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Newsletter:
MTF...P2
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Have attached Latest Newsletter.
In this issue we raise the same issue that the ICAO 2023/24 audit found.
ICAO stated Australia “could more fully realise the benefits of closer alignment with ICAO’s standards and practices (SARPs)”
There is also ICAO – Government “corrective acion plans” that have been agreed with ICAO.
Why won’t those “corrective action plans” be made public?
1/ We provide an example how government lodge a difference with Annex 1, Chapter 4 that is very misleading to other nations.
a) By not adopting and implementing these SARPs, we are being held in the past.
b) We cannot understand why government/CASA cannot look to the future.
c) Adopting and implementing ICAO SARPs is the first step to modernisation.
2/ EASA introduced a GA aircraft maintenance organisation a few years ago, EASA Part CAO.
a) A Combined Airworthiness Organisation can be approved for:
b) Non passenger, non complex aircraft maintenance
c) Also perform the EASA “airworthiness review” – GA annual inspection does the same.
d) Also issue “permit to fly” so you can approve a customer’s aircraft to fly to your organisation for mainenanc.
Note: EASA has extended these functions to EASR Part 145 AMOs and CAMOs
3/ The shortage of LAMEs could be reduced if CASA adopted the EASA Part 66 B3 & B2L AME licences.
a) EASA introduced to ease entry into licencing especially for GA.
b) A B3, according to EASA, can attain a licence in half the classroom training hours as a B1.2.
So why are we stuck in the past and not adopting the other half of CASR Part 66 AME licences.
We have a bureaucracy that has not kept pace with the global industry changes or the SARPs?
No wonder the industry is struggling instead of booming.
Ken Cannane
Executive Director
AMROBA
Phone: (02) 97592715
Mobile: 0408029329
www.amroba.org.au
Safety All Around.
Newsletter:
MTF...P2