November 26, 2000 Eye of Experience #34: The Biennial Flight Review |
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Depending on your viewpoint, the Biennial Flight Review (BFR) is either a curse or a blessing. Regardless, it is a fact of aviation life in the U.S. AVweb's Howard Fried examines how the BFR came into being, what the instructor's responsibilities are, why it's probably the most violated FAR, what it entails and — more importantly — what it doesn't.
November 26, 2000
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| About the Author ... |
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Howard Fried started flying with the Army Air Corps in WWII, where he
served both as a multi-engine instructor pilot and in combat piloting B-17s.
After a stint teaching sociology and on-the-air and management jobs in the
radio business after the war, he turned to teaching flying again full-time.
Over 40,000 general aviation hours later, he is still instructing
and running his own flight school. Along the way he administered over 4,000 flight tests
as a Designated Examiner until victimized by rogue FAA
officials.
He has authored two popular flying books aimed at student pilots and
instructors, Flight Test Tips and Tales and Beyond The Checkride, and a
series of audio tapes, Checkride Tips from
Flying's Eye Of The Examiner.
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A
bit over 25 years ago, the FAA selected a General Aviation Operations
Inspector in each of two District Offices (Detroit and Grand Rapids, Mich.),
designated them Accident Prevention Specialists, and charged them with the
responsibility of establishing a safety program on a test basis. Each of these
two inspectors selected several flight instructors in his district to work
with him as volunteer Accident Prevention Counselors, and they set to work
developing a workable safety program for pilots. At the end of the test year
it was decided that the program was worthwhile and the Accident Prevention
Program now called the Aviation Safety Program was born. It went
national and one inspector in each District Office was designated as an
Accident Prevention Specialist, later Accident Prevention Program Manager
(give 'em the title "manager" and you don't have to give 'em a
raise), and, finally, Safety Program Manager. It seems that the FAA is in love
with words they keep changing the names of things. Since the term
"accident" has a negative connotation it was dropped in favor of
using the word "safety" and instead of specialists, the folks who
administer the program became managers.
One of the features of the original program was the "safety pin,"
a lapel pin with the Spirit of St. Louis in the center. This pin was awarded
to any pilot who took a "voluntary proficiency check ride" with one
of the Accident Prevention Specialists or Counselors. After a few successful
years of this, the voluntary proficiency check became mandatory, and the
Biennial Flight Review (BFR) was born. By the bye, the current Wings program
is an extension of the voluntary proficiency check as well.
The
thinking of the powers that be at the very top of the Flight Standards
Division of the FAA was and is that since professional pilots, particularly
air carrier pilots and charter pilots, are required to get recurrent training
and proficiency checks, why shouldn't the general aviation pilot as well? The
casual or infrequent flyer no doubt needs to have his or her skills and
knowledge reviewed more than does the professional who is flying every day.
When the flight review first became mandatory, I attended a meeting for
flight instructors at which a prominent FAA Inspector implied that the
assembled flight instructors were all going to get rich giving BFRs (what a
joke!) He went on to state that if a pilot who was out of time (more than two
years had elapsed since his last review) taxied across the field to get the
review it was okay, but if he had to fly in from a distant airport, you could
nail him with a violation! Good thinking, huh?
In my considered opinion, anyone who is conscientious enough to come in for
a review is deserving of extra consideration he or she should not be a
subject for for a violation. And on the subject of time, it was explained to
me that the BFR was the only timed event in the FAA's body of regulations that
expires on its anniversary date rather than on the last day of the anniversary
month because it was the result of congressional action, rather than the
regulatory people at the agency. Of course, that has since been changed with
the most-recent
rewrite of Part 61.
From its very inception, the conduct of the BFR has been left entirely to
the discretion of the administering instructor. This, of course, has resulted
in the review consisting of anything from a perfunctory "once around the
patch" to several dual instruction sessions involving multiple hours of
flight instruction. It wasn't long before literally every publisher in the
business came out with a pamphlet, booklet, or checklist setting forth
guidelines for the conduct of the review.
The
FAA has carefully refrained from designating specific maneuvers or procedures
in the conduct of the BFR. It has, however, offered guidelines for the
instructor, and the definitive guide is the FAA
Advisory Circular, AC 61.98A. Although this is a description of
recommended procedures for the conduct of the review in text form, it is, in
effect, a textual checklist that the instructor may use as a guide in the
conduct of the review.
The review itself is not meant to be a pass-fail situation, but without a
"satisfactory" endorsement from the instructor the applicant may not
legally operate as pilot in command of an aircraft even all by himself, alone,
solo. Therefore, despite protestations to the contrary, every pilot must
"pass" the review. No one ever gets an "unsat." If the
performance is unsatisfactory, his or her logbook merely reflects the amount
of dual instruction received.
Since the purpose of the review is to ensure that all pilots maintain the
level of proficiency they had reached at the time they originally acquired the
certificate, the ideal review involves the use of our old friend the Practical
Test Standards (PTS) as the guide for the conduct of the review. If the pilot
fails to meet the standard set forth in the PTS for the certificates held, the
instructor won't endorse the logbook for the review, but will merely sign
his/her log as having received dual instruction for that session. Another
instructional period (or more) is necessary until the pilot once again
achieves the standard of the PTS. Let the PTS be the guide. After all, that's
what applied in the first place.
Or did it? Perhaps the pilot acquired his certificate under an older,
different standard, in which case maybe he should be "grandfathered"
in under that standard? You can't very well ask him to be better than he was
when he got the certificate.
Probably
the most violated of all the Federal Aviation Regulations is Part
61.56 (formerly 61.57), which sets forth the requirements for the BFR. It
seems to be easier for the pilot to forget this than the need for a medical
every six months, twelve months, or twenty-four months as the case may be.
Some AMEs (Aviation Medical Examiners) send reminders to their pilot patients.
I'm sure the vast majority of those who fail to timely schedule a flight
review do so by inadvertence.
However, there is that large group of pilots who harbor the infamous
anti-authority attitude. They maintain that they have nothing to prove so they
refuse to expose themselves to an instructor for a review of their skill,
ability, and knowledge. After all, they did it at the time they acquired the
certificate, so why should they have to do it again and again, periodically?
These are the guys who keep an airplane at a remote, probably private strip,
hangared in a barn. The airplane hasn't had the benefit of being looked at by
a mechanic for several years, and the pilot hasn't seen an AME (Aviation
Medical Examiner) since he acquired his certificate if indeed he even has a
pilot certificate. The irony of this is that these are the guys who need it
the most. The serious, safety-minded pilot who is very current with his flying
and who conscientiously presents himself to an instructor for a review every
24 months (or more often) is the one who will benefit from the review the
least. He probably doesn't really need it. Certainly not to the extent that
the pilot with a chip on his shoulder who refuses to expose himself to the
scrutiny of an instructor needs it.
The
most recent changes in the evolution of the flight review regulations include
the on again, off again annual flight review for the Recreational or Private
Pilot with less than 400 hours total time and the Private Pilot who does not
have an instrument rating on his pilot certificate. Additionally, there is the
requirement for a minimum of one hour of ground and one hour of flight
instruction during the review. These refinements in the requirements of the
flight review have been proposed, abandoned, and re-proposed. In fact, the
discretion of the administering flight instructor has been restricted by the
imposition of the one-hour ground and flight instruction minimum requirement.
But this is once again under review by the regulators. What is covered in
these required hours is still discretionary with the administering instructor,
so really, the instructor's role is not seriously curtailed.
Any
required flight check counts as a flight review, the most notable of which is
the addition of an additional rating to a pilot certificate or the addition of
a higher-grade certificate. These required checks include six-month checks for
charter pilots, renewal of a flight instructor certificate (but only if the
CFI actually flies rather than a non-flying renewal). Interestingly, an
instrument proficiency (formerly instrument competency) check does not count
since the review is supposed to ascertain that the pilot is still up to the
standard of his/her certificate. Even so, I am aware of at least one BFR that
was signed off by no less than a DPE (Designated Pilot Examiner) for a friend
without not only not flying, but without so much as asking a single question!
Because any required flight check counts, I have personally never had a
specific flight review. As the chief pilot for my company's Part 135 charter
operation, I was required to expose myself to the FAA for regular six-month
checks and as a DPE each year I had to fly for the feds. Each of those checks
counts as a BFR. Since I no longer hold a 135 certificate and am no longer a
DPE, I have been flying for the renewal of my CFI, which also counts.
Usual Boilerplate: If you have a comment regarding this
column, please post it here rather than sending it to me by direct email. That
way others may benefit from your input.
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