The first comment deals with the preamble section Clarification of AD Compliance
Time and the corresponding Paragraph (g) of the AD. The preamble section begins
with the following statement: “Due to the degree of urgency associated with the
subject unsafe condition, this AD specifies a compliance time of within 7 days
after the effective date of this AD to more closely coincide with the time the
Canadian airworthiness directives must be accomplished.” The cold weather
season (December to March inclusive in the northern hemisphere) as defined by
AD 2008-01-04 is clearly outside the range of the effective date of this AD. I do not
believe the “degree of urgency” is as great at the end of April as it was in the
beginning of March when Transport Canada AD CF-2008-15 was issued. A short
compliance time does not seem to be justifiable when the content of the subject is
less likely to be used; i.e. cold weather operations.
The second comment pertains to Paragraph (f), Note 2 and Paragraph (h).
Paragraph (h) reads: “When information identical to that in a TR specified in
paragraph (g) of this AD has been included in the general revisions of the
applicable AFM, the general revisions may be inserted into the AFM, and the TR
may be removed from that AFM.” Is a superseding TR considered a “general
revision”? Example from Table 1, CL-600-2B19 TR RJ/149-1 was superseded by
TR RJ/149-2, which was superseded by TR RJ 155-2 and TR RJ 155-2 has been
superseded by TR RJ/155-3. So, is it acceptable to insert a superseding TR as
long as the information is identical to that in the TR specified by the AD?
A third comment is for Paragraph (g). Paragraph (g) reads, in part: “revise the
applicable sections of the applicable AFM by inserting a copy of the applicable TR
listed in Table 2 of this AD”. Again, this comment is limited to the CL-600-2B19.
Table 2 – Temporary Revisions for the CL-600-2B19, requires inserting TR RJ155-
3 “to the-“ “Limitations and Abnormal Procedures section and Supplement 15 of
the Canadair Regional Jet AFM, CSP A-012”. I am requesting this wording be
changed to read: “Limitations and Abnormal Procedures section, and if applicable,
to Supplement 15 of the Canadair Regional Jet AFM, CSP A-012”. Comair’s AFM
do not contain Supplement 15. Comair did not purchase Option Code 0090 and
does not conduct High Altitude Airport Operations. When Bombardier supplies
Comair unique AFM revision TR RJ/155-3 it will not contain Supplement 15.
As the second and third comments reflect, AFM-oriented ADs can be very difficult
for operators of large fleets to comply with in a short timeframe and drives literally
hundreds of man-hours of administrative activity to ensure the insertion of proper
pages to meet the compliance deadline.
When ADs requiring AFM revisions are required in the future, an effort should be
made to write the AD to recognize that multiple variants of AFM Temporary
Revisions exist.
Related Comments
Total: 1
James W. Bender Public SubmissionPosted: 04/25/2008
ID: FAA-2008-0408-0003
James W. Bender
This is comment on Rule
Airworthiness Directives; Bombardier Model CL-600-1A11 (CL-600), CL-600-2A12 (CL-601), CL-600-2B16 (CL-601-3A, CL-601-3R, and CL-604 (Including CL-605 Marketing Variant)) Airplanes, and Model CL-600-2B19 (Regional Jet Series 100 and 440) Airplanes
View Comment
Related Comments
Public Submission Posted: 04/25/2008 ID: FAA-2008-0408-0003
May 14,2008 11:59 PM ET