A Squared
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- Nov 26, 2001
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Here's an FAA legal opinion. It doesn't directly address the matter, but it does shed light on this issue, and a couple of the irrelevant points which have been brought up. FIrst the irrelevant issues which keep getting thrown around, to wit:
"I have passed a 135 SIC checkride, therefore I can log SIC time"
and
"I have been designated SIC for the flight therefore I can log SIC time"
Here are a few excerpts from the opinon:
and
Very clearly, the FAA makes a distinction between being "designated" and being "required" so, no it does no matter that you have passed a chekride or have been "designated" if the SIC is not requrie, you may not log the time as SIC.
Now, let's take another look at that first quote:
Notice that 135.103 is given as an example of a regulation which would make the SIC *not* required. Now 135.103 does not exist anymore. It was a regulation which, like 135.105 provided exceptions to the SIC requirement. They were operational conditions, rather than equipment conditions which, like 135.105 made the SIC not required. Clearly, the FAA is of the opinon, that if the flight is operating in accordance with a regulation like 135.103 (or 135.105) the SIC is *not* required, and SIC time may *NOT* be logged. It would seem that hte FAA's Chief Counsel is in agreement that if hte PIC is legal to make the flight alone, then the SIC is not required.
I'm going to revise my earlier statement that it is a grey area. This Legal interpretation makes it a lot less grey. In light of this, it would be very hard to argue (although some inevitibly will) that an SIC may log SIC time in airplane with a functioning autopilot for an operator with a/p in lieu of a SIC authorization.
cont.
"I have passed a 135 SIC checkride, therefore I can log SIC time"
and
"I have been designated SIC for the flight therefore I can log SIC time"
Here are a few excerpts from the opinon:
"If a pilot designated as SIC is not required by either the aircraft type certificate or the regulations under which the operation is being conducted (e.g. 14 CFR part 135.103), as is the case in the scenario above, then the pilot designated as SIC may not log flight time as SIC. Although the flight time cannot be logged as SIC time, the pilot designated as SIC may be able to log part or all of the flight time as PIC in accordance with section 61.51(e)."
and
"This pilot may be designated as SIC even though the aircraft being flown does not require more than one pilot and the regulations under which the flight is being conducted do not require more than one pilot. Finally, this pilot may log PIC time for those portions of the flight when he or she is the sole manipulator of the controls of an aircraft for which the pilot is rated, but may not log any portion of the flight as SIC time."
Very clearly, the FAA makes a distinction between being "designated" and being "required" so, no it does no matter that you have passed a chekride or have been "designated" if the SIC is not requrie, you may not log the time as SIC.
Now, let's take another look at that first quote:
"If a pilot designated as SIC is not required by either the aircraft type certificate or the regulations under which the operation is being conducted (e.g. 14 CFR part 135.103), as is the case in the scenario above, then the pilot designated as SIC may not log flight time as SIC. Although the flight time cannot be logged as SIC time, the pilot designated as SIC may be able to log part or all of the flight time as PIC in accordance with section 61.51(e)."
Notice that 135.103 is given as an example of a regulation which would make the SIC *not* required. Now 135.103 does not exist anymore. It was a regulation which, like 135.105 provided exceptions to the SIC requirement. They were operational conditions, rather than equipment conditions which, like 135.105 made the SIC not required. Clearly, the FAA is of the opinon, that if the flight is operating in accordance with a regulation like 135.103 (or 135.105) the SIC is *not* required, and SIC time may *NOT* be logged. It would seem that hte FAA's Chief Counsel is in agreement that if hte PIC is legal to make the flight alone, then the SIC is not required.
I'm going to revise my earlier statement that it is a grey area. This Legal interpretation makes it a lot less grey. In light of this, it would be very hard to argue (although some inevitibly will) that an SIC may log SIC time in airplane with a functioning autopilot for an operator with a/p in lieu of a SIC authorization.
cont.
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