Session 10 Part 147 Final

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Approved Training Organizations

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EASA Part 147

Part-147 is the fourth element of


EC Regulation 2042/2003
For the full implementation of
Part-147 however a complete
understanding of
Part-66 is required.
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EASA Part 147

Part-147 is also divided into two


sections
Section A – Untitled, but are the
requirements for compliance by
the Approved Organisations
Section B – Procedures for
Competent Authorities 3
EASA Part 147
Section A

This Section is sub-divided into;

Subpart A – General
Subpart B – Organizational Requirements
Subpart C – The Approved Basic Training
Course
Subpart D – Aircraft Type/Task Training
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EASA Part 147
Section B
This section is sub-divided
into; Subpart A – General
Subpart B – Issue of an Approval
Subpart C – Revocation,
Suspension and Limitation of
the Maintenance Training
Organization approval 5
EASA Part 147
Approvals are administered by the competent authority.
 Quote: For the organizations having their principle
place of business located in a territory of a member
state, the authority designated by that member state”,
will be responsible.
 Quote: “For the organizations having their principle
place of business located in a third country, the
Agency” is responsible.
However the Agency usually designates a member
authority to conduct the approval process on their
behalf in third countries. 6
EASA Part 147
Training Organizations
There are two types of Training
Organization
 Basic Training Organization
 Type Training Organization
(or a combination of both).
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EASA Part 147
Requirements for an Approved Maintenance
Training Organization (MTO)
 Premises appropriate to the training being
conducted
 Organization management
 Processes and procedures that define how
the training is organized, conducted and
controlled
 Personnel to manage, deliver, examine and
ensure the quality of the training 8
EASA Part 147
Premises
 All Part-147 approved organizations will
require as a minimum office space for
management of the organization storage of
records and a space for instructors / course
developers to produce training material and
marking and assessment of examinations.
A training area will also be required to deliver
training
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EASA Part 147
Premises
 These premises will vary enormously dependent
upon the size of the training organization from the
smallest organization operated from domestic
accommodation to the largest organizations where
large training developments teams are in place with
dedicated training establishments which are equipped
with the latest synthetic training devices such as fixed
base and full flight simulators.
Basic training organizations will also need to
demonstrate the ability to deliver hand skills and basic
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maintenance training
EASA Part 147
Management
Part-147 requires the following;
 Accountable Manager
 Training Manager
 Quality Manager
and for larger organizations Examination Manager
With the exception of the Accountable Manager EASA
Form 4s should be completed for each person
nominated to hold a position stated above.
However……….. 11
EASA Part 147
Management
All of the above posts can be held by a
single person providing that the requirements of
Part-147.A.105 are met.
Again the composition of the management
team will be determined by the size and
complexity of the organization.
For any basic training organization it would be
expected that an individual would hold each of
these positions
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EASA Part 147
Management
 In some very large organizations, the Accountable
Manager may delegate the day to day responsibility
for running the training organization to a deputy.
 This position is frequently held by the training
manager
In small training organizations the quality audit
process (as opposed to the quality management
requirement) may be carried out by a third party

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EASA Part 147
Processes and Procedures
The Maintenance Training Organization
Exposition
(MTOE)
 This document may take any form that the
organization deems to meet the requirements.
Guidance is included in AMC Appendix 1 but it
is not an absolute requirement that this is
followed.
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EASA Part 147
Maintenance Training Organization Exposition
 The MTOE provides a declaration by the Accountable
Manager that the approved organization will conduct training
in accordance with the requirements of Part-147
 It also contains;
a description of the organization including staff, facilities
and scope of approval

the processes and procedures used to deliver training


a description of the quality system
forms used and the analysis of the training courses
demonstrating compliance with Part-66
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EASA Part 147
Maintenance Training Organization Exposition
 In many cases the Procedures and /or the
Training Needs Analysis (TNA) are not
included in the MTOE but are held in separate
documents.
If this is the case it is imperative that the MTOE
adequately cross refers to the procedures and
that there is a robust set of procedures in place
to ensure that the competent authority are made
aware of any changes to the procedures or
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TNAs
EASA Part 147
Personnel
 Under this heading are the staff that deliver the
training, examinations and assessment, and other
administrative staff who may organize the report,
examination results and maintain records.
 These are really the most important people as they
are the ones who deliver the product of good training.
The training organization must ensure that
appropriate support and materials are in place to
ensure that they can deliver training as detailed in
the MTOE 17
EASA Part 147

Now that we have established what an


organization looks
like, we will look at the training courses
themselves and for
that we must return to Part-66.
It is worth amplifying here that all Part-147
training is
designed to qualify the candidate for Part-66
licence issue,
nothing more. 18
EASA Part 147
Basic training organization conducts training courses for
Category A
Category B1.1
Category B1.2
Category B1.3
Category B1.4
Category B2
Category B3
They may also combine with higher education
organisations to deliver approved degree courses.
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EASA Part 147
The Minimum Basic Training Course comprises of :
Cat A1,A3,A4: – 800 hours of which 30-35% is
theoretical.
Cat A2: – 650 hours of which 30-35% is
theoretical. Cat B1.1, B1.3, B1.4 and B2:
– 2400 hours of which 50–60% is theoretical.
Cat B1.2: – 2000 hours of which 50-60% is
theoretical.
Cat B3 – 1000 hours of which 50–60% is
theoretical.
The practical element of the training course is subdivided in order that at
least
30% of the practical training is conducted in an actual PART-145
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approved maintenance working environment
EASA Part 147

The Basic Training course covers the


syllabus previously described in Part 66.
It is worth reiterating here that there are
significant changes to Modules 11, 12
and particularly 13 (B2 syllabus) and the
examination requirements that were
introduced for the Category B3 by EC
1149/2011.
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EASA Part 147
Approved Type Training
 Part 66.A.45 states the requirement for Approved Type
Training prior to a Part 66 license being extended with a type
rating which is required prior to exercising certification
privileges. This applies to all
“Group 1” aircraft and those aircraft that the Agency has
determined to be complex.
 A Group 1 aircraft is defined as;
complex motor-powered aircraft as well as multiple engine
helicopters, aeroplanes with maximum certified operating
altitude exceeding FL290, aircraft equipped with fly-by-wire
systems and other aircraft requiring an aircraft type rating
when defined so by the Agency. 22
EASA Part 147

 Type ratings as listed at AMC Part 66 Appendix 1


may be approved in either the B1, B2 or C
categories.
 These courses must follow the syllabus and training
level requirement detailed at Part 66 appendix III.
 Conversion courses or part courses may also be
approved where there is a need e.g.
An airframe manufacturer who does not necessarily
know the engine to the required level 3 depth for
course approval.

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EASA Part 147
Winds of Change II
 One of the major changes introduced by EC 1149/2011is to
formalize type practical training and specifically approve Part-
145 organizations to conduct the practical training element of
a type training course.
There are many implications here especially regarding
access to aircraft which are not owned by the maintenance
organization.
Appendix III to Part-66 has been heavily amended to include
minimum training hour requirements for type training courses
and provided a syllabus for the practical training element.

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EASA Part 147
Approval Oversight
Part-147.B.10(c) requires the competent
authority to establish procedures detailing how
compliance with Part-
147 will be met.
Paragraph (d) of this rule also requires that all
staff involved with approvals must be
appropriately qualified and have received
training on Annex III (Part-66) and IV (Part-
147) 25
EASA Part 147
Approval Oversight
Part-147.B.20 details the requirement for
retention of records regarding approval
oversight.
How this requirement is met will depend on
the procedures adopted by the competent
authority
In UK we use two electronic systems to meet
EU and national requirements
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EASA Part 147
Approval Oversight
 Each Approved Organization shall be completely audited
for compliance with Part-147 at periods not exceeding
24months.
 This requirement may be achieved in several ways for
various reasons. A small organization that have
demonstrated robust procedures and standards may be
audited only once in the 24 month period but a large
organization or one where standards are not consistently met
may be audited several times per year.
In UK we tend to audit at least once per year for type
training and twice per year for basic training organizations.
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EASA Part 147
Approval Oversight
Documentation
 The actual documentation used will depend on the
procedures established by the competent authority,
however one common record is the EASA Form 22,
an example of which is given at Appendix III to
Part147.
This is an example only and may be altered, within
reason, to meet national competent authority
requirements. However if acting on behalf of EASA
their form 22 must be used. 28
EASA Part 147
Approval Oversight
Limiting, Suspension or Revocation
There may be times when action needs to be taken
against an organization to limit, suspend or revoke
their approval. This is rare but some examples may
be;
 A nominated instructor is long term sick and a replacement can’t be
found. In this case the approval would be limited in the appropriate
area pending the return of the instructor
A suspension may be imposed if the approval cannot be met for
example if the facilities were lost to fire or flood or confidence is lost
in the organization quality 29
EASA Part 147
Approval Oversight
Limiting, Suspension or Revocation
 Where an organization suffers financial failure
or a serious non-compliance issue occurs,
revocation action may be taken.
 In such cases it is vitally important to ensure
that your
legal team are aware of the circumstances in
order that no breech of legal rights occur.
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QUESTIONS?

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