US Airways

Document ID: FAA-2012-1230-0002
Document Type: Public Submission
Agency: Federal Aviation Administration
Received Date: January 03 2013, at 12:00 AM Eastern Standard Time
Date Posted: January 3 2013, at 12:00 AM Eastern Standard Time
Comment Start Date: December 26 2012, at 12:00 AM Eastern Standard Time
Comment Due Date: February 11 2013, at 11:59 PM Eastern Standard Time
Tracking Number: 1jx-82wg-ubr6
View Document:  View as format xml

This is comment on Proposed Rule

Airworthiness Directives: Embraer S.A. Airplanes

View Comment

To Whom It May Concern: P/N 1001447-6 is installed on all US Airways E190 aircraft and was installed per AMOC ANM-116-11-023 (Global AMOC allowing MPN 1001447-6 Low Stage Check Valve). Therefore the NPRM is not applicable to US Airways fleet, since we do not 1001447-3/-4 valves installed. US Airways would still like to comment on AD NPRM 2011-NM-107-AD even though by having P/N 1001447-6 installed we are not in the AD effectivity. Our concern with this NPRM is called out in paragraph (I): Paragraph (l) “For Model ERJ 190–100 STD, –100 LR, –100 ECJ, and –100 IGW airplanes; and Model ERJ 190–200 STD, –200 LR, and –200 IGW airplanes: Except as provided by paragraph (m) of this AD, within 10 months after the effective date of this AD, install a new LPCV having P/N 1001447–6,using a method approved by either the Manager, International Branch, ANM–116, Transport Airplane Directorate, FAA; or Ageˆncia Nacional de Aviac¸a˜o Civil (ANAC) (or its delegated agent).” The current statement in Paragraph (l) “using a method approved” needs to be further clarified so operators can understand what is acceptable and unacceptable method of installation. The approved method such as an Embraer AMM or SB needs to be stated to avoid an AMOC allowing use of these documents. Regards, Eric Daymont US Airways

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Total: 1
US Airways
Public Submission    Posted: 01/03/2013     ID: FAA-2012-1230-0002

Feb 11,2013 11:59 PM ET