Please share if there is any development regarding the derogation.
https://www.easa.europa.eu/en/document-library/product-certification-co…
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Stanimir Pampulov commented on Hubert Massalski's topic in General Aviation
Resieri Marcato posted in Cybersecurity
I would like to suggest a link anywhere in this page to the guidelines shown in today's Part-IS workshop.
Michel MASSON commented on John FRANKLIN's topic in Air Operations
👍️
Michel MASSON commented on Michel MASSON's topic in Air Operations
Thanks, Nicolas!
And thanks to the DGAC for the English translation.
John FRANKLIN created a topic in Air Operations
Philip Ribeiro commented on a post in Cybersecurity
Hi all
Do you know why EASA has elected to use the word "appoint" and not "nominate" in the selection of the person/group being responsible for the ISMS?
I'm referring to IS.I.OR.240(b) Personnel requirements.
I've been through the video from the EASA Part-IS workshop in November '24 and on day 1 at timestamp 5:34:00, Gerrit Neubauer asks if there is any difference from authority perspective between a "nominated person" and a "appointed person".
To this question, Angeliki Karakoliou from EASA replies, that they consider it as being the same.
But, why not just use the term "nominated"?
Can I find references for how EASA interpret those terms other places than in the YouTube video?
The reason for my questions, is the way the regulations set requirements for "nominated persons", but not as much for "appointed persons". Unless of course, those two terms are considered the same.
There are many references to "nominated person" like:
In AMC1 ARO.GEN.330 Changes - organisations, the compentent authority must make sure the nominated person is suitable before acceptence.
In ORO.AOC.135 Personnel requirements, a list of "nominated persons" is described, but no mention of ISMS.
How have you interpreted this and do you know how the authorities will interpret it?
Interesting, I recently had a chat with a colleague about that.
According to the Cambridge Dictionary APPOINTED means "to choose someone officially for a job or responsibility", that implies a decision that has been made, not pending any approval.
Whereas NOMINATED means "to officially suggest someone for an election, job, position, or honour", implying that that person may or may not get the job, position, pending approval.
Therefore, it shouldn't be seen as "the same", and in the context of Part-IS it seems consistent to "APPOINT a person or group of persons".
Philip Ribeiro commented on John FRANKLIN's topic in Air Operations
Very helpful! Cheers
John FRANKLIN created a topic in Air Operations
Martin Jurovic posted in General Aviation
Hello everyone, a question to EASA staff on CPL modular course => may the aircraft (SR20 for example) equipped with landing gear simulator be used for the Flying training?
Many thanks for answer !!!
Michel MASSON created a topic in Air Operations
Michel MASSON created a topic in General Aviation
Michel MASSON created a topic in Air Operations
Diego Magrini commented on a post in Cybersecurity
Good afternoon EASA folks!
Could I ask a clarification about 2025/011/ED?
The mapping of competencies at Annex II "A. Part-IS7 training for NAA inspectors" mostly references to Part-IS.AR. However NAA's inspectors will audit organisations, therefore reference should be to Part-IS.I.OR and .D.OR.
Am I missing anything?
I disagree.
I believe the spirit of the ED is to have NAA Inspectors trained on auditing the implementation of Part-IS witin organisations, not to audit the internal implementation within NAAs.
That will most probably be the first requirement, as Part-IS.D.OR becomes applicable before Part-IS.AR.
For example, point number 3 reads:
"Evaluate how an organisation has identified and documented the aviation safety relevant assets that are in the ISMS scope."
It specifically talks about an organisation implementation, and yet it is mapped to IS.AR.205(a)(b)
IS.AR.205(a) reads "The competent authority shall identify all the elements of its own organisation [...]"
So it has nothing to do with "Evaluate how an organisation has [...]".
This is a common misconception I encounter when talking to NAAs, so I am not surprised to see it. However, I think it should be corrected for the sake of clarity.
Or at least, there should be no reference to AR/OR when the requirements are identical in AR and OR.
Or there should be two mappings, one for NAA inspectors auditing Organisations (under D.OR or I.OR) and one for NAA inspectors auditing Authorities (under AR).
Richard Branson commented on a post in Air Operations
Dear community,
I would like to ask if there is any resource which can be used as crosscheck between Regulation 923/2012 (SERA) and the content required to be included in Operations Manual A-12 according to Reg. 965/2012 AMC3 ORO.MLR.100.
Reg. 2024/404 introduced several updates in the SERA regulation and we have some doubts on how these amendments could impact our procedures described in OM A-12.
Thank you in advance.
Nazariy
Hi Nazariy,
That’s a very relevant question. As far as I know, there isn’t an official cross-reference tool between SERA and OM-A Section 12 content. Some operators develop internal compliance maps or use gap analyses especially useful now with the updates from Reg. 2024/404.
Richard Branson commented on Axel-Stéphane Smorgrav's topic in General Aviation
I’ve wondered the same. If NCO.OP.143 applies to all IFR, shouldn’t it also apply to BIR flights? Would be great to get clarification.
Axel-Stéphane Smorgrav created a topic in General Aviation
Nazariy Harvat Shchesniy posted in Air Operations
Dear community,
I would like to ask if there is any resource which can be used as crosscheck between Regulation 923/2012 (SERA) and the content required to be included in Operations Manual A-12 according to Reg. 965/2012 AMC3 ORO.MLR.100.
Reg. 2024/404 introduced several updates in the SERA regulation and we have some doubts on how these amendments could impact our procedures described in OM A-12.
Thank you in advance.
Nazariy
Joseph Couturè commented on John FRANKLIN's event in Air Operations
Great to see EASA and key industry players addressing the shift toward RNP Visual with Prescribed Track. As this innovation gains traction, it's vital we stay aligned on implementation and oversight. Looking forward to hearing practical insights from operators and regulators alike.
Diego Magrini posted in Cybersecurity
Good afternoon EASA folks!
Could I ask a clarification about 2025/011/ED?
The mapping of competencies at Annex II "A. Part-IS7 training for NAA inspectors" mostly references to Part-IS.AR. However NAA's inspectors will audit organisations, therefore reference should be to Part-IS.I.OR and .D.OR.
Am I missing anything?
Michel MASSON created a topic in Rotorcraft