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Implementation of (EU) Regulation no . 139/2014 ADR case study

ROMANIAN CIVIL AERONAUTICAL AUTHORITY. Implementation of (EU) Regulation no . 139/2014 ADR case study. George LAZ ĂR Aeronautical Inspector Supervision Directorate. I ași , 14 .09.201 6. 1.3. PPA 139: 2016 – 2017 (transition/conversion). Pilot ADR (Arad, Timi șoara )

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Implementation of (EU) Regulation no . 139/2014 ADR case study

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  1. ROMANIAN CIVIL AERONAUTICAL AUTHORITY Implementation of (EU) Regulation no. 139/2014ADRcase study George LAZĂR Aeronautical Inspector Supervision Directorate Iași, 14.09.2016

  2. 1.3. PPA 139: 2016 – 2017 (transition/conversion) Pilot ADR (Arad, Timișoara) Application for a certificate Estimated certificate issuance date Iași, 14.09.2016

  3. Conversion of ADR certificates • Timișoara Airport • 4D • RWY: • 11 – CAT II • 29 – CAT III • PAX: • 2013 – 754.454 • 2014 • 2015 • Arad Airport • 4C • RWY: • 09 – non-precision • 27 – CAT II • PAX: • 2013 – 41.530 • 2014 • 2015 Iași, 14.09.2016

  4. Topics IMPACT • Pre-transition • Transition • Conversion • ADR application for conversion • Safety Assessments • CAA audits • Deviations • Oversight Iași, 14.09.2016

  5. Pre-transition • ADR: Self compliance with existing Annex 14 based national regulation (RACR-AD-PETA) • Process started in 2012 for all ADR • Lack of proper documentation CAA certification audit C.A.P. Iași, 14.09.2016

  6. Transition • Compliance matrix • Identify all deviations in respect to IR/CS/AMC – R139 • Proposal of the CB • Relevant database for compliance demonstration • Management tool for assuming the declaration of compliance • CAA-ADR teams • Coordinate all implementation aspects for every domain (CS/OR/OPS) • Establish necessary compliance documentation • Establish schedule for the compliance matrix Iași, 14.09.2016

  7. Transition • Corrective action plan • Follow-up on open findings • Evidence of implementation of corrective actions • Agreement on future CB • Based on the compliance matrix • Agreement on deviations and safety assessment principles • Preparation of application for conversion • Proper documentation • Agree on manner and form of application (described in PIAC-AD-139, Part I) Iași, 14.09.2016

  8. Application for conversion • Compliance matrix – lack of proper documentation • AMC1 ADR.OR.B.015(b)(1);(2);(3);(4) Application for a certificate • c) The applicant should identify the applicable CS (…) and provide the Competent Authority with evidence that the proposed design and operation complies with them. • d) The applicant should provide the Competent Authority documentation to demonstrate how it will comply with the applicable requirements of the Basic Regulation, Part-ADR.OR, and Part-ADR.OPS, and any other applicable requirements that are matching the aerodrome design and its operation. situation assessed in compliance matrix does not fully reflects on-site status • Compliance evidence • Elements for which the maintenance objective could not be demonstrated • Elements contained in the corrective action plan • New requirements under EU Regulation • For elements supporting a safety assessment Iași, 14.09.2016

  9. Application for conversion • Safety assessments • Fewer safety assessments in respect to the number of deviations identified • Defining the purpose of the study • Incomplete documentation of associated risks • Mitigation measures do not fully reflect the safety objective • Lack of relevant database regarding occurrences • Appropriate to the ADR characteristics • Relevant for the type of aircrafts used Iași, 14.09.2016

  10. Application for conversion Safety assessments [GM] The Competent Authority should evaluate the safety assessment and, in particular, make sure that: (1) theidentified safety concern(s) has (have) been assessed through the safety assessment process and is (are) adequately documented. (2) an appropriate coordination has been performed between the parties affected by the safety concern(s); (3) the assessment covers the whole system and the interactions of its elements; (4) the hazards have been properly identified and the level of risk assessed; (5) the proposed mitigation measures are adequate and consistent with the objective of reducing the identified level of risk and the safety objectives, if relevant; (6) the timeframes of the planned implementation of the proposed associated actions are appropriate. Iași, 14.09.2016

  11. Conversion Operating conditions - LRAR Iași, 14.09.2016

  12. Conversion • Operating conditions - LRAR • Similar to those certified under national legislation • RWY ensures conditions for landings at RVR > 350m • Lack of turn pad/lights on turn pad • Monitoring of RWY lights • TWY B, C and D closed for operations • Lack of proper visual aids for LVP conditions • Strength of pavement very low • Burden on maintenance activities Iași, 14.09.2016

  13. Conversion Operating conditions - LRTR Iași, 14.09.2016

  14. Conversion • Operating conditions – LRTR • Similar to those certified under national legislation • RWY ensures conditions for landings at RVR > 350m • Lack of turn pad/lights on turn pad • TWY D, E, F closed for civil a/c operations • Issues regarding property rights • Used for military a/c • Lack of visual aids • Physical characteristics • Maintenance objective can not be met • Access from Apron to RWY on TWY B restricted • Stop bar monitoring issue • Low PCN for a portion of TWY • Lack of safety assessment Iași, 14.09.2016

  15. Conversion • Certification basis • RCAA working group coordinates all Romanian ADR CBs • Established for the type of operations requested in the application • Proportionate to the ADR design • Proposed by ADR -> established by the CAA -> notified to ADR • Formally established upon submission of application for conversion • Applicable CS • Updated once deviations are formalized using ELoS and SC. Iași, 14.09.2016

  16. Certification Basis Iași, 14.09.2016

  17. Conversion Audit C1 (4-5 working days): • Compliance with the established and notified CB • Assessment of OR/OPS supporting documentation: • Existence of relevant procedure • Compliance of procedures with applicable requirements (R139) • Implementation • Compliance monitoring • Identification of all deviations which require to be safety assessed • Correlation of the existing C.A.P. with deviations identified under R 139 • Update of the C.A.P. to reflect all of the above Iași, 14.09.2016

  18. Conversion Audit C1 – Output: • LRAR / LRTR • CS - 10 deviations to be reassessed • ELoS – 0/0 • SC – 1/0 • DAAD – 9/10 • Lack of documented evidences supporting the CB • OR– no AltMoC proposal • Allocation of responsibilities within the organization • Update of organizational chart / job descriptions / training needs • Formal arrangements with all third parties providing safety significant services on ADR (IFP designers, contract with the ANSP) Iași, 14.09.2016

  19. Conversion Audit C1 – Output: • LRAR / LRTR • OPS – no AltMoC proposal • LVP approval • ADR-ANSP coordination: • Maintenance of instrumental flight procedures • Common ADR-ANSP operational procedures • Safeguarding of aerodrome • Aerodrome data • RFF services (proper training of personnel) • Operations with higher code letter a/c Iași, 14.09.2016

  20. Conversion • Audit C2 (3-5 working days) • Implementation of the corrective action plan -> update • Assessment of evidences provided by ADR for compliance with R139 • Little progress on OR/OPS documentation • Safety assessments for identified deviations partially finalized • Coordination ADR-ANSP-CAA currently in debate at Ministry of Transport level • Audit C3 (3-5 working days) • After establishing all deviations (safety assessments accepted) • ADR manual finalized • C.A.P. updated • Coordination ADR-ANSP Iași, 14.09.2016

  21. Conversion - Deviations • Objects on runway strips [CS ADR-DSN.B.165] • (a) An object situated on a runway strip which may endanger aeroplanes should be regarded as an obstacle and should, as far as practicable, be removed. • (c) To eliminate a buried vertical surface, a slope should be provided which extends from the top of the construction to not less than 0.3 m below ground level. The slope should be no greater than 1:10. • Objects identified: • Drainage system elements • Visual aids foundation • Electrical system elements (cables housings) • ILS protection poles/fence • RWY/TWY intersections Iași, 14.09.2016

  22. Conversion - Deviations • Objects on runway strips • Identification of all buried objects in RWY strip • Additional information needed for strip strength • Identification of characteristics: • Type/ purpose of object • Depth of object • Distance from RWY center line • Can it be removed? • Can it be buried more than 30 cm beneath strip level? • Identify the safety significant objects -> immediate action of delethalization Iași, 14.09.2016

  23. Conversion - Deviations Iași, 14.09.2016

  24. Conversion - Deviations Iași, 14.09.2016

  25. Conversion - Deviations • Arad Airport • PAX: • 2013 – 41.530 • Agree on timeframe for mitigation of all buried objects (after conversion) • Based on financial allocation assumed by the owner • Reassessed when significant traffic changes occur • Timișoara Airport • PAX: • 2013 – 754.454 • Timeframe within the conversion period (November 2016) Objects on runway strips Iași, 14.09.2016

  26. Conversion • Timișoara Airport • 18 a/c stands (code C) • TWY centerline lights until the apron • Apron floodlighting DAAD At least one a/c stand must comply with lighting requirements (CAT III operations) • Arad Airport • 3 a/c stands (code C) • TWY centerline lights from RWY to stop bar • Apron floodlighting • Distance from stop bar to a/c stand < 100 m DAAD • Center line lights until a/c stand [CS ADR-DSN.M.710] • Lack of visual guidance (center line lights) to a/c stand Iași, 14.09.2016

  27. Oversight • Oversight cycle - AMC1 ADR.AR.C.010: • the results of past certification and oversight activities; • capability to effectively identify aviation safety hazards, and manage the associated risks; • effective control over all changes; • response time to implement corrective actions requested by the Competent Authority; • risk exposure related to the aerodrome operated, such as traffic volume, type of aircraft or physical characteristics of the aerodrome Iași, 14.09.2016

  28. Oversight • Oversight: • CAA audit programme according to oversight cycle: • Implementation of corrective actions accepted by the CAA • Implementation of management system / operational procedures: • Compliance monitoring • Personnel training • SMS effectiveness • ADR re-evaluation of safety assessments: • Risks • Effectiveness of mitigation measures • Semnificant changes of traffic level / complexity of operations Iași, 14.09.2016

  29. Oversight Safety assessment • Oversight: • ADR change management: • CAA prior approval: • Affecting the terms of the certificate • Affecting the Certification Basis • Affecting the nominated personnel Operating conditions during the change are proposed by ADR operator and approved by the CAA. • CAA notification: • In compliance with the approved procedure from the Aerodrom Manual - AMC3 ADR.OR.E.005 Aerodrome manual - 2.2.10 management of change (including organizational changes with regard to safety responsibilities); Iași, 14.09.2016

  30. ROMANIAN CIVIL AERONAUTICAL AUTHORITY Thank you ! www.caa.ro Iași, 14.09.2016

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