Transcript Document

Unmanned Aircraft in
the National Airspace
System
The Certification Path
Presented to: EASA UAS Workshop
By:
Doug Davis, Manager, UAPO
Date: February 1, 2008
Federal Aviation
Administration
Topics
• Do No Harm
• Access Today
• Access Tomorrow
Federal Aviation
Administration
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Do No Harm
• UAS Must not degrade the current level of
safety
• UAS must be treated like aircraft, that’s
what they are
• Collision between Manned/Unmanned must
be avoided
Federal Aviation
Administration
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Access Today – Non-Segregated
Airspace
• Certificates of Authorization/Waiver
– State or Public Aircraft only
– Over 100 issued annually
• Experimental Airworthiness Certificates
– Over 17 Issued
– 8 in the queue
• Draft Experimental Policy being finalized
• FAA/DoD Memorandum of Agreement
– Allows access 20 lbs and under in Class G
– Over DoD owned/leased property
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Administration
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New Mexico State Univ Cooperative Research
and Development Agreement
• Creates the first UAS Flight Test Center
• Why NMSU?
– Experience with UAS
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Foundational SOP’s in place and exercised
Ability to collect and process significant data
Solid and credible safety record
Over 8 years operational experience
Experienced UAS personnel
– Location –
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“It’s not the end of the world, but you can see it from there…..”
Very sparsely populated
Low density Air Traffic
Climate is favorable
• In coordination, expect to be finalized any day
• FAA gets data, data, data
Federal Aviation
Administration
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Southwest New Mexico Airspace
• NMSU/PSL COA
>12,000 sq mi
• Significant airspace access
• Adjacent to WSMR
Call Up
Areas
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Call Up Areas
Stallion AAF
WSMR
* Holloman AFB
NMSU/PSL
COA
Las Cruces Airport
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Condron AAF
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* Biggs AAF
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Administration
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FAA/DoD Joint UAS Lab
• FAA Technical Center engaged
• Establishing a Joint UAS lab at the FAA
Tech Center
– Funding initially from DoD & ATO
– Proposed modeling and simulation
– Involving ATO/JPDO/NGATS
• FAA soliciting industry for potential
partnerships
– Opportunity to share technical development
information
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Administration
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Access Tomorrow
• Small UAS Rulemaking
– Pursuing a small UAS Rule (SFAR)
– Creating an Advisory Rulemaking Committee
– Completing a safety analysis on potential:
• Size
• Speed
• Location
– Will probably start out very conservative
– Potentially Nontraditional Certification Approach
• Web-based, self-certification
– Frequency Spectrum Issues in densely populated areas at low
altitudes are a BIG concern
– Applicants required to submit operational data routinely
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Administration
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Access Tomorrow
• Restricted Category Guidance
– Clearly recognize unique applications
– No Type Certifications applicants seen for some time
– Proposals Include:
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Pipeline survey
Crop survey
Aerial photography
Geographical survey
– Working with an applicant
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Administration
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The Future for Rules
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Part 23, 25 or what?
Too soon to tell
Leaning toward new part
Build it by SFAR’s and the restricted
applications
– Data, data, data
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Administration
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Safety Target
• Lack of defined and experiential data cannot
support a Safety Objective of 23.1309
• The FAA Small Airplane Directorate developed AC 23-1309 after
reviewing years of manned airplane accidents, operational data
and based on a need to improve safety in aircraft certified before
the requirements of 1309.
• Another assumption used in developing AC23.1309-1C was that
for small airplanes the number and complexity of the systems
where minimal. Reliance on the systems for safe flight was also
minimal.
• This allowed for a reduction in the quantitative safety objective
numbers required by 1309 that resulted in an overall safety
improvement.
• These assumptions are not valid for used by UAS since the
unmanned aircraft is highly reliant on systems for safe flight and
operational aspects of UAS differ significantly from manned
aircraft.
• Complex systems demand 25.1309
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Administration
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