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Logging Approaches

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Thank you for your letter of January 25, 1999, in which you ask questions about logging pilot in command (PIC) time and second in command (SIC) time when operating under Part 121 of the Federal Aviation Regulations (FAR)

You first ask whether it would be proper under FAR 61.51(g) for a properly qualified SIC to log instrument flight time flown during instrument conditions while serving as the SIC in Part 121 operations on an aircraft that requires two crewmembers. The answer is yes. As a qualified SIC, and as a required crewmember, you are "operating" the aircraft within the meaning of FAR 61.51(g). Therefore, as the SIC operating the aircraft "solely by reference to instruments under actual or simulated instrument flight conditions," you would log that time as SIC flown in instrument conditions. Naturally, the PIC logs the time as PIC flown in instrument conditions.

You then ask if, for the purposes of maintaining instrument currency, an instrument approach on the above flight flown by the PIC can be logged as an instrument approach by the SIC. The answer is no. As the SIC you have not "performed" the approach as contemplated by FAR 61.57(c) because you were not the sole manipulator of the controls during the approach.

Lastly, you present the following scenario: under a Part 121 operation the air carrier has designated a pilot and a copilot as required by FAR 121.385(c). The pilot is the authorized PIC and the copilot is the authorized SIC. The PIC is also the company check airman. During the course of the flight, the SIC is the sole manipulator of the controls for the flight. Additionally, he has passed the competency checks required for Part 121 operations, at least as SIC. You ask whether the SIC can log PIC time for that portion of the flight in which he is the sole manipulator of the controls for the flight. The answer is yes.

There is a distinction between actingas pilot in command and loggingof pilot in command time. "Pilot in command," as defined in FAR 1.1, "means the pilot responsible for the operation and safety of an aircraft during flight time." FAR 61.51(e) is a flight-time logging regulation, which only regulates the recording of PIC time used to meet the requirements toward a higher certificate, higher rating, or for recent flight experience:



2

(e) Logging pilot-in-command flight time.

(1) A recreational private or commercial pilot may log pilot-in- command time only for that flight time during which that person -- (i) Is the sole manipulator of the controls of an aircraft for which the pilot is rated_ (ii) Is the sole occupant of the aircraft: or (iii) Except for a recreational pilot is acting as pilot in command of an aircraft on which more than one pilot is required under the type certification of the aircraft or the regulations under which the flight is conducted.

(2) An airline transport pilot may log as pilot-in-command time all of the flight time whileacting as pilot-in-command of an operation requiring an airline transport pilot certificate.

While it is not possible for two pilots to actas PIC simultaneously, it is possible for two pilots to logPIC flight time simultaneously. If the pilot is designated as PIC by the certificate holder, as required by FAR 121.385(c), that person is PIC for the entire flight, no matter who is actually manipulating the controls of the aircraft, because that pilot is responsible for the safety and operation of the aircraft. The pilot who is the sole manipulator of the controls of the aircraft for which the pilot is rated may also log that flight as PIC.

It is important to remember that we are dealing with loggingof flight time only for purposes of FAR 61.51, where you are keeping a record to show recent flight experience or to show that you meet the requirements for a higher rating. Your question does not say if the SIC is fully qualified as a PIC, or only as an SIC. This is important because even though an SIC can log PIC time, that pilot may not be qualified to serveas PIC under Part 121.

I hope this satisfactorily answers your questions. If we can be of further assistance, please contact us.

D. Brent Pope
Attorney, ANM-7H

http://www.faa.gov/about/office_org...terpretations/data/interps/1999/Carpenter.rtf


Even though you hold an ATP certificate, you are only exercising commercial privileges while acting as SIC.
 
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e) Logging pilot-in-command flight time. (1) A sport, recreational, private, or commercial pilot may log pilot-in-command time only for that flight time during which that person—
(i) Is the sole manipulator of the controls of an aircraft for which the pilot is rated or has privileges;
(ii) Is the sole occupant of the aircraft; or
(iii) Except for a recreational pilot, is acting as pilot in command of an aircraft on which more than one pilot is required under the type certification of the aircraft or the regulations under which the flight is conducted.
(2) An airline transport pilot may log as pilot-in-command time all of the flight time while acting as pilot-in-command of an operation requiring an airline transport pilot certificate.
(3) An authorized instructor may log as pilot-in-command time all flight time while acting as an authorized instructor.

This is straight from the FAA site. It says i or ii or iii etc. Unless you are signing for it, you can't log it as PIC, even if typed.

Peace.

Rekks
 
Thank you for your letter of January 25, 1999, in which you ask questions about logging pilot in command (PIC) time and second in command (SIC) time when operating under Part 121 of the Federal Aviation Regulations (FAR)

You first ask whether it would be proper under FAR 61.51(g) for a properly qualified SIC to log instrument flight time flown during instrument conditions while serving as the SIC in Part 121 operations on an aircraft that requires two crewmembers. The answer is yes. As a qualified SIC, and as a required crewmember, you are "operating" the aircraft within the meaning of FAR 61.51(g). Therefore, as the SIC operating the aircraft "solely by reference to instruments under actual or simulated instrument flight conditions," you would log that time as SIC flown in instrument conditions. Naturally, the PIC logs the time as PIC flown in instrument conditions.


You then ask if, for the purposes of maintaining instrument currency, an instrument approach on the above flight flown by the PIC can be logged as an instrument approach by the SIC. The answer is no. As the SIC you have not "performed" the approach as contemplated by FAR 61.57(c) because you were not the sole manipulator of the controls during the approach.

Lastly, you present the following scenario: under a Part 121 operation the air carrier has designated a pilot and a copilot as required by FAR 121.385(c). The pilot is the authorized PIC and the copilot is the authorized SIC. The PIC is also the company check airman. During the course of the flight, the SIC is the sole manipulator of the controls for the flight. Additionally, he has passed the competency checks required for Part 121 operations, at least as SIC. You ask whether the SIC can log PIC time for that portion of the flight in which he is the sole manipulator of the controls for the flight. The answer is yes.

There is a distinction between actingas pilot in command and loggingof pilot in command time. "Pilot in command," as defined in FAR 1.1, "means the pilot responsible for the operation and safety of an aircraft during flight time." FAR 61.51(e) is a flight-time logging regulation, which only regulates the recording of PIC time used to meet the requirements toward a higher certificate, higher rating, or for recent flight experience:



2

(e) Logging pilot-in-command flight time.

(1) A recreational private or commercial pilot may log pilot-in- command time only for that flight time during which that person -- (i) Is the sole manipulator of the controls of an aircraft for which the pilot is rated_ (ii) Is the sole occupant of the aircraft: or (iii) Except for a recreational pilot is acting as pilot in command of an aircraft on which more than one pilot is required under the type certification of the aircraft or the regulations under which the flight is conducted.

(2) An airline transport pilot may log as pilot-in-command time all of the flight time whileacting as pilot-in-command of an operation requiring an airline transport pilot certificate.

While it is not possible for two pilots to actas PIC simultaneously, it is possible for two pilots to logPIC flight time simultaneously. If the pilot is designated as PIC by the certificate holder, as required by FAR 121.385(c), that person is PIC for the entire flight, no matter who is actually manipulating the controls of the aircraft, because that pilot is responsible for the safety and operation of the aircraft. The pilot who is the sole manipulator of the controls of the aircraft for which the pilot is rated may also log that flight as PIC.

It is important to remember that we are dealing with loggingof flight time only for purposes of FAR 61.51, where you are keeping a record to show recent flight experience or to show that you meet the requirements for a higher rating. Your question does not say if the SIC is fully qualified as a PIC, or only as an SIC. This is important because even though an SIC can log PIC time, that pilot may not be qualified to serveas PIC under Part 121.

I hope this satisfactorily answers your questions. If we can be of further assistance, please contact us.

D. Brent Pope
Attorney, ANM-7H


Well I stand corrected then if that information is accurate.
 
To throw another curvball. A type rated SIC can only log PIC if they have a commerical certificate or less. Reference 61.51

If you have an ATP you can not log PIC unless you are the captain.

The reason for this is that PIC requirements are used to meet the requirements of a ATP. Once you have an ATP, the FAA doesn't see any reason for you to log PIC unless you are the captain.

Sec. 61.167 - Privileges.
(a) A person who holds an airline transport pilot certificate is entitled to the same privileges as those afforded a person who holds a commercial pilot certificate with an instrument rating.


Sec. 61.51 - Pilot logbooks
(e) Logging pilot-in-command flight time. (1) A recreational, private, or commercial pilot may log pilot-in- command time only for that flight time during which that person
(i) Is the sole manipulator of the controls of an aircraft for which the pilot is rated;

(2) An airline transport pilot may log as pilot-in-command time all of the flight time while acting as pilot-in-command of an operation requiring an airline transport pilot certificate.

If you have an ATP rating and are acting as PIC (part 1) of an operation requiring an ATP you log PIC regardless of whether you are the sole manipulator or not. If you ATP rating and are not acting as PIC (part 1) of an operation requiring an ATP you can log in the FAA's view all time which you are th e sole manipulator.
 
Keep reading, specifically (e) (ii) and (iii). The semicolon after (i) is treated as a comma, signifying and or or.

Peace.

Rekks
 
Sec. 61.167 - Privileges.
(a) A person who holds an airline transport pilot certificate is entitled to the same privileges as those afforded a person who holds a commercial pilot certificate with an instrument rating.

Logging of flight time is not considered a privilege. You will find commercial pilot privileges under FAR 61.133. Did you ever flight instruct?
 
Logging of flight time is not considered a privilege. You will find commercial pilot privileges under FAR 61.133. Did you ever flight instruct?

Ok you win, if you have an ATP you can never ever log PIC time again unless you are a captain for a part 121/135 carrier. I wonder how the corporate pilots flying part 91 with an ATP manage to stay current but I guess it is just a mystery of the FAR's which I will never understand.
 
PF and PNF can both log ACTUAL and NIGHT as these are recognized as conditions of flight by the FAA.

Only the PF may log an instrument approach or a landing.

Instrument time may also be logged with the AP.

Simple as that.
 
Ok you win, if you have an ATP you can never ever log PIC time again unless you are a captain for a part 121/135 carrier. I wonder how the corporate pilots flying part 91 with an ATP manage to stay current but I guess it is just a mystery of the FAR's which I will never understand.

I am tempted to say I am wrong. The only thing keeping me from saying I am wrong is that the FAA doesn't require you to log PIC to stay current. The only purpose of PIC is for the aeronautical experience requriements of certificates and ratings. Once you have your ATP, the FAA doesn't see the need for you to log PIC.

The only purpose of PIC after you get your ATP is to satisfy high min requirements or other regs that require you to have acted as a captain. Remember that PIC logged under the sole manipulator clause can't be used towards high mins.
 
I am tempted to say I am wrong. The only thing keeping me from saying I am wrong is that the FAA doesn't require you to log PIC to stay current. The only purpose of PIC is for the aeronautical experience requriements of certificates and ratings. Once you have your ATP, the FAA doesn't see the need for you to log PIC.

That isn't all the FAA requires you to log

Sec. 61.51 - Pilot logbooks.

(a) Training time and aeronautical experience. Each person must document and record the following time in a manner acceptable to the Administrator:

(1) Training and aeronautical experience used to meet the requirements for a certificate, rating, or flight review of this part.

(2) The aeronautical experience required for meeting the recent flight experience requirements of this part.


61.51(a) tells you what you must to log. You need to log time to comply with various things such as 61.57(c). If I have an ATP rating and I go a fly approaches in a C-172 how would I log those approachs? I would refer to 61(b).

(b) Logbook entries. For the purposes of meeting the requirements of paragraph (a) of this section, each person must enter the following information for each flight or lesson logged:

(1) General --

(i) Date.

(ii) Total flight time or lesson time.

(iii) Location where the aircraft departed and arrived, or for lessons in a flight simulator or flight training device, the location where the lesson occurred.

(iv) Type and identification of aircraft, flight simulator, or flight training device, as appropriate.

(v) The name of a safety pilot, if required by §91.109(b) of this chapter.

(2) Type of pilot experience or training --

(i) Solo.

(ii) Pilot in command.

(iii) Second in command.

(iv) Flight and ground training received from an authorized instructor.

(v) Training received in a flight simulator or flight training device from an authorized instructor.


The only purpose of PIC after you get your ATP is to satisfy high min requirements or other regs that require you to have acted as a captain. Remember that PIC logged under the sole manipulator clause can't be used towards high mins.

That is going to be dependent upon the operator in question. Which is why many airlines define PIC time differently the FAA does. As I said in my original post being PIC under part 1 has little to do with logging PIC under part 61. Logging PIC under part 61 often has little do with a job application or an upgrade with a carrier. Regardless of how many hours you have though you are required to log time for the purposes of currency and you are required to log that in a method which complies with 61.51(b), if you aren't you are failing to comply with the regulations.
 
First - These posts are too long.

Second - The regs only require/allow you to log time used for recency or to meet the requirements of a certificate/rating. Once you have your ATP, you don't need to log PIC to satisfy either.

In the FAAs eyes why are you logging PIC time after you have your ATP? After you have your ATP, the only flight time requirements reference time served as a captain (not sole manipulator).
 
First - These posts are too long.

Sorry to bore you with the facts that explain why your assumptions are wrong. We will just leave the conversation as you having very misguided beliefs in regards to this topic.

I hope this was short enough for you.
 
Sorry to bore you with the facts that explain why your assumptions are wrong. We will just leave the conversation as you having very misguided beliefs in regards to this topic.

I hope this was short enough for you.

Just tell me why an ATP pilot would need to log PIC in the eyes of the FAA. An ATP pilot doesn't need to log PIC for recency or currency.

An ATP only needs to log PIC to meet the requirements of time served as captain for certain regs (like high minimum captains). An ATP can still log PIC, just not under the provision of sole manipulator of the controls. Once you have an ATP the FAA only cares about your captain experience.
 
I think it is important for us to know the difference between what is legal, and what Southwest requires. It is a slippery slope to let each individual operator decide what is legal and what isn't. The FAR's are the FAR's, they are the final word in what is legal and what isn't. If for example, I were flying a Lear for a 135 operation, and I was typed on that Lear, I would log PIC time. However, when I applied to Southwest, or whoever, I would not include that time as PIC.

Its important to know what is legal and what is custom.

YGBFKM. It doesn't matter what the FARs say. A company can hire whomever they choose on whatever criteria they decide. If they choose to define PIC for hiring purposes by FAR 1 or any other way, that's up to them. We all know that what they want is 121 PIC time. It sounds like some of you are advocating cheating the system and trying to use the FAR definition of PIC to back yourself up. That's not what the airline industry is all about. Captain is Captain. Period.
 

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