ML14069A091
| ML14069A091 | |
| Person / Time | |
|---|---|
| Site: | MIT Nuclear Research Reactor |
| Issue date: | 02/21/2014 |
| From: | Moncton D E MIT Nuclear Reactor Laboratory |
| To: | Document Control Desk, Office of Nuclear Material Safety and Safeguards |
| References | |
| 1-2013-004, EA-13-170 | |
| Download: ML14069A091 (5) | |
Text
MIT NUCLEAR REACTOR LABORATORY AN MIT INTERDEPARTMENTAL CENTERDavid E. Moncton Mail Stop: NW12-208a Phone: 617 253-8333Director 138 Albany Street Fax: 617 253-7300Cambridge, MA 02139 Email: dem@mit.edu February 21, 2014ATTN: Document Control DeskDirector, Division of Spent Fuel Storage and Transportation Office of Nuclear Material Safety and Safeguards U.S. Nuclear Regulatory Commission Washington, DC 20555-0001
Subject:
Response to Apparent Violation in NRC Investigation No. 1-2013-004; EA-13-170
Reference:
Letter from Mark Lombard, Director Division of Spent Fuel Storage andTransportation, Office of Nuclear Material Safety and Safeguards to Dr. David E.Moncton,
- Director, Massachusetts Institute of Technology, Nuclear ReactorLaboratory, U.S. Nuclear Regulatory Commission Office of Investigations ReportNo. 1-2013-004.
Dear Sir or Madam:
On January 31, 2014, the Massachusetts Institute of Technology
("MIT") NuclearReactor Laboratory
("NRL") received the referenced letter. By this letter, the U.S. NuclearRegulatory Commission
("NRC") informed MIT NRL that based on an NRC investigation, anapparent violation of NRC regulations had been identified.
NRC requested MIT NRL to contactRobert Temps, NRC Senior Safety Inspector, Rules, Inspections,
& Operations Branch within 10days of the date of the letter and notify him NRC whether MIT would attend a Predecisional Enforcement Conference
("PEC"),
utilize Alternative Dispute Resolution, provide a writtenresponse, or accept the violation as characterized in the letter. MIT NRL informed Mr. Tempsby the requested date that its choice was to submit a written response.
On February 7, 2014,counsel for MIT NRL contacted Mr. Temps and requested permission for MIT NRL to provideits written response on February 28, 2014. On February 10, 2014, Mr. Temps notified counselthat the requested extension was approved.
The following constitutes MIT NRL's written response to the apparent violation in NRCInvestigation No. 1-2013-004; EA- 13-170. There are no new regulatory commitments contained in this response.
Should you have any questions concerning this submittal, please contact theundersigned at (617)253-8333.
Document Control DeskFebruary 21, 2014Page 2 of 5I. The Reason for the Apparent Violation A. Background As noted in the referenced letter, the apparent violation occurred in connection with aDecember 2011 shipment of used fuel assemblies from the MIT NRL using the Battelle EnergyAlliance
("BEA") Research Reactor package, referred to as the BRR package.
The BRRpackage is used to transport fuel elements that have been irradiated in various test and researchreactors, including the MIT NRL. The BRR package has three openings:
the entrance throughwhich fuel is loaded and unloaded; a vent port, and a drain port. Butyl rubber o-rings are used toseal each opening.
The loaded BRR package is tested for leakage prior to shipping to ensure theo-rings' integrity.
On December 5, 2011, testing of the BRR package found unacceptable leakage from thedrain port -a penetration at the lower end of the package through which water is drained.Further assessment found that the replacement o-ring sent with the BRR package was not thecorrect part. MIT postponed the shipment and attempted to procure the correct o-ring -RainierNAS 1 523C I ON -from various sources, including Ranier and the BRR package manufacturer and Certificate of Compliance
("CoC") holder, Areva Federal Systems LLC ("AFS").
Rainierinformed MIT that o-ring NAS 1523C 1 ON would not be available for some time. MIT identified and obtained Parker Hannifin o-rings having the correct dimensions and made from butyl rubberMIT believed to be equivalent to the Rainier rubber used in NAS 1523C 1 ON. Equivalency of theParker Hannifin o-ring with the Rainier o-ring was assumed based on the Parker Hannifin o-ringhaving the same material specification (M4AA7 10 A 13 B 13 F 17 F48 Z) as the Rainer rubber,and meeting most of the same testing specifications (i.e., durometer, tensile strength andelongation, heat resistance, compression set, cold temperature resistance).
- However, the ParkerHannifin rubber did not undergo a TRIO cold temperature resilience test. The BRR packagepassed subsequent leak testing after installation of the Parker Hannifin o-ring. MIT informedAFS via email that it procured the Parker Hannifin replacement o-ring and provided AFS theportion of the BRR package Safety Analysis Report ("SAR") that appeared to support theacceptability for using an equivalent o-ring. MIT shipped the BRR package on December 9,2011 without incident.
After the BRR package had left the MIT NRL, AFS informed MIT that because theParker Hlannifin o-ring was not specified in the SAR, shipping the BRR package with that o-ringwould be considered a violation.
AFS also pointed out that the portion of the SAR MITreferenced to support use of an o-ring equivalent to Rainer was not a final SAR version.Accordingly, pursuant to the requirements of 10 CFR §71.95, MIT submitted written reports tothe NRC notifying the NRC that the December 9, 2011 shipment was not in accordance with theBRR package Certificate of Compliance
("CoC").
Although not specified, the use of the ParkerHannifin o-ring was not consistent with CoC drawing 1910-01-01
-SAR, Rev. 4, item 7, whichrequires the drain port seal to be Rainier Rubber R0405-70.
The NRC staff reviewed the MIT's§71.95 report and concluded that "the seals used in the shipment, while from a different manufacturer, are essentially identical to the seals that were specified on the drawings referenced in the certificate of compliance."
Document Control DeskFebruary 21, 2014Page 3 of 5B. Contributing FactorsMIT thereafter reviewed the event and identified a number of factors that contributed tothe error.* Spare / replacement o-rings of the correct size were not included with the BRRpackage shipped to MIT and replacements were not available from any source for aperiod of time. Shipping the wrong o-ring to MIT appears to have been due, at leastin part, to the incorrect o-ring part number being specified on one of the BRRpackage drawings.
" MIT assumed incorrectly that substituting the Parker Hannifin o-ring for the Rainer o-ring to seal the BRR package drain port for the December 9, 2011 fuel shipment wasnot prohibited by Part 71. MIT understands that such a substitution effectively amounted to a design change to the BRR package, and a design change to anapproved package can only be made by the CoC holder after NRC review andapproval.
MIT's assumption arose from a less than full understanding of andsensitivity to the limits placed on Part 71 general licensees, specifically a generallicensee's authority under Part 71 is strictly limited to using the package only underthe terms and of the approved CoC. Contributing to this lack of full understanding was the infrequency of fuel shipments from MIT NRL, and the first-time use of theBRR package.
An additional factor underlying these causes was insufficient sensitivity to the nuclear safety culture traits of "Questioning Attitude,"
"Decision Making,"
and "Work Processes."
" MIT assumed incorrectly that the use of an o-ring which was technically equivalent tothe Rainier o-ring was authorized by the BRR package SAR. MIT's conclusion wasbased on the following language contained in a draft version of the SAR, namely"[t]he butyl rubber compound used for the containment seals is fabricated fromRainier Rubber compound R0405-70
[25], or equivalent material meeting therequirements of ASTM D2000 M4AA710 A13 B13 F17 F48 Z Trace Element."
Thereferenced statement,
- however, does not appear in the final SAR version.
MIT'sreliance on a draft version of the SAR resulted from less than effective documentcontrol processes.
MIT also failed to give sufficient weight to information AFSprovided during the time MIT was assessing how to remedy the receipt of theincorrectly sized o-ring, including AFS' views regarding o-ring specifications contained in the SAR and associated
- drawings, and equivalent o-ring material.
Anadditional factor underlying these issues was insufficient sensitivity to the nuclearsafety culture traits of "Questioning Attitude,"
"Decision Making,"
and "WorkProcesses" as noted above.II. The Corrective Steps That Have Been Taken and the Results AchievedThe following steps have been taken to prevent the recurrence of this and similar events:* In March of 2012, AFS revised the BRR package drawing(s) to identify the correctsize and manufacturer o-ring used to seal the BRR package drain port.
Document Control DeskFebruary 21, 2014Page 4 of 5" In February of 2013, MIT senior management established an expectation for MITNRL management personnel to bring questions or concerns regarding NRC regulatory compliance to the MIT NRL's Compliance Officer for independent review" MIT covered the areas of Nuclear Safety Culture and procedural compliance during the 2013 annual walkthrough examination given to each licensedoperator and senior operator.
" In March of 2013, MIT revised procedure PM 3.3.4.1, "Fuel Shipping Supervisory Checklist."
The procedure was revised to address, among other things, the controland availability of BRR package documents and replacement
/ spare parts.-The revised PM 3.3.4.1 now requires the supervisor responsible for fuel shipmentactivities to verify and document that the most current approved versions of theBRR package SAR and CoC and MIT shipping procedures are readily available and have been uploaded to the NRL master computer file for use by all personnel.
-In addition, MIT has on file and readily available the most current approvedversions of the BRR package SAR and CoC. Also on file and available are themost recent updates of the BRR Fabrication
/ Assembly Drawing # 1910-01-100, 1through 4.-The revised PM 3.3.4.1 also requires confirmation from the sender of the emptyBRR package that a sufficient number of spare parts which meet the requirements of the SAR and CoC will be included with the package.-As an additional precaution, the MIT NRL currently has the following partswhich are listed on BRR Package Assembly SAR Drawing #1910-01-01 Revision4 date-stamped 11/23/2010 Sheet I of 4, and BRR Fabrication
/ AssemblyDrawing #1910-01-100 Revision 2 dated 03/12/2012, Sheet I of 4:" sealing washer NAS1523C-1ON
--two units" sealing washer NAS 1523C-6N
-- four units" O-ring butyl, 20.125 -- one unit" O-ring butyl, 17.88 -- one unitFrom June through September 2013, MIT NRL worked with the other BRR packagestakeholders:
AFS, the U.S. Department of Energy Idaho National Laboratory, andthe University of Missouri Research Reactor Center, to review and update BRRpackage SAR Chapter 7.1, "Procedures for Loading the Package."
Particular focuswas on the steps to perform the BRR package pre-shipment drying and leak testactivities.
-On October 22, 2013, AFS submitted the revised SAR to the NRC for review andrequested it be approved.
- Finally, note that since the occurrence of the event that forms the basis for the NRC'sissuance of the referenced apparent violation, one additional shipment has taken place in fullcompliance with the SAR.
Document Control DeskFebruary 21, 2014Page 5 of 5III. The Corrective Steps That Will Be TakenIn addition to the steps already taken to prevent recurrence, the following actions will betaken:" The individuals who perform the leak tests prior to BRR package shipments (who arecontracted to DOE INL, the owner of the BRR package),
have informed MIT thatafter the BRR package SAR revision is approved by the NRC, they will use theupdated Chapter 7 as the step-by-step procedure for BRR package pre-shipment leaktesting.
This will ensure that such activities occur in strict conformance with theSAR." During the next used fuel shipment from the MIT NRL, MIT will monitor theactivities of the DOE leak test technicians and assess their use of the updated leaktesting procedure (i.e., SAR Chapter 7). MIT will provide their observations to thetechnicians and INL." After the BRR package SAR revision is approved by the NRC, MIT NRL will issuePM 3.3.4.4, "BRR Cask Leak Test Procedure" to align with and refer to the leaktesting steps listed in the revised SAR." To better equip NRL personnel to identify and prevent situations that could result inpotential regulatory violations, MIT will provide training encompassing thefollowing areas and will include a discussion of the events associated with theapparent violation:
-NRC's Nuclear Safety Culture ("NSC") policy, with a particular focus on thefollowing NSC traits:" Personal Accountability;
" Questioning Attitude; and" Decision Making.-The MIT expectation for strict compliance with procedural and regulatory requirements; and-NRC's completeness and accuracy requirement and MIT expectations forimplementation of this requirement.
IV. The Date When Full Compliance Will Be AchievedMIT is presently in full compliance with the NRC regulations and its license conditions controlling the shipment of irradiated nuclear fuel from MIT NRL.Please do not hesitate to contact me if you require further information.
David E. Moncton