37000 Feet | Browse and search NASA's Aviation Safety Reporting System |
|
Attributes | |
ACN | 615092 |
Time | |
Date | 200403 |
Local Time Of Day | 0601 To 1200 |
Place | |
Locale Reference | airport : zzz.airport |
State Reference | US |
Altitude | agl single value : 0 |
Environment | |
Light | Daylight |
Aircraft 1 | |
Operator | general aviation : corporate |
Make Model Name | B727-200 |
Operating Under FAR Part | Part 91 |
Flight Phase | ground : maintenance |
Person 1 | |
Affiliation | other |
Function | maintenance : inspector |
Qualification | technician : powerplant technician : inspection authority technician : airframe |
Experience | maintenance technician : 11 |
ASRS Report | 615092 |
Person 2 | |
Affiliation | government : faa |
Function | other personnel other |
Events | |
Anomaly | aircraft equipment problem : critical maintenance problem : improper documentation non adherence : far non adherence : published procedure |
Independent Detector | other other : person 2 |
Resolutory Action | none taken : detected after the fact |
Consequence | other |
Factors | |
Maintenance | contributing factor : work cards contributing factor : schedule pressure contributing factor : engineering procedure performance deficiency : installation performance deficiency : logbook entry performance deficiency : non compliance with legal requirements |
Supplementary | |
Problem Areas | Maintenance Human Performance Aircraft Chart Or Publication Company |
Primary Problem | Chart Or Publication |
Narrative:
A form 337 was filed and received by the local FSDO office on mar/mon/04. The alteration listed on it was a dual GPS installation on a B727-200. The data used to install the antennas was a form 8110-3 from another B727. The local FSDO office notified me on mar/mon/04 of a possible violation due to the fact that the antennas were installed at station 320 and not at station 367 as stated on the form 8110-3. The reason the antennas were moved forward was due to a 3 ft distance requirement of the GPS antennas to be from an existing HF antenna. I was notified that the data was not applicable to the installation due to this deviation. Some of the factors that affected my judgement and the decision that was made are as follows: 1) time was short due to the aircraft due in south africa in the next 3 days. 2) the aircraft was leaving on a ferry permit. 3) the antenna installation was done in the same skin area. 4) the form 8110-3 was not initially included with the drawings at the time of installation. A copy was later received. 5) this was the first time I used data approved for an aircraft and applied it to another aircraft. Upon notification from the local FSDO of the possible violation, I sent the data used for the installation to a designated engineering representative and had a new drawing approved. The drawing was identical to the one used in the installation. The only changes were the drawing number, station number, and GPS model number. Designated engineering representative approval was obtained on apr/wed/04, a new form 337 was filed, and a logbook entry was made. During this time the aircraft was not in operation.
Original NASA ASRS Text
Title: A B727-200 FAA FORM 337 FOR GPS INSTALLATION WAS REJECTED DUE TO ANTENNA LOCATION NOT AS SPECIFIED IN FORM 337.
Narrative: A FORM 337 WAS FILED AND RECEIVED BY THE LCL FSDO OFFICE ON MAR/MON/04. THE ALTERATION LISTED ON IT WAS A DUAL GPS INSTALLATION ON A B727-200. THE DATA USED TO INSTALL THE ANTENNAS WAS A FORM 8110-3 FROM ANOTHER B727. THE LCL FSDO OFFICE NOTIFIED ME ON MAR/MON/04 OF A POSSIBLE VIOLATION DUE TO THE FACT THAT THE ANTENNAS WERE INSTALLED AT STATION 320 AND NOT AT STATION 367 AS STATED ON THE FORM 8110-3. THE REASON THE ANTENNAS WERE MOVED FORWARD WAS DUE TO A 3 FT DISTANCE REQUIREMENT OF THE GPS ANTENNAS TO BE FROM AN EXISTING HF ANTENNA. I WAS NOTIFIED THAT THE DATA WAS NOT APPLICABLE TO THE INSTALLATION DUE TO THIS DEV. SOME OF THE FACTORS THAT AFFECTED MY JUDGEMENT AND THE DECISION THAT WAS MADE ARE AS FOLLOWS: 1) TIME WAS SHORT DUE TO THE ACFT DUE IN SOUTH AFRICA IN THE NEXT 3 DAYS. 2) THE ACFT WAS LEAVING ON A FERRY PERMIT. 3) THE ANTENNA INSTALLATION WAS DONE IN THE SAME SKIN AREA. 4) THE FORM 8110-3 WAS NOT INITIALLY INCLUDED WITH THE DRAWINGS AT THE TIME OF INSTALLATION. A COPY WAS LATER RECEIVED. 5) THIS WAS THE FIRST TIME I USED DATA APPROVED FOR AN ACFT AND APPLIED IT TO ANOTHER ACFT. UPON NOTIFICATION FROM THE LCL FSDO OF THE POSSIBLE VIOLATION, I SENT THE DATA USED FOR THE INSTALLATION TO A DESIGNATED ENGINEERING REPRESENTATIVE AND HAD A NEW DRAWING APPROVED. THE DRAWING WAS IDENTICAL TO THE ONE USED IN THE INSTALLATION. THE ONLY CHANGES WERE THE DRAWING NUMBER, STATION NUMBER, AND GPS MODEL NUMBER. DESIGNATED ENGINEERING REPRESENTATIVE APPROVAL WAS OBTAINED ON APR/WED/04, A NEW FORM 337 WAS FILED, AND A LOGBOOK ENTRY WAS MADE. DURING THIS TIME THE ACFT WAS NOT IN OP.
Data retrieved from NASA's ASRS site as of July 2007 and automatically converted to unabbreviated mixed upper/lowercase text. This report is for informational purposes with no guarantee of accuracy. See NASA's ASRS site for official report.