCs.

Contrary to the above, on November 16, 2005, the licensee failed to maintain a record

of a change in the facility made pursuant to 10 CFR 50.59(c) that included a written

evaluation which provided the bases for the determination that the change did not

require a license amendment pursuant to 10 CFR 50.90(c)(2). Specifically, the licensee

changed the ECCS and CS pumps NPSH calculation for their injection mode of

operation (i.e., calculation BYR 04-016) to credit the entire vent line common to the

RWSTs of both reactor units and, consequently, the free air space of both tanks to

mitigate the vacuum expected during tank drawdown. However, the licensee failed to

perform a written evaluation that provided the bases for the determination that the

change effect of reducing reactor unit independence by sharing their RWSTs did not

result in more than a minimal increase in the likelihood of occurrence of a malfunction of

the RWSTs and their supported safety systems.

The licensee is still evaluating its planned corrective actions. However, the team

determined that the continued non-compliance does not present an immediate safety

concern because the licensee reasonably determined that the affected analysis

contained enough conservatism such that adequate NPSH could be maintained

without sharing the RWSTs of both reactor units.

19

Because this was a Severity Level IV violation and was entered into the licensee

Corrective Action Program (CAP) as AR 02496142, this violation is being treated

as an NCV, consistent with Section 2.3.2 of the NRC Enforcement Policy.

(NCV 05000454/2015008-03; 05000455/2015008-03; Failure to Evaluate the Adverse

Effects of Sharing the RWSTs of Both Reactor Units)

The associated finding is evaluated separately from the traditional enforcement violation

and, therefore, the finding is being assigned a separate tracking number.

(FIN 05000454/2015008-04; 05000455/2015008-04; Failure to Evaluate the Adverse

Effects of Sharing the RWSTs of Both Reactor Units)

(2) Failure to Adequately Implement a Design Change Associated with the RWSTs

Introduction: The team identified a finding of very-low safety significance (Green),

and an associated NCV of 10 CFR Part 50, Appendix B, Criterion III, Design Control,

for the licensees failure to translate applicable design basis into TS Surveillance

Requirement (SR) 3.5.4.2 implementing procedures. Specifically, these procedures

did not verify RWST vent line was free of ice blockage at the locations and during all

applicable MODEs of reactor operation assumed by the ECCS and CS pump NPSH

calculation.

Description: Each reactor unit has one RWST, which supplies borated water to both

trains of the ECCS and CS systems during the injection phase of a LOCA recovery.

The TS 3.5.4, Refueling Water Storage Tank, required the RWSTs to be operable

when their associated reactor unit is in MODEs 1, 2, 3, or 4. A vent line is installed at

the top of each RWST. The vent lines are routed into the auxiliary building where they

connect to a common header which joins to a filtration system. Because the header is

common to both vents, the free air spaces of the RWSTs are communicated via their

vent lines. The vent line portions located between the tanks and the auxiliary building

are exposed to outside ambient conditions. For this reason, TS SR 3.5.4.2 stated,

Verify RWST vent path temperature is 35 degrees Fahrenheit. The associated TS

Basis explained that Heat traced portions of the RWST vent path should be verified to

be within the temperature limit needed to prevent ice blockage and subsequent vacuum

formation in the tank during rapid level decreases caused by accident conditions. The

licensee established procedures 1/2 BOSR 01-1,2,3, Modes 1, 2, and 3 Shiftily and

Daily Operating Surveillance, and 1/2 BOSR 01-4, Mode 4 Shiftily and Daily Operating

Surveillance, as the implementing procedures for SR 3.5.4.2.

Originally, the RWSTs design assumed they were atmospheric tanks by crediting their

associated vent line capability to prevent vacuum during tank drawdown. However, on

November 16, 2005, the licensee implemented a design change to credit the vent lines

capability to communicate the free air space of both tanks following the discovery that

the RWST vents did not have the capacity to prevent vacuum during the high outflow

expected during the injection phase, and the vent vacuum relief devices were not safety

related. This discovery was captured in the CAP as AR00239280.

As a result, calculation BYR 04-016, RHR, SI, CV and CS Pump NPSH during ECCS

Injection Mode, credited the vent lines of both RWSTs to mitigate the vacuum expected

during the drawdown of one tank during accident conditions. However, the team noted

this change was not correctly implemented into procedures 1/2 BOSR 01-1,2,3 and

1/2 BOSR 01-4. Specifically, these procedures were reactor unit specific in that their

instructions only required verifying the RWST vent line portions that were associated

20

with the applicable reactor unit RWST; that is, the portions between the associated

RWST and the auxiliary building. As a consequence, the team was concerned because,

if one vent line is found to be blocked with ice, the procedures would only recognize one

RWST as being inoperable. In addition, the procedures were only implemented when

the associated reactor unit was in MODEs 1, 2, 3, or 4 consistent with the applicability

requirements of TS 3.5.4. Thus, the team was also concerned that a potentially

inoperable condition would not be detected because the procedures would not verify

both vent lines were free of ice blockage when one reaction unit is in MODE 5 or 6

while the other reactor unit is in MODE 1, 2, 3, or 4.

The licensee captured the team concerns in their CAP as AR 02496766. The immediate

corrective action was to verify that outside air temperatures were not forecasted to fall

below 35 degrees Fahrenheit for the foreseeable future. Additionally, the licensee

determined the RWSTs remained operable during the last 3 years by performing a

historical review which did not find instances in which the vent lines temperature fell

below 35 degrees Fahrenheit. The proposed corrective actions to restore compliance

at the time of this inspection included revising the applicable calculations to remove

dependence on the opposite unit, and/or revising the affected procedures to be

consistent with the applicable calculation.

The team also noted the licensee did not perform a written safety evaluation that

provided the bases for the determination that this change, which resulted in a reduction

of reactor unit independence, did not require a license amendment. This separate

concern is discussed in detail in Section 1R21.5.b(1) of this report.

Analysis: The team determined the failure to translate applicable design basis into

TS SR 3.5.4.2 implementing procedures was contrary to 10 CFR Part 50, Appendix B,

Criterion III, Design Control, and was a performance deficiency. The performance

deficiency was determined to be more than minor because it was associated with the

Mitigating Systems cornerstone attribute of design control, and affected the cornerstone

objective of ensuring the availability, reliability, and capability of mitigating systems to

respond to initiating events to prevent undesirable consequences. Additionally, it was

associated with the Barrier Integrity cornerstone attribute of design control, and affected

the cornerstone objective of providing reasonable assurance that physical design

barriers protect the public from radionuclide releases caused by accidents or events.

Specifically, TS SR 3.5.4.2 implementing procedures were inadequate to verify RWST

operability because they did not verify all critical assumptions made by the design

calculations. The RWST supports ECCS, which is a mitigating system, and CS, which

is part of the physical design barrier.

The team determined the finding could be evaluated using the SDP in accordance

with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial

Characterization of Findings. Since the finding impacted the Mitigating Systems and

Barrier Integrity cornerstones, the inspectors screened the finding through IMC 0609,

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

Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity

Screening Questions. The finding screened as very-low safety significance (Green)

because it did not result in the loss of operability or functionality, and it did not represent

an actual open pathway in the physical integrity of reactor containment. Specifically, the

licensee performed a historical review of the last 3 years of operation and did not find

any instances in which the vent path temperature fell below 35 degrees Fahrenheit.

21

The inspectors did not identify a cross-cutting aspect associated with this finding

because it was confirmed not to be reflective of current performance due to the age

of the performance deficiency. Specifically, the finding occurred approximately

10-years ago.

Enforcement: Title 10 CFR Part 50, Appendix B, Criterion III, Design Control, requires,

in part, that design changes, including field changes, be subjected to design control

measures commensurate with those applied to the original design.

Contrary to the above, on November 16, 2005, the licensee performed a design change

and failed to subject it to design control measures commensurate to those applied to the

original design. Specifically, the licensee changed the ECCS and CS pump NPSH

calculation for their injection mode of operation (i.e., calculation BYR 04-016) to credit

the capability of the vent lines of both RWSTs to support the operability of any one

RWST. However, the design control measures failed to correctly translate the new

design basis into procedures 1/2 BOSR 01-1,2,3 and 1/2 BOSR 01-4 in that they were

not revised to verify the capability of the vent lines of both RWSTs to support the

operability of any one RWST.

The licensee is still evaluating its planned corrective actions. However, the team

determined that the continued non-compliance does not present an immediate safety

concern because outside air temperatures were not forecasted to fall below 35 degrees

Fahrenheit for the foreseeable future. Additionally, a corrective action tracking item was

created to develop compensatory actions if compliance is not restored prior to the next

season when temperatures can potentially decrease below 35 degrees Fahrenheit.

Because this violation was of very-low safety significance and was entered into the

licensees CAP as AR 02496766, this violation is being treated as a NCV, consistent

with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-05; 05000455/2015008-05; Failure to Adequately Implement a Design Change Associated

with the RWSTs)

(3) Failure to Evaluate the Adverse Effects of Changing the Emergency Service Water

Cooling Tower Tornado Analysis as Described in the Updated Final Safety Analysis

Report

Introduction: The team identified a Severity Level IV NCV of 10 CFR 50.59(d)(1),

Changes, Tests, and Experiments, and an associated finding of very-low safety

significance (Green) for the licensees failure to perform a written evaluation that

provided the bases for the determination that the changes to the SXCT tornado analysis

as described in the UFSAR did not require a license amendment. Specifically,

50.59 Evaluation 6G-11-0041, Tornado Missile Design Basis for the Essential Service

Water Cooling Towers, did not address the introduction of a new failure mode, the

resulting loss of heat removal capacity during worst postulated conditions, and addition

of operator actions that have not been demonstrated can be completed within the

required time to restore the required SXCT heat removal capacity during worst case

conditions.

Description: During the 2005 NRC Safety Systems Design, Performance and

Capability (SSDPC) inspection, the inspectors noted that the UFSAR-described

tornado analysis for the SXCT had not been updated to reflect changes that increased

the heat load. The SSDPC documented this concern as URI 05000454/2005002-07;

22 05000455/2005002-07. In 2007, this URI was subsequently closed to NCV 05000454/

2007004-03;05000455/2007004-03. As a result, on February 14, 2012, the licensee

completed EC 385829, UHS Capability with Loss of SX Fans Due to Tornado Missiles,

to change the UHS tornado missile design basis as described in Revision 7 of the

UFSAR. The EC 385829 evaluated these design basis changes in 10 CFR 50.59 safety

evaluation 6G-11-004, Tornado Missile Design Basis for the Essential Service Water

Cooling Towers, dated February 9, 2012. This 10 CFR 50.59 safety evaluation

concluded that the design basis changes could be implemented without obtaining a

license amendment.

However, the team noted that the licensee did not address the adverse effects of the

changes in the 10 CFR 50.59 safety evaluation. Specifically, the change reduced the

amount of missiles from multiple to single, and changed the SXCT design from

natural draft cooling to mechanical draft cooling (i.e., from passive to active system).

These changes adversely impacted 10 CFR 50.59 change evaluation criteria because

they would result in more than a minimal increase in the likelihood of occurrence of a

malfunction of the SXCT during a tornado event. Specifically:

The change introduced a new failure mode (i.e., fan failures) that was not

bounded by the previous analysis. Specifically, Revision 7 of the UFSAR

Section 3.5.4, Analysis of Multiple Missiles Generated by a Tornado, stated

that the SXCT fans, fan motors, and fan drives were not protected from tornado

missiles. It also stated, An analysis of cooling tower capacity without fans

[emphasis added] has been made. In contrast, this statement was revised to,

An analysis of the UHS cooling capability for a tornado missile event has been

made. The new analysis required multiple operating fans to ensure enough

cooling capacity to mitigate the effects of a single tornado missile. The fans, fan

motors, and fan drives were not modified to add tornado missile protection. In

addition, Revision 7 of the UFSAR Section 9.2.5.3.2, Essential Service Water

Cooling Towers, stated An analysis of the effect of multiple [emphasis added]

tornado missiles on the essential service water cooling towers has been

performed. This statement was revised to delete the word multiple.

Following this revision, the analysis only considered the effects of one

tornado-generated missile.

Revision 1 of NEI 96-07, Guidelines for 10 CFR 50.59 Evaluations, which

has been endorsed by the NRC in Regulatory Guide 1.187, Guidance for

Implementation of 10 CFR 50.59, Changes, Tests, and Experiments, stated, in

part, that a change would result in less than a minimal increase in the likelihood

of occurrence of an SSC malfunction provided it satisfies applicable design

basis requirements. In contrast, this change did not satisfy the design basis

requirements for protection against natural phenomena as described in the

USAR Section 3.1.2.1.2, Evaluation Against Criterion 2 - Design Bases for

Protection Against Natural Phenomena. Specifically, Revision 7 and the

revision in effect at the time of this inspection of UFSAR Section 3.1.2.1.2 stated,

The systems, components, and structures important to safety have been

designed to accommodate, without loss of capability [emphasis added], effects of

the design-basis natural phenomena along with appropriate combinations of

normal and accident conditions. However, this change would result in the loss

of SXCT capability to perform its safety function during the worst case conditions

in that the required number of fans would not be available necessitating operator

23

actions to delay shutdown cooling initiation until an adequate number of SXCT

fans are available to support the shutdown cooling heat load and, consequently,

transition to MODE 5 where design basis accidents (DBAs) are not postulated.

The change involved a new operator action that supports the SXCT function

which is not reflected in plant procedures and training programs. Specifically,

UFSAR Section 3.5.4 was revised to credit new operator actions to delay

RHR initiation until an adequate number of SXCT fans are available for shutdown

cooling [emphasis added] and to stagger RHR initiation for the two units.

The revised UFSAR-described analysis assumed For the worst case design

conditions the first unit is assumed to be placed on RHR cooling 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> after

the event and the second unit at 30 hours3.472222e-4 days <br />0.00833 hours <br />4.960317e-5 weeks <br />1.1415e-5 months <br /> after the event. NEI 96-07 states, in

part, that a new operator action that supports a design function credited in a

safety analysis results in less than a minimal increase in the likelihood of

occurrence of an SSC malfunction provided the action is reflected in plant

procedures and training programs, and these actions have been demonstrated

can be completed in the time required considering the aggregate effects.

However, the licensee had not created procedures and training material to

restore an adequate number of SXCT fans. In addition, the licensee had not

demonstrated that these actions can be completed in the time required

considering the aggregate effects, such as the expected conditions when the

actions are required.

In addition, the change would create a possibility for an SXCT malfunction with a

different result than any previously evaluated in the UFSAR because:

Nuclear Energy Institute (NEI) 96-07 states, A malfunction that involves an

initiator or failure whose effects are not bounded by those explicitly described in

the UFSAR is a malfunction with a different result. In contrast, this change

would result in the loss of SXCT capability to perform its safety function during

the worst case conditions in that the required number of fans would not be

available to support RHR initiation necessitating a delay of RHR initiation until an

adequate number of fans are available. The previous UFSAR-described analysis

assumed the SXCT design remained capable of performing its safety function

during the worst case conditions because it did not require any fans to support

RHR initiation and operation; and

NEI 96-07 stated, An example of a change that would create the possibility for a

malfunction with a different result is a substantial modification that creates a

new or common cause failure that is not bounded by previous analyses or

evaluations. In contrast, this change introduced a new failure that was not

bounded by previous analysis as previously explained.

The licensee captured the team concern in their CAP as AR 2506214 to request a

license amendment. The potential operability implications of this issue are discussed

in Section 4OA2.1.b(3) of this report.

Analysis: The team determined that the failure to perform a written evaluation that

provided the bases for the determination that the changes to the SXCT tornado analysis

as described in the UFSAR did not require a license amendment was contrary to the

requirements of 10 CFR 50.59(d)(1) and was a performance deficiency. The

24

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

Mitigating Systems cornerstone attribute of protection against external events, and

affected the cornerstone objective of ensuring the availability, reliability, and capability of

mitigating systems to respond to initiating events to prevent undesirable consequences.

Specifically, the change did not ensure the SXCT reliability and availability during and

following a tornado event because it introduced a new failure mode, and added reliance

on operator actions that have not been demonstrated can be completed in the required

time. The change also did not ensure the SXCT capability to perform its safety function

during the worst case conditions during and following a tornado event in that the

required number of fans would not be available necessitating timely operator action

to restore the required heat removal capability.

In addition, the associated violation was determined to be more than minor because the

team could not reasonably determine the changes would not have ultimately required

NRC prior approval.

Violations of 10 CFR 50.59 are dispositioned using the traditional enforcement process

instead of the SDP because they are considered to be violations that potentially impede

or impact the regulatory process. This violation is associated with a finding that has

been evaluated by the SDP, and communicated with an SDP color reflective of the

safety impact of the deficient licensee performance. The SDP, however, does not

specifically consider the regulatory process impact. Thus, although related to a common

regulatory concern, it is necessary to address the violation and finding using different

processes to correctly reflect both the regulatory importance of the violation and the

safety significance of the associated finding.

In this case, the team determined the finding could be evaluated using the SDP in

accordance with IMC 0609, Significance Determination Process, Attachment 0609.04,

Initial Characterization of Findings. Because the finding impacted the Mitigating

System cornerstone, the team screened the finding through IMC 0609, Appendix A, The

Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating

Systems Screening Questions." In accordance with Exhibit 2, the team screened the

finding using Exhibit 4, External Events Screening Questions, because the finding

involved the degradation of equipment or function specifically designed to mitigate a

severe weather initiating event. The team conservatively screened the finding as

necessitating a detailed risk evaluation because the loss of UHS during a tornado event

would degrade one or more trains of a system that supports a risk-significant system or

function.

The Senior Reactor Analysts (SRAs) performed a bounding risk evaluation for the delta

core damage frequency (CDF) of tornado missile strike(s) causing a core damage

event at Byron due to damage to the SXCT fans:

The SRAs assumed that a tornado with wind speed exceeding 100 mph would

be required to generate damaging missiles;

The frequency of this tornado for Byron is approximately 1.13E-4/yr from the Risk

Assessment Standardization Project (RASP) website;

25

The tornado missiles were assumed to cause damage and fail an entire set of

SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans

conservative assumption); and

The SRAs further assumed that the tornado also caused a severe weather loss

of offsite power event.

The Byron SPAR Model Version 8.27 and Systems Analysis Programs for Hands-on

Integrated Reliability Evaluations (SAPHIRE) Version 8.1.2 software were used by the

SRAs to evaluate the risk significance of this finding. Using the Byron SPAR model, the

Conditional Core Damage Probability (CCDP) (i.e., if the tornado event occurred and

damaged one train of SXCT fans) is approximately 4.8E-4. Thus, a bounding CDF

calculated due to the SXCT vulnerability to missiles is approximately 5.4E-8/yr

(i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).

Based on the detailed risk evaluation, the SRAs determined that the finding was of

very-low safety significance (Green). As a result, this violation is categorized as

Severity Level IV in accordance with Section 6.1.d of the NRC Enforcement Policy.

The team did not identify a cross-cutting aspect associated with this finding because the

finding was not representative of current performance. Specifically, the change was

evaluated through the licensee 50.59 process in February 9, 2012.

Enforcement: Title 10 CFR 50.59, Changes, Tests, and Experiments, Section (d)(1)

requires, in part, the licensee to maintain records of changes in the facility, of changes in

procedures, and of tests and experiments made pursuant 10 CFR 50.59(c). These

records must include a written evaluation which provides the bases for the determination

that the change, test, or experiment does not require a license amendment pursuant to

paragraph (c)(2) of this section. Paragraph (c)(2)(ii) states, in part, that a licensee shall

obtain a license amendment pursuant to 10 CFR 50.90 prior to implementing a proposed

change, test, or experiment if the change, test, or experiment would result in more than a

minimal increase in the likelihood of occurrence of a malfunction of an SSC important to

safety previously evaluated in the UFSAR. In addition, 10 CFR(c)(2)(vi) states, in part,

that a licensee shall obtain a license amendment pursuant to 10 CFR 50.90 prior to

implementing a proposed change, test, or experiment if the change, test, or experiment

would create a possibility for a malfunction of an SSC important to safety with a different

result than any previously evaluated in the Final Safety Analysis Report (FSAR)as

updated.

The UFSAR Section 9.2.5.3.2 in effect prior to the change implementation stated, An

analysis of the effect of multiple [emphasis added] tornado missiles on the essential

service water cooling towers has been performed. In addition, UFSAR Sections 3.5.4.1

and 9.2.5.3.2 in effect prior to the change implementation stated, An analysis of cooling

tower capacity without fans [emphasis added] has been made. Moreover, UFSAR

Section 3.1.2.1.2 in effect prior to the change implementation and at the time of this

inspection stated, The systems, components, and structures important to safety have

been designed to accommodate, without loss of capability [emphasis added], effects of

the design-basis natural phenomena along with appropriate combinations of normal and

accident conditions.

26

Contrary to the above, on February 9, 2012, the licensee failed to maintain a record of

a change in the facility made pursuant to 10 CFR 50.59(c) that included a written

evaluation which provided the bases for the determination that the change did not

require a license amendment pursuant to 10 CFR 50.59(c)(2). Specifically, the licensee

made changes to the UFSAR-described SXCT tornado analysis and evaluated this

change in 50.59 Evaluation 6G-11-0041. However, this evaluation did not consider

the adverse effects of the introduction of a new failure mode, the resulting loss of heat

removal capacity during worst postulated conditions, and addition of operator actions

that have not been demonstrated can be completed in the required time to restore the

required SXCT heat removal capacity during worst case conditions. As a result, the

evaluation did not provide a basis for the determination that the change did not result in

a more than a minimal increase in the likelihood of occurrence of a malfunction of the

SXCT during and following a tornado event, and would not create a possibility for a

malfunction of the SXCT with a different result than any previously evaluated.

The licensee is still evaluating its planned corrective actions to restore compliance. As

an immediate corrective action, the licensee performed an operability evaluation. At the

time of the CDBI exit meeting on June 16, 2015, the team was still reviewing the revised

operability evaluation with the assistance of NRR.

Because this was a Severity Level IV violation, and was entered into the licensees CAP

as AR 02506214, this violation is being treated as an NCV, consistent with Section 2.3.2

of the NRC Enforcement Policy. (NCV 05000454/2015008-06; 05000455/2015008-06,

Failure to Evaluate the Adverse Effects of Changing the SXCT Tornado Analysis as

Described in the UFSAR)

The associated finding is evaluated separately from the traditional enforcement violation

and, therefore, the finding is being assigned a separate tracking number.

(FIN 05000454/2015008-07; 05000455/2015008-07, Failure to Evaluate the Adverse

Effects of Changing the SXCT Tornado Analysis as Described in the UFSAR)

.6

Operating Procedure Accident Scenarios

a.

Inspection Scope

The team performed a detailed reviewed of the procedures listed below. The

procedures were chosen because they were associated with feed-and-bleed of the

RCS, a loss of UHS, and other aspects of this inspection. For the procedures listed

time critical operator actions were reviewed for reasonableness, in plant action were

walked down with a licensed operator, and any interfaces with other departments were

evaluated. The procedures were compared to the UFSAR, design assumptions, and

training materials to assess consistency.

The following operating procedures were reviewed in detail:

1BFR-H1, Response to Loss of Secondary Heat Sink Unit1, Revision 203;

0BOA PRI-7, Loss of Ultimate Heat Sink Unit 0, Revision 1;

1BOA PRI-7, Essential Service Water Malfunction Unit 1, Revision 106;

1BOA PRI-5, Control Room Inaccessibility, Revision 108;

27

1BOA ELEC-5, Local Emergency Control of Safe Shutdown Equipment,

Revision 106;

1BEP ES-1.3, Transfer to Cold Leg Recirculation Unit 1, Revision 204; and

1BCA-1.2, LOCA Outside Containment Unit 1, Revision 200.

b.

Findings

(1) Failure to Provide Proper Direction for Low Level Isolation of the Refueling Water

Storage Tank in Emergency Operating Procedures

Introduction: The team identified a finding of very-low safety significance (Green), and

an associated NCV of TS 5.4, Procedures, for the failure to EOPs for transfer to cold

leg recirculation. Specifically, Revision 204 of EOPs 1/2BEP ES-1.3, Transfer to Cold

Leg Recirculation, did not contain instructions for transferring the ECCS and CS

systems to the recirculation mode that ensured prevention of potential pump damage

when the RWST is emptied following a LOCA.

Description: Procedures 1/2BEP ES-1.3 were established as the implementing EOPs

for transferring ECCS and CS system suction from the RWST to containment sump

recirculation. These EOPs were intended to be consistent with the technical guidelines

of Westinghouse Owners Group Guidelines (WOG) Emergency Response Guideline

(ERG) ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005. The technical

guideline of WOG ERG ES-1.3 included the following caution statement: Any pumps

taking suction from the RWST should be stopped if RWST level decreases to (U.03).

The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also

stated, Based on pump suction piping configuration, the plant specific value of (U.03)

may need to consider the possibility of vortexing and air entrainment. The ERG basis

for this caution stated, Any pumps taking suction from the RWST must be stopped

when the level in the tank reaches the empty alarm set point in order to prevent loss of

suction flow and potential pump damage. The licensee established 9 percent RWST

level as the empty alarm set point to prevent air-entraining vortices and ensured

adequate pump NPSH.

In 1996, the licensee changed EOPs 1/2BEP ES-1.3 to include a deviation to this ERG

caution. Specifically, the revised EOP caution stated Any pumps taking suction from

the RWST should be stropped if level drops to 9 percent, unless a flow path also exists

from the CNMT [containment] sump. The EOP deviation document stated This will

allow continuing with switchover without securing pumps if an acceptable flow path

exists. It also stated CNMT pressure should isolate the RWST flow path once aligned

to the sump. However, the licensee did not perform any evaluation to support this

rationale.

The team was concerned because the revised caution did not assure to prevent air

entrainment into the piping system to avoid ECCS and CS pump air binding and/or

cavitation leading to potential damage. The licensee captured the team concern in

their CAP as AR 02495580. The immediate corrective action was to create a standing

order instructing operators to secure all pumps aligned to the RWST when it reaches

9 percent level. The proposed corrective actions to restore compliance at the time of

this inspection included performing a detailed engineering analysis of the hydrodynamic

fluid mechanics with a dual suction source option or removing the dual suction source

option.

28

Analysis: The team determined that the failure to maintain an EOP for transfer to cold

leg recirculation was contrary to TS 5.4, Procedures, and was a performance

deficiency. The performance deficiency was determined to be more than minor because

it was associated with the Mitigating Systems cornerstone attribute of procedure quality,

and affected the cornerstone objective of ensuring the availability, reliability, and

capability of mitigating systems to respond to initiating events to prevent undesirable

consequences. In addition, it was associated with the Barrier Integrity cornerstone

attribute of procedure quality, and affected the cornerstone objective of providing

reasonable assurance that physical design barriers protect the public from radionuclide

releases caused by accidents or events. Specifically, failure to maintain an EOP for

transfer to cold leg recirculation does not ensure that air entrainment into the piping

system is prevented. As a consequence, the availability, reliability, and capability of

the ECCS pumps to meet their mitigating function are not ensured. Similarly, the

performance deficiency does not provide reasonable assurance the CS pumps would

remain capable of supporting the reactor containment barrier function.

The team determined the finding could be evaluated using the SDP in accordance

with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial

Characterization of Findings. Because the finding impacted the Mitigating Systems

and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,

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

Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity

Screening Questions. The finding screened as of very-low safety significance (Green)

because it did not result in the loss of operability or functionality of mitigating systems,

represent an actual open pathway in the physical integrity of reactor containment, and

involved an actual reduction in function of hydrogen igniters in the reactor containment.

Specifically, the incorrect caution would only be used in the event that transfer to sump

recirculation was not completed by 9 percent tank level or if the RWST suction isolation

valves fail to close. With respect to transfer to sump recirculation by 9 percent tank

level, this is a time critical operator action that is tested and verified periodically on the

plant simulator. A review of these simulator test results reasonably determined that

operators reliably complete the transfer to sump recirculation prior to reaching this set

point. With respect to the failure of the RWST suction isolation valves, these valves are

test quarterly to demonstrate operability. A review of these test results for the last

3 years reasonably determined the valves would have isolated the tank when required.

The team did not identify a cross-cutting aspect associated with this finding because the

finding was not representative of current performance. Specifically, the inadequate

caution had been added to 1/2BEP ES-1.3 in 1996.

Enforcement: In TS Section 5.4.1b states, in part, that written procedures shall be

established, implemented, and maintained covering the EOPs required to implement the

requirements of NUREG-0737 and NUREG-0737, Supplement 1, as stated in Generic

Letter (GL) 82-33, Section 7.1. NUREG-0737, Supplement 1, Section 7.1.c, states,

Upgrade EOPs to be consistent with Technical Guidelines and an appropriate

procedure Writers Guide. The applicable technical guideline contained in WOG ERG

ES-1.3, Transfer to Cold Leg Recirculation, dated April 30, 2005, stated, Any pumps

taking suction from the RWST should be stopped if RWST level decreases to (U.03).

The ERG defined (U.03) as RWST empty alarm set point in plant specific units. It also

stated, Based on pump suction piping configuration, the plant specific value of (U.03)

may need to consider the possibility of vortexing and air entrainment.

29

The licensee established Revision 204 of 1/2BEP ES-1.3, Transfer to Cold Leg

Recirculation, as the implementing procedures for WOG ERG ES-1.3 to specify the

actions required for transfer to containment sump recirculation. In addition, the licensee

established 9 percent RWST level as the empty alarm set point, in part, to prevent air

entrainment.

Contrary to the above, between 1996 to at least May 4, 2015, the licensee failed to

maintain a written procedure covering the EOPs required to implement the requirements

of NUREG-0737 and NUREG-0737, Supplement 1, as stated in GL 82-33, Section 7.1.

Specifically, the licensee did not upgrade EOPs 1/2BEP ES-1.3 to be consistent with the

technical guideline contained in WOG ERG ES-1.3 in that the EOPs did not instructed

operators to stop any pumps taking suction from the RWST if level decreases below the

9 percent RWST empty alarm set point when a flow path from the containment sump

existed.

The licensee is still evaluating its planned corrective actions. However, the team

determined that the continued non-compliance does not present an immediate safety

concern because the licensee created a standing order instructing operators to secure

all pumps aligned to the RWST when it reaches 9 percent level.

Because this violation was of very-low safety significance, and was entered into the

licensees CAP as AR 02495580, this violation is being treated as an NCV, consistent

with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-08; 05000455/2015008-08, Failure to Provide Proper Direction for Low Level Isolation of

the RWST in EOPs)

4.

OTHER ACTIVITIES

4OA2 Identification and Resolution of Problems

.1

Review of Items Entered Into the Corrective Action Program

a.

Inspection Scope

The team reviewed a sample of the selected component problems identified by the

licensee, and entered into the CAP. The team reviewed these issues to verify an

appropriate threshold for identifying issues, and to evaluate the effectiveness of

corrective actions related to design issues. In addition, corrective action documents

written on issues identified during the inspection were reviewed to verify adequate

problem identification and incorporation of the problem into the CAP. The specific

corrective action documents sampled and reviewed by the team are listed in the

attachment to this report.

The team also selected three issues identified during previous CDBIs to verify that

the concern was adequately evaluated and corrective actions were identified and

implemented to resolve the concern, as necessary. The following issues were reviewed:

NCV 05000454/2012007-01; 05000455/2012007-01, Non-Conforming 480/120

VAC Motor Control Contactors;

NCV 05000454/2012007-03; 05000455/2012007-03, Non-Conservative

Calibration Tolerance Limits for Electrical Relay Settings; and

30

NCV 05000454/2012007-05; 05000455/2012007-05, Failure to Provide Means

to Detect Leak in Emergency Core Cooling Flow Path.

b.

Findings

(1) Failure to Promptly Correct an NRC-Identified Non-Cited Violation Associated with the

Capability to Detect and Isolate Emergency Core Cooling System Leakage

Introduction: A finding of very-low safety significance (Green), and an associated cited

violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Actions, was

identified by the team for the failure to correct a condition adverse to quality (CAQ).

Specifically, on June 15, 2012, the NRC issued an NCV for the failure to provide means

to detect and isolate a leak in the ECCS within 30 minutes as described in the UFSAR,

which is a CAQ. As of May 22, 2015, the licensee had not corrected the CAQ.

Description: On June 15, 2012 the NRC identified that the licensee had failed to provide

a means to detect and isolate a leak in the ECCS flow path within 30 minutes, as

described in UFSAR 6.3.2.5, System Reliability. Specifically, UFSAR 6.3.2.5 stated,

in part, that the design of the auxiliary building and related equipment was based upon

handling of leaks up to a maximum of 50 gallons per minute (gpm). In addition, it stated

Means were provided to detect and isolate such leaks in the emergency core cooling

flow path within 30 minutes. The 2012 CDBI team identified that the licensee had failed

to provide a means to detect and isolate an ECCS leak within 30 minutes. This issue

was documented as NCV 05000454/2012007-05; 05000455/2012007-05, Failure to

Provide Means to Detect Leak in ECCS Flow Path, in Inspection Report (IR) 05000454/

2012007; 05000455/2012007.

The licensee captured this NCV in their CAP as AR 01378257 and AR 01398434. The

assigned corrective action tracking item (CA) was AR01378257-04, which stated:

Investigate the bases/sources of the values assigned to the single failure

(50 gpm and 30 minutes), including whether there is a commitment associated.

Create additional corrective actions (CA type) as necessary. If UFSAR change is

determined feasible, include an action to determination of the impact of the leak

duration lasting longer than 30 minutes on flood level inside containment and the

Auxiliary Building.

The CA due date was extended eight times and, eventually, the CA was downgraded to

an action tracking item (ACIT) because the licensee recognized that it did not correct the

issue. Procedure PI-AA-125, Corrective Action Program Procedure, defined ACIT as

Action items that are completed to improve performance, or correct minor problems that

do not represent CAQ. On February 18, 2015, the licensee discovered that a new CA

type assignment was not generated to address the NCV following the AR 01378257-04

downgrade from a CA to an ACIT type. This was inconsistent with step 4.5.2 of

procedure PI-AA-125 in that it required, in part, the creation of a CA for any planned

action necessary to correct a CAQ. This discovery was captured in the CAP as

AR 02454767. The associated CA assignment stated:

Design Engineering will determine if UFSAR section 6.3.2.5 requires revision

using the information provided in IR 01378257 and IR 1398434. If it is concluded

a revision is required, an additional CA to track the change will be created.

31

During this inspection period, the team noted that the actions assigned by this CA were

similar to those of AR 01378257-04, which the licensee had previously determined

did not correct the NCV. The team was concerned because, as of May 22, 2015, the

licensee failed to restore compliance and failed to have objective plans to restore

compliance in a reasonable period following the NRC identification of the NCV on

June 15, 2012.

The licensee captured the teams concern in their CAP as AR 02501454 to promptly

restore compliance. As an immediate corrective action, the licensee reasonably

determined ECCS remained operable by reviewing procedures and calculations.

Specifically, the licensee reasonably determined procedures used when responding to

postulated events would direct operators to detect and isolate an ECCS leak before it

could adversely affect the system mitigating function or result in a radionuclide release

in excess of applicable limits.

Analysis: The team determined that the failure to correct an NRC-identified NCV

associated with the capability to detect and isolate ECCS leakage, which is a CAQ, was

contrary to 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, and was a

performance deficiency. The performance deficiency was determined to be more than

minor because it was associated with the Mitigating Systems cornerstone attribute of

design control, and affected the cornerstone objective of ensuring the availability,

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

undesirable consequences. In addition, it was associated with the Barrier Integrity

cornerstone attribute of design control, and affected the cornerstone objective of

providing reasonable assurance that physical design barriers protect the public from

radionuclide releases caused by accidents or events. Specifically, the failure to detect

and isolate a leak in the ECCS flow path within 30 minutes could compromise long term

cooling, adversely affecting its capability to mitigate a DBA. In addition, a detection and

isolation time greater than the time assumed by the design basis for an ECCS leak

following an accident would result in greater radionuclide release to the auxiliary

building, and the environment and, thus, does not assure that physical design barriers

protect the public from radionuclide releases caused by accidents or events.

The team determined the finding could be evaluated using the SDP in accordance

with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial

Characterization of Findings. Because the finding impacted the Mitigating Systems

and Barrier Integrity cornerstones, the team screened the finding through IMC 0609,

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

Exhibit 2, Mitigating Systems Screening Questions, and Exhibit 3, Barrier Integrity

Screening Questions. The finding screened as very-low safety significance (Green)

because it did not result in the loss of operability or functionality, and it did not represent

an actual pathway in the physical integrity of reactor containment. Specifically, the

licensee reasonably demonstrated that an ECCS leak could be detected and isolated

before it could adversely affect long-term cooling of the plant.

The team determined that the associated finding had a cross-cutting aspect in the area

of human performance because the licensee did not use a consistent and systematic

approach to make decisions. Specifically, the licensee downgraded the original CA to

an ACIT without creating a new CA, which was inconsistent with the instructions

contained in procedure PI-AA-125. Additionally, when the licensee subsequently

discovered a CA type assignment was not created to address the NCV, the licensee

32

created a CA assignment to track actions that were similar to those tracked by the ACIT,

which was inconsistent with the licensee previous determination that those actions did

not correct the NCV. [H.13]

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

states, in part, that measures shall be established to assure that conditions adverse to

quality, such as failures, malfunctions, deficiencies, deviations, defective material and

equipment, and non-conformances are promptly identified and corrected.

Contrary to the above, from June 15, 2012, to at least May 22, 2015, the licensee failed

to correct a CAQ. Specifically, on June 15, 2012, the NRC issued NCV 05000454

/2012007-05;05000455/2012007-05 for the failure to provide means to detect and

isolate a leak in the ECCS within 30 minutes for Byron Station, Units 1 and 2, as

described in UFSAR Section 6.3.2.5, which is a CAQ. As of May 22, 2015, the

licensee had not corrected the CAQ in a reasonable period. Instead, the licensee

created ACTI to develop a plan to correct the CAQ, and the associated due date was

extended at least eight times.

The licensee is still evaluating corrective actions. However, the team determined that

the continued non-compliance does not present an immediate safety concern because

the licensee reasonably demonstrated that a leak could be detected and isolated before

it could adversely affect long-term cooling of the plant or result in a radionuclide release

in excess of applicable limits.

This violation is being cited as described in the Notice, which is enclosed with this IR.

This is consistent with the NRC Enforcement Policy, Section 2.3.2.a.2, which states, in

part, that the licensee must restore compliance within a reasonable period of time (i.e., in

a timeframe commensurate with the significance of the violation) after a violation is

identified. The NRC identified NCV 05000454/2012007-05; 05000455/2012007-05 on

June 15, 2012, and documented it in IR 05000454/2012007. The team determined that

the licensee failed to restore compliance within a reasonable time following issuance of

this NCV and failed to have objective plans to restore compliance. (VIO 05000454

/2015008-09;05000455/2015008-09, Failure to Promptly Correct an NRC-Identified

NCV Associated with the Capability to Detect and Isolate ECCS Leakage)

(2) Failure to Maintain the Accuracy of the Instrument Loops Used to Verify Compliance with

the Containment Average Air Temperature Technical Specification Limit

Introduction: The team identified a finding of very-low safety significance (Green), and

an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,

Procedures, and Drawings, for the failure to have procedures to maintain the accuracy

within the necessary limits of instrument loops used to verify compliance with the

containment average air temperature TS limit of 120 degrees Farhenheit. Specifically,

in 2007, the licensee cancelled the periodic PMs intended to maintain the instrument

accuracy necessary for verifying compliance with the limiting condition for operation

(LCO) of TS 3.6.5, Containment Air Temperature.

Description: The team reviewed selected corrective action documents initiated by the

licensee as a result of their recent Focused Self-Assessment titled, Readiness Review

for 2015 NRC Component Design Basis Inspection. The reviewed corrective action

document sample included AR 02437973. This corrective action document was initiated

on January 15, 2015, in part, for the discovery that the four instrument loops used for

33

determining containment average air temperature (i.e., loops 1/2VP-030, 1/2VP-031,

1/2VP-032, and 1/2VP-033) were removed from the PM Program in 2007 via Service

Request 47654. The corrective action document also noted that the PMs were last

performed in 2001 for 1VP-030; 2002 for 1/2VP-031, 1/2VP-032, 2VP-030, and

2VP-033; and 2009 for 1VP-033.

This corrective action document created an ACIT to determine if the PMs should be

reestablished. Procedure PI-AA-125, Corrective Action Program Procedure, defined

ACIT as Action items that are completed to improve performance, or correct minor

problems that do not represent CAQ. On March 3, 2015, the ACIT concluded that there

was no need to reestablish the PMs due to the instrument loop reliability, previous

calibration history, loop design, redundancy, and daily monitoring which the licensee

believed would notice instrument drift. However, the team noted that TS SR 3.6.5.1

required verifying containment air temperature is less than 120 degrees Fahrenheit

by averaging the instrument readings and, thus, instrument reading variability was

expected. In addition, the team noted the licensee had not established a variability limit

(i.e., acceptance criteria) among the instrument loops and relied on operator judgment to

identify adverse drifts.

The team was concerned because these instrument loops were not maintained to

ensure their accuracy was within the necessary limits to verify compliance with the

containment average air temperature TS limit of 120 degrees Fahrenheit. Containment

average air temperature is an initial condition used in DBA analyses, and is an important

consideration in establishing the containment environmental qualification operating

envelope for both pressure and temperature. This TS limit ensures that initial conditions

assumed in these analyses are met during unit operations.

The licensee captured the teams concern in their CAP as AR 02502846. As an

immediate corrective action, the licensee reasonably established that the 120 degrees

Fahrenheit limit was not exceeded by reviewing applicable historical records from 2002

to time of this inspection. The proposed corrective action to restore compliance at the

time of this inspection was to reconstitute PM procedures for these instrument loops to

assure they are maintained.

Analysis: The team determined that the failure to have procedures to maintain the

accuracy within necessary limits of the instrument loops used during SR 3.6.5.1 was

contrary to 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and

Drawings, and was a performance deficiency. The performance deficiency was

determined to be more than minor because it was associated with the configuration

control attribute of the Barrier Integrity Cornerstone, and adversely affected the

cornerstone objective to ensure that physical design barriers protect the public from

radionuclide releases caused by accidents or events. Specifically, the failure to have

procedures to maintain the accuracy of the containment air temperature instrumentation

loops within necessary limits does not ensure the instrument loop accuracy is

maintained such that SR 3.6.5.1 activities are effective at verifying compliance with the

containment average air temperature TS limit. As a result, the potential exists for an

inoperable condition to go undetected.

The team determined the finding could be evaluated using the SDP in accordance

with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial

Characterization of Findings. Because the finding impacted the Barrier Integrity

34

cornerstone, the team screened the finding through IMC 0609, Appendix A, The

Significance Determination Process for Findings At-Power, using Exhibit 3, Barrier

Integrity Screening Questions. The finding screened as of very-low safety significance

(Green) because it did not represent an actual open pathway in the physical integrity of

reactor containment or involved an actual reduction in hydrogen igniter function.

Specifically, the containment integrity remained intact and the finding did not impact

the hydrogen igniter function.

The team determined that this finding had a cross-cutting aspect in the area of problem

identification and resolution because the licensee did not identify issues completely and

accurately in accordance with the CAP. Specifically, on January 15, 2015, the licensee

captured the lack of periodic PM activities for the containment air temperature instrument

loops in the CAP. However, the licensee failed to completely and accurately identify the

issue in that it was not treated as a CAQ. As a consequence, no corrective actions were

implemented. [P.1]

Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,

and Drawings, requires, in part, that activities affecting quality be prescribed by

documented procedures of a type appropriate to the circumstances and be

accomplished in accordance with these procedures.

Contrary to the above, since 2007 to at least May 22, 2015, the licensee failed to have a

procedure for maintaining the accuracy within the necessary limits of the instrument

loops used while implementing SR 3.6.5.1. Specifically, in 2007, the licensee cancelled

the PMs intended to maintain the instrument loops accuracy necessary for verifying

compliance with LCO 3.6.5 limit.

The licensee is still evaluating its planned corrective actions. However, the team

determined that the continued non-compliance does not present an immediate safety

concern because containment average air temperature readings were significantly lower

than the associated TS limit, and are reasonably expected to maintain that margin in the

foreseeable future based on past performance.

Because this violation was of very-low safety significance, and was entered into the

licensees CAP as AR 02502846, this violation is being treated as an NCV, consistent

with Section 2.3.2 of the NRC Enforcement Policy (NCV 05000454/2015008-10; 05000455/2015008-10, Failure to Maintain the Instrument Loops Used to Verify

Compliance with the Containment Average Air Temperature TS Limit)

(3) Operability Evaluation Relied on Probabilities of Occurrence of the Associated Event

Introduction: The team identified a finding of very-low safety significance (Green),

and an associated NCV of 10 CFR Part 50, Appendix B, Criterion V, Instructions,

Procedures, and Drawings, for the failure to make an operability determination without

relying on the use of probabilistic tools. Specifically, an operability evaluation related to

an SXCT degraded condition used probabilities of occurrence of tornado events which

was contrary to the requirements of Revision 16 of procedure OP-AA-108-115,

Operability Determinations.

Description: Revision 7 of UFSAR Section 3.5.4, Analysis of Multiple Missiles

Generated by a Tornado, stated that the SXCT fans, fan motors, and fan drives were

not protected from tornado missiles. It also stated that An analysis of cooling tower

35

capacity without fans has been made. In addition, it stated that Using the most

conservative design conditions, it is predicted if the plant is shut down under non-LOCA

conditions with loss of offsite power, the temperature of the service water supplied to

the plant will not exceed 110 degrees Farhernheit. However, during the 2005 NRC

SSDPC inspection, the inspectors noted that this analysis had not been updated to

reflect changes that increased the heat load. The SSDPC documented this concern as

URI 05000454/2005002-07; 05000455/2005002-07. In 2007, this URI was subsequently

closed to NCV 05000454/2007004-03; 05000455/2007004-03. As a result, on February

14, 2012, the licensee completed EC 385829, UHS Capability with Loss of SX Fans

Due to Tornado Missiles, to change the UHS tornado missile design basis to require

a minimum of two SXCT fans and motors for cooling following a tornado event. The

change did not include adding tornado protection to the fans, fan motors, and fan drives.

On August 9, 2013, the licensee initiated corrective action document IR 01545153 for

the NRC discovery that the associated written safety evaluation intended to provide

the bases for the determination that this change did not require a license amendment

failed to consider the change adverse effects. On August 14, 2013, the licensee

initiated corrective action document AR 1546621 to address the associated technical

implications. This corrective action document resulted in Revision 0 of Operability

Evaluation 13-007, Ultimate Heat Sink Capability with Loss of Essential Service Water

Cooling Tower Fans, intended to reasonably demonstrate UHS operability until

corrective actions to restore compliance were implemented.

During this inspection period, the CDBI team noted that Operability Evaluation 13-007

relied on the probability of occurrence of a tornado. Specifically, it stated The UHS is

capable of providing the required cooling because, given a tornado strike under the

design conditions in the UFSAR, the probability of occurrence is less than the

acceptance criteria of 10E-7 /year in SRP 2.2.3. It also stated that The software used

to determine the missile hit probability is called [Tornado Missile Risk Evaluation

Methodology] TORMIS. In addition, it stated that The software uses site specific

factors such as predicted tornado characteristics, tornado occurrence rates, building

layout, potential missile sources and types, missile distribution and the number of

potential missiles. The supporting analysis used the UFSAR Section 2.3.1.2.2,

Tornadoes and Severe Winds. tornado probability of occurrence value of 21E-4 per

year.

Procedure OP-AA-108-115, Operability Determinations, Section 4.5.13, Use of PRA,

stated:

PRA is a valuable tool for evaluating accident scenarios because it can consider

the probabilities of occurrence of accidents or external events. Nevertheless, the

definition of operability is that the SSC must be capable of performing its

specified function or functions, which inherently assumes that the event occurs

and that the safety function or functions can be performed. Therefore, the use of

PRA or probabilities of occurrence of accidents or external events is not

consistent with the assumption that the event occurs, and is not acceptable for

making operability decisions.

Thus, the team determined that the use of TORMIS, the probability for occurrence of

tornados, and the probabilities of missile strikes was not acceptable and contrary to

licensee procedure OP-AA-108-115. The team, in consultation with NRR, also

36

determined that this procedure requirement was consistent with Attachment C.06 of

NRC IMC 0326, Operability Determinations & Functionality Assessments for Conditions

Adverse to Quality or Safety, which was established to assist NRC inspectors review of

licensee determinations of operability and resolution of degraded or nonconforming

conditions.

In addition, the team noted that Byron had not obtained NRC approval for the site

specific use of TORMIS as stated in Regulatory Issue Summary (RIS) 2008-14, Use of

TORMIS Computer Code for Assessment of Tornado Missile Protection. Specifically,

the RIS stated that The initial use of the TORMIS methodology as described in this

RIS requires a license amendment in accordance with 10 CFR 50.59(c)(2)(viii) and

subsequent revision to the plant licensing basis because it is a Departure from the

method of evaluation described in the FSAR, as updated, used in establishing the

design bases or in the safety analysis as defined in 10 CFR 50.59(a)(2).

The team was concerned because Operability Evaluation 13-007 did not reasonably

demonstrate the degraded UHS would be capable of performing its function following a

tornado event. The licensee captured the team concern in their CAP as AR 2504624 to

revise Operability Evaluation 13-007 without using PRA tools.

Analysis: The team determined that the failure to make an operability determination

without relying on the use of probabilistic tools was contrary to licensee procedure

OP-AA-108-115 and was a performance deficiency. The performance deficiency was

determined to be more than minor because it was associated with the Mitigating

Systems cornerstone attribute of protection against external events, and affected the

cornerstone objective of ensuring the availability, reliability, and capability of mitigating

systems to respond to initiating events to prevent undesirable consequences.

Specifically, failure to perform an adequate operability evaluation does not ensure the

SXCT would remain capable of performing its safety function, and had the potential to

allow an inoperable condition to go undetected.

The team determined the finding could be evaluated using the SDP in accordance

with IMC 0609, Significance Determination Process, Attachment 0609.04, Initial

Characterization of Findings. Because the finding impacted the Mitigating System

cornerstone, the team screened the finding through IMC 0609, Appendix A, The

Significance Determination Process for Findings At-Power, using Exhibit 2, "Mitigating

Systems Screening Questions." In accordance with Exhibit 2, the team screened the

finding using Exhibit 4, External Events Screening Questions, because the finding

involved the degradation of equipment or function specifically designed to mitigate a

severe weather initiating event. The team conservatively screened the finding as

necessitating a detailed risk evaluation because the loss of UHS during a tornado event

would degrade one or more trains of a system that supports a risk-significant system or

function.

The SRAs performed a bounding risk evaluation for the CDF of tornado missile

strike(s) causing a core damage event at Byron due to damage to the SXCT fans:

The SRAs assumed that a tornado with wind speed exceeding 100 mph would

be required to generate damaging missiles.

The frequency of this tornado for Byron is approximately 1.13E-4/yr from the

RASP website;

37

The tornado missiles were assumed to cause damage and fail an entire set of

SXCT fans in addition to a set of fans that were initially out of service (i.e., 4 fans

- conservative assumption); and

The SRAs further assumed that the tornado also caused a severe weather loss

of offsite power event.

The Byron SPAR Model Version 8.27 and SAPHIRE Version 8.1.2 software were used

by the SRAs to evaluate the risk significance of this finding. Using the Byron SPAR

model, the CCDP (i.e., if the tornado event occurred and damaged one train of SXCT

fans) is approximately 4.8E-4. Thus, a bounding CDF calculated due to the SXCT

vulnerability to missiles is approximately 5.4E-8/yr (i.e., 1.13E-4/yr x 4.8E-4 = 5.4E-8/yr).

Based on the detailed risk evaluation, the SRAs determined that the finding was of very

low safety significance (Green).

The team determined that this finding had a cross-cutting aspect in the area of human

performance because the licensee did not ensure knowledge transfer to maintain a

knowledgeable and technically competent workforce. Specifically, the licensee did not

ensure personnel were trained on the prohibition of the use of probabilities of occurrence

of an event when performing operability evaluations, which was contained in procedure

OP-AA-108-115. [H.9]

Enforcement: Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures,

and Drawings, requires, in part, that activities affecting quality be prescribed by

documented procedures of a type appropriate to the circumstances and be

accomplished in accordance with these procedures.

The licensee established Revision 16 of procedure OP-AA-108-115, Operability

Determinations, as the implementing procedure for assessing operability of SSCs, an

activity affecting quality. Section 4.5.13, Use of Probabilistic Risk Assessment, stated

[] the use of PRA or probabilities of occurrence of accidents or external events is not

consistent with the assumption that the event occurs, and is not acceptable for making

operability decisions.

Contrary to the above, on August 20, 2013, the licensee failed to follow Section 4.5.13 of

procedure OP-AA-108-115. Specifically, the licensee used a PRA tool (i.e., TORMIS)

and probabilities of occurrence of an external event (i.e., tornado) when making an

operability decision related to the SXCT degradation when mitigating tornado events.

Establishing a reasonable expectation of operability is an activity affecting quality.

As an immediate corrective action, the licensee revised the affected operability

evaluation without using PRA tools. At the time of the CDBI exit meeting on

June 16, 2015, the team was still reviewing the revised operability evaluation with

the assistance of NRR.

Because this violation was of very-low safety significance and was entered into the

licensees CAP as AR 2504624, this violation is being treated as an NCV, consistent

with Section 2.3.2 of the NRC Enforcement Policy. (NCV 05000454/2015008-11; 05000455/2015008-11, Operability Evaluation Relied on Probabilities of Occurrence of

the Associated Event)

38

4OA6 Management Meetings

.1

Interim Exit Meeting Summary

On May 22, 2015, the team presented the inspection results to Mr. R. Kearney, and

other members of the licensee staff. The licensee acknowledged the issues presented.

The inspectors had outstanding questions that required additional review and a follow-up

exit meeting.

.2

Exit Meeting Summary

On June 16, 2015, the team presented the inspection results to Mr. B. Currier, and other

members of the licensee staff. The licensee acknowledged the issues presented. The

team asked the licensee whether any materials examined during the inspection should

be considered proprietary. Several documents reviewed by the team were considered

proprietary information and were either returned to the licensee or handled in

accordance with NRC policy on proprietary information.

ATTACHMENT: SUPPLEMENTAL INFORMATION

Attachment

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee

R. Kearney, Site Vice President

T. Chalmers, Plant Manager

C. Keller, Engineering Director

B. Currier, Senior Manager of Design Engineering

D. Spitzer, Regulatory Assurance Manager

J. Cunzeman, Mechanical/Structural Design Manager

A. Corrigan, NRC Coordinator

U.S. Nuclear Regulatory Commission

C. Lipa, Chief, Engineering Branch 2

J. Ellegood, Chief, Reactor Projects Branch 3 (Acting)

N. Féliz Adorno, Senior Reactor Inspector

C. Zoia, Senior Resident Inspector (Acting)

J. Draper, Resident Inspector

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED

Opened 05000454/2015008-01; 05000455/2015008-01

URI

Question Regarding the Maximum Wet Bulb

Temperature Value Assumed in the SXCT Tornado

Analysis (Section 1R21.3.b(1))05000454/2015008-02; 05000455/2015008-02

URI

Maximum Wet Bulb Temperature Value Assumed in

SXCT Analysis Was Not Monitored

(Section 1R21.3.b(2))05000454/2015008-03; 05000455/2015008-03

NCV

Failure to Evaluate the Adverse Effects of Sharing the

RWSTs of Both Reactor Units (Section 1R21.5.b(1))05000454/2015008-04; 05000455/2015008-04

FIN

Failure to Evaluate the Adverse Effects of Sharing the

RWSTs of Both Reactor Units (Section 1R21.5.b(1))05000454/2015008-05; 05000455/2015008-05

NCV

Failure to Adequately Implement a Design Change

Associated with the RWSTs (Section 1R21.5.b(2))05000454/2015008-06; 05000455/2015008-06

NCV

Failure to Evaluate the Adverse Effects of Changing the

SXCT Tornado Analysis as Described in the UFSAR

(Section 1R21.5.b(3))05000454/2015008-07; 05000455/2015008-07

FIN

Failure to Evaluate the Adverse Effects of Changing the

SXCT Tornado Analysis as Described in the UFSAR

(Section 1R21.5.b(3))05000454/2015008-08; 05000455/2015008-08

NCV

Failure to Provide Proper Direction for Low Level

Isolation of the RWST in EOPs (Section 1R21.6.b(1))05000454/2015008-09; 05000455/2015008-09

VIO

Failure to Promptly Correct an NRC-Identified NCV

Associated with the Capability to Detect and Isolate

ECCS Leakage (Section 4OA2.1.b(1))

2 05000454/2015008-10; 05000455/2015008-10

NCV

Failure to Maintain the Instrument Loops Used to Verify

Compliance with the Containment Average Air

Temperature TS Limit (Section 4OA2.1.b(2))05000454/2015008-11; 05000455/2015008-11

NCV

Operability Evaluation Relied on Probabilities of

Occurrence of the Associated Event

(Section 4OA2.1.b(3))

Closed 05000454/2015008-03; 05000455/2015008-03

NCV

Failure to Evaluate the Adverse Effects of Sharing the

RWSTs of Both Reactor Units (Section 1R21.5.b(1))05000454/2015008-04; 05000455/2015008-04

FIN

Failure to Evaluate the Adverse Effects of Sharing the

RWSTs of Both Reactor Units (Section 1R21.5.b(1))05000454/2015008-05; 05000455/2015008-05

NCV

Failure to Adequately Implement a Design Change

Associated with the RWSTs (Section 1R21.5.b(2))05000454/2015008-06; 05000455/2015008-06

NCV

Failure to Evaluate the Adverse Effects of Changing the

SXCT Tornado Analysis as Described in the UFSAR

(Section 1R21.5.b(3))05000454/2015008-07; 05000455/2015008-07

FIN

Failure to Evaluate the Adverse Effects of Changing the

SXCT Tornado Analysis as Described in the UFSAR

(Section 1R21.5.b(3))05000454/2015008-08; 05000455/2015008-08

NCV

Failure to Provide Proper Direction for Low Level

Isolation of the RWST in EOPs (Section 1R21.6.b(1))05000454/2015008-10; 05000455/2015008-10

NCV

Failure to Maintain the Instrument Loops Used to Verify

Compliance with the Containment Average Air

Temperature TS Limit (Section 4OA2.1.b(2))05000454/2015008-11; 05000455/2015008-11

NCV

Operability Evaluation Relied on Probabilities of

Occurrence of the Associated Event

(Section 4OA2.1.b(3))

3

LIST OF DOCUMENTS REVIEWED

The following is a list of documents reviewed during the inspection. Inclusion on this list does

not imply that the NRC inspectors reviewed the documents in their entirety, but rather, that

selected sections of portions of the documents were evaluated as part of the overall inspection

effort. Inclusion of a document on this list does not imply NRC acceptance of the document or

any part of it, unless this is stated in the body of the inspection report.

CALCULATIONS

Number

Description or Title

Revision

4391/19D-11

Sizing of Replacement Battery Charger for Diesel Driven

Pumps

0

BYR08-035

Essential Service Water Cooling Tower Basin Level

Indication Uncertainty Analysis

0

BYR12-070

Auxiliary Building Environment following a High Energy Line

Break in the Turbine Building

2

BYR12-072

Thermal Endurance Evaluation of the Safety Related

Electrical Equipment in the Essential Service Water (SX)

Cooling Tower Switchgear Rooms

0

BYR97-193

Battery Duty Cycle and Sizing for the Byron Diesel Driven

Auxiliary Feedwater Pumps and the Byron Diesel Driven

Essential Service Water Makeup Pumps

1-1E

BYR97-205

125VDC Battery Charger Sizing Calculation

2

BYR97-204

125 VDC Battery Sizing Calculation

3-3K

BYR97-224

125Vdc Voltage Drop Calculation

4-4A

BYR97-226

125 V DC System Short Circuit Calculation

4

BYR97-239

SX Cooling Tower Basin Level Auto Start Level Set Point

Analysis

1

BYR97-336

SX Cooling Tower Basin - Time to Reach the Low Level

Alarm Set Point

1

BYR2000-136

Voltage Drop Calculation for 4160V Switchgear Breaker

Control Circuits

1

BYR2000-191

Voltage Drop Calculation for 480V Switchgear Breaker

Control Circuits

0 -0C

4391/19-AN-3

Protective Relay Settings for 4.16 kV ESF Switchgear

16

19-AQ-24

Voltage Drop on 480-120V AC Control Transformer Circuits

8

19-AQ-63

Division Specific Degraded Voltage Analysis

7A

19-AQ-69

Evaluation of the Adequacy of the 120 Vac Distribution

Circuit at the Degraded Voltage Setpoint

16

19-AQ-75

Essential Service Water Cooling Tower 480V Buses

Maximum Voltage

1

19-AU-4

480 V Unit Substation Breaker and Relay Settings

19

19-G-1

Cable Ampacity

2

19-T-5

Diesel Generator Loading During LOOP/LOCA

7

BYR01-068

Environmental Parameters of EQ Zones

2

BYR01-084

Generic Thermal Overload Heater Sizing Calculation for

Motor Operated Valves

000

4

CALCULATIONS

Number

Description or Title

Revision

BYR01-095

Motor Operated Valves (MOV) Actuator Motor Terminal

Voltage and Thermal Overload Sizing Calculation - Essential

Service Water (SX) System

1

BYR06-111

Model APT-30K-11 SXCT Fan Blade Pitch Setting

1

BYR12-042

Essential Service Water Discharge Header Temperature

Indication Uncertainty

0

BYR95-005

120 VAC Instrument Bus/SSPS Cabinet Fuse Sizing and

Coordination

0

BYR96-128

Refueling Water Storage Tank (RWST) Level Alarm

Bistables and Level Indication Accuracy

2

DIT BB-EPED-

0189

Design Information Transmittal: Minimum Starting/Running

Voltages for Essential Motors

5/14/93

DIT BB-EXT-

0406

Design Information Transmittal: Essential Service Water

Cooling Tower Fan Motors [starting duty]

12/9/92

DIT-BRW-2002-

033

Design Information Transmittal: Basis for EDG loading

10/15/02

SI-90-01

Minimum Containment Flood Level

11

BYR04-016

RHR, SI, CV, and CS Pump NPSH During ECCS Injection

Mode

2

BYR14-053

Pressurizer PORV Air Accumulator Tank Requirements

0

BYR06-029

Byron/Braidwood SI/RHR/CS/CV system hydraulic analysis

in support of GSI-191

5

BYR06-058

NPSHA for RHR & CS Pumps During Post-LOCA

Recirculation

0

BYR07-055

Determination of the Correlation for the Critical Submergence

Height (Vortexing) for the RWST

0

SM-SI0930

RWST Level

D

SITH-1

Refueling Water Storage Tank (RWST) Level Set points

8

CN-RRA-00-47

Byron/Braidwood Natural Circulation Cooldown TREAT

Analysis for RSG and Uprating Programm

3

CN-RRA-00-47

Byron/Braidwood Natural Circulation Cooldown TREAT

Analysis for RSG and Uprating Program

4

CQD-200074

PORV Accumulator Tank

Z2

8.1.16

Refueling Water Storage Tanks Analysis and Design

5

BYR97-287

Determination of RWST Free Air Volume above Maximum

RWST Water Level

2

SM-SI0930

RWST Level

D

SM-SI0931

RWST Level

D

SM-SI0932

RWST Level

D

SM-SI0933

RWST Level

D

ATD-0062

Heat Load to the Ultimate Heat Sink During a Loss of

Coolant Accident

5

BYR03-131

Evaluation of UHS Make Up for CST-based Cooldown Profile 1

BYR05-018

Tornado Missile Risk Assessment of Vulnerable Targets of

Essential Service Water Cooling Towers

0

BYR06-111

Model APT-30K-11 SXCT Fan Blade Pitch Setting

1

5

CALCULATIONS

Number

Description or Title

Revision

BYR09-002

UHS Capability with Loss of SX Fans due to a Tornado

Event

1

BYR09-002

UHS Capability with Loss of SX Fans due to a Tornado

Event

1

BYR97*239

SX Cooling Tower Basin Level Auto Start Setpoint Error

Analysis

1

BYR97-034

Essential Service Water Cooling Tower Basin Minimum

Volume Versus Level and Minimum

Usable Volume Calculation

0a

BYR97-034

Essential Service Water Cooling Tower Basin Minimum

Volume Versus Level and Minimum

Usable Volume Calculation

0A

BYR97-127

Byron Ultimate Heat Sink Cooling Tower Performance

Calculations

1

BYR97-134

Heat Load on the UHS - 2 Unit Shutdown

3

BYR97-366

SX Cooling Tower Basin - Time to Reach the Low Level

Alarm Set Point

1

BYRO8-035

Essential Service Water Cooling Tower Basin Level

Indication Uncertainty Analysis

0

NED-M-MSD-

009

Byron Ultimate Heat Sink Cooling Tower Basin Temperature

Calculation: Part IV

8B

NED-M-MSD-

014

Byron Ultimate Heat Sink Cooling Tower Basin Makeup

Calculation

9

UHS-01

Ultimate Heat Sink Design Basis LOCA Single Failure

Scenarios

4

SL-101

ELMS-AC Report: Running Voltage Summary, Division 12

1/21/15

SL-102

ELMS-AC Report: Short Circuit Summary for High Voltage

Buses

1/21/15

SL-109

ELMS-AC Report: Connection Loading, Division 12

1/21/15

SL-112

ELMS-AC Report: Single Bus Summary, Bus 142

4/20/15

CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection

Number

Description or Title

Date

AR02488878

2015 CDBI - Design Analysis Inconsistency Identified

4/21/15

AR02489108

NRC CDBI: Loose Parts Found During Walkdown of RWST

4/22/15

AR02489149

CDBI - Bucket Collecting Diesel Fuel Drips from 0DO088A

4/22/15

AR02489198

CDBI - SX Make-Up Pump Temperature Recorder Panel

Memory Full

4/22/15

AR02489297

CDBI - Outdated Information in SystemIQ

4/22/15

AR02489456

NRC ID: Jumpers Not Readily Available for 1/2BOA PRI-5

4/22/15

AR02489360

Negative Vibration Reading on Idle 0E SXCT Fan

4/22/15

AR02490324

CDBI - ID 1RY456 WO As-Found Not as Expected, No IR

Written

4/24/15

AR02493191

CDBI - Issues Identified in Calculation BYR 97-224

4/30/15

AR02493990

CDBI - Issue Identified in Calculation 19-AQ-69

5/1/15

AR02495580

CDBI Question Related to BEP ES-1.3 Cold Leg

Recirculation

5/4/15

6

CORRECTIVE ACTION DOCUMENTS Generated Due to the Inspection

Number

Description or Title

Date

AR02495584

CDBI - FC Purification Flow Not Considered in RWST NPSH

Calc

5/4/15

AR02495866

CDBI - NRC Identified Issues in BYR97-193

5/5/15

AR02496142

CDBI - 50.59 and DRP did not explicitly evaluate GDC 5

5/5/15

AR02495973

NRC CDBI - Error Discovered in EACE Investigation

5/6/15

AR02496766

CDBI - RWST Calc May Lead to Inconsistent Application of

TS

5/6/15

AR02497347

NRC CDBI: Procedure Enhancement for ECCS Flow

Balancing

5/6/15

AR02497940

CDBI Deficiency Identified - THD Testing for Instrument

Inverter

5/8/15

AR02497925

Lightning Rod on SX Cooling Tower Bent; Clarify Inspection

WO Instructions

5/8/15

AR02501392

CDBI 2015 - VTIP for Containment DP Has Limited Lead

Length

5/15/15

AR02501454

CDBI - CA Created for NCV Does Not Resolve Issue

5/15/15

AR02502846

No Routine PM on Containment Temperature Loops

5/19/15

AR02504624

CDBI Concern Regarding Op Eval 13-007

5/22/15

AR02504475

CDBI - TS Clarification Needed for Transition to LTOPs

5/22/15

AR02506214

2012 50.59 for SXCT Tornado Analysis

5/19/15

CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection

Number

Description or Title

Date

AR00301744

Design of RWST Vacuum Relief System

2/15/05

AR00239280

RWST Vent / Vacuum Breaker Design Basis Issues

7/27/04

AR00880223

0A SX M/U PP Failures

2/13/09

AR00881611

0A SX MU Pump Did Not Stop When Local CS Taken to Off

2/17/09

AR01053940

1DC08E Battery, 1DC08E 123 Bus and DC 123 Batt Low

4/8/10

AR01115570

DC Bus 123 Low Voltage

9/21/10

AR01204963

Megger Test of Submerged Cable (1SX172)

4/20/11

AR01217212

Check/Adjust Charger 123 Float Voltage

5/17/11

AR01263407

0A SX MU PP Failed to Start at the Desired Setpoint SPC

9/15/11

AR01318043

0A SX M/U PP Battery Bank Test

1/25/12

AR01362643

Replace Breaker for MCC 035-2-C5 (0CW03PC-C)

5/4/12

AR01368220

CDBI ESF MCC Contactors not Tested at Assumed Pickup

Volt

5/18/12

AR01376793

CDBI Follow-up on MCC Contactors (IR 1368220)

6/11/12

AR01377764

NRC CDBI - Protective Relay Setting Tolerances

6/12/12

AR01378259

Need Engineering to Evaluate Test Frequency

6/15/12

AR01380744

Action Tracking Needed for Size 3 and 4 Contactors

6/22/12

AR01387518

The Station 111 ESF Battery Needs to Be Replaced in

B1R19

7/11/12

AR01387520

The Station 112 ESF Battery Needs to be Replaced in

B1R19

7/11/12

AR01390648

Protective Relay Tolerances Require Fleet Review

7/19/12

7

CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection

Number

Description or Title

Date

AR01398419

NRC IDD CDBI Green NCV Non-Conforming 480/120 VAC

Motor Contactors

6/15/12

AR01398426

NRC CDBI Green NCV Non-Conservative Cal Tolerance for

Elec Relays

6/15/12

AR01413695

Engineering Evaluate Frequency of Battery Capacity Test

9/16/12

AR01502583

0A SX Makeup Pump Failed to Auto Start per 0BOSR 7.9.6-

1

4/16/13

AR01518720

Breaker Will Not Reset During Oden Testing

5/29/13

AR01570572

0A SX M/U PP Had To Be Tripped During Monthly Run

10/10/13

AR01588590

Loss of Instrument Bus 111

11/21/13

AR01589264

Need New Contingency Work Order ofr Instrument Inverter

111

11/23/13

AR01590368

NRC ID - PCM Template/Vendor Manual Recommendation

11/26/13

AR01611287

0A SX Makeup Pump Auto Start Level Setpoint

1/23/14

AR01654589

Erratic Reading on Ammeter (111-IP001) for Inverter 111

4/30/14

AR01658463

Specific Gravity of Battery Cell Still Low After Equalize

5/10/14

AR01680303

0A SX MU PP Trouble Alarm Continues to Alarm

7/10/14

AR01693147

Gradual Float Current Trend on 111 Battery Charger

4/15/14

AR02407275

0SX02PA Kept Running

11/5/14

AR02417160

Pump As Found Condition/Dry Start Improvement

Opportunity

11/25/14

AR02440865

Thermography Needed on FRT for Instrument Inverter 111

11/29/14

AR02448283

0A SX MU Failed Surveillance

2/5/15

AR01299897

Replace Breaker for MCC 132Z1-A4 (0SX157A)

12/8/11

AR01056715

NER-NC-10-008-Y - Buried Cable

4/14/10

AR01322720

B2F26 Bus 142 Undervoltage Relay

2/3/12

AR01409309

Safety-Related Cable Vault 1M1G(1G1) Inspection - Repairs

9/5/12

AR01417720

MCC 132Z1-A5 Tripped Out of Tolerance

9/24/12

AR01425642

Safety-Related Cable Vault 1J2 Inspection - Repairs

10/12/12

AR01592242

Operating Experience Applicable to Byron (SXCT Fan

Reverse Rotation)

12/2/13

AR01625774

Degraded Voltage Relay Target did not Change State

2/25/14

AR01648079

Step Change Identified in Unit 1 Containment Air

Temperature in PI

4/16/14

AR01687277

Safety Related Cable Vault PM and Engineering Inspections

7/30/14

AR02437410

Cable Vault PM and Engineering Inspections

1/14/15

AR02437973

CDBI FASA - Review of Robinson and Wolf Creek Findings

1/15/15

AR00239280

RWST Vent/Vacuum Breaker Design Basis Issue

7/27/04

AR01360789

U-1 RWST level

4/30/12

AR01361308

U-1 RWST on FC Purification

5/2/12

AR01361838

U-1 RWST level loss During Purification

5/3/12

AR0128230

NRC Information Notice 2012-01: Seismic Considerations -

Principally Issues Involving Tanks

5/9/12

AR01398434

NRC CDBI Green NCV-Leak Detection for ECCS Flowpath

Lacking

6/15/12

AR01378257

CDBI, Question about ECCS leakage

6/15/12

8

CORRECTIVE ACTION DOCUMENTS Reviewed During the Inspection

Number

Description or Title

Date

AR01465872

Review of Braidwood IR 1459353 Pzr PORV Accumlator

Press

1/23/13

AR01635829

1B PZR PORV Accum Failed Decay Test

3/19/14

AR02454767

NOS ID: No CA to Correct an NRC NCV

2/18/15

IR298958

SSD&PC: Inaccurate Setpoints Referenced in BYR97-034

6/30/05

AR 01546621

Inadequate 50.59 for EC 385829 (SXCT Tornado Missiles)

8/14/13

AR295141295141

Ssd&pc Question on Tornado Anaylsis Supporting UFSAR

Stmnt

1/28/05

AR1677584

Clarification Needed on UHS Passive Failure Design

7/1/14

AR1567903

NRC Question and Feedback on UHS Temperature Analysis 10/3/13

AR1677513

UFSAR Section 2.4.11.6 Needs Revision

7/1/14

AR1677646

Recommendation from UHS Assessment

7/1/14

AR1546621

Inadequate 50.59 for EC 385829

2/9/12

AR2406579

Failed Spider Bearing on 0A SX Makeup Pump

11/4/14

AR1269014

Obsolete SX Makeup Pump D/O Storage Tank Level

Indicator

9/28/11

AR2437508

Review of Flow Anomaly On 0B SX Makeup

1/14/15

AR2448283

0A SX MU Failed Surveillance

2/5/15

DRAWINGS

Number

Description or Title

Revision

S-529

Essential Service Cooling Tower Drainage Duct Plan,

Section Details

H

6E-0-4030SX09

Schematic Diagram - Essential Service Water Make-up

Pump 0A 0SX02PA

P

6E-0-4030SX23

Schematic Diagram - Essential Service Water Make-up

Pump 0A Control Cabinet (Diesel Driven) 0SX02JA

S

6E-0-4030SX24

Schematic Diagram - Essential Service Water Make-up

Pump 0A Control Cabinet (Diesel Driven) 0SX02JA

Annunciator

F

6E-0-

4030CW11

Schematic Diagram - Essential service Water Cooling Tower

0A & 0B Well Water Make-up Valves 0CW100A & B

D

6E-0-

4030WW01

Schematic Diagram - Deep Well Pump 0A - 0WW01PA

M

6E-0-

4030WW02

Schematic Diagram - Deep Well Pump 0B - 0WW01PB

H

6E-0-

4030WW05

Schematic Diagram - Essential service Water Cooling Tower

0A & 0B Circulating Water Make-up Valves 0WW019A & B

E

6E-1-4001A

Station One Line Diagram

P

6E-1-4001E

Station Key Diagram

O

6E-1-4002E

Single Line Diagram - 120V AC ESF Instrument Inverter Bus

111 and 113, 125V DC ESF Distribution Center 111

K

6E-1-4007A

Byron - Unit 1 - Key Diagram 480V ESF Substation Bus

131X (1AP10E)

M

6E-1-4010A

Key Diagram - 125V DC ESF Distribution Center Bus 111

(1DC05E) Part 1

M

9

DRAWINGS

Number

Description or Title

Revision

6E-1-4010B

Key Diagram - 125V DC ESF Distribution Center Bus 111

(1DC05E) Part 2

G

6E-1-4010C

Key Diagram - 125V DC Non Safety Related Distribution

Panel 113 (1DC05EB)

K

6E-1-4030DC05

Schematic Diagram - 125 VDC ESF Distribution Center, Bus

111, Part 1, 1DC05E

U

6E-1-4030IP01

Schematic Diagram 7.5KVA Fixed Frequency Inverter for

Instrument Bus 111 (1IP05E)

0

6E-1-4030RC31

Schematic Diagram - Reactor Coolant System High Pressure

& Low Temperature Control & Alarms

G

6E-1-4030RH02

Schematic Diagram - Residual Heat Removal Pump 1B -

1RH01PB

N

6E-1-4030RY14

Schematic Diagram - Pressurizer Pressure & Level Control

Safety Related & Non-Safety Related (Div 12)

F

6E-1-4030RY17

Schematic Diagram - Pressurizer Power Relief Valves -

1RY455A & 1RY456; Pressurizer Relief Tank Primary Water

Supply Isolation Valve - 1RY8030; Pressurizer Relief Tank

Drain Isolation Valve 1RY8031

V

6E-1-4031RC26

Loop Schematic Diagram - Reactor Coolant System Cold

Overpressurization System Control 1A & 1D Control Cabinet

5 & 6

S

6E-1-4031RY15

Loop Schematic Diagram - Pressurizer Pressure & Level

Control Cabinet 6 (1PA06J) Part 1

O

6E-1-4031RY19

Loop Schematic Diagram - Pressurizer Pressure Safety

Valve Discharge Temp & Pressure Control (ITE-0464)

Control Cabinet 7 (1PA07J)

F

M-42 Sh. 6

Diagram of Essential Service Water

BC

M-60 Sh. 5

Diagram of Reactor Coolant

AO

M-2042 Sh. 5

P&ID/C&I Diagram ESS Service Water System - SX

F

6E-0-1003

Duct Runs, Outdoor Plan, Southeast Area

AC

6E-0-1004

Duct Runs, Outdoor Plan, Southwest Area

Y

6E-0-1009

Duct Runs, Sections

F

6E-0-3502

Electrical Installation, ESW Cooling Tower 0A Plan -

Switchgear Room, Elev. 874-6

AZ

6E-0-3502CT1

Conduit Tabulation, ESW Cooling Tower 0A Plan -

Switchgear Room, Elev. 874-6

T

6E-0-3502D01

Electrical Installation, ESW Cooling Tower 0A Switchgear

Room Partial Plans and Sections

N

6E-0-3507

Electrical Installation, ESW Cooling Tower 0B Plan -

Switchgear Room, Elev. 874-6

BN

6E-0-3507CT1

Conduit Tabulation, ESW Cooling Tower 0B Plan -

Switchgear Room, Elev. 874-6

Y

6E-0-3507D01

Electrical Installation, ESW Cooling Tower 0B Switchgear

Room Partial Plans and Sections

W

6E-0-4030SX01

Schematic Diagram, Essential Service Water Cooling Tower

0A, Fan 0A

V

6E-0-3680

Duct Run Routing Outdoor - West of Station

AC

10

DRAWINGS

Number

Description or Title

Revision

6E-0-4030SX02

Schematic Diagram, Essential Service Water Cooling Tower

0A, Fan 0B

U

6E-0-4030SX03

Schematic Diagram, Essential Service Water Cooling Tower

0A, Fan 0C

U

6E-0-4030SX04

Schematic Diagram, Essential Service Water Cooling Tower

0A, Fan 0D

W

6E-0-4030SX05

Schematic Diagram, Essential Service Water Cooling Tower

0B, Fan 0E

V

6E-0-4030SX06

Schematic Diagram, Essential Service Water Cooling Tower

0B, Fan 0F

W

6E-0-4030SX07

Schematic Diagram, Essential Service Water Cooling Tower

0B, Fan 0G

W

6E-0-4030SX08

Schematic Diagram, Essential Service Water Cooling Tower

0B, Fan 0H

W

6E-1-4001A

Station One Line Diagram

P

6E-1-4006B

Key Diagram, 4160V ESF Switchgear Bus 142

J

6E-1-4008AN

Key Diagram, 480V ESW Cooling Tower ESF MCC 132Z1

R

6E-1-4012A

Key Diagram, 120 Vac Instrument Bus 111

W

6E-1-4018B

Relaying & Metering Diagram, 4160 ESF Switchgear Bus

142

U

6E-1-

4030AP115

Schematic Diagram, Tripping Circuit, 480V ESW Cooling

Tower MCC 131Z1A, 132Z1A

A

6E-1-4030RY17

Schematic Diagram, Pressurizer Power Relief Valve 1RV456

V

6E-1-4030SI02

Schematic Diagram, Safety Injection Pump 1B

N

6E-1-4030SI14

Schematic Diagram, Containment Sumps 1A and 1B

Isolation Valves SI8811A & B

Q

6E-1-4031VP11

Loop Schematic Diagram [containment inside/outside

differential pressure]

K

M-61, Sh. 1B

Diagram of Safety Injection

AX

M-136, Sh. 1

Diagram of Safety Injection

BB

M-63, Sh. 1A

Diagram of Fuel Pool Cooling and Clean up

BI

S-1404

Refueling Water Storage Tank Sections & Details

I

M-60, Sh. 8

Diagram of Reactor Coolant

AA

98Z512-001-2,

Sh. 1

Pressurizer PORV Air Relief Valve

0

M-60, Sh.5

Diagram of Reactor Coolant

AO

10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)

Number

Description or Title

Date

6G-97-0110

DCP 9600355 ESW Cooling Tower Basin Level Switch

7/3/97

EC385829

Tornado Missile Design Basis for the Essential Service

Water Cooling Tower

0

6G-11-004

Tornado Missile Design Basis for the Essential Service

Water Cooling Towers

2/9/12

EC385951

Multiple Spurious Operation - Scenario 14, 1SI8811A/B

12/9/11

6E-05-0172

UFSAR Change Package (DRP)11-052

11/16/05

11

10 CFR 50.59 DOCUMENTS (Screenings/Safety Evaluations)

Number

Description or Title

Date

6E-15-035

Increase Pressurizer PORV tank Operating Pressure to

Increase Margin for PORV Operation (Unit 1)

0

6H-00-0155

Technical Requirements Manual (TRM) Revision to Delete

TLCO 3.4.a, Pressurizer Safety Valves-Shutdown

9/19/00

MISCELLANEOUS

Number

Description or Title

Date or

Revision

IST Program Plan - Service Water System

8/26/14

Standing Order 15-020

Emergency Operating Procedure Cold Leg Recirc.

5/15/15

DW-09-004

ERG Feedback

2/27/09

Stewart & Stevenson Certificate of Conformance for Battery

Chargers Serial No. 2165, 2167, 2170, 2174, 4 Batterrie 20

Cells/Set and 8 Battery Racks, Purchase Order No. 203731

11/4/81

06EN003246

FLT Series Flex Switch - Flow, Level, Temperature Switch

Monitor

2

01492090-03

Level 3 OPEX Evaluation - NRC IN 2013-05: Battery

Expected Life and Its Potential Impact on Surveillance

Requirements

5/16/13

CQD-009436

Seismic Qualification Test Report for Nife Ni-Cad Batteries

H-410 (1,2 AF01EA-A, EA-B, EB-A, EB-B/0SX02EA, EB-A,

EC-A, ED-A

8/17/83

CQD-012527

Review of Seismic Qualification Test Report for Battery

Chargers (1&2 DC03E, 04E)

10/2/13

CQD-049161

Justification for the Application of Permatex Form A Gasket

with EPT Diaphragms

1

CQD-200164

Dynamic Qualification of Battery Chargers 0SX02EA-1

through 0SX02ED-1; 1,2AF01EA-1 and 1,2AF01EB-1

5/29/86

NEC-06-6066

Procurement of Safety Related 125 Volt Batteries

B

604990-70-F1

Reliance Electric Dimension Sheet [SX Cooling tower fan

motor data sheet]

4/4/78

EQ-GEN023

EQ Binder for NAMCO EA180 limit switches

13

EC-397415

EQ Evaluation - Pressurizer PORV Diaphragm Design

Pressure

0

EQER-06-98-

002

EQ Evaluation for PORVs 1(2) FSV-RY-455A & 1(2)FSV-RY-

456

2/29/99

Low Temperature Protection (LTOP) System Evaluation for

Byron and Braidwood Units 1 and 2 Measurement

Uncertainty Recapture (MUR) Power Uprate Program

9/7/10

Simulator Work

Request 13961

PZR PORV Testing reveals lower than design flow

4/25/12

Byron Unit 1 Pressure and Temperature Limits Report

3/14

EC 381986

Summary of the Design and Licensing Basis for Inadvertent

ECCS Actuation at Power

0

12

MODIFICATIONS

Number

Description or Title

Date or

Revision

EC394865

Ultimate Heat Sink Capability with Loss of Essential Service

Water Cooling Tower Fans

2

EC385829

UHS Capability with Loss of SX Fans Due to Tornado

Missiles

2/14/12

M6-1(2)-87-142

Install Fan Cooling to Instrument Power Inverter Cubicles

10/17/90

EC385951

Multiple Spurious Operation - Scenario 14, 1SI8811A/B

12/9/11

EC388735

Detailed Review of FC Purification System for Use of Non

Safety Related Portion Connected to Safety Related Piping

0

EC396016

Increase U1 Pressurizer PORV Accumulator Tank Operating

Pressure to Increase number of PORV Open/Close Cycles

from Accumulator

0

OPERABILITY EVALUATIONS

Number

Description or Title

Date 13-001

Capacity of the Pressurizer PORV Air Accumulator During

Natural Circulation Cooldown

5 13-007

Ultimate Heat Sink Capability with Loss of Essential Service

Water Cooling Tower Fans

1

PROCEDURES

Number

Description or Title

Revision

1BOA PRI-5

Control Room Inaccessibility

108

1BOA ELEC-5

Local Emergency Control of Safe Shutdown Equipment

106

0BOA PRI-7

Loss of Ultimate Heat Sink Unit 0

1

1BOA PRI-7

Essential Service Water Malfunction Unit 1

106

1BEP ES-1.3

Transfer to Cold Leg Recirculation Unit 1

204

1BCA-1.2

LOCA Outside Containment Unit 1

200

OP-AA-102-106

Operator Response Time Program

3

OP-BY-102-106

Operator Response Time Program at Byron Station

7

1BOA S/D-2

Shutdown LOCA Unit 1

105

1BOSR XRS-Q1 Unit One Remote Shutdown Panel Quarterly Surveillance

13

1BFR-H1

Response to Loss of Secondary Heat Sink Unit1

203

0BHSR 8.4.2-1

Unit Zero Comprehensive Inservice Testing (IST)

Requirements for Essential Service Water Makeup Pump 0A

8

0BHSR SX-1

Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test

0

0BHSR SX-5

0A SX Makeup Pump Battery Bank D Capacity Test

0

0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin

0A Level Switch (SX)

7

0BOSR Z.7.a.2-

1

Unit Common Deepwell Pump Operability Monthly

Surveillance

1

0BOSR 7.9.6-1

Essential Service Water Makeup Pump 0A Monthly

Operability Surveillance

32

0BVSR SX-1

Unit 0 0A SX Makeup Pump Battery Bank A Capacity Test

3

0BVSR SX-4

Unit 0 0A SX Makeup Pump Battery Bank D Capacity Test

3

0BVSR WW-1

Biennial Deep Well Pump Structure Inspection

2

1BHSR 8.4.2-1

Unit 1 Bus 111 125V Battery Charger Operability

1

13

PROCEDURES

Number

Description or Title

Revision

1BHSR 8.4.3-1

Unit 1 125 Volt Battery Bank 111 Service Test

3

1BHSR 8.6.6-1

Unit 1 Battery 111 125 Volt Battery Bank 5 Year Modified

Performance Test

0 & 2

1BHSR AF-1AA

Unit 1 1B Diesel Aux Feed Pump Battery Bank A Battery A

(1AF01EA-A) Capacity Test

1

1BOA ELEC-1

Loss of DC Bus Unit 1

103

1BOSR 8.4-1

125V DC Bus 111 Load Shed When Cross-Tied to DC Bus

211

12

2BHSR 8.4.2-1

Unit 2 Bus 211 125V Battery Charger Operability

1

BISR 3.1.10-206 Pressurizer Pressure Protection Channel II (RY) Test Report

Package)

8

BISR 3.1.10-207 Pressurizer Pressure Protection Channel III (RY) Test Report

Package)

8

BISR 4.12.8-200 Wide Range Reactor Coolant Pressure Loop 1A Hot Leg

(RC)

7

BOP-AP-93

MCC 035-2 Outage

1

BOP SX-3

Essential Service Water Make-up Pump Startup

30

BOP SX17

Shutdown of SX Makeup Pump Battery Chargers

3

BOP SX18

Placing the SX Makeup Pump Battery Chargers in

Operation/Equalize

8

CC-AA-308

Control and Tracking of Electrical Load Changes

4

ER-AA-310-

1004

Maintenance Rule - Performance Monitoring

13

MA-BY-026-

1001

Seismic Housekeeping

2

MA-BY-721-060

125 Volt Battery Bank 18 Month Surveillance

11

MA-BY-721-061

125 Volt Battery Bank Quarterly Surveillance

12 & 15

MA-BY-723-053

Station Battery Charger 18 Month Surveillance

18

MA-BY-723-

053-001

0B SX Makeup Pump A Battery Charger 0SX02EA Battery

Charger Test

0

MA-BY-723-

053-002

0B SX Makeup Pump D Battery Charger 0SX02ED Battery

Charger Test

1

MA-BY-723-

053-003

0B SX Makeup Pump B Battery Charger 0SX02EB Battery

Charger Test

0

MA-BY-723-

053-004

0B SX Makeup Pump C Battery Charger 0SX02EC Battery

Charger Test

1

MA-BY-723-054

Nickel Cadmium Battery Bank Surveillance

14

0BHSR SX-3

Annual Surveillance for Essential Service Water Cooling

Tower Fan Motors

2

0BOSR 7.9.4-1

ESW Cooling Tower Fan Monthly Surveillance

6

1BOSR IP-R1

Instructions to Cycle Instrument Bus 111 Distribution Panel

Molded Case Circuit Breakers

0

1BOSR 3.2.9-1

Train A Manual Safety Injection Initiation and Manual Phase

A Initiation Surveillance

22

1BOSR 8.9.1-2

Unit 1 ESF Onsite Power Distribution Weekly Surveillance

Division 12

10

BOP MP-19

Adjusting Reactive Load

12

14

PROCEDURES

Number

Description or Title

Revision

ER-AA-300-150

Cable Condition Monitoring Program

1

MA-AA-723-330

Electrical Testing of AC Motors Using Baker Instrument

Advanced Winding Analyzer

3

MA-AA-725-102

Preventative Maintenance on Westinghouse Type DHP 4kv,

6.9kv, and 13.8kv Circuit Breakers

8

1BGP-100-5

Plant Shutdown and Cooldown

68

BOP FC-7

Startup of the Purification System to Purify or Recirculate the

Refueling Water Storage Tank

13

1BEP ES-0.2

Natural Circulation Cooldown Unit 1

202

BAR 1-12-C4

RCS Press High at Low Temp

2

1BOSR 5.C.3.1

Safety Injection System Cold Leg Flow Balance

3

2BOSR 0.1-4

Unit 2 Mode 4 Shiftly and Daily Operating Surveillance

25

1BOSR 0.1-

1,2,3

Unit 1 Mode 1,2,3 TRM and Tech Spec and Non Tech Spec

Data Sheet D5

56

BIP 2500-088

Calibration of Refueling Water Storage Tank Outlet

Temperature Loop (SI)

5

1BOSR

5.5.8.SI.5-2C

Unit 1 Comprehensive Inservice Testing (IST) Requirements

for Safety Injection Pump 1SI01PB

5

1BOSR

5.5.8.SI.5-2a

Unit 1 Group A Inservice Testing (IST) Requirements for

Safty Injection Pumps 1SI01PB

1

0BOSR NLO-

TRM

Non-Licensed Operator TRM, ISFSI, and NPDES Data Daily

Logs

18

1BGP 100-5

Plant Shutdown and Cooldown

68

BOP SX-T2

SX Basin Level Tree

5

BOP SX-11

SXCT Fan Startup

9

BOP SX-12

Makeup to an Essential Service Water Mechanical Draft

Cooling Tower

10

0BOA ENV-1

Adverse Weather Conditions

114

1BOA PRI-5

Control Room Inaccessibility

108

1BOA ELEC-5

Local Emergency Control of Safe Shutdown Equipment Unit

1

106

1BEP-1

Reactor Trip or Safety Injection

207

1BEP ES-0.1

Reactor Trip Response

203

1BEP ES-0.2

Natural Circulation Cooldown

202

BOP RH-6

Operation of the RH System In Shutdown Cooling

46

OP-AA-108

Oversight and and Control of Operator Burdens

2

BOP CC-1

Component Cooling Water System Startup

12

SURVEILLANCES (Completed)

Number

Description or Title

Date or

Revision

0BHSR SX-1

0A SX Makeup Pump Battery Bank A Capacity Test

6/14/12

0BHSR SX-5

0A SX Makeup Pump Battery Bank D Capacity Test

9/14/12

0BISR 7.a.4-200 Calibration of Essential Service Water Cooling Tower Basin

0A Level Switch (SX)

8/7/14

0BOSR

5.5.8.SX.5-1c

0SX02PA Comprehensive IST Req for SX Makeup Pump

2/5/15

15

SURVEILLANCES (Completed)

Number

Description or Title

Date or

Revision

0BOSR 7.9.6-1

0A SX Makeup Pump Operability Surveillance

3/12/13

0BOSR 7.9.6-1

0A SX Makeup Pump Operability Surveillance

2/4/15

0BOSR 7.9.6-1

0A SX Makeup Pump Battery Bank A Capacity Test

3/11/15

0BVSR SX-1

0A SX Makeup Pump Battery Bank A Capacity Test

10/17/06

0BVSR SX-4

0A SX Makeup Pump Battery Bank D Capacity Test

6/19/06

1BHSR 8.4.2-1

Unit 1 Bus 111 125V Battery Charger Operability Test

11/8/11

1BHSR 8.4.2-1

Unit 1 Bus 111 125V Battery Charger Operability Test

9/17/13

1BHSR 8.4.3-1

111 A Train 125V Battery Bank Service Test

3/20/14

1BHSR 8.6.6-1

111 A Train 125V Battery Bank 5Yr Capacity Test

4/1/08

1BHSR 8.6.6-1

111 A Train 125V Battery Bank 5Yr Capacity Test

9/11/12

BISR 3.1.10-206 Pressurize Pressure Protection Channel 2 Loop 1RY-0456

4/6/15

BISR 3.1.10-207 Pressurizer Pressure Protection Channel 3 Loop 1RY-0457

4/13/15

BISR 4.12.8-200 Cal of Wide Range RC Pressure Loop 1A Hot Leg 1P-406

4/28/14

M A-BY-721-

060

125 Volt Battery Bank Quarterly Surveillance

9/11/12

M A-BY-721-

060

125 Volt Battery Bank Quarterly Surveillance

3/20/14

M A-BY-721-

061

125 Volt Battery Bank 18 Months Surveillance

9/16/12

M A-BY-721-

061

125 Volt Battery Bank 18 Months Surveillance

3/22/14

M A-BY-721-

061

125 Volt Battery Bank 18 Months Surveillance

9/15/14

M A-BY-721-

061

125 Volt Battery Bank 18 Months Surveillance

12/16/14

MA-BY-723-053

EM 18 Month Battery Charger Surveillance - 0B SX M/U

Pump 0B Batt Chgr # 0SX02EB-1

1/15/13

MA-BY-723-053

EM 18 Month Battery Charger Surveillance - 0A SX M/U

Pump 0A Batt Chgr # 0SX02EA-1

2/6/14

MA-BY-723-053

EM 18 Month Battery Charger Surveillance - 0A SX M/U

Pump 0D Batt Chgr # 0SX02ED-1

8/5/14

MA-BY-723-053

EM 18 Month Battery Charger Surveillance - 0B SX M/U

Pump 0C Batt Chgr # 0SX02EC-1

3/27/15

MA-BY-723-

053-001

0B SX Makeup Pump A Battery Charger 0SX02EA Battery

Charger Test

2/4/14

MA-BY-723-

053-002

0B SX Makeup Pump D Battery Charger 0SX02ED Battery

Charger Test

8/6/14

MA-BY-723-

053-003

0B SX Makeup Pump B Battery Charger 0SX02EB Battery

Charger Test

1/15/13

MA-BY-723-

053-004

0B SX Makeup Pump B Battery Charger 0SX02EC Battery

Charger Test

3/27/15

MA-BY-723-054

Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel

SX- 0SX02ED-A

8/5/14

MA-BY-723-054

Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel

SX- 0SX02EA-A

9/5/14

16

SURVEILLANCES (Completed)

Number

Description or Title

Date or

Revision

MA-BY-723-054

Quarterly 24 VDC NiCad Battery Surveillance M/U Diesel

SX- 0SX02EA-A

10/30/14

MA-BY-723-054

NiCad Battery Surveillance M/U Diesel SX- 0SX02E

11/6/14

WO01579586

Unit 1 Pressurizer PORV Accumulator Press Decay Test

3/19/14

WO01774289

SI pump ECCS Flow Balance Test (After System Alteration)

10/5/14

WO01243123

OP 2BOSR 5.C.3-2 Unit 2 SI to HL Flow Balance

4/2/10

WO01243120

Unit 1 Safety Injection System Hot Leg Flow Balance

9/4/09

WO01243119

SI pump ECCS Flow Balance Test (After System Alterations)

9/4/09

WO01582134

1SI01PB Comprehensive IST RQMTS For Safety Injection

Pump

1/28/14

WO01425077

1SI01PB Comprehensive IST RQMTS For Safety Injection

Pump

8/9/12

WO01451296

STT/PIT For 1RY455A and 1RY456

9/28/12

WO01585186

STT/PIT For 1RY455A and 1RY456

2/7/14

PMID 140860

0BOSR 7.9.6-1 0A SX Makeup Pump Operability Review

4/18/13

TRAINING DOCUMENTS

Number

Description or Title

Date or

Revision

BY 14-2-2

Requalification Simulator Scenario Guide

1

10-1-5

Requalification Simulator Scenario Guide

0

P1-SPBY-1401

BEP-1, BEP-2

2

OPBYLLORT5

BFR H, Heat Sink Series

8/28/13

WORK DOCUMENTS

Number

Description or Title

Date or

Revision

00961518

Replace Entire Solenoid to Meet EQ Requirements - EM

ASCO Solenoid Valve Replacement (EQ) - 1FSV-RY456-2

4/1/08

01057719

Test All MCC Breakers in This MCC in a Bus Outage -

Assembly 480V RSH MCC 035-2

5/2813

01094421

Replace Float and Equalize Voltage Adjustment

Potentiometer

11/29/11

01490541

111 A Train 125 V Battery Charger Operability Test

9/18/13

01536066

Essential Service Water Cooling Tower Level 0SX-064 IM

Calibration

3/3/14

01558514

B1R19 Replace 111 ESF Batteries

3/29/14

01578627

Test Replace Actuator Hose 1RY456

3/14/14

01599481

Calibration of Wide Range RC Pressure Loop 1A Hot Leg

Pressure Loop 1RC-0406

4/28/14

01600072

Clean/Inspect/Check Connections on DC Bus/Panel 111 and

Perform Therm. on Distr. Panel Breakers

3/30/14

01621944

Support Diver Insp./Cleaning RSH South 0B Intake/SED PM

ID 30

6/25/13

01652815

211 A Train 125 V Battery Charger Operability Test

5/14/14

17

WORK DOCUMENTS

Number

Description or Title

Date or

Revision

01017127

Perform Dynamic Baker Testing - 1SI01PB Motor

8/26/08

01085998

Perform Static Baker Test and MA-AA-723-310 Inspection of

SX Cooling Tower Fan Motor 0SX03CC

4/27/09

01117942

PM for 4kV Bus 142, breaker ACB 1425Z

9/21/09

01119375

Lightning Protection System 5 Year Inspection [Includes

Document 1 attachment to WO]

11/18/09

01120491

PM for 4kV Bus 142, breaker ACB 1424

9/29/09

01129028

Inspection of SX Cooling Tower Fan Motor 0SX03D

10/28/09

01136617

PM for 4kV Bus 142, breaker ACB 1422

3/15/09

01141049

Perform Static Baker Test and MA-AA-723-310 Inspection of

SX Cooling Tower Fan Motor 0SX03CB

3/19/10

01216011

Perform Dynamic Baker Testing - 1SI01PB Motor

8/26/10

01258194

Calibration of OLS-XS097

1/6/11

01265167

PM for 4kV Bus 142, breaker ACB 1421

10/26/11

01287321

Inspection of SX Cooling Tower Fan Motor 0SX03CE

9/1/11

01299949

Containment Inside/Outside DP Loop 1VP-231

6/30/11

01343409

Inspection of SX Cooling Tower Fan Motor 0SX03CH

11/21/11

01367641

PM for 4kV Bus 142, breaker ACB 1SI01PB

2/21/12

01372340

PM for 4kV Bus 142, breaker ACB 1422

11/11/12

01382271

Perform Static Baker Test and MA-AA-723-310 Inspection of

SX Cooling Tower Fan Motor 0SX03CC

6/12/12

01384474-01

Inspection of SX Cooling Tower Fan Motor 0SX03CF

11/26/12

01380551-01

Inspection of SX Cooling Tower Fan Motor 0SX03CA

6/8/12

01393782

Inspection of SX Cooling Tower Fan Motor 0SX03CG

10/30/11

01401180

Calibration of OLS-XS097

8/24/12

01419437

PM for 4kV Bus 142, breaker ACB 1425Z

9/23/12

01419758

Test All MCC 132Z1 Breakers - Oden Testing

9/23/12

01420365

PM for 4kV Bus 142, breaker ACB 1424

9/23/12

01421751

Unit 1 Train A Manual SI and Manual Phase A Initiation

Surveillance

9/11/12

01433378-01

Inspection of SX Cooling Tower Fan Motor 0SX03CD

3/12/13

01453350

Containment Inside/Outside DP Loop 1VP-231

3/19/15

01471461

Calibration of OLS-XS096

9/6/11

01473594-01

Perform Static Baker Test and MA-AA-723-310 Inspection of

SX Cooling Tower Fan Motor 0SX03CB

5/17/13

01480666-01

Testing of Power Cables 2AP178

4/20/13

01486337

Calibration of OLS-XS096

2/8/13

01538412

PM for 4kV Bus 142, breaker ACB 1423

11/30/13

01564018-01

Testing of Power Cables 1AP178 (North SX towers)

3/18/14

01569220

Calibration of OLS-XS097

6/2/14

01585654-02

Testing of Power Cables 2AP183 (Bus 242, Cubicle 20)

10/6/14

01615167

Calibration of OLS-XS096

8/8/14

01621573-01

Perform Surveillance of SX Cooling Tower Fan Motor

0SX03CE

9/16/14

01639602

PM for 4kV Bus 142, breaker ACB 1421

11/19/14

18

WORK DOCUMENTS

Number

Description or Title

Date or

Revision

01644724-01

Perform Surveillance of SX Cooling Tower Fan Motor

0SX03CH

11/20/14

01652671

PM for 4kV Bus 142, breaker ACB 1SI01PB

3/29/15

01667453

Calibration of 1SX-015 Loop

2/17/15

01680518

Calibration of 1SX-016 Loop

3/31/15

01543156

Calibration of 2SX-015 Loop

2/12/14

01716477

Calibration of 2SX-016 Loop

3/23/15

01734645-01

SX Cooling Tower Fan Motor Surveillance - 0SX03CG

11/4/14

01734645-02

SX Cooling Tower Fan Motor Surveillance & Triannual

Inspection - 0SX03CG

11/5/14

01760801

PM for 4kV Bus 142, breaker ACB 1423

1/30/15

01805922

ESW Cooling Tower Fan Monthly Surveillance

3/10/15

01419750

Replace Actuator Diaphragm

9/20/12

01515448

Refueling Water Storage Tank Outlet Temp LOOP 1SI-058

2/24/14

01186461

Refueling Water Storage Tank Outlet Temp LOOP 1SI-058

4/21/10

01544629

Calibration of Refueling Water Storage Tank (RWST) level

9/20/13

01374939

Calibration of Refueling Water Storage Tank (RWST) level

2/28/12

00915331

Minor Leakage from 0A WW Pump Well Head

8/20/08

00768385

0B WW PP 10 Year Rebuild

11/09/06

01754077

Received 0A SX Make Up Pp Trouble alarm

7/17/14

00921203

SXCT Fan Assembly Replacement EC 356417

8/23/12

00921198

SXCT Fan Assembly Replacement EC 356417

1/10/07

01634644

Replace Start Contactor Relay K1B at 0SX02PA-B

4/17/13

01682260

Support Diver Insp/Cleaning SXCT South 0B Basin

10/31/14

01691008

Support Diver Insp/Cleaning SXCT South 0A Basin

11/14/14

19

LIST OF ACRONYMS USED

CDF

Delta Core Damage Frequency

AC

Alternating Current

ACIT

Action Tracking Item

ADAMS

Agencywide Document Access Management System

CA

Corrective Action Tracking Item

CAP

Corrective Action Program

CAQ

Condition Adverse to Quality

CCDP

Conditional Core Damage Probability

CDBI

Component Design Bases Inspection

CFR

Code of Federal Regulations

CNMT

Containment

CS

Containment Spray

CV

Chemical and Volume Control

DBA

Design Basis Accident

DC

Direct Current

DRP

Division of Reactor Projects

DRS

Division of Reactor Safety

EC

Engineering Change

ECCS

Emergency Core Cooling System

EOP

Emergency Operating Procedure

ERG

Emergency Response Guideline

FSAR

Final Safety Analysis Report

gpm

Gallons per Minute

IMC

Inspection Manual Chapter

IN

Information Notice

IR

Inspection Report

LCO

Limiting Condition for Operation

LERF

Large Early Release Frequency

LLC

Limited Liability Corporation

LOCA

Loss of Coolant Accident

LOOP

Loss of Offsite Power

LTOP

Low Temperature Overpressure Protection

MCC

Motor Control Center

MOV

Motor-Operated Valve

NCV

Non-Cited Violation

NEI

Nuclear Energy Institute

NOV

Notice of Violation

NPSH

Net Positive Suction Head

NRC

U.S. Nuclear Regulatory Commission

NRR

Nuclear Reactor Regulation

PARS

Publicly Available Records System

PM

Preventive Maintenance

PORV

Power-Operated Relief Valve

PRA

Probabilistic Risk Assessment

RASP

Risk Assessment Standardization Project

RCS

Reactor Coolant System

RHR

Residual Heat Removal

RIS

Regulatory Issue Summary

RWST

Refueling Water Storage Tank

20

SAPHIRE

Systems Analysis Programs for Hands-on Integrated Reliability Evaluations

SDP

Significance Determination Process

SI

Safety Injection

SPAR

Standardized Plant Analysis Risk

SR

Surveillance Requirement

SRA

Senior Reactor Analyst

SSC

System, Structure, and Component

SSDPC

Safety Systems Design, Performance and Capability Inspection

SX

Emergency Service Water

SXCT

Emergency Service Water Cooling Tower

TORMIS

Tornado Missile Risk Evaluation Methodology

TS

Technical Specification

UFSAR

Updated Final Safety Analysis Report

UHS

Ultimate Heat Sink

URI

Unresolved Item

VAC

Volts Alternating Current

VDC

Volts Direct Current

WOG

Westinghouse Owners Group

B. Hanson

-3-

In accordance with Title 10 of the Code of Federal Regulations (10 CFR) 2.390, Public

Inspections, Exemptions, Requests for Withholding, of the NRC's "Rules of Practice," a copy

of this letter, its enclosure, and your response (if any) will be available electronically for public

inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)

component of the NRC's Agencywide Documents Access and Management 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/

Christine A. Lipa, Chief

Engineering Branch 2

Division of Reactor Safety

Docket Nos. 50-454; 50-455

License Nos. NPF-37; NPF-66

Enclosures:

(1) Notice of Violation

(2) IR 05000454/2015008; 05000455/2015008;

cc w/encl: Distribution via LISTSERV

DISTRIBUTION w/encl:

Kimyata MorganButler

RidsNrrDorlLpl3-2 Resource

RidsNrrPMByron Resource

RidsNrrDirsIrib Resource

Cynthia Pederson

Darrell Roberts

Richard Skokowski

Allan Barker

Carole Ariano

Linda Linn

DRPIII

DRSIII

Jim Clay

Carmen Olteanu

ROPreports.Resource@nrc.gov

ADAMS Accession Number ML15203A042

Publicly Available

Non-Publicly Available

Sensitive

Non-Sensitive

To receive a copy of this document, indicate in the concurrence box "C" = Copy without attach/encl "E" = Copy with attach/encl "N" = No copy

OFFICE

RIII

RIII

RIII

RIII

NAME

MJones for NFeliz-Adorno:cl

CLipa:

DATE

07/21/15

07/21/15

OFFICIAL RECORD COPY