04-06-2016, 05:37 PM
Aerial App Phil on Murky's SSP -
Phil Hurst and the AAAA crew have been busy in 2016:
What impressed me with this submission was the depth of understanding by Phil Hurst and his crew of the philosophy & principles of an effective State SSP according to ICAO Annex 19 SARP.
And from Appendix 1:
Well worth a read and if the calibre of other industry responses reflect the AAAA submission then maybe we may actually end with a workable & effective SSP that is fully compliant with the intent of ICAO Annex 19. Although cynically I will be surprised if Murky's crew warmly embrace the AAAA critique...
MTF...P2
Phil Hurst and the AAAA crew have been busy in 2016:
Quote:Submissions 2016:However the reason for being on Murky's thread was because of the AAA SSP submission which was in response to M&M's DRAFT SSP:
AAAA Submission State Safety Program Feb 2016
197.75 KB
Download
AAAA Submission Productivity Commission Ag Feb 2016
161.43 KB
Download
AAAA Submission CASR Part 138 Feb 2016
187.47 KB
Download
Quote:Australia's Draft State Safety Programme (SSP) 2016
The Australian Government's response to the Aviation Safety Regulation Review announced the Department of Infrastructure and Regional Development (the Department), in consultation with the aviation safety agencies, will update Australia's SSP to a forward looking, strategic plan for Australia's aviation safety system.
On 4 December 2015, the Department released an updated draft SSP for aviation industry and public comments. The comment period has now closed.
- Australia's Draft State Safety Programme (SSP) 2016: PDF: 696 KB
- Aviation Safety Regulation Review
- Australia's current SSP
What impressed me with this submission was the depth of understanding by Phil Hurst and his crew of the philosophy & principles of an effective State SSP according to ICAO Annex 19 SARP.
Quote:In summary, AAAA’s primary concerns are:
The document does not establish or recognise a partnership with industry that
underpins the program and the effective delivery of aviation safety.
There is no recognition of consultative or other structures that might provide
industry with a clear role or pathway in assisting government and its agencies in
improving aviation safety or the SSP, or how industry can interact with or make
inputs to APG / AIG etc.
While AAAA understands the various requirements for ICAO compliance that
drive the content and structure of the SSP, it should also be viewed as a key and
long-lasting document that will help drive domestic aviation policy settings as
well as international compliance.
There remains a ‘delink’ between the very worthy principles espoused under the
Policy Statement - which AAAA supports - and their non-implementation by
agencies - especially CASA.
The welcome attempt by the SSP to embed risk management as a key
consideration for regulation is hollow when compared to CASA regulatory
outcomes. AAAA strongly endorses CASA DAS Directive 01/15 - but it is not
being applied to recently introduced, problematic regulations such as CASR Part
61 or CAO 48.1. The CASA approach is still not risk-based and is still not
informed by a coherent classification of operations philosophy that gives the
highest priority to passenger carrying operations.
In particular, the application of a classification of operations policy that results in a
strong focus on passenger carrying operations, thereby permitting more creative -
even safer - approaches to the regulation of general aviation and private
operations, has not been in place for at least 10 years, and CASA continues to
struggle with the practical implementation of such a policy. Clearer details on
how this is proposed to be turned from a broad policy statement in the SSP into
practical actions by agencies would be welcome.
There is a ‘delink’ between the Policy Statement regarding ‘active and ongoing
engagement of industry’ and the fact that a number of agencies - ATSB, BITRE
and even the Department have no formal consultative mechanisms with industry,
perhaps other than the Ministerial Aviation Industry Advisory Council and the
more recently formed GA Action Group. In CASA, the SCC remains in
suspension, waiting for a decision on a new mechanism that has been
recommended by an SCC working group on the issue.
There is a ‘delink’ between the SSP statements regarding the focus on SMS
approach to safety (eg page 13 of the draft), and the ongoing CASA approach to
focusing on mainly ‘compliance’ issues. This combines with CASA’s inability to
construct and implement a classification of operations policy that determines the
resources it expends on aerial work surveillance and audit, for example. In turn,
this results in the SSP describing a system focus that is simply not evident in dayto-
day interactions with CASA field staff.
There remains a lack of CASA commitment to surrendering power over some
sectors, despite CASA Sector Risk Profiles identifying industry led programs as
making a significant contribution to risk reduction. AAAA programs including
AIMS, the Chief Pilots Course, Standard Operations Manual, Professional Pilot
Program etc are all identified in the SRP as being valuable programs. However,
CASA is struggling with recognition of these programs and is requiring significant
additional resource expenditure by industry before it will recognise programs it
has already accepted as reducing risk. It is ridiculous that AAAA has been
required to submit a formal paper to CASA on the safety benefits of the AIMS
program, arguing that having an SMS is superior to not having an SMS - and even
quoting CASA own words on this issue when they introduced mandatory SMS for
RPT back to them. There is need for a stronger direction to agencies to honour the
pathways identified in the SSP.
And from Appendix 1:
Quote:21/ 3.3/CASA - And yet CASA has never assessed its own
regulatory reform program and the complexity of
new regulations such as Part 61 as being a threat to
aviation safety - which they are.
The best that can be said is that despite the disarray
of CASA's regulatory turmoil program, industry
continues to focus on safety, tried and true methods
of safe operation and comprehensive risk
management.
CASA continues to be largely irrelevant to safe
operations, perhaps other than the general
deterrence effect and the occasional action - which
it fails to communicate - against individuals or
certificate holders. In aerial work operations, it
simply does not have current expertise to be
relevant.
Quote:24/4.2/CASA It is extraordinary that no mention is made of the
power of CASA supporting and utilising industry
education programs as a delivery mechanism for
relevant safety messages.
Often, CASA has no expertise in highly specialist
areas such as aerial application, and therefore the
best they could do is to partner with AAAA to
support the delivery of safety course and other
training and programs that actually can deliver
relevant information in a highly credible way.
CASA education programs that are poorly
informed, poorly targeted and represent a waste of
money only reinforce the cynicism of industry
towards the relevance of CASA. A good example
was the use of DAMP posters sent to all operators -
regardless of size of operation, number of
employees etc. The fact that CASA is generally
unaware of the existing industry safety programs
and peak body communication channels to
members speaks volumes about the poor
communication strategy CASA pursues.
Well worth a read and if the calibre of other industry responses reflect the AAAA submission then maybe we may actually end with a workable & effective SSP that is fully compliant with the intent of ICAO Annex 19. Although cynically I will be surprised if Murky's crew warmly embrace the AAAA critique...
MTF...P2