Title: Unmanned Aircraft Systems: Considerations for Certification and Interoperability
1Unmanned Aircraft Systems Considerations for
Certification and Interoperability
- Aircraft Certification Information Session
2Outline
- FAA Activities
- EASA Activities
- FAA/EASA Collaboration
- Reference Information on EASA Annexes
3Status of FAA Regulatory Development
- Starting Small and Do No Harm
- Why? Market surveys indicate majority of UAS
developed in the next 8-10 years will be under 20
pounds - Includes civil, military, and commercial use
- Creation of an Aviation Rulemaking Committee
(ARC) - Initial committee meeting held May 27-29 in DC
- An aggressive schedule (6-9 months)
- Rulemaking Process is lengthy
- Projected final rule due in 2010/2011
4More Regulatory Plans
- FAA has several certification teams focusing on
future rule development - Restricted Category guidance
- 14 CFR Part 1 Definitions
- 14 CFR Part 21
- 14 CFR Part 23 review applicability
- 14 CFR Part 27 (Rotorcraft) review
applicability - Ground Control Station Technology
- Automatic Take-off Landing Technology
5Experimentals and Approvals
- 31 Experimental Certificates Issued since August
2005 - 8 more in the queue
- Certificates of Authorization/Waivers
- Still between 80-100 per year
- Recent Challenge with Optionally Piloted Aircraft
- Interest is increasing in using for UAS equipment
development - Need guidance for the field
6Policies Guidance Material
7Policies Guidance Material
8RTCA Building Avionics Standards
- Developing Minimum Aviation System Performance
Standards (MASPS) for - UAS
- Sense Avoid (Includes separation assurance)
- Command Control
- Recent re-baselining of Terms of Reference
- MASPS projected for gt2015
- Risk-based approach
- Industry support (or lack of it) drives the
schedule - Harmonization with EUROCAE WG-73
9EASA Activities
- The A-NPA
- A-NPA 16/2005 issued on 7 November 2005
- Still available on the EASA web-site
- http//www.easa.europa.eu/ws_prod/r/r_archives.php
- Consultation closed on 7 February 2006
- Basis for the A-NPA
- Report of the JAA and EUROCONTROL joint
initiative on UAV (UAV Task-Force report) - http//www.easa.europa.eu/ws_prod/r/r_archives.php
- Purpose of the A-NPA
- Envisage a policy for UAV systems
(airworthiness)) certification - Solicit comments on specific points
10EASA Activities
- The policy
- Scope
- Objectives
- Definitions
- Design and production
- Continuing airworthiness
- Environmental protection
- UAS flying vehicle ground segment control
data link
11EASA Activities
- The Comment Response Document was published on
06/12/2007 http//www.easa.europa.eu/ws_prod/r/r_
archives.php - The Agency acknowledge the significant delay
compared to initial previsions - Majority of comments concur that the option
chosen by the Agency to develop a policy for
UAV/S certification within the constraints
described in the A-NPA is a step in the right
direction. - Was open for reactions until 06/02/2008.
12EASA Activities
- Highlights of comments received
- Conventional versus safety target approach for
certification - The two alternatives for selecting the manned CS.
- UAV system safety analysis
- Need for DOA
- Certificate of airworthiness and control stations
- Environment
- UAV or UAS?
- sense and avoid
- Total system approach as proposed by Sweden
- Security
- Coordination with military working group on UAV
- UAV below 150 KG
- Regulatory framework for UAV Role of EASA and
development of a comprehensive framework for UAV
regulation
13Reactions on CRD
- Reactions have been received from
- 5 Manufacturers
- 1 Association of Manufacturers
- 1 Research Establishment
- 2 Authorities
- 1 Pilot Association
- One issue has been heavily commented
- Safety target approach/ Target safety levels
- Analysis of reactions will be done so that the
policy is issued in Summer
14Contacts with Other Organisations
- ICAO
- EASA is participating into the Unmanned Aircraft
System Study Group (UASSG) - FAA and Transport Canada
- The three organizations will communicate about
any activity initiated by one of them in the
field of UAV - EUROCONTROL
- Regular contacts are maintained , be it in the
context of general coordination or specific
meetings, or through its participation in
workshops
15Contacts with Other Organisations
- EUROCAE
- Agency provide regular updates to the EUROCAE
working group WG-73 - WG-73 was asked to work on certain tasks
identified in the CRD - European Defence Agency
- The Agency intends to build on the first contacts
established with EDA. - NATO
- NATO is considering inviting the Agency to its
FINAS working group
16Contacts with Other Organisations
- Workshop on 01/02/2008
- Objective of sharing information was achieved
- Presentations are on the EASA web-site at
- http//www.easa.europa.eu/home/g_events.html
- Consider further coordination between
Institutions - Seek EASA management agreement to be more present
in UAV activities - EASA will participate into the activities related
to UAV below 150 KG - Noted different views expressed on EASA approach
to safety objective and encouraged reactions on
the CRD - Reactions on CRD will be fully evaluated
- Confirmed the need to publish the policy quickly
now
17EASA extension of scope
- Previous Basic Regulation (1592) establishes
Community competence only for the regulation of
the airworthiness and environmental compatibility
of products - Scope of this regulation is now extended to air
operations flight crew licensing and third
country aircraft - New Basic Regulation No 216/2008 dated 20
February 2008 and effective 8 April 2008 - Implementing rules for manned aircraft 1 year
later
IRs for UAS crews and UAS ops expected in due time
18EASA extension of scope
- EASAs scope proposed to cover also the safety
regulation of airport operations, air traffic
management and air navigation services - Opinion 03/2007 for aerodromes was issued in
December 2007 - Opinion 01/2008 for ATM/ANS dated 15 April 2008
- Legislative proposal for both could be issued by
the Commission in summer 2008 - EASA legal remit fully extended by say 2011?
IRs for access by UAS to airspace expected in due
time
19EASA Conclusions
- Present and future extensions of scope have been
described - This present extension of scope will allow us to
address operations and crew licensing issues for
UAV - EASA is committed to finalise this summer the
policy for UAV systems certification - EASA is willing to cooperate and contribute to
the development of a comprehensive UAV regulatory
framework. - debate is necessary before proposing any IRs
EASA looks forward for your continuing support
20FAA/EASA Collaborative Efforts
- Improve communication approach
- Propose Quarterly Teleconferences
- Rulemaking approaches (Includes design,
production, maintenance, operations, and
licensing) - Area of common interest
- Identification of priority areas for future
rulemaking - Starts with information exchange as a working
method - Sharing data in a generalized format on safety
cases made by applicants without being project
specific - Process that established the tailoring case
- Continued Airworthiness data
- Identification of issues surrounding the
Validation of Approvals, e.g. future bilateral
considerations - For example, issues surrounding VLA/VLR
- Desire to mitigate burden on applicants
21Summary
- The Challenges of Integrating UAS are many
- Sharing the Workload will be Key to a Timely
Success - This is Not a Race Its about Safety
22- ADDITIONAL REFERENCE INFORMATION
23EASA-Annex I
- More information on the policy
24EASA activities
- The policy (I)
- Scope
- UAS with a maximum take-off mass of 150 kg or
more which are not excluded by Article 1(2) or
Article 4(2) and Annex II of EC Regulation
1592/2002. - Objectives
- Airworthiness (protection of people and property
on the ground) environmental protection (ICAO
annex 16) - Definitions
- insist on the system UAS
UAS flying vehicle ground segment control
data link
25EASA activities
- The policy (II)
- Procedure for UAS certification Part 21 is
applicable - Type certificate (TC)
- Part 21 A.17 type certification basis
- Design organisation approval for designer
- Production organisation approval for manufacturer
- Certificate of airworthiness and Noise
certificates for individual UAS - Restricted certificate of airworthiness may be
issued for operations in remote areas - This procedure would allow for a stepped by step
approach - Restricted certificate of airworthiness
- TC
26EASA activities
- The policy (III)
- UAS elements to be included in the type
certification basis - Any function and associated equipments that can
prejudice continued safe flight and landing or
environmental compatibility - Typical list is provide in attachment 1 of the
policy
No hazard principle for mission avionics and
transmission of mission data
States may voluntarily apply elements of the
policy to UAV lt 150 Kg
27EASA activities
- The policy (IV)
- Type Certification basis
- Adapted from existing Certification Specification
(CS) for manned aircraft - Methodology to select appropriate CS.
- Tailoring for UAS of selected CS
- UAS system safety assessment
- Special conditions
- emergency recovery capability
- communication link
- level of autonomy
- human machine interface
- Others
- Detailed guidance is contained into attachment 2
to the policy
28EASA activities
- The policy (IV)
- Continuing airworthiness
- Part M is applicable
- Environmental protection
- Noise appropriate chapters of annex 16 volume I
- Need for adaptation for UAS specific use
- Gaseous emissions and fuel venting annex 16
volume II
29EASA-Annex II
- Disposal of main comments in CRD
30Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues fully within the old (Reg. 1592/2002)
EASA remit (I) - Conventional versus safety target approach for
certification - Conventional approach retained
- The two alternatives for selecting the manned CS
- Kinetic energy method retained
- UAS system safety analysis
- Quantitative level as in selected CS for first
issue of the Policy - Ask EUROCAE WG-73 to develop further guidance for
the system airworthiness aspects
31Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues fully within the old (Reg. 1592/2002)
EASA remit (II) - Need for DOA
- Possible alleviation for light UAS
- Certificate of airworthiness and control stations
- Certificate of airworthiness covers one air
vehicle and one control station - Environment
- Stick to ICAO Annex 16 keeping in mind that
turbo-jet powered UAS with short take-off
distances and/ or special missions may
necessitate specific measures. - UAV or UAS?
- UAS
32Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues fully within the old (Reg. 1592/2002)
EASA remit way forward - Short term
- Review the reactions
- When appropriate modify the policy
- Publish the policy in Summer because we have
already 3 applications - Further development of the policy
- several tasks proposed to the EUROCAE WG-73 as
described in the previous slides
33Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues outside the EASA remit (I)
- sense and avoid
- Still not part of the Policy
- To develop a special condition using EUROCONTROL
specification relative to military UAS used in
operational air traffic outside segregated
airspace - Agency will request EUROCAE WG 73 to develop the
special condition - Total system approach as proposed by Sweden
- Attractive concept but goes beyond UAS
certification - Deserve further study
34Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues outside the EASA remit (II)
- Security
- Key issue but not within EASA remit
- Safety impacts of security systems are within
EASA remit - Coordination with military working group on UAS
- Importance recognised
- USAR version 3 and most likely STANAG 4671 can
be used with certain limitations - UAS below 150 KG
- Coordination between Member States using EUROCAE
WG-73 is encouraged
35Main issues highlighted by the A-NPA consultation
and replies in CRD
- Issues outside the EASA remit way forward
- regulatory framework for UAV Role of EASA and
development of a comprehensive framework for UAV
regulations - Create a group to identify building blocks and
road map for a comprehensive framework for UAV
regulation - The group should report to the Commission
because the Commission is competent for all
issues related to UAV regulation. It should
include the main players and take into account
existing or planned activities. A specific task
for the group would be to develop regulatory
impact assessment (in particular safety case). - The group should allocate responsibilities so
that each player is responsible to organise its
work. The group may also organise further studies
as appropriate (e.g. Total System Approach,
Safety Target approach)