Correct, I was instructed t destroy the old certificate.
Thank you. That’s what I assumed, but we know how that usually turns out. Lol
Correct, I was instructed t destroy the old certificate.
How much was the small fee?Less than 24hrs turnaround was worth the small fee for me.
wow, for me it was less than filling my RV-4 up with gas for a cost comparison. I considered that fair and was all done remote. I had unrelated questions and he answered them all as well. I was quite pleased.How much was the small fee?
The LSRI instructor who's also a DAR wants $700!
Might want his info if Tampa FSDO keeps dragging their feet.wow, for me it was less than filling my RV-4 up with gas for a cost comparison. I considered that fair and was all done remote. I had unrelated questions and he answered them all as well. I was quite pleased.
Well, I suspect it may take more than 5 minutes to pick the points from table D-1, edit some of them (test area), submit it all to FAA. However, if a DAR is set up to do this, probably not more than an hour, especially of the owner has already entered his application with required docs on the FAA AWC portal.I also had found a DAR that would handle all of this for someone for a fee. They asked me to not share public details, PM for info if you want.
I was told no by a handful of DARs, was surprised they would not name a price. The online process seems to take all of five minutes for an owner and maybe similarly for a DAR.
It would be awesome if the FAA told us what the required docs were. There seems to be some... disagreement in the field regarding this.probably not more than an hour, especially if the owner has already entered his application with required docs on the FAA AWC portal
The FAA does actually provide info of what is required. In appendix B of order 8130.2L.It would be awesome if the FAA told us what the required docs were. There seems to be some... disagreement in the field regarding this.
I personally think the AD Biweekly Report (published every second Tuesday) is a must, and you definitely need a new cover sheet on your TPS Report.![]()
Then I should amend my earlier statement to say “it would be great if FAA personnel would all follow the FAA’s own directions.”The FAA does actually provide info of what is required. In appendix B of order 8130.2L.
Anything listed with R is required as part of the application file.
Anything that is listed A just has to be available to the inspector during the certification process.
It does require a little bit of reasoning, depending on the specific situation.
For example, an application for an amended certificate on an experimental amateur built won’t require a form 8130–12, eligibility statement, because the aircraft has already been previously certificated.
It took me about a 5 weeks to get my amended AWC and Ops Limitations after filling out the AWC. The local FSDO (GRR) was like most, all new to them so many different opinions in the office of what was required. The docs I uploaded were a simple Program letter. The FSDO person assigned to me was very helpful, I was the first person they started the process with. He did send me an email asking if a 35 miles radius from my home airport would be OK for the test period! He kind of laughed and said he knew there wouldn't be a need for it but according to the "rules" he needed to put something in.Then I should amend my earlier statement to say “it would be great if FAA personnel would all follow the FAA’s own directions.”![]()
Where do they come up with this stuff?!?BTW... The FSDO wanted an email with a picture attached showing the original AWC with ("SUPERSEDED"written across the front of it.
Order 8130.2LWhere do they come up with this stuff?!?![]()
I sit corrected, and not for the first time…Order 8130.2L
It is required that any amended airworthiness certificate be surrendered, and the issuer of the new certificate is required to add to the documentation packet showing that super seated has been written on the surrender document.
If the process is all done digitally via email, sending a photo of that done to the original certificate alleviates having to send it to the issue in the mail.
FWIW, it's crickets here, and meanwhile I've been through 8130.2L again and I just don't see it.I sit corrected, and not for the first time…Where is this in 8130.2L? I am in the process now and don’t want to mess it up.
The ASI at the FSDO was simply following the requirements spelled out in FAR 21.193Just thought I'd chime in here with my experience. The AWC site seemed a bit confusing, but I figured it out with help from posts on VAF. Got a call back from the Portland FSDO quite quickly. Mostly, everything was OK, but there was major confusion on my part with the program letter. I used a template provided on VAF... no dice. I provided one based on the template that the FSDO sent me..... no dice.
The confusion arose over needing to state the purpose of the "experiment", the duration of the "experiment", and the location of the "experiment". After talking with the very patient person at the FSDO, I sent in a revised program letter stating that the purpose was to operate the EAB, the duration would be 100 hours (approx hours per year), and the location would be the lower 48. Seems crazy for an aircraft that's been flying for 20 years, but there you have it. The person at the FSDO said it was all needed for the registry, but would never be looked at again.
Getting my pending LSRI-A was simply a matter of going to an appointment at the FSDO, showing ID and certificate of course completion, and smiling nicely.
I was out in under 10 minutes.
Cheers
Stephen
Order 8130.2L 2-3(j)(2)FWIW, it's crickets here, and meanwhile I've been through 8130.2L again and I just don't see it.
There is indeed a procedure for surrendering an AWC, but that's entirely different from the procedure for amending one. And I see no requirement, when amending an AWC, that anyone surrender, deface, draw a line through, etc. the old AWC.
So I may be missing something, and I remain open to being corrected, but for now I'm going back to my original theory: somebody just flat-out made this "surrender" stuff up. I mean, how can you even "surrender" something by e-mail anyway?![]()
I sit corrected once again! Except for one point - how can this possibly be accomplished by email? It doesn’t permit copies to be submitted. It says you have to submit the superseded AWC. Presumably the point is that they want the old document out of circulation, rather than merely possessing an image of a marked up copy (with the original possibly still unmarked). Or is there some other goal?Order 8130.2L 2-3(j)(2)
And table B-2 (in appendix B)
It is very unclear to me why you are so concerned about a process detail that is the responsibility of the person issuing the certificate??? Just follow their direction when you get to that point.I sit corrected once again! Except for one point - how can this possibly be accomplished by email? It doesn’t permit copies to be submitted. It says you have to submit the superseded AWC. Presumably the point is that they want the old document out of circulation, rather than merely possessing an image of a marked up copy (with the original possibly still unmarked). Or is there some other goal?
I’m not that concerned.It is very unclear to me why you are so concerned about a process detail that is the responsibility of the person issuing the certificate??? Just follow their direction when you get to that point.
Except it hasn’t. Nothing is out of circulation. Again, not a huge deal, but the concept is quite silly.Yes, it is to get the previous one out of circulation.
Once superseded is written across the certificate, that has essentially been done.
After the scan or photo is done it is requested to be destroyed, but even if that doesn’t happen, what could someone do with it with SUPERSEDED written boldly across the frontExcept it hasn’t. Nothing is out of circulation. Again, not a huge deal, but the concept is quite silly.
…you mean written boldly across the copy you made first.After the scan or photo is done it is requested to be destroyed, but even if that doesn’t happen, what could someone do with it with SUPERSEDED written boldly across the front![]()
I totally get that now, but it was sure confusing at the time, especially as one of the program letter templates came directly from the ASI handling my case. It still wasn't what they wanted. Anyhow, all sorted now.The ASI at the FSDO was simply following the requirements spelled out in FAR 21.193
Federal Register :: Request Access
www.ecfr.gov
It is required, but it is for documenting the processes / steps that the issuer used to issue the certificate, so it is the issuers responsibility to produce, not the applicants.I have gotten an Email back from the Columbia FSDO, responding to my AWC request and he is asking for a copy of 8100.1 Conformity Inspection Report. I have not seen anyone talking bout such such a document and it makes no sense to me since it seems to be required for development projects for certified aircraft design. Has anyone else run into this
I suggest you make a call to the FSDO office you directed the application to, and ask for an update.So how long is reasonable time to wait for the AWC request for amended oplims to be processed? For me its been over 3 weeks and still no response of any kind. Is there something I can check or prompt?
I submitted mine on April 20th online to the Portland, OR FSDO. After several weeks of "open" it now shows "approval generated", so I'm guessing I'll get it soon. The inspector assigned to my case did reach out via email a little over a week ago to get clarification of what I was asking for. Despite submitting what I think was a pretty clearly worded program letter, they assumed I was the builder and didn't understand why I needed to update my ops limit to reflect my LSRI status. In addition to clarifying that, I also reiterated what I had already stated in my program letter, that I would like to change the Phase 1 testing area to my local area.So how long is reasonable time to wait for the AWC request for amended oplims to be processed? For me its been over 3 weeks and still no response of any kind. Is there something I can check or prompt?
Not sure what "complicated process" you're referring to but I've been doing amended Op Lims ever since I got out of the hospital.It as long been the plan to have 8130.2 Mike version go live in July at least according to the teachers of the class I attended
I think it’s a shame in the community of experimental Aviation that there’s not been a single DAR to step forward publicly charge a fee and help people through this complicated process.
Yes, but you did not want this known to anyone when I was doing mine.Not sure what "complicated process" you're referring to but I've been doing amended Op Lims ever since I got out of the hospital.
As far as time required, you would be shocked at all the corrections we have to make to incorrect paperwork that has been in effect for years.
The government is never going to make things less complicated. Mel and other DAR’s understand GA and Experimental Aviation, when that knowledge can be difficult to find in an FSDO. When a credible DAR sends in a request, the FSDO is more likely to approve it quickly because they know the DAR is trained and making a valid request. A request from an owner on AWC can generate more questions than answers. Money well spent!Yes, but you did not want this known to anyone when I was doing mine.
You also don't do digital.
You haven't advertised this at all...
The complicated part is the FAA FSDO stuff. Talking to you and another DAR it seems like this could be done in 15 minutes via Zoom for anyone that needed their hand held.
ThanksThe verbiage in the order for an amended certificate says “an inspection of the aircraft is not necessarily required“, or something pretty similar, I may have the wording off a little bit, but it basically leaves the answer somewhat open ended and I guess leaves it up to the discretion of the issue.
In my opinion, an amended certificate for this purpose would not justify an in person inspection.
Why didn't he get the latest Ops two months ago?I agree completely with Scott on the Ops Lims and AWC.
Of interest, however, I got a noe from a fellow whose Kitfox I inspected and certificated a month or two ago He is applying for his Repairman Certificate, adn the FSDO aid that they needed to come out and inspect the airplane again as part of the Repairman’s Certificat eprocess. I am not familiar with the guidance related to that, but had not heard of it before - maybe something has changed in their guidance… but this is from the same FSDO (Vegas) that keeps passing out my name as Nevada’s only DAR - but they are telling folks that I can issue all sorts of things that I don’t have the function codes for. Methinks there is some learning that needs to be done at the FSDO.
He did - he is now applying for his Repairman’s Certificate (something DAR’s can’t give).Why didn't he get the latest Ops two months ago?
InterestingHe did - he is now applying for his Repairman’s Certificate (something DAR’s can’t give).
WOW!Of interest, however, I got a noe from a fellow whose Kitfox I inspected and certificated a month or two ago He is applying for his Repairman Certificate, adn the FSDO aid that they needed to come out and inspect the airplane again as part of the Repairman’s Certificate process. I am not familiar with the guidance related to that, but had not heard of it before - maybe something has changed in their guidance… but this is from the same FSDO (Vegas) that keeps passing out my name as Nevada’s only DAR - but they are telling folks that I can issue all sorts of things that I don’t have the function codes for. Methinks there is some learning that needs to be done at the FSDO.