ML20028G924

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Responds to Generic Ltr 90-03, Relaxation of Staff Position in Generic Ltr 83-28,Item 2.2 Part 2, 'Vendor Interface for Safety-Related Components.' Util Program Already Includes Elements Contained in Generic Ltr 90-03,per NSSS Vendor
ML20028G924
Person / Time
Site: Beaver Valley
Issue date: 09/25/1990
From: Sieber J
DUQUESNE LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
GL-83-28, GL-90-03, GL-90-3, NUDOCS 9010040030
Download: ML20028G924 (3)


Text

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Y B wuey Power Stat.on SNppingport PA 150774004 xwwo situm i' Vice P pset < Nuoer Group W7) 39M265 September 25, 1990 U. S. Nuclear Regulatory Commission

-Attn: Document control Desk Washington,'DC. 20555 -i l

Reference:

Beaver Valley Power Statien, Unit No. 1 and No. 2 BV-1 Docket No. 50-334, License No. DPR-66 y BV-2 Docket No. 50-412, License No. NPF-73.

Response to Generic Letter No. 90-03 7

Gentlemen:. t This is in response to Generic Letter No. 90-03, " Relaxation of

-Staff Position In Generic Letter 83-28,

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Item 2.2 Part 2; Vendor Interface for Safety-Related Components." Therein the . staff concluded that an adequate vendor interface program should include:, j (a) A program with the NSSS vendor as described in the Vendor t

, Equipment- Technical Information Program (VETIP) ; . INPO l 8.$-010, which covers all the safety-related . components 4 o within the NSSS scope of supply. This program should H . include , provisions for assuring receipt by the licensee of.  ?

all technical information provided-by the NSSS vendor; and (b) A program of periodic contact with the vendors of other key  !

safety-related components not included.in (a) above.

We have conducted a review of our vendor interface programs to determine what changes,. 11 any,,would'be appropriate to address the guidance' provided.by Generic Letter No. 90-03. It has been confirmed

.that our programLalready includes the elements contained in (a)Labove with. respect' to o u'r 'NSSS vendor. 'However, our- administrative ,

controls associated with the interface of other vendors. supplying key

a safety-related components will~ require a revision to incorporate the t elements contained in (b) above. y Revisions.Lto our administrative procedures to modify vendor 1

contact requirements, in keeping;with the-guidance of Generic Letter l

90-03, 'will be implemented by October 15, 1990. These revisions will adopt 'a' good-: faith, documented effort to periodically contact the '

. vendors of key, safety-related components. To support implementation. '

of the above, it is necessary to develop a key safety-related components list .for each unit. This list will be developed by December 314 ,1990.  !

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- 90i0040030 900925 -? Oll!

PDR ADOCK-05000334 , p

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RO pin 30 to-G:n ric Lettor No. 90-03 Page 2 We believe the implementation of our program, as discussed above, will ensure that vendor information for safety-related components is complete, current, and controlled-throughout the life of the plants, i Our programs originally implemented in response to Generic Letter No. I 83-28 have been both difficult to implement and costly to manage. We- l agree with the NRC's conclusion that implementing a formal vendor-interface ' program for every safety-related. component is not practical. Upon implementation of the above, our vendor interface program will- meet both of the eleconts set out in Generic Letter No. l 90-03. ,

If you have any questions regarding this submittal, please call ne or members of my staff. i Sincerely,.

k.

[7. D. eber -l Vice President l Nuclear Group i cc: Mr. J. Beall, Sr. Resident Inspector l Mr. T. T. Martin, NRC Region I Administrator l Mr. A. W. DeAgazio, Project Manager l Mr. R. Saunders (VEPCO) l i

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i COMMONWEALTH OF PENNSYLVANIA) ,

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l COUNTY OF BEAVER )

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'I On this . N day of If , 1990,  !

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-before me, . (1 Notary Public.in and'for said Commonwealth and C rty, p son lly appeared J. D. Sieber, who being,

.dul'y~ sworn, deposed, and said that (1) he is Vice President - Nuclear s of. Duquesne Light, (2) he is duly authorized to execute and file the t foregoing Submittal on behalf of said Company, and (3) the statements j set forth -in the Submittal are true and correct to the best of his

-knowledge, information and belief.

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v mausa Trxey A Baczek, NcLvy Publo SNppngport Boro,Bo,wer My Commssion Expres Aug 16,1 Member, Pennsylvania Assodaban of Nottnes J

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