It is unfortunate that is has come to the point that you are trying to regulate integrity.
Using the same justification that you are using in this NPRM all FAA employees should not be allowed to obtain a Certificate of Designation for any possition such as DMIR, DAR, DER, ODAR, etc. to act as representitives of the FAA for at least 2 years after leaving the FAA.
The integrity of these individuals (formaer FAA employees)evidently is such as to jepordize their ability to perform the designated functions with certificate holders that they previously had over sight on.
As a mater of fact if this NPRM goes through as printed in the Federal Register, Vol. 74, No. 223 I will be contacting several congressmen to push the issue regarding the above.
Regards Jack
Related Comments
Total: 5
Jack Russell Butler Public SubmissionPosted: 12/08/2009
ID: FAA-2008-1154-0004
Feb 18,2010 11:59 PM ET
James Wott Public SubmissionPosted: 12/08/2009
ID: FAA-2008-1154-0005
Feb 18,2010 11:59 PM ET
Peggy Ann Barrett Public SubmissionPosted: 12/11/2009
ID: FAA-2008-1154-0006
Feb 18,2010 11:59 PM ET
Anonymous Public SubmissionPosted: 12/22/2009
ID: FAA-2008-1154-0007
Feb 18,2010 11:59 PM ET
Charles Mars Public SubmissionPosted: 02/03/2010
ID: FAA-2008-1154-0008
Jack Russell Butler
This is comment on Rule
Restrictions on Operators Employing Former Flight Standards Service Aviation Safety Inspectors
View Comment
Related Comments
Public Submission Posted: 12/08/2009 ID: FAA-2008-1154-0004
Feb 18,2010 11:59 PM ET
Public Submission Posted: 12/08/2009 ID: FAA-2008-1154-0005
Feb 18,2010 11:59 PM ET
Public Submission Posted: 12/11/2009 ID: FAA-2008-1154-0006
Feb 18,2010 11:59 PM ET
Public Submission Posted: 12/22/2009 ID: FAA-2008-1154-0007
Feb 18,2010 11:59 PM ET
Public Submission Posted: 02/03/2010 ID: FAA-2008-1154-0008
Feb 18,2010 11:59 PM ET