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Until recently I was convinced that only a CFII could
conduct an instrument proficiency check (as opposed to a plain CFI), but now I am confused: 14 CFR 61.195(c) says that an instructor must have an instrument rating on *both* his pilot and instructor certificates, i.e., be a CFII, in order to "provide(s) instrument flight training *for the issuance of an instrument rating*"; This is how a plain CFI (not II) can provide the training required to satisfy the requirements of good old 14 CFR 61.109(a)(3) -- i.e., the three hours training by sole reference to instruments required to get a private certificate; Now, the problem is that I haven't found where in the regulations it is specified that a CFII must conduct the instrument proficiency check (which is *not* training for the issuance of an instrument rating that the student already has); 14 CFR 61.57(d) says training has to be provided by an 'authorized instructor' (in addition to examiners etc.) -- is this what I am missing? that would be an odd use of the term 'authorized instructor' as compared to other places in the regs. Now I probably missed something obvious, but can a CFI (not II) provide the training and endorse someone's instrument proficiency check? (and if not where is it said in the regs?) Note: I am not trying to do something silly, but I am in the process of studying the regs in details and I like to understand the fine points. --Sylvain |
#2
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On Mon, 17 Oct 2005 14:30:27 -0700, Sylvain wrote:
Until recently I was convinced that only a CFII could conduct an instrument proficiency check (as opposed to a plain CFI), but now I am confused: Now, the problem is that I haven't found where in the regulations it is specified that a CFII must conduct the instrument proficiency check (which is *not* training for the issuance of an instrument rating that the student already has); 14 CFR 61.57(d) says training has to be provided by an 'authorized instructor' (in addition to examiners etc.) -- is this what I am missing? that would be an odd use of the term 'authorized instructor' as compared to other places in the regs. Now I probably missed something obvious, but can a CFI (not II) provide the training and endorse someone's instrument proficiency check? (and if not where is it said in the regs?) I can't find that statement specifically in the regs, although in John Lynch's FAQ's regarding Part 61, he does state clearly "The flight instructor who administers the Instrument Proficiency Check of § 61.57(d) must hold a CFII-Airplane rating and as per § 61.195(c), the flight instructor must ". . . hold an instrument rating on his or her flight instructor certificate and pilot certificate that is appropriate to the category and class of aircraft in which instrument training is being provided." Of course, John Lynch has been wrong in certain of his pronouncements; but this one has been in there for a few years without argument, so far as I know. He also writes, in another question, almost identical to yours: ==================================== QUESTION: Is it true that a CFI giving an endorsement for an Instrument Proficiency Check must have an instrument rating (CFII) on his/her flight instructor certificate? I can't seem to find anything in the current Part 61 that states that an Instrument Proficiency Check endorsement requires a CFII. The § 61.57(d)(2)(iv) requires an "authorized instructor". The definition of "authorized instructor" now seems to come from § 61.193 (Flight Instructor Privileges) and § 61.195 (Flight Instructor Limitations). The only reference to a requirement for a CFII that I can find is in § 61.195(c). ANSWER: Ref. § 61.57(d)(2)(iv) and § 61.193; A flight instructor who performs an instrument proficiency check, as required by § 61.57(d), must hold the appropriate instrument rating for the category and class of aircraft that the instrument proficiency check is being conducted in. As per § 61.193, it states in pertinent part, ". . . A person who holds a flight instructor certificate is authorized within the limitations of that person's flight instructor certificate and ratings to give training and endorsements that are required for, and relate to: * * * * * (f) An instrument rating; A flight instructor who does not hold an instrument rating on their flight instructor certificate that is appropriate to the category and class of aircraft that the instrument proficiency check is being conducted in is not authorized to conduct the instrument proficiency check. The term "authorized instructor" was intentionally used in § 61.57(d) because authorization to conduct an instrument proficiency check is not limited to a CFII. A Ground Instructor Certificate - Instrument Rating is also an "authorized instructor" and is authorized to give the instrument proficiency check in an approved flight training device. Also, a Part 142 training center instructor, who may or may not hold any certificate or ratings, can be an "authorized instructor" who may give the instrument proficiency check that is performed under an approved Part 142 training program in an approved flight simulator, in accordance with a Part 142 approved training program. Another example, a pilot who holds a Letter of Operational Authority (LOOA) may give the endorsements for the instrument proficiency check to a holder of a Letter of Authorization (LOA).) Holders of an LOOA give training for the endorsement for the Letter of Authorization (LOA) allowing a pilot to act as pilot in command in surplus military turbine or piston powered airplane, in accordance with FAA Order 8700.1, Chapter 32. However, in this case, the holder's Letter of Operational Authority (LOOA) must specifically state this authority to give the endorsements for the instrument proficiency check. And so the rulemaking team that drafted the new Part 61 decided on merely stating . . .. An authorized flight instructor . . ." But notice in § 61.57(d)(2)(v), we also included ". . . A person approved by the Administrator to conduct instrument practical tests." {Q&A-315} ===================================== Note: I am not trying to do something silly, but I am in the process of studying the regs in details and I like to understand the fine points. Good luck. That is one of the known methods of driving yourself crazy! Ron (EPM) (N5843Q, Mooney M20E) (CP, ASEL, ASES, IA) |
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Ron Rosenfeld wrote:
I can't find that statement specifically in the regs, although in John Lynch's FAQ's regarding Part 61, thanks a bunch! I feel silly not to have looked for it in the FAQ first (the fact that there is an entry in the FAQ on this very subject would tend to show that the regs by themselves are a wee bit ambiguous :-) ) --Sylvain |
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On Mon, 17 Oct 2005 22:06:50 -0700, Sylvain wrote:
the regs by themselves are a wee bit ambiguous :-) ) Fer sure! Ron (EPM) (N5843Q, Mooney M20E) (CP, ASEL, ASES, IA) |
#5
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On Mon, 17 Oct 2005 22:06:50 -0700, Sylvain wrote:
Ron Rosenfeld wrote: I can't find that statement specifically in the regs, although in John Lynch's FAQ's regarding Part 61, thanks a bunch! I feel silly not to have looked for it in the FAQ first (the fact that there is an entry in the FAQ on this very subject would tend to show that the regs by themselves are a wee bit ambiguous :-) ) --Sylvain A ground instructor can give the training, but cannot sign off an IPC. Sounds a little strange, but true. Only a CFII can endorse the IPC. This information was taught at Oklahoma City during the initial pilot examiner certification course. You can look at FAR 61.215 and see that it is not included within the priveliges afforded ground instructors. |
#6
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On Tue, 18 Oct 2005 21:51:25 GMT, Bill Zaleski
wrote: On Mon, 17 Oct 2005 22:06:50 -0700, Sylvain wrote: Ron Rosenfeld wrote: I can't find that statement specifically in the regs, although in John Lynch's FAQ's regarding Part 61, thanks a bunch! I feel silly not to have looked for it in the FAQ first (the fact that there is an entry in the FAQ on this very subject would tend to show that the regs by themselves are a wee bit ambiguous :-) ) --Sylvain A ground instructor can give the training, but cannot sign off an IPC. Sounds a little strange, but true. Only a CFII can endorse the IPC. This information was taught at Oklahoma City during the initial pilot examiner certification course. You can look at FAR 61.215 and see that it is not included within the priveliges afforded ground instructors. How about if the IPC is given in a sim? Ron (EPM) (N5843Q, Mooney M20E) (CP, ASEL, ASES, IA) |
#7
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On Tue, 18 Oct 2005 20:45:29 -0400, Ron Rosenfeld
wrote: On Tue, 18 Oct 2005 21:51:25 GMT, Bill Zaleski wrote: On Mon, 17 Oct 2005 22:06:50 -0700, Sylvain wrote: Ron Rosenfeld wrote: I can't find that statement specifically in the regs, although in John Lynch's FAQ's regarding Part 61, thanks a bunch! I feel silly not to have looked for it in the FAQ first (the fact that there is an entry in the FAQ on this very subject would tend to show that the regs by themselves are a wee bit ambiguous :-) ) --Sylvain A ground instructor can give the training, but cannot sign off an IPC. Sounds a little strange, but true. Only a CFII can endorse the IPC. This information was taught at Oklahoma City during the initial pilot examiner certification course. You can look at FAR 61.215 and see that it is not included within the priveliges afforded ground instructors. How about if the IPC is given in a sim? Ron (EPM) (N5843Q, Mooney M20E) (CP, ASEL, ASES, IA) Doesn't change anything. A ground instructor's priveliges are specified in 61.215. Endorsing an IPC is not one of them. |
#8
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hello there!. this one might be useful,
http://www.tpub.com/aviation1.htm try to visit the link. they provide military aviation infos there! Sylvain wrote: Until recently I was convinced that only a CFII could conduct an instrument proficiency check (as opposed to a plain CFI), but now I am confused: 14 CFR 61.195(c) says that an instructor must have an instrument rating on *both* his pilot and instructor certificates, i.e., be a CFII, in order to "provide(s) instrument flight training *for the issuance of an instrument rating*"; This is how a plain CFI (not II) can provide the training required to satisfy the requirements of good old 14 CFR 61.109(a)(3) -- i.e., the three hours training by sole reference to instruments required to get a private certificate; Now, the problem is that I haven't found where in the regulations it is specified that a CFII must conduct the instrument proficiency check (which is *not* training for the issuance of an instrument rating that the student already has); 14 CFR 61.57(d) says training has to be provided by an 'authorized instructor' (in addition to examiners etc.) -- is this what I am missing? that would be an odd use of the term 'authorized instructor' as compared to other places in the regs. Now I probably missed something obvious, but can a CFI (not II) provide the training and endorse someone's instrument proficiency check? (and if not where is it said in the regs?) Note: I am not trying to do something silly, but I am in the process of studying the regs in details and I like to understand the fine points. --Sylvain |
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