Dear Sir, Madam,
With reference to Docket No. FAA-2010-0857 Fokker Services B.V. would like to comment on the Proposed Amendment as follows:
In Table 2 “Affected Airplanes” Fokker Services is explicitly mentioned as being one of the “installed on, but not limited to” aircraft types affected by the Proposed Amendment.
However, Fokker Services B.V. (or the preceding Fokker Aircraft) did not certificate the installation of seats and seating systems manufactured by Koito Industries, Ltd nor is Fokker Services B.V. aware of any seats or seating systems manufactured by Koito Industries, Ltd being installed on the aircraft types of which Fokker Services B.V. is the Type Certificate Holder.
We therefore kindly request FAA to delete Fokker Services B.V. from table 2 to prevent any possible confusion.
Best regards,
Ron Huisman
Fokker Services B.V.
Office of Airworthiness
Fokker Services B.V.
This is comment on Rule
Airworthiness Directives: Koito Industries, Ltd., Seats and Seating Systems Approved Under Technical Standard Order (TSO), etc.
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