Hello All,
Has anyone thought about having the FAA review and certainly ask them to consider modern human factor technology regarding AD 69-24-04 (Vmc increase)? Airworthiness directives as you know are regularly revised when new technology improvements are made available ie for "mechanical type AD's. It would appear that cancellation of AD 69-24-04 would be a very economical update and be very beneficial to the community of pilot/operators.
The 78 kt Vmc grieved upon the PA-30 back in the late 60's was perhaps justified. Training techniques and human factors were not even close to what science has provided to the industry over the last 5 decades. The aircraft as we know, does not demonstrate any "handling vice" that justifies such drastic performance adjustments.
Certainly, over the years, the paradigm has been set and we have all been accustomed to it, not wishing any heavy administrative dealings on the issue.
A return to original Piper figures appears to be a very simple and cost effective correction to apply. There would be some AFM amendments about minimum altitudes for stall training and single engine demonstrations.
But then, perhaps the issue has been tackled previously. I have not read or found any documents to the effect.
Thoughts and ideas are welcome !
Regards
Marc Arsenault
C-GDSY
CZBM
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FAA
69-24-04 PIPER: Amendment 39-878 as amended by amendment 39-896 is further amended by Amendment 39-2991. Applies to Piper PA-30 type airplanes certificated in all categories except aircraft incorporating Piper Kit No. 760 368.
Compliance required before further flight, unless already accomplished, as follows:
Change the existing Vmc placard to state the following:
"Minimum Single Engine Control Speed 90 mph CAS".
(Piper Service Bulletin 301A (http://www.webcoaircraft.com/sb/sb301a.pdf) dated November 25, 1969 pertains to this subject.)
Amendment 39-878 was effective November 27, 1969.
Amendment 39-896 was effective December 26, 1969.
This Amendment 39-2991 is effective August 5, 1977.