Seaplane training certification
The Department of Transport require that all seaplane endorsements be recommended by a seaplane instructor who has been designated as seaplane flight examiner.
Air transportation safety investigation report
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Date the recommendation was issued |
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Date of the latest response |
January 2019
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Date of the latest assessment |
March 2018
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Rating of the latest response |
Satisfactory in Part
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File status |
Closed
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All responses are those of the stakeholders to the TSB in written communications and are reproduced in full. The TSB corrects typographical errors in the material it reproduces without indication but uses brackets [ ] to show other changes or to show that part of the response was omitted because it was not pertinent.
Summary of the occurrence
Between 1976 and 1990, there were 1,432 seaplane accidents, of which 234 were fatal, resulting in 432 deaths. In February 1994, following an examination of these accidents, the Board issued a report identifying safety deficiencies associated with the levels of skills, abilities and knowledge of pilots engaged in seaplane operations. The report contained ten recommendations addressing issues of training, evaluation and certification, proficiency and education.
On 5 May 1994, the Minister responded to each of the Board’s recommendations. Following is the Board’s assessment of the extent to which the underlying deficiencies are being addressed.
The Board released Report SSA93001 on 10 February 1994.
Rationale for the recommendation
The attainment of a given standard of knowledge or skill, particularly in the field of motorized equipment operation, generally requires some type of examination. Still, in the case of seaplane operations, a pilot is not required to demonstrate that he or she has acquired an acceptable level of skill, knowledge and decision-making ability. A pilot only needs to have flown the number of seaplane flying hours set out in the Personnel Licensing Handbook to obtain a seaplane rating; there is no requirement to pass a written, oral, or flight test. As a result, TC has no evidence that the applicant has reached a minimum proficiency standard. Although it is normally the trainer’s responsibility to recommend the applicant for the seaplane rating, there is room for a wide variety of proficiency level assessments among trainers since there are no established proficiency standards.
To ensure that a minimum level of knowledge, skill, and decision-making ability has been attained after the completion of all required training, the Board recommends that
the Department of Transport require that all seaplane endorsements be recommended by a seaplane instructor who has been designated as seaplane flight examiner.
TSB Recommendation A93-18
Previous responses and assessments
May 1994: Transport Canada’s response to Recommendation A93-18
Transport Canada considers that the additional proficiency standards included in the new ground and flight training syllabi will be sufficient to allow the recommending instructor to make a valid assessment of the competency of the applicant for a seaplane endorsement.
July 1994: TSB assessment of Transport Canada’s response to Recommendation A93-18
As in its reply to recommendation A93-16 (Seaplane Training Qualifications), Transport Canada relies on the comprehensive ground and flight training syllabi as a response to this recommendation. For the same reasons discussed in the reply to A93-16, this reply is considered to be Unsatisfactory.
November 1996: TSB reassessment of Recommendation A93-18
The new Canadian Aviation Regulations (CARs) does not address this issue. Unqualified trainers remain the only authority required to certify seaplane endorsement. The present Transport Canada trend to delegate its licensing authority to industry makes any positive outcome of this recommendation unlikely.
Therefore, the assessment remains as Unsatisfactory.
November 1997: TSB reassessment of Recommendation A93-18
No change since the last reassessment.
Therefore the assessment remains as Unsatisfactory.
January 2004: TSB reassessment of Recommendation A93-18
In the absence of a formal exam and a seaplane flight examiner designation, Transport Canada has improved the syllabus and its associated standard required for seaplane endorsement in an effort to improve the quality of “seaplane endorsed pilot”. TP 12668 (instructor guide-seaplane rating) now appears comprehensive and well written. Notwithstanding that TC has not implemented specific skill and knowledge test per se, if “instructor” guide is followed, then an already licensed pilot for land A/C should be able acquire the necessary skills/knowledge for seaplane rating.
Therefore, the response to Recommendation A93-18 is assessed as Satisfactory in Part.
As such, Further Action is Unwarranted with respect to A93-18 and the status is set to Inactive.
April 2014: TSB review of Recommendation A93-18 deficiency file status
The Board requested that A93-18 be reviewed to determine if the deficiency file status was appropriate. After an initial evaluation, it was determined that the safety deficiency addressed by Recommendation A93-18 needed to be reassessed.
A request for further information was sent to Transport Canada and a reassessment will be conducted upon receipt of Transport Canada’s response.
Therefore, the assessment remains as Satisfactory in Part.
Latest response and assessment
March 2018: Transport Canada’s response to Recommendation A93-18
TC agrees with the recommendation.
In 1996, TC published the Flight Instructor Guide - Seaplane Rating (TP 12668) to contribute to the standardization of seaplane pilot training in Canada
TC’s review of current requirements concluded that they are properly addressed in Part IV of the CARs and in TP 12668.
TC plans no further action and suggests closing this recommendation.
January 2019: TSB reassessment of Transport Canada’s response to Recommendation A93-18
Transport Canada (TC) indicates that the safety deficiency identified in Recommendation A93-18, regarding the requirement for all seaplane endorsements to be recommended by a seaplane instructor who has been designated as seaplane flight examiner, has been addressed as follows:
- Section 405.21 of the Canadian Aviation Regulations (CARs) requires that a person be qualified as a flight instructor in order to conduct flight training. To be qualified, that person needs to meet the requirements of the personnel licensing standards (Commercial Air Service Standards [CASS] 425.21);
- Subsection 425.21(6) of the CASS requires that a person conducting flight training for the issuance of a seaplane class rating must be the holder of either a Commercial Pilot Licence or an Airline Transport Pilot Licence and have at least 50 hours flight time on that class of aeroplane;
- In order to standardize seaplane pilot training in Canada, TC published the Instructor Guide - Seaplane Rating (TP 12668). This guide provides flight instructors with the detailed training requirements to obtain a seaplane rating; and
- Section 421.38 of the CASS requires that within 12 months preceding the date of application for a seaplane rating, an applicant shall have successfully completed a qualifying flight under the supervision of a Transport Canada inspector or a person qualified in accordance with subsection 425.21(6) of the CARs by demonstrating the level of skill specified in TP 12668.
TC does not require seaplane endorsements to be recommended by a seaplane instructor who has been designated as seaplane flight examiner. The steps taken by TC to date have improved the seaplane rating endorsement even if they do not specifically address the intent of the recommendation. The Board believes that the actions taken have reduced the risk associated with the safety deficiency identified in Recommendation A93-18 sufficiently that it can now be closed.
Therefore, the response to Recommendation A93-18 is assessed as Satisfactory In Part.
File status
The TSB will monitor TC’s progress on its planned actions.
This deficiency file is Closed.