Air India Express accident at Calicut was facilitated by the regulator, how?

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  Air India Airbus Landing at Port Blair (Source Dr Puneet) Blaming the pilots alone for an accident is like addressing the symptom rather than the root cause. The root cause of the Calicut accident of IX1344 on 7th Aug 2020 is the poor safety culture prevalent in India and the ineffective regulatory oversight. This landing(YouTube video) can be categorized as a deliberate attempt to endanger the lives of passengers and crew. This is not the Calicut landing but a landing at another critical airport where most of the year the airport experiences tailwinds. Since the airport has a unidirectional runway ( landing from one direction only), the flight crew has no option but to land in tailwinds. The situation worsens during the monsoons when there is a tailwind and the runway is wet and braking action reduces. Action has not been taken either by the regulator or by the airline safety. Why? What is the role of the regulator? The Directorate General of Civil Aviation (DGCA) is the regulatory

Multi-Crew Pilot License, India needs better preparedness to adopt the change


 The Multi-Crew Pilot License (MPL) was adopted by ICAO in 2006 with an amendment in the ICAO Annex-1. India has still not implemented the change. India has been following the traditional prescriptive training methodology with very few changes over the year. The idiom “Don’t fix it until it breaks” fits well in the Indian context. There is however a need to rationalize training curriculum since it has been overloaded with additional training requirement post a major accident or an ICAO mandate. There are lobbies which have been pushing for the introduction of MPL in India in partnership with a few airlines. The airlines unknowingly are falling for the bait that they have been traditionally been doing since eternity. India has always been seen as a milking cow by the west and the sheer numbers in terms of training hours requirement seems like a lucrative business to anyone. The question here is, is India prepared to launch and support a new training and licensing methodology? The current state of churn within the flight standards directorate of the regulator has seen all new faces. The oversight function is not optimal and the airlines too haven’t developed a robust flight operations quality and standards setup. The cost of training and inter-operability are also areas of concern.

The legacy process of pilot training in the early days started with gathering flying hours and experience mainly with general aviation or as an instructor in the flying school. With enough experience and an airline job, pilots were able to transit from flying smaller and slower aircraft to jet aircraft after some initial base training. The need to update and review current pilot training was actually formally first recognised as early as in 1982 and the first ICAO attempt to adapt to the changes in the airline industry was the installation of the Personnel Licensing and Training Panel (PELTP) from 1982-1986 (IATA, 2011). The panel unfortunately failed when their final proposal could not garner the necessary support from the Air Navigation Commission (ANC) and the ICAO Council, thus resulting in no change to pilot training. The discussions did however continue.

As these forces converged ICAO recognised the need to review training standards, which led to a second attempt to approach this issue in October 2000 in Madrid. The confirmation resulted in the installation of the ICAO Flight Crew Licensing and Training Panel (FCLTP). In fact, this would be the first major review of existing practices in 25 years and one with an ambition to create an alternative approach to pilot training and licensing. 

The FCLTP worked on proposals and/or amendments on identified changes between 2002 and 2005. According to Forbes (in Scheck, 2006, p.21-22) this resulted in the following: 

– Amendments to Standards and Recommended Practices (SARPs): 

Annex I Flight Crew License Requirements 

Annex 6 Part I & Part III Training Requirements Recommendations for certification/approval of Training Organisations 

– Approval of Training Organisations with regards to this new training methodology 

– Development of proposals for a Multi-Crew Pilot License (MPL) – Aeroplane 

 The first step, MPL training & design

ICAO states that the course development methodology of the MPL should be based on the already mentioned Instructional System Design (ISD) which is based on the ADDIE model. Analysis, Design, Development, Implement and Evaluate.

The ISD process begins with a rigorous analysis of the profession for which the cadet is to be trained. This analysis should include a study of the organisational system in which personnel must work, the critical aspects of individual functions of the profession and the performance levels required for each function in that profession. This analysis is referred to as “task analysis” (Teunissen, 2002). Then, based on outcomes of this task analysis, performance standards are set and a training curriculum can be designed. The next step would then be to develop and implement a training programme in accordance with the designed curriculum. This creates an apparent benefit and advantage to training as there is a direct link between training standards and the specific requirements of the profession. 

Key factor

Specifically for MPL training there is a requirement for a feedback and quality assurance system that is harmonised within the training organisation (such a system is later described and discussed). An additional benefit of this approach is that the process itself and the resulting documentation remain known to any user involved (Teunissen, 2002). If successful, the process enables and ensures that training programmes and performance standards can keep pace with changes in professional requirements as well as with the cadets’ achievements of the targeted training outcomes. Given the dynamically developing nature of aviation, this logically becomes essential to optimise training conditions. 

Implementation and oversight

An MPL training course is generally divided into four phases, often referred to as Core, Basic, Intermediate and Advanced. it only requires a well-functioning student management system to assure that the progress of each student follows predetermined norms in all competencies together with clear definitions of the terminal training objectives. The ICAO Standard for the MPL specifies 240 hours as the minimum number of actual and simulated flight hours performing the functions of the pilot flying and the pilot non-flying. However, the Standard does not specify the breakdown between actual and simulated flight hours and thus allow part of the training curriculum that was traditionally conducted on aeroplane to be done on flight simulation training devices (FSTDs). However, there is a requirement that the applicant meets all the actual flying time for a private pilot licence plus additional actual flying time in instrument, night flying and upset recovery.

Is the current state of preparedness enough?

The prevailing training and standards set up may not be conducive for a change from the traditional system of training and licensing. The change management process of the safety management system will require detailed documentation of the need for a change and the threat error analysis. A justification that the new system can be supported by the existing infrastructure and the pros/cons of the methodology. A review process in terms of genuine fed back and re-analysis as a part of the ISD loop. 

Problem 1-Weak Safety Management System implementation

The implementation of the safety management system in India is still in stage 2 and in the recent past there have been numerous deficiencies which have been identified during the safety audits of the leading airlines in India. The series of incident in 2019/20 and the audit/inspection of the airlines have highlighted the weakness in the safety management system. Most airlines have been tailoring their SMS backward to meet with their operation/training requirements.

Problem 2- Inadequate regulatory oversight & training

The regulator has been struggling to draw talent to meet with the number of Flight Operation Inspectors(FOI) required in the Flight Standards Directorate. These FOI’s need to be trained in the new methodology to an expert level since they will be required to evaluate and approve the training methodology. The lack of experience within the regulator to evaluate, approve and have an effective oversight will become critical in the design and implementation of the MPL. The absence of Human factors experts in the regulators team is a matter of deep concern when safety is a critical element of all activities.

Problem 3- Airlines Quality Assurance system weakness

The design and implementation of the MPL not only requires subject matter experts in the field of ISD and training but also software like the training management system. The training of trainers in evaluation and accretion recording of data will determine the quality of the system. The leading airlines at present are not only lacking in standardization of trainers but also Inter Rater Reliability. Competency based training and assessment requires continuous assessment and evaluation of the trainee and at the command level requires assessment of the critical thinking skills. Formative and Summative assessments and evaluations have to be meaningful and manageable. Making sense of the data and eliminating noise requires a highly trained and cohesive team working towards achieving the organizational goal and state objectives.

mindFly analysis

Indian has traditionally been milking cow for the west. Training programs have been sold as off the shelf without any customization to avoid the costs involved. Since India is unique in many ways, the culture is different and work ethics at a reactive stage, there is a need for a lot of ground work to be done interns of strengthening the foundation. In order to open the door more new and progressive training methodologies, the entire system needs to gear up and work together to achieve the goal. The Indian traditional concepts of training like the Gurukul to which the world is coming back to, need to be used again. Like the new education policy, there is a need to been the traditional and modern way of training which suit the Indian palette. Since accurate recording of data is critical to evaluation of the system, the use of artificial intelligence is the need of the hour.

If the MPL is introduced in the present state, the only lobby that will be raking profits will be the Full Flight Simulator(FFS) manufacturers and Training Organizations who would be implementing the training since the FFS requirements are going to sky rocket with this change. The cost of an MPL would be definitely much higher, the license is given to one airline with which the trainee trains and to convert it to a CPL, additional flying hours will have to be invested in. In situation like COVID19, this would not be desirable.

There is no need to rush into importing a new system when the overall preparedness levels are low or undeveloped. Instead, a roadmap need to be developed so that future long term needs could also be envisioned and phased implementation planned. Thinkers and institution involved in research and development must be associated in the whole process. The traditional CPL and a airline type rating under a stringent quality setup is a good option too. Let there be debates, discussion and then move ahead with public participation and collaboration.

Comments

  1. I am very grateful that I got some useful knowledge from this post. Thank you so much for posting it. Keep it up. student management systems nz

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