Rolls-Royce plc has been actively involved in generating the comments submitted in the AIA response on the FAA NOx proposals and we fully endorse these comments. Additionally we thank the FAA for not implementing the annual production reporting required by US EPA as we believe the need is not clearly justified.
Related Comments
Total: 3
Pratt & Whitney Public SubmissionPosted: 01/31/2013
ID: FAA-2012-1333-0002
Rolls-Royce plc Public SubmissionPosted: 03/04/2013
ID: FAA-2012-1333-0004
Rolls-Royce plc
This is comment on Rule
Exhaust Emissions Standards: New Aircraft Gas Turbine Engines and Identification Plate for Aircraft Engines
View Comment
Related Comments
Public Submission Posted: 01/31/2013 ID: FAA-2012-1333-0002
Public Submission Posted: 03/04/2013 ID: FAA-2012-1333-0004
Public Submission Posted: 02/28/2013 ID: FAA-2012-1333-0003