Monday, July 20, 2015

Three Stage Safety Valves No Longer In Hatch or Pilgrim



As I said, I call the three stage INOP because there was an active defect in the valve and there was no understanding with their failure mechanism. This is called being conservative.   

* * * UPDATE FROM JOHN DeBONIS (VIA EMAIL) TO STEVEN VITTO AT 1256 EDT ON 6/30/15 ***

Curtiss-Wright provided an update to state their root cause analysis findings and corrective actions. Corrective actions are estimated to be completed within 12 months.

"The following plants were supplied 0867F MS-SRVs:

Pilgrim (Model 09J-001) Quantity Shipped = 8

FitzPatrick (Model 09H-001) Quantity Shipped = 4, Quantity on order= 8

Hatch 1 and 2 (Model 09G-001) Quantity Shipped = 24, Quantity on order= 12

"The following plants will be supplied 0867F MS-SRVs:

Hope Creek (Models 14J-001, 14J-002) Quantity on order = 7

"Valves Currently Installed
 
"Target Rock recommends valves currently installed be inspected to ensure the main piston shoulder has contact with the main disc stem shoulder. These inspections should be scheduled based on plant-specific indications of the potential for fretting. These inspections can be performed by removing the base assembly from the main body and physically measuring for shoulder-to-shoulder contact.

"Should you have any questions regarding this matter, please contact Michael Cinque, Director of Program Management at (631 ) 293-3800."

Notified NRR Part 21 Group (via email), R1 DO (Dimitriadis), and R2DO (Suggs).

Junk Hatch plant Target Rock Three Stage Safety Valves

Three take homes.

1) they changed out the 2 stage for three stage...the problems only got worst.
  • 2011: LER 2-2011-002, identified multiple SRV setpoint drift for 8 of the 11 SRVs. Corrective actions included replacement of the 2-stage SRVs with 3-stage SRVs during the Unit 2 Spring 2011 refueling outage which was considered at that time to be the long term fix for this corrosion bonding issue.
It sounds like they yanked out the three stage with this below eight failure. So why didn't Pilgrim take out their reliefs early like Hatch???
  • 2012 with three stage: LER 1-2012-004, identified multiple SRV setpoint drift for 8 of the 11 SRVs
  • 2013:  LER 1-2014-003, identified multiple SRV setpoint drifts for 5 of the 11 two-stage SRVs installed on Unit 1.
  • LER 1-2014-003, identified multiple SRV setpoint drifts for 5 of the 11 two-stage SRVs installed on Unit 1. The two-stage SRVs with platinum-coated pilot discs were
  • 2015: 2 of 11
2) We have no idea of the magnitude of trhe leakage.

3) Hatch has problems with steam line vibration damaging these valves. 

4) We know this state is totally inaccurate: "3-stage SRVs typically do not exhibit set point drift and the modified pilot reduces instances of vibration induced spurious openings and leak-by." 

5) I don't think you ever can trust the public disclosure dance between a vendor and a licensee.  

I believe for each of these outside tech spec lift inaccuracies, if the plant would have known it...they would have been required to shutdown.
  
JUL 10 2015


Surveillance Criteria

On May 11, 2015 at approximately 0923, Unit 2 was at 1 00 percent rated thermal power (RTP) when the "as found" testing results of the 2-stage main steam safety relief valves (SRVs) were received which indicated that two of eleven of the Unit 2 SRVs had experienced a setpoint drift during the previous operating cycle which resulted in their failure to meet the Technical Specification (TS) opening setpoint of 1150 +1- 34.5 psig percent as required by TS Surveillance Requirement (SR) 3.4.3.1.

The root cause of the SRV setpoint drift is attributed to corrosion-induced bonding between the pilot disc and seating surfaces. This conclusion is based on previous root cause analyses and the repetitive nature of this condition at Hatch and within the BWR industry. All 2-stage SRVs with platinum coated pilot seats were removed from Unit 2 during the 2015 refueling outage and replaced with 3-stage SRVs with amodified pilot. 3-stage SRVs typically do not exhibit set point drift and the modified pilot reduces instances of vibration induced spurious openings and leak-by.

A 3-stage SRV with a similar modified pilot was installed on Unit 2 during the ·2013 refueling outage. Based upon "as-found" testing results, it was seen that pressure lift setpoints were maintained during plant operation.

DESCRIPTION OF EVENT


On May 11 2015, at approximately 0923, with Unit 2 at 100 percent rated thermal power (RTP), "as-found" testing of the 2-stage main steam safety relief valves (SRVs) (EllS Code RV) showed that two of the ten main steam SRVs that were tested had experienced a drift in pressure lift setpoint during the previous operating cycle such that the allowable technical specification {TS) surveillance requirement (SA) 3.4.3.1 limit of 1150 +1- 34.5 (+/- 3%) psig had been exceeded. Below is a table illustrating the as found testing results of Unit 2 SRVs that were removed from service during the Spring 2015 refueling outage and replaced with 3-stage SRVs

.

MPL Pilot Serial No. Lift Pressure Percent Drift

2B21-F013B 1006 1155 0.40%

2B21-F013C 1231 1172 1.90%

2B21-F013D 303 1184 3.00%

2B21-F013E 315 1210 5.20%

2B21-F013F 1189 1179 2.50%

2B21-F013G 302 1174 2.10%

2B21-F013H 1230 1190 3.50%

2B21-F013K 1229 1164 1.20%

2B21-F013L 1228 1163 1.10%

2B21-F013M 1008 1179 2.50%


The 2-stage SRVs that were installed on Unit 2 during the previous cycle (Cycle 23) utilized platinum coated pilot discs. The 3-stage SRVs currently installed on Unit 2 have a modified pilot that helps reduce the possibility of inadvertent lift and leak by due to system vibration. The one 3-stage SRV that was installed on Unit 2 during Cycle 23 was recently successfully tested and found to be within the allowable TS SA pressure lift setpoint limit of 1150 +1- 34.5 (+/- 3%) psig.


CAUSE OF EVENT 

The root cause of the SRV setpoint drift is attributed to corrosion-induced bonding between the pilot disc and its seating surface. This conclusion is based on previous root cause analyses and the repetitive nature of this condition at Plant Hatch and in the industry. In General Electric (GE) Service Information Letter (SIL) 196, Supplement 16, GE determined that condensation of steam in the pilot chamber of Target Rock 2-stage SRVs can cause oxygen and hydrogen dissolved in the steam to accumulate. As steam condenses in the relatively stagnant pilot chamber, the dissolved gases are released. In a volume such as the pilot chamber which is normally at approximately a 1000 psig pressure and a temperature of 545 degrees F, the total pressure consists primarily of water vapor partial pressure because 544.6 degrees F is the saturation temperature at 1000 psi g. This wet, hot, high-oxygen atmosphere can be very corrosive and can increase the likelihood of corrosion-induced bonding of the pilot disk to its seat. It was also noted that proper insulation minimizes the accumulation rate of non-condensable gases and the steady-state oxygen partial pressure. Despite improvements made in maintaining the integrity of insulation for the previously installed 2-stage SRVs and installing new platinum coated pilots, the corrosion-induced bonding continued to occur as evidenced by the test results from this most recent outage.


REPORTABILITY ANALYSIS AND SAFETY ASSESSMENT 

This event is reportable in accordance with 10 CFR 50.73(a)(2)(i)(B) because a condition occurred that is prohibited by TS Surveillance Requirement (SR) 3.4.3.1. Specifically, an example of multiple test failures is given in NUREG-1022, Revision 3, "Event Reporting Guidelines 10 CFR 50.72 and 50.73" which describes the sequential testing of safety valves. This example notes that "Sometimes multiple valves are found to lift with set points outside of technical specification limits."


NUREG-1022 further states in the example that "discrepancies found in TS surveillance tests should be assumed to occur at the time of the test unless there is firm evidence, based on a review of relevant information (e.g., the equipment history and the cause of failure), to indicate that the discrepancy occurred earlier. However, the existence of similar discrepancies in multiple valves is an indication that the discrepancies may well have arisen over a period of time and the failure mode should be evaluated to make this determination." Based on this guidance and the fact that the development of the corrosion occurred over a period of time of plant operation, the determination was made that this "as found" condition is reportable under the reporting requirements of 10 CFR 50.73(a)(2)(i)(B). There are eleven SRVs located on the four main steam lines within the drywell in between the reactor pressure vessel (RPV) (EllS Code RPV) and the inboard main steam isolation valves (MSIVs) (EllS Code ISV). These SRVs are required to be operable during Modes 1, 2, and 3 to limit the peak pressure in the nuclear system such that it will not exceed the applicable ASME Boiler and Pressure Vessel Code Limits for the reactor coolant pressure boundary. The SRVs are tested in accordance with TS surveillance requirement 3.4.3.1 in which the valves are tested as directed by the In-Service Testing Program to verify lift set points are within their specified limits to confirm they would perform their required safety function of overpressure protection. The SRVs must accommodate the most severe pressurization transient which, for the purposes of demonstrating compliance with the ASME Code Limit of 1375 psig peak vessel pressure, has been defined by an event involving the closure of all MSIVs with a failure of the direct reactor protection system trip from the MSIV position switches with the reactor ultimately shutting down as the result of a high neutron flux trip (a scenario designated as MSIVF).


The results from this MSIVF event analysis was performed by the Nuclear Fuels Department in order to bound the "as-found" results of the U2 Cycle 21 2-stage SRVs pressure setpoint drift. The results from this analysis showed a small increase in peak pressures relative to the Hatch-2 Cycle 21 reload licensing analysis (ALA) results. The higher peak pressures were due to the fact that eight of the eleven SRVs opened at pressures higher than that which was assumed in the ALA. It should be noted that in this analysis, the larger actual valve bore size was used in the calculations for nine of the valves rather than the smaller bore size which was conservatively assumed in the ALA. Therefore, higher steam flow capacities than those assumed in the ALA were used in this analysis for those nine valves.


Based on the analysis, the calculated minimum margin to the 1375 psig ASME Boiler and Pressure Vessel Code overpressure limit for peak vessel pressure would have been 27.7 psig and the minimum margin to the 1325 psig Tech Spec Safety Limit for the reactor steam dome pressure would have been 2.9 psig during an MSIVF event during Cycle 21 operation. Therefore, these test results show that in this case, where two of the eleven SRVs would have opened at pressures higher than that which was assumed in the RLA, the peak pressure at the bottom of the vessel would have remained below the ASME Boiler and Pressure Vessel code limit and the peak RPV dome pressure remained within the TS Safety limits.


Additionally, a highly reliable, though non-credited, electrical actuation system serves as a redundant, independent method to actuate the SRVs. During Cycle 23 this redundant electrical logic system was fully functional. Based on the analyses performed, the overpressure protection system would have continued to perform its required safety function if called upon in its "as found" condition. Therefore, this event had no adverse impact on nuclear safety and was of very low safety significance.


CORRECTIVE ACTIONS 

The 2-stage SRVs with platinum-coated pilot discs were removed from Unit 2 during the 2015 refueling outage and replaced with 3-stage SRVs that have a modified pilot. 3-stage SRVs typically do not exhibit set point drift due to their design. The modified pilots will help reduce spurious openings and leak-by due to system vibration.


ADDITIONAL INFORMATION

Other Systems Affected: None

Failed Components Information:

Master Parts List Number: 2B21-F013E, H

Manufacturer: Target Rock

Model Number: 7567F

Type: Relief Valve

Manufacturer Code: T020

EllS System Code: SB

Reportable to EPIX: Yes

Root Cause Code: B

EllS Component Code: RV

Commitment Information: This report does not create any licensing commitments.

PREVIOUS SIMILAR EVENTS:


LER 1-2014-003, identified multiple SRV setpoint drifts for 5 of the 11 two-stage SRVs installed on Unit 1. The two-stage SRVs with platinum-coated pilot discs were removed from Unit 1 during the 2014 refueling outage and replaced with 3-stage SRVs that have a modified pilot. The modified pilots will help reduce spurious openings and leak-by due to system vibration.

LER 1-2012-004, identified multiple SRV setpoint drift for 8 of the 11 SRVs. Corrective actions included replacement of the 2-stage SRVs with 2-stage SRVs whose pilot discs had undergone a platinum surface treatment which was considered at that time to be the long term fix for this corrosion bonding issue.


LER 2-2011-002, identified multiple SRV setpoint drift for 8 of the 11 SRVs. Corrective actions included replacement of the 2-stage SRVs with 3-stage SRVs during the Unit 2 Spring 2011 refueling outage which was considered at that time to be the long term fix for this corrosion bonding issue. Subsequent to that outage the 3-stage SRVs exhibited signs of unacceptable leakage which resulted in two separate outages that involved changing out four SRVs during the first outage and the remaining seven SRVs during the subsequent outage in May 2012. The 3-stage SRVs were replaced with 2-stage SRVs containing pilot discs that had undergone the platinum surface treatment.


LER 1-2010-001, identified multiple SRV setpoint drift for 5 of the 11 SRVs. Corrective actions included refurbishment of the pilot valves and included the replacement of the pilot discs with discs made from corrosion-induced bonding. These were the same actions that were taken following similar failures reported in LEA 2-2009-001, since improved results had been seen to some degree in the industry for at least one operating cycle when these actions were implemented.

Is Pilgrim Plant Fixed?

A plant like Pilgrim has somewhere near 5 million parts in it. No doubt Entergy opened up their wallet to fix the component problems identified in last winters trip. They probably diverted funds to fix last winter's problem from other weak and aging components.  

There is a huge reservoir of weak and degrading components still in the Pilgrim plant waiting to bite them on the ass. The defects in the NRC and Entergy's organization are still there. They fixed the easiest symptoms.  

Nothing more exemplifies this than the repeated problems with the main condenser and the including consecutive start-ups and last Friday. 

Remember the main problem here is the lack of horsepower of the NRC...the inability to anticipate problems like last winter and make them fix degrading and broken safety components before a accident happens.
Pilgrim Station gets some good news from the NRC
By: Manomet Current | June 19, 2015 

For the second time in six months, a team of NRC inspectors traveled to the Pilgrim Nuclear Power Station to check on work aimed at preventing a recurrence of unplanned shutdowns at the facility.
But unlike the review completed in December, the more recent inspection has found that Entergy, the owner of the plant, has now satisfactorily addressed the areas of weakness, according to a statement released by Nuclear Regulatory Commission Spokesman Neil Sheehan.
 The inspection team’s report calls for the closure of two low to moderate safety inspection findings. That means that as of the end of this month, the NRC’s heightened oversight in response to a series of unplanned shutdowns would end, Sheehan stated.
The NRC is continuing to review an apparent violation issued on May 27 at Pilgrim. That finding involves the maintenance of the plant’s safety relief valves and stems from a special inspection conducted at the site after an unplanned shutdown in January amid a winter storm. If that violation, preliminarily classified is finalized, the agency will  determine the amount of increased scrutiny that should be applied to the plant. A decision on the finding is not unexpected until sometime this summer, according to Sheehan.
Lauren Burm, spokesman for Pilgrim Station issued a statement that the company is pleased that the inspection ended in a “successful conclusion.” She went on to state that “We recognize there are additional areas to work on and we are committed to identifying and resolving issues in a timely and effective manner.”
 Pilgrim began receiving additional attention from the NRC In late 2013 after it had three unplanned shutdowns, according to Sheehan.
During the supplemental review carried out last fall, NRC inspectors determined that deficiencies existed in fixing the problems that were found and in understanding what caused the issues. Consequently, the NRC decided to maintain its elevated level of oversight pending another inspection.

Saturday, July 18, 2015

The MIke Mulligan's River Bend Special Inspection Results

http://pbadupws.nrc.gov/docs/ML1518/ML15188A532.pdf

UNITED STATES  NUCLEAR REGULATORY COMMISSION


REGION IV
1600 E. LAMAR BLVD
ARLINGTON, TX 76011-4511

July 7, 2015


EA-15-043


Mr. Eric W. Olson, Site Vice President

Entergy Operations, Inc.

River Bend Station

5485 U.S. Highway 61N

St. Francisville, LA 70775


SUBJECT: RIVER BEND STATION – NRC SPECIAL INSPECTION REPORT 05000458/2015009; PRELIMINARY WHITE FINDING

 





Entergy and River Bend Notes


extent of cause or condition investigation...?

https://adamswebsearch2.nrc.gov/webSearch2/main.jsp?AccessionNumber=ML050410438

February 10, 2005
Paul D. Hinnenkamp
Vice President - Operations
Entergy Operations, Inc.
River Bend Station
5485 US Highway 61N
St. Francisville, Louisiana 70775

SUBJECT: RIVER BEND STATION - SPECIAL INSPECTION REPORT 05000458/2004012

 4OA7 Licensee-Identified Violation

The following violation of very low safety significance (Green) was identified by the licensee and is a violation of NRC requirements which meet the criteria of Section VI of the NRC Enforcement Policy, NUREG-1600, for being dispositioned as an NCV. C 10 CFR 55.46.c states in part, “A plant-referenced simulator used for the administration of the operating test or to meet experience requirements . . . must demonstrate expected plant response to operator input and to normal, transient, and accident conditions to which the simulator has been designed to respond . . . .” RBS experienced two reactor scrams (August 15 and October 1, 2004) in which actual plant SRV manipulations caused shrink, swell, and level indications that were different than what was modeled in the simulator. After some investigation by the licensee, it was determined that level variations in the simulator were 6-8 inches different than in the actual plant. Considering that RPV level is normally maintained between Level 8 (51 inches) and Level 3 (9.7 inches), 6-8 inches constitutes approximately a 15-20 percent difference than actual plant condition. Coupled with the fact that most of the operators on shift during the events had never actually manipulated SRVs in the plant, this simulator fidelity deficiency could have an impact on operator performance. This issue was documented in the licensee’s corrective action program in Condition Report CR-RBS-2004-2334. This violation is of very low safety significance because it did not involve an exam or operating test, but did involve a simulator fidelity issue which impacted operator actions and resulted in negative training.




 
Dates: October 1 through December 31, 2014
EA-14-147
Mr. Eric W. Olson, Site Vice President
\Entergy Operations, Inc.
River Bend Station
5485 U.S. Highway 61N
St. Francisville, LA 70775

SUBJECT: RIVER BEND STATION –
NRC INTEGRATED INSPECTION REPORT 05000458/2014005

Dates: October 1 through December 31, 2014
Dear Mr. Olson:
Green. The inspectors identified a non-cited violation of 10 CFR 55.46, "Simulation Facilities," for the failure of the licensee to retain the results of required performance tests for four years after completion, or until superseded by updated test results. The licensee could not locate scenario-based testing documentation conducted for the March 2014 initial license exam. The licensee asserted in writing that the testing was performed, but that the electronic test packages had been lost. This issue was entered into the licensee's corrective action program as CR-RBS-2014-04595.

Specifically, because of the lack of documentation the licensee was unable to demonstrate that its scenario-based testing would ensure the simulator is capable of producing the expected reference unit
response without significant performance discrepancies, or deviation from an approved scenario sequence, for scenarios used to evaluate licensed operators and applicants. Using Inspection Manual Chapter 0609, "Significance Determination Process," Phase 1 worksheets, and the corresponding Appendix I, "Licensed Operator Requalification Significance Determination Process," the finding was determined to have very low safety significance (Green) because it is a "Simulator Testing, Maintenance, or Modification Deficiency." 

http://pbadupws.nrc.gov/docs/ML1413/ML14133A700.pdf



July 7, 2015
EA-15-043

Mr. Eric W. Olson, Site Vice President
Entergy Operations, Inc.
River Bend Station
5485 U.S. Highway 61N
St. Francisville, LA 70775

SUBJECT: RIVER BEND STATION – NRC SPECIAL INSPECTION REPORT 05000458/2015009; PRELIMINARY WHITE FINDING
 
Analysis. The team determined that the failure of the plant-referenced simulator to demonstrate expected pressure response across the main steam isolation valves during conditions to which the simulator has been designed to respond was a performance deficiency. The finding was more than minor because it is associated with the human performance attribute of the Mitigating Systems Cornerstone and adversely affected the cornerstone objective of ensuring availability, reliability, and capability of systems needed to respond to initiating events to prevent undesired consequences. Specifically, the incorrect simulator response could adversely affect the operating crew’s ability to assess plant conditions and take actions in accordance with approved procedures. In accordance with NRC Inspection Manual Chapter 0609, “Significance Determination
Process,” Phase 1 Worksheets, and the associated Appendix I, “Licensed Operator Requalification Significance Determination Process (SDP),” Block 15, the finding was determined to be of very low safety significance because the deficient simulator performance did not negatively impact operator performance in the actual plant during a reportable event. This modeling deficiency did not have any generic training implications, nor did it have any actual impact on operator performance. Therefore, the inspectors determined it did not have any cross-cutting aspect.
 
 

 


 

The New River Bend Feed Pump Scram?

Originally published on June 3, 2015

Just saying, a well maintained plant scram should go like this, a component fails, then the scram should occur without any other component failures or observed component degradation and the operator should be error free. Multiple equipment failures showing up in one scram is very serious...  
6/02 Event Report: The transient began with a trip of Reactor Feed Pump 'A', followed by a Reactor Scram and a trip of Reactor Feed Pump 'C'.
It is startling after all this NRC attention and all the recent problem in River Bend: it initiated from a feed water trips, then another feed water trip and then issues with the Reactor Feedwater Master Level Controller problems.

Actually is sounds like a out of control Reactor Feedwater Master Level Controller set this whole thing off.
NRC to me: Jan 21, 2015 No: IV-15-003 "during which you expressed concern related to equipment issues leading to scrams and operator performance following scram."
The Pilgrim special inspection turned into being a train wreck, we recently got a special inspection on Indian Point, along with the two special inspection at River Bend. That is four inspection ongoing at Entergy Plants...at least 38% of their sites under special inspection. The double hitter River Bend special Inspection should be released within days.

Imagine that, another set of feed pump trips, pathetic!!!

Unprecedented NRC attention at River Bend with feed pump trips, out of control reactor water lever control and scrams...now we got another one. 

The symptoms of a totally impotent NRC...

The next Pilgrim scram or down power is right around the corner? 


Power ReactorEvent Number: 51112
Facility: RIVER BEND
Region: 4 State: LA
Unit: [1] [ ] [ ]
RX Type: [1] GE-6
NRC Notified By: JACK MCCOY
HQ OPS Officer: DANIEL MILLS
Notification Date: 06/02/2015
Notification Time: 02:00 [ET]
Event Date: 06/01/2015
Event Time: 21:11 [CDT]
Last Update Date: 06/02/2015
Emergency Class: NON EMERGENCY
10 CFR Section:
50.72(b)(2)(iv)(B) - RPS ACTUATION - CRITICAL
50.72(b)(3)(iv)(A) - VALID SPECIF SYS ACTUATION
Person (Organization):
JACK WHITTEN (R4DO)


UnitSCRAM CodeRX CRITInitial PWRInitial RX ModeCurrent PWRCurrent RX Mode
1A/RY90Power Operation0Hot Shutdown
Event Text
REACTOR SCRAM DUE TO LOW REACTOR WATER LEVEL

"At 2111 [CDT] River Bend Nuclear Station sustained an Automatic Reactor Scram due to low Reactor Water Level (Level 3). The plant is currently stable, with level being maintained in a normal band of 10 - 51 inches with Condensate and Feedwater. Reactor Pressure is in the prescribed band of 500-1090 psig. The plant is in Mode 3, Hot Shutdown, and will remain in Mode 3 until investigation of the scram is complete. The transient began with a trip of Reactor Feed Pump 'A', followed by a Reactor Scram and a trip of Reactor Feed Pump 'C'. Reactor water level was recovered with Reactor Feed Pump 'B' to a normal post scram level band. There was a problem noted with the Reactor Feedwater Master Level Controller; this was mitigated by the Operator placing the controller to manual. There was no subsequent Level transient. Reactor Pressure was stabilized in normal pressure band with Turbine bypass valves. During the transient, a Reactor Recirculating Flow Control Valve Runback was not received as expected. Reactor Recirculating Pump 'A' responded as expected to transient [switching to low pump speed], Reactor Recirculating Pump 'B' tripped during transient. A Level 3 isolation signal was received, all expected isolations occurred.

"The cause of the transient is currently under investigation."

The reactor is stable in Mode 3 with decay heat being removed via turbine bypass valves, and a normal electrical line up.

The NRC Resident Inspector has been notified.

* * * UPDATE FROM JACK MCCOY TO HOWIE CROUCH AT 0712 EDT ON 6/2/15 * * *

"At 2231 on 6/1/15, Reactor Water Cleanup System isolated on High Reactor Water Cleanup System Heat Exchanger room temperature due to loss of Turbine Building chill water during the initial transient. All Reactor Water Cleanup System Valves isolated as expected. Reactor Water Cleanup was the only system affected by this isolation signal."

The licensee has notified the NRC Resident Inspector

The Mike Mulligan's Special Inspection At River Bend?

So the 2014 Christmas inspection and the Ventilation special inspection?  

Republished from 6/3/25

Originally Published 1/30/15

Who's the man now Entergy? 
What the Hell is Going On With Entergy Nuclear? 
 
I now respect the hell out senior resident Jeffery Sowa from Louisiana for report this. I liked the guy when I was talking to him. Perfectly captured our talk! Not many people admit they made a productive or any allegation to the NRC. 
"Jan 21, 2015 Subject: Concerns you raised to the US Nuclear Regulatory Commission regarding the River Bend Station. RE: ALLEGATION: RIV-2015-A-004  
Dear Mr. Mulligan: This refers to your telephone conversation with Mr. Jeffery Sowa, Senior Resident Inspectionon January 5,

Honestly, you think Senior Resident Inspection was a mistake...supposed to be resident inspector. Was he signaling I caused the special inspection? 
2015 during which you expressed concern related to equipment  issues leading to scrams and operator performance following scram.
If the concern is not accurate please inform us…. Concern Equipment issues leading to scrams and operator performance problems following scrams continues at the River Bend Station and are not being addresses and resolved."

The Mike Mulligan Special Inspection. Should have asked it this is fleet wide problem In Entergy?  
No: IV-15-003 January 26, 2015CONTACT: Victor Dricks (817) 200-1128Lara Uselding (817) 200-1519 
NRC Begins Special Inspection at River Bend Station The Nuclear Regulatory Commission has begun a special inspection at the River Bend Station nuclear power plant to review circumstances surrounding an unplanned reactor shutdown that occurred on Dec. 25, 2014. The plant, operated by Entergy Operations, Inc., is located in St. Francisville, La. 
The plant was operating at 85 percent capacity Christmas morning when an unplanned shutdown with complications occurred. Following the shutdown some problems were experienced with the plant’s feedwater system, which supplies short-term cooling water to the reactor core, as well as several electrical circuit breakers. Operators took compensatory action to ensure the plant would remain in a safe shutdown mode. 
“The purpose of this special inspection is to better understand the circumstances surrounding the event, determine if there are any generic implications, and review the licensee’s corrective actions to ensure that the cause of the event, including associated equipment problems have been effectively addressed,” NRC Region IV Administrator Marc Dapas said. 
Several NRC inspectors will spend about a week on site evaluating the licensee’s root cause analysis, maintenance of some plant systems and adequacy of corrective actions. An inspection report documenting the team’s findings will be publicly available within 45 days of the end of the inspection.

River Bend: Unprecedented Four Special Inspections Ongoing at Entergy Plants

I mauled this sentence and heading from June 3 below...a do over:
Unprecedented four special inspection ongoing at Entergy plants, Two special inspection at River Bend(Christmas and ventilation special inspection), one each at Indian Point and Pilgrim. Remember Palisades has just been downgraded...a back slide from the 2011 yellow finding
 
Reposted from June 3 2015
 
Originally posted on 3/30/15 

Where did I even get that Waterford special inspection...

update:
My bad, unprecedented four three inspection ongoing at Entergy plants, Two special inspection at River Bend, One at Waterford and Pilgrim. Remember Palisades has just been downgraded...a back slide from 2011 yellow finding.
I make the case Entergy systemically aren't spending enough money on maintenance....  
It is River Bend, Waterford (what the hell is going on Louisiana with two Entergy nuclear plants in special inspection) and Pilgrim. How can't the NRC say something is bigger going on with Entergy with so many problematic plants.  
NRC Begins Special Inspection at River Bend Station The Nuclear Regulatory Commission has begun a special inspection at the River Bend nuclear power plant to review circumstances surrounding the failure during testing of equipment needed to provide ventilation and cooling to plant areas with safety-related equipment. The plant, operated by Entergy Operations, Inc., is located in St. Francisville, La. 
During periodic testing on March 9, equipment that provides ventilation and cooling to plant areas with safety-related equipment failed to start. A similar failure occurred during testing on Feb. 23. 
“The March 9 event raises some concern with how electrical equipment has been maintained at the plant,” NRC Region IV Administrator Marc Dapas said. “The purpose of this special inspection is to determine if there are any generic implications from equipment failures that occurred during the event.” 
Two NRC inspectors will spend about a week on site evaluating the licensee’s root cause analysis, maintenance of some plant systems and adequacy of corrective actions. An inspection report documenting the team’s findings will be publicly available within 45 days of the end of the inspection.
Two inspectors working in the "special inspection" indicates not a high priority with the NRC....
Emergency Christmas shutdown of Entergy River Bend nuclear plant prompts special NRC inspection 
An emergency shutdown of Entergy's River Bend nuclear power plant near Baton Rouge on Christmas morning has prompted a special inspection by a team of Nuclear Regulatory Commission experts, the agency announced Monday (January 26). 
The plant automatically shut down at 8:37 a.m. on Dec. 25 due to the failure of an electrical circuit for a valve controlling one of the turbines that generates electricity, said Mike Bowen, a spokesman for Entergy Nuclear, which oversees all of Entergy's nuclear plants.Bowen said the initial failure of a piece of equipment at the St. Francisville, La., plant, 24 miles north northwest of Baton Rouge, did not involve the nuclear reactor.
It seems like I set in motion both these special inspections.
The Mike Mulligan's Special Inspection At River Bend?
 Friday, January 30, 2015

 
Who's the man now Entergy?
 
What the Hell is Going On With Entergy Nuclear?
I now respect the hell out senior resident Jeffery Sowa from Louisiana for report this. I liked the guy when I was talking to him. Perfectly captured our talk! Not many people admit they made a productive or any allegation to the NRC.
"Jan 21, 2015 Subject: Concerns you raised to the US Nuclear Regulatory Commission regarding the River Bend Station. RE: ALLEGATION: RIV-2015-A-004
Dear Mr. Mulligan: This refers to your telephone conversation with Mr. Jeffery Sowa, Senior Resident Inspection, on January 5,

Honestly, you think Senior Resident Inspection was a mistake...supposed to be resident inspector. Was he signaling I caused the special inspection?

2015 during which you expressed concern related to equipment issues leading to scrams and operator performance following scram.
If the concern is not accurate please inform us…. Concern Equipment issues leading to scrams and operator performance problems following scrams continues at the River Bend Station and are not being addresses and resolved."

The Mike Mulligan Special Inspection. Should have asked it this is fleet wide problem In Entergy?

No: IV-15-003 January 26, 2015CONTACT: Victor Dricks (817) 200-1128 Lara Uselding (817) 200-1519
NRC Begins Special Inspection at River Bend Station The Nuclear Regulatory Commission has begun a special inspection at the River Bend Station nuclear power plant to review circumstances surrounding an unplanned reactor shutdown that occurred on Dec. 25, 2014. The plant, operated by Entergy Operations, Inc., is located in St. Francisville, La.
The plant was operating at 85 percent capacity Christmas morning when an unplanned shutdown with complications occurred. Following the shutdown some problems were experienced with the plant’s feedwater system, which supplies short-term cooling water to the reactor core, as well as several electrical circuit breakers. Operators took compensatory action to ensure the plant would remain in a safe shutdown mode.
“The purpose of this special inspection is to better understand the circumstances surrounding the event, determine if there are any generic implications, and review the licensee’s corrective actions to ensure that the cause of the event, including associated equipment problems have been effectively addressed,” NRC Region IV Administrator Marc Dapas said.
Several NRC inspectors will spend about a week on site evaluating the licensee’s root cause analysis, maintenance of some plant systems and adequacy of corrective actions. An inspection report documenting the team’s findings will be publicly available within 45 days of the end of the inspection.