Alternative AMC allowing for the variation of the validity period of a Pilot Authorisation in accordance with AMC to Part 145.A.30(j)(4) para 3 beyond the prescribed 12 months validity.
In response to the exceptional circumstances caused by the Covid-19 outbreak, the Civil Aviation Authority ('the CAA'), is providing this alternative AMC to Part 145.A.30(j)4 for wherever normal Pilot Authorisation procedures cannot be followed. The use of this alternative AMC is described below and the conditions that must be followed.
The UK government along with many others has restricted national and international travel. This alternative AMC allows for the use of a suitably qualified and authorised pilots to continue to exercise their certification privileges in accordance with Part 145 requirements beyond the prescribed 12 months validity of their authorisation.
This alternative AMC will only be available for use until 30 September 2020, or may be withdrawn earlier if government travel restrictions are removed. Post 30 September 2020 all pilot authorisations must be renewed with the normal 12 months validity as per AMC to Part 145.A.30(j)(4) para 3.
Commission Regulation (EU) No. 1321/2014, paragraph (3) of AMC to Part 145.A.30(j)(4) Personnel requirements requires that a pilot authorisation should have a finite life of twelve months, in the current circumstances recurrent training as described in the AMC may not be possible to complete therefore the authorisation would expire. This Alternative AMC allows for an existing authorisation to be extended for a further 4 months without recurrent training taking place.
The following is an alternative to paragraph (3) of AMC to Part 145.A.30(j)(4) Personnel requirements:
The authorisation should have a finite life of Sixteen months subject to no adverse reports of not adhering to the applicable maintenance standards.
Any existing authorisations may benefit from the above periodicity by extending the authorisation validity for an additional 4 months without further changes to the Authorisation document.
After 30 September or 16 months whichever occurs sooner, the authorisation should be renewed with a finite life of twelve months subject to satisfactory re-current training on the applicable aircraft type.
Maintenance Organisation Approval holders provide maintenance services in
accordance with Commission Regulation (EU) No
1321/2014 Implementing Rules, Annex 2
This page includes details and links to regulation, policy and guidance both the CAA and EASA. It will provide approval holders resources to ensure they remain compliant with not only the regulations but also UK policy.
Guidance material provides interpretation or amplify in greater detail certain areas or aspects of regulation and/or policy to allow an approval holder to fully implement quality systems which remain compliant and perform well.
Tailored news, notifications and alerts from the CAA, including alerts issue in the last 12 months are available though SkyWise.
There have been various interpretations of the
requirements which at times have led to organisations not being fully prepared
or capable of providing the scope of work that they have applied for or have
been approved to provide.
The purpose of this policy note is to remove
ambiguity about what the UK CAA expects of an organisation applying for Part
145 approval or wishing to continue to hold Part 145 approval.
Any Part 145 organisation must have facilities commensurate with the scope of work for which it is approved to provide.
Line Maintenance providers are expected to have an office, storage facilities and, for larger providers, possibly a workshop. These facilities must be airside or at the very least within a short drive. The distance should be reasonable and appropriate for the activity being provided from the airside area. This is to ensure personnel from the organisation are not operating remotely from the approved facility.
Base maintenance providers must have a hangar which accommodates the aircraft types for which they are approved to maintain with offices, storage facilities and workshops as required. The aircraft type must be able to be completely enclosed by the facility. It is not acceptable for the aircraft tail to be outside the hangar while performing base maintenance. Work may be performed outside the hangar subject to procedures being approved in the Organisations MOE.
Generic Maintenance data for each aircraft type within the requested or approved scope of work must be available at the organisation at all times. This data should be used in the initial approval stages to define tooling requirements and assist in the creation of the manpower plan. It will define manpower requirements for each task. It will also need to be available during subsequent CAA audits. This helps to demonstrate the organisation's overall capability to perform maintenance.
The data does not have to be up to date at all times (although it needs to be controlled) and may be supplemented with customer supplied data specific to a particular model/fleet. Where customer supplied data is not used, a subscription service will need to be in place prior to commencement of any work. The organisation must have procedures in place that demonstrate how they control the data and ensure that it is up to date before use.
It is not acceptable for data to be supplied solely by the customer directly prior to an aircraft input. This will not allow appropriate production planning to take place prior to any work being performed.
Organisations must have all tooling which is required to complete the maintenance tasks within their scope of work permanently available at their facilities. The exception to this requirement is where a task is only performed infrequently (as a guide, tasks that are performed at one in three of similar inputs) then the tooling can be acquired at the time the task is performed (through loan or pool arrangements).
The appropriate tooling for the scope of work may be supplied through a contract with an organisation that supplies, maintains and updates/replaces the tooling held by the Part 145 organisation is acceptable. The tooling should be provided on a permanent basis and its availability should not be dependent on a contract with an operator. It remains the responsibility of the Part 145 organisation to determine that the tooling is of the correct type and is in a condition that is suitable for use,
Each organisation must ensure it has sufficient staging and access equipment to gain access to all areas of the aircraft fall within the approved scope of work. Access equipment or staging should be of a suitable type to allow the maintenance task to be performed in an effective manner. Staging and access equipment should provide a stable working area where tools and materials can be located while performing the task to ensure that potential Human Factors issues are minimised.
All tooling and equipment must be controlled through a register and maintained or calibrated to Original Equipment Manufacturer (OEM) requirements/national standards. This includes servicing of Aircraft Jacks, Staging and Access Equipment.
Alternative or locally fabricated tools may only be used when there is an approved procedure in the Maintenance Organisation Exposition (MOE) that ensures an assessment of the suitability of alternative tooling has been is carried out, and that the use of the alternative tool has been properly validated. This is to ensure any such tools are of an equivalent specification, standard and accuracy as those specified in the applicable maintenance data provided by the OEM.
The organisation shall have sufficient staff to plan, perform, supervise, inspect and quality monitor the activities which the organisation is approved to perform. This must be supported with a manpower plan which shows either:
• Planned vs Actual man-hours for work which is scheduled and has been completed at the organisation.
• Provides a capacity projection based on number of staff available and envisaged scope of work, including the assumptions made to develop the plan (such as number of staff needed to complete a check or number of persons to run a roster at a line station, typical level of defects and scheduled maintenance workload for a night stopping aircraft). This can then be used to establish the maximum capacity and scope of work the organisation can undertake.
The plan must take into consideration the following:
The Maintenance Organisation Exposition (MOE) is integral to an organisation's ability to demonstrate its capability and compliance with Part 145. Statements that are open or ambiguous create the potential for misunderstanding, non-compliance with the regulation and could result in regulatory action, aircraft grounding or worse. The MOE must be fully reviewed on a regular basis by the organisation and by the CAA during the audit cycle. The procedures contained in an exposition should describe the detailed process that the organisation follows to comply with the applicable provision in the regulation. They should not simply be policy statements indicating that the organisation will comply with the relevant elements of the regulation when using a process/procedure.
The exposition should kept up to date and follow the guidance set out in EASA UG UG.CAO.00024 and the associated CAA guidance. Background information regarding policy of Initial/Changes to Airworthiness Organisation Expositions
Line Maintenance generally refers to minor, unscheduled or scheduled maintenance carried out on aircraft that includes:
It is not Line Maintenance when:
There are a significant number of different types of tasks to be carried out during a single input, even if when considered singularly they may still fall within the definition of line maintenance but together clearly require the use of base maintenance production planning support and/or base maintenance release to service process (category C staff supported by B1/B2 support staff) in order to ensure that the maintenance ordered has been properly carried out before release to service.
Replacement of any major component where the related maintenance procedures clearly require the use of a hangar environment requiring special ground support equipment and/or structured production planning and/or complex and lengthy maintenance,
Any scheduled maintenance task which requires extensive disassembly of the aircraft and/or extensive in-depth inspection;
Trouble shooting and/or Defect Rectification requiring special ground support usually relevant to base maintenance (e.g. special equipment, structured production planning, complex and lengthy maintenance).
A scheduled maintenance event, which in the planning phase has been already identified as significant in terms of duration and/or man-hours.
A work package requiring a complex team composition in terms of numbers and categories (avionic, structure, cabin, NDT, etc.) of staff involved per shift.
The management of the event by B1 and B2 support staff and the release by a C certifying staff.
Read all @UK_CAA
UK Civil Aviation Authority launches consultation on Gatwick Airport Limited’s commitments
22 October, 2020
New Head of Flight Operations Announced
12 October, 2020
UK Civil Aviation Authority launches consultation on Heathrow Airport Limited’s request for RAB readjustment
9 October, 2020
Read all News
Girls in aviation day
22 October, 2018
Tackling crime and improving safety
4 October, 2018
International women in engineering day
22 June, 2017
Read All Blogs