Extension without change of a currently approved collection
No
Regular
07/14/2022
Requested
Previously Approved
36 Months From Approved
07/31/2022
52,817
7,800
26,429
35,672
0
0
With respect to all the forms
referenced below, the use and reporting of the information is
mandatory to operate a non-Federally owned facility in the NAS.
Non-Federal sponsors are required to submit the forms to their
assigned FAA Inspector for retention. These forms are record
keeping documents. Collection frequency varies depending on the
form and the situation. Form 6000-10A is filled out once at the
commissioning of the facility. Forms 6000-8A and 6030-1 are filled
out at each maintenance visit, as needed. Documenting the initial
parameters during commissioning is necessary to have a baseline to
reference during future inspections. Another requirement is
recording maintenance tasks, removal from service, and any other
repairs performed on these facilities in on-site logs to have an
accurate history on the performance of the facility. In addition,
at each periodic inspection, recording the facilities' current
parameters provides performance information for the life of the
facility. This collection provides the FAA with the necessary data
on non-Federally owned facilities to maintain safety in the NAS.
There is no plan to publicly disseminate the collected information,
nor use it to support publicly disseminated information. The
information collected is for internal FAA use only, and not public
consumption. The FAA's Non-Federal Program will retain control over
the information and safeguard it from improper access,
modification, and destruction, consistent with FAA standards for
confidentiality, privacy, electronic information and document
retention guidance. (See response to Question 10 of this Supporting
Statement for more information on confidentiality and privacy.) The
information collection is designed to yield data that meet all
applicable information quality guidelines. Technical Reference Data
Record (TRDR), FAA Form 6000-10A. (Called Record of Meter Readings
and Adjustments, Form FAA-198, in 14 CFR Part 171.) TRDRs contain
the facility's parameters, including equipment adjustments and all
meter readings, and the sponsor must fill it out at the end of
commissioning the facility. The sponsor must retain this
information on-site. During each periodic inspection, review of
this document verifies that the facility remains within initial
tolerance. Technical Performance Record (TPR), FAA Form 6000-8A.
(Called Radio Equipment Operation Records, Form 418, in 14 CFR Part
171.) TPRs contain a record of system parameters recorded in each
scheduled routine maintenance visit to the facility. The sponsor or
the sponsor's representatives must keep the original of each record
at the facility and send a copy of the form to the FAA. This form
provides proof and/or validation that the facility's parameters are
within tolerance during each periodic inspection. Facility
Maintenance Logs, FAA Form 6030-1. (Called Facility Maintenance
Log, Form 406C, in 14 CFR Part 171.) Facility Maintenance Logs are
a permanent record of all the activities required to maintain a
non-Federal facility. Logging is necessary in accordance with FAA
policy. The entries must include all malfunctions encountered, if
any, information on adjustments, equipment failures, causes, and
corrective action taken. In addition, the entries must include any
periodic maintenance required to operate the facility, and issuance
of any facility NOTAMs. The FAA must receive copies of the logs.
Generally, completion and close out of logs are at the end of each
month. However, if maintenance or a scheduled outage carries over
into the next month, the relevant log must be closed out at the
conclusion of that maintenance or outage. In the case of an
unscheduled outage that lasts longer than 60 seconds, the log must
be terminated in time to ensure that the FAA will receive a copy of
the log within 20 days of the outage's occurrence. This form
documents a complete history of the operation and maintenance of
the facility for the facility's life cycle until
decommissioning.
US Code:
49
USC 40102 Name of Law: Definitions
US Code: 49
USC 44502 Name of Law: General facilities and personnel
authority
US Code: 49
USC 44505 Name of Law: Systems, procedures, facilities, and
devices
US Code: 49
USC 44702 Name of Law: Issuance of certificates
US Code: 49
USC 40103 Name of Law: Sovereignty and use of airspace
US Code: 49
USC 44708 Name of Law: Inspecting and rating air navigation
facilities
US Code: 49
USC 44709 Name of Law: Amendments, modifications, suspensions,
and revocations of certificates
US Code: 49
USC 46301 Name of Law: Civil penalties
There has been no change in the
requirement; however the burden has been adjusted. A separate form
(6000-10) is used at the commissioning of the facility to ensure
this data is recognized as the baseline operating parameters. (This
form was previously called the 6030-17.) The other two forms 6030-1
& 6000-8 (previously listed as 6790-3 and 6790-4) were
previously used; they are required at each maintenance visit.
Previous information collections listed forms 6790-3 and 6790-4,
which are performance records for specific types of navigation aids
(E.g., the VHF Omni-Directional Range.) However, these forms were
either listed in error, or because data-collection procedures were
different in the past. Today, a single performance record (6000-8)
is used for nearly all of the navigation aids that the Non-Federal
Program regulates. As a result, there is no longer any need to use
6790-3 and 6790-4. Regardless, the data being collected remains the
same. The Non-Federal Program is not responsible for the forms used
and had no input in changes to the Form numbers and/or the names of
the forms. These forms are not solely for the use of the
Non-Federal Program.
$789,624
No
No
No
No
No
No
No
Michael Schoen 202 302-5091
michael.ctr.schoen@faa.gov
No
On behalf of this Federal agency, I certify that
the collection of information encompassed by this request complies
with 5 CFR 1320.9 and the related provisions of 5 CFR
1320.8(b)(3).
The following is a summary of the topics, regarding
the proposed collection of information, that the certification
covers:
(i) Why the information is being collected;
(ii) Use of information;
(iii) Burden estimate;
(iv) Nature of response (voluntary, required for a
benefit, or mandatory);
(v) Nature and extent of confidentiality; and
(vi) Need to display currently valid OMB control
number;
If you are unable to certify compliance with any of
these provisions, identify the item by leaving the box unchecked
and explain the reason in the Supporting Statement.