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#1
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![]() Cats wrote: From the report: "The Hawker 800XP was equipped with a TCAS warning system." ================================================== ======= I had not seen that yet, thanks. The tools were in the box and were not used. Bad all around. Thank God no one died. |
#2
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I believe the glider pilot was from Japan. May be time for a hasty
retreat back to the homeland. |
#3
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#5
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Here I go again...
Had the pilot been an American, would the original comment have been "May be time for a hasty retreat back to (name the State of your choice here) ? Or perhaps was the initial post a mild joke, suggesting that a hasty retreat would put the unfortunate pilot beyond the grasp of the FAA, NTSB, etc...? Cheers anyhow, Charles |
#6
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This is a very interesting statement to see from an FAA investigator
who should know the rules (or at least be able to read). 14 CFR Part 91.215 is very clear that if you are a pure glider above 10K you do not need to have a transponder installed. It is also about as clear as any FAR can be that if you have one, it must be on. The intrepretation that "If I am not required to have one, then I can act as if I don't even if I do" just isn't how the rule reads. |
#7
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![]() Quebec Tango wrote: This is a very interesting statement to see from an FAA investigator who should know the rules (or at least be able to read). Fact is, the NTSB does the accident investigation; and writes that report you are reading. Even when the NTSB elects not to perform the accident investigation (in numerous instances) the FAA inspector conducting the investigation is doing so *on behalf of* the NTSB. The FAA may elect to perform a seperate (from the NTSB) enforcement investigation. If you can read, read these FAA Orders 8300.10, 8400.10 and 8020.11. If you can find a copy of the Order 2150.3a, read it. It's all about enforcement. Google it. You should read all of those documents, but especially the sections regarding accident and enforcement investigations. Jim |
#9
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![]() Quebec Tango wrote: Jim, So I will humbly ask you to state your point(s) explicity. QT, My point is: the NTSB does the accident investigation; and writes that report you are reading. Not the FAA investigator. The two organizations are not the same and they are not always there for the same reason. The NTSB made that very interesting statement not the FAA. The NTSB does not investigate for enforcement of rules (OK, except maybe for the NTSB 800 series rules, maybe not). The FAA investigates accidents to promote safety and also for enforcement and compliance (2150.3a) and if there is an enforcement against anyone in the accident, you will not be able to read it until 1) it is final and completely adjudicated and 2) you FOIA it and the report is released to you. So, my explicit point is that no one outside the FAA can know what the FAA investigator knows about this specific accident unless he or she tells them. Anyone can read an NTSB report that finds *cause* of the accident, but very few will know what the enforcement investigation, if any, will say. The orders are indeed large, so as you can see it is important the FAA investigator to be able to read in the course of his or her duties. The 8020.11 is all about accident investigation. The 8300.10 is also large; chapters 210, 211, 212 and 213 are the chapters describing the FAA procedures and policies on accident, incident and enforcement investigations. I hope this helps. Jim |
#10
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Jim,
Would you agree or disagree that it is unusual for a preliminary accident report to contain such a direct statement about the interpretation of the FARs (or anything else)? This seems to me to be pretty far out of the mainstream of the SOP for investigations. The statement seems uninformed at best, and tempts me question the overall qualithy of this investigation process. wrote: Quebec Tango wrote: Jim, So I will humbly ask you to state your point(s) explicity. QT, My point is: the NTSB does the accident investigation; and writes that report you are reading. Not the FAA investigator. The two organizations are not the same and they are not always there for the same reason. The NTSB made that very interesting statement not the FAA. The NTSB does not investigate for enforcement of rules (OK, except maybe for the NTSB 800 series rules, maybe not). The FAA investigates accidents to promote safety and also for enforcement and compliance (2150.3a) and if there is an enforcement against anyone in the accident, you will not be able to read it until 1) it is final and completely adjudicated and 2) you FOIA it and the report is released to you. So, my explicit point is that no one outside the FAA can know what the FAA investigator knows about this specific accident unless he or she tells them. Anyone can read an NTSB report that finds *cause* of the accident, but very few will know what the enforcement investigation, if any, will say. The orders are indeed large, so as you can see it is important the FAA investigator to be able to read in the course of his or her duties. The 8020.11 is all about accident investigation. The 8300.10 is also large; chapters 210, 211, 212 and 213 are the chapters describing the FAA procedures and policies on accident, incident and enforcement investigations. I hope this helps. Jim |
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