Unmanned Aircraft Systems
- Unmanned Aircraft Systems (UAS) are unique as they are operated through commands sent via line of sight, relayed by satellite relay, or by responding to pre-set programming in the on-board computer
- There are two components to UAS Operations:
- Uplink that transmits command and control (C2) instructions to the aircraft, and;
- Downlink which relays the operation/status of onboard systems within the aircraft to the ground control station
- If either link is disabled or malfunctions, the result is defined as "UAS Operations"
Unmanned Aircraft Systems Operations:
- UAS operations are governed by the Code of Federal Regulations (CFR) and the United States Code (USC)
- The type of operation, purpose of the flight, and weight of the UAS all factor into the specific rule that governs UAS operations
Part 107 Operations:
- Part 107 operations are a regulatory first step for civil non-recreational UAS operations
- To fly under 14 CFR Part 107, the UAS must weigh less than 55 pounds and the operator (called a remote pilot) must pass a knowledge test
- Also, the UAS must be registered
- Part 107 operations include commercial aerial photography, commercial aerial survey, other operations for hire, and operations that are not conducted purely for pleasure/recreation
Recreational Flyer Operations:
- The FAA considers recreational UAS to be aircraft that fall within the statutory and regulatory definitions of an aircraft, in that they are devices that are used or intended to be used for flight in the air
- As aircraft, these devices generally are subject to FAA oversight and enforcement
- The only exception to this altitude restriction in Class G airspace is at FAA-recognized fixed sites and sanctioned events, with specifically approved procedures for flights above 400 feet AGL
Part 91 Operations:
- Part 91 operations include public UAS, and civil UAS 55 pounds or more Maximum Gross Operating Weight (MGOW)
- AC 00-1.1, Public Aircraft, contains more information on public UAS operations, including the requirements for qualification as a public operator, and how aircraft and pilots are certified, refer to AC 00-1.1, Public Aircraft
- Classified into five categories called "groups," UAS range from small hand-launched aircraft, similar to model aircraft, to aircraft comparable to a Boeing 747
- As the Federal Aviation Administration works to integrate these systems into the national airspace system pilots, owe it to themselves to learn how UAS will impact their operation
- Federal Aviation Administration UAS Operations
- Federal Aviation Regulations Part 107
No Drone Zones:
- No Drone Zones is an FAA concept and outreach to promote safe and responsible use of UAS
- The effort assists landowners (private and public) with designating their land off−limits for UAS take−offs and landings
- The idea behind the outreach is to allow landowners who wish to avoid interactions on their property with UAS to state this preference in advance of UAS take−offs or landings. No Drone Zones do not apply to airspace
- Generally speaking, for a No Drone Zone in a public place to be legally enforceable, there must exist underlying authority (ordinance, law, etc.)
- If the property in question is privately owned, the landowner’s right to designate no UAS use is enforceable through trespass law
Large UAS Operations:
- Large public UAS may have wingspans as large as commercial airliners, and may operate in and out of public/military dual-use airfields. Due to the high altitudes at which these UAS routinely operate, and the means through which they reach and vacate operating altitudes, encounters with manned or low-altitude unmanned traffic are rare
- Public users operating as "public aircraft" retain the responsibility to determine airworthiness and pilot qualifications. Aircraft certification and operating rules apply to the entire UAS, including the aircraft itself, the flight crew with their associated qualifications, the control station, and command and control links
- Large UAS operating in controlled airspace generally communicate on radio frequencies or through an ATC-to-PIC ground communications link assigned to that sector, terminal area, or control tower. The UAS PIC is required to comply with all ATC instructions and uses standard phraseology per FAA Order JO 7110.65, Air Traffic Control, and this manual
Collision Avoidance:
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- Large UAS must meet performance, equipage requirements, and adhere to relevant procedures commensurate with the airspace in which the UAS is operating
- Absent an onboard pilot, large UAS are unable to "see and avoid" other aircraft, as required by regulations governing the general operation of aircraft in the NAS under Title 14 CFR Section 91.111, Operating Near other Aircraft, and 14 CFR Section 91.113, Right of Way Rules: Except Water Operations. As a result, they cannot use visual observation to remain "well clear" of other aircraft and avoid collisions. Therefore, an alternate means of compliance is required to remain well clear of other aircraft and surface obstacles, and avoid collisions
- A Layered Approach for Collision Avoidance, illustrates the different layers used to keep aircraft safely separated, beginning with airspace classification and design, then ending with the responsibility of the pilot to prevent collisions [ Figure 2 ]
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Transition to full integration into the NAS:
- Over time, full integration of large UAS operations in the NAS will be achieved. Current large UAS operations will continue to be dependent on COAs, the issuance of NOTAMs, and possibly other measures (e.g., chase plane, segregated airspace) as currently used for accommodated operations. This integration is evolving with UAS technology advances, FAA regulatory changes, NAS automation, communications improvements, and evolving use cases and demand
- Transponder equipped UAS, during lost link events, if capable, will squawk secondary surveillance radar (SSR)/Transponder code 7400. If the UAS is not programmed for use of SSR code 7400, then code 7600 may be used
Large UAS Operating characteristics:
- To illustrate the sizes and performance of large public UAS, consider the DoD UAS classification system. The categories (see FIG 11-3-1) are separated based on MGOW, normal operating altitude, and flying speed. These classifications do not apply to non-DoD civil aircraft. Generally, Groups 1 through 3 UAS will operate on and above military bases, in restricted or prohibited airspace. For this reason, these smaller tactical public aircraft will rarely be encountered by civil pilots. Groups 4 and 5 are the largest of DoD UAS, weighing over 1,320 pounds, and operating at all speeds and altitudes. Group 4 aircraft operate at all altitudes, usually below 18,000 feet MSL. Group 5 aircraft typically operate well above 18,000 feet MSL. UAS in Groups 4 and 5 require airfields with specially approved surfaces to safely operate. For specifications and descriptions of the aircraft models that the DoD operates, refer to military service fact sheets
- The category chart does not specify the actual high gross weights at which some DoD UAS actually operate. For instance, the RQ-4 Global Hawk regularly operates at approximately 32,000 pounds.)
- JP 3-30, III 31, Joint Publication 3-30, provides the UAS Categorization Chart and may be reviewed at: https://www.jcs.mil/Portals/36/Documents/Doctrine/pubs/jp3_30.pdf?ver=2019-09-04-142255-657
- These websites provide unclassified descriptions, performance, and specifications of the varied UAS in the DoD's large category fleet: USAF Fact Sheets at https://www.af.mil/About-Us/Fact-Sheets/ and USN Fact Files at https://www.navy.mil/Resources/Fact-Files/
Large UAS Characteristics and Operating Areas:
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- Large public UAS may be sharing airspace with civil aircraft in the NAS
- A wide variety of aircraft performance, voice radio communications, command and control link architecture, and operating procedures exists throughout the DoD and other large public UAS enterprises
- For example, Group 4 DoD aircraft, such as the MQ-1 Predator and MQ-9 Reaper, are typically propeller-driven with propulsion units that are internal combustion piston- or turbine-powered
- The largest public UAS include single-engine jet aircraft such as the RQ-4 Global Hawk and MQ-4C Triton
- VLOS and BVLOS link systems provide command and control for these large UAS operations. Voice communication capability in the largest public UAS is far more extensive than in the smaller aircraft. Many models are limited to a single voice radio transmitter and receiver system for control inside airspace managed by and/or delegated to the DoD
- Many of the larger public UAS are equipped with transponders to assist ATC with position and tracking information. These UAS usually operate under IFR under positive ATC control and will tend to be found at very high altitudes; not likely to be encountered by civil aircraft operators. Launch and recovery operations will be likewise under positive ATC control and these UAS will be separated from any other known aircraft traffic. Encounters with low-altitude small UAS, being flown in uncontrolled airspace or under low-altitude controlled airspace authorizations, are therefore unlikely. In accordance with 14 CFR Section 91.215(e)(2), ATC Transponder and Altitude Reporting Equipment and Use, no person may operate an unmanned aircraft under Part 91 with a transponder on unless: (1) the operation is conducted under a flight plan and the person operating the unmanned aircraft maintains two-way communications with ATC; or (2) the use of a transponder is otherwise authorized by the Administrator
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Large UAS Launch and Recovery Operating Areas:
- Large public UAS operations are widespread and carefully managed to ensure enhanced safety for other NAS users
- For this reason, DoD UAS operate in many types of special use airspace
- Once outside of the terminal environment, DoD UAS utilize the full range of SUA, including Military Operating Areas (MOA), restricted areas, warning areas, and alert areas to conduct their missions
Integration:
- To ensure segregation of UAS operations from other aircraft, the military typically conducts UAS operations within restricted or other special use airspace
- However, UAS operations are now being approved in the NAS outside of special use airspace through the use of FAA-issued Certificates of Waiver or Authorization (COA) or through the issuance of a special airworthiness certificate
- COA and special airworthiness approvals authorize UAS flight operations to be contained within specific geographic boundaries and altitudes, usually require coordination with an ATC facility, and typically require the issuance of a NOTAM describing the operation to be conducted
- UAS approvals also require observers to provide "see-and-avoid" capability to the UAS crew and to provide the necessary compliance with 14 CFR Section 91.113
- For UAS operations approved at or above FL180, UAS operate under the same requirements as that of manned aircraft (i.e., flights are operated under instrument flight rules, are in communication with ATC, and are appropriately equipped)
UAS Definitions:
- Control Station: an interface used by the remote pilot to control the flight path of the small unmanned aircraft
- Corrective Lenses: spectacles or contact lenses
- Small Unmanned Aircraft: an unmanned aircraft weighing less than 55 pounds on takeoff, including everything that is on board or otherwise attached to the aircraft
- Small Unmanned Aircraft System (small UAS): a small unmanned aircraft and its associated elements (including communication links and the components that control the small unmanned aircraft) that are required for the safe and efficient operation of the small unmanned aircraft in the national airspace system
- Unmanned Aircraft: an aircraft operated without the possibility of direct human intervention from within or on the aircraft
- Visual Observer: a person who is designated by the remote pilot in command to assist the remote pilot in command and the person manipulating the flight controls of the small UAS to see and avoid other air traffic or objects aloft or on the ground
UAS Categories:
UAS are broken into four categories
Category 1 Operations:
- A remote pilot in command must use a small unmanned aircraft that:
- Weighs 0.55 pounds or less on takeoff and throughout the duration of each operation under Category 1, including everything that is on board or otherwise attached to the aircraft; and
- Does not contain any exposed rotating parts that would lacerate human skin upon impact with a human being
Category 2 Operations:
- A remote pilot in command must use a small unmanned aircraft that:
- Is eligible for Category 2 operations (pursuant to § 107.120(a));
- Is listed on an FAA-accepted declaration of compliance as eligible for Category 2 operations in accordance with FAR 107.160; and
- Is labeled as eligible to conduct Category 2 operations in accordance with FAR 107.120(b)(1)
Category 2 Eligibility:
- To be eligible for use in Category 2 operations, the small unmanned aircraft must be designed, produced, or modified such that it:
- Will not cause injury to a human being that is equivalent to or greater than the severity of injury caused by a transfer of 11 foot-pounds of kinetic energy upon impact from a rigid object;
- Does not contain any exposed rotating parts that would lacerate human skin upon impact with a human being; and
- Does not contain any safety defects
Category 2 Labeling:
- The applicant for a declaration of compliance for a small unmanned aircraft that is eligible for use in Category 2 operations in accordance with paragraph (a) of this section, must meet all of the following requirements for the applicant's unmanned aircraft to be used in Category 2 operations:
- Display a label on the small unmanned aircraft indicating eligibility to conduct Category 2 operations. The label must be in English and be legible, prominent, and permanently affixed to the small unmanned aircraft
Product Support and Notification:
- The applicant for a declaration of compliance must maintain product support and notification procedures to notify the public and the FAA of:
- Any defect or condition that causes the small unmanned aircraft to no longer meet the requirements of this subpart; and
- Any identified safety defect that causes the small unmanned aircraft to exceed a low probability of casualty
Category 2 sUAS Sale or Transfer:
- Have remote pilot operating instructions that apply to the operation of the small unmanned aircraft system. The applicant for a declaration of compliance must make available these instructions upon sale or transfer of the aircraft or use of the aircraft by someone other than the applicant who submitted a declaration of compliance pursuant to § 107.160. Such instructions must address, at a minimum:
- A system description that includes the required small unmanned aircraft system components, any system limitations, and the declared category or categories of operation;
- Modifications that will not change the ability of the small unmanned aircraft system to meet the requirements for the category or categories of operation the small unmanned aircraft system is eligible to conduct; and
- Instructions for how to verify and change the mode or configuration of the small unmanned aircraft system, if they are variable
UAS Operations:
- UAS operations may be approved at either controlled or uncontrolled airports and are typically disseminated by NOTAM
- In all cases, approved UAS operations must comply with all applicable regulations and/or special provisions specified in the COA or in the operating limitations of the special airworthiness certificate
- By regulation, no person may operate a small unmanned aircraft in a manner that interferes with operations and traffic patterns at any airport, heliport, or seaplane base
Operations At Uncontrolled Airports:
- At uncontrolled airports, UAS operations are advised to operate well clear of all known manned aircraft operations
- Pilots of manned aircraft are advised to follow normal operating procedures and are urged to monitor the CTAF for any potential UAS activity
Operations At Controlled Airports:
- At controlled airports, local ATC procedures may be in place to handle UAS operations and should not require any special procedures from manned aircraft entering or departing the traffic pattern or operating in the vicinity of the airport
UAS Currency:
- Drone pilots who already have part 107 Remote Pilot Certification can take their required recency of knowledge training courses online. The training ensures that they have the updated knowledge necessary to operate. The training is free and available on FAASafety.gov. Be sure to follow the "Training Credit" instructions in the Introduction or Review sections of these courses, before you begin, to receive the appropriate credit. Here are the courses:
- Part 107 Small UAS Recurrent Non-Part 61 Pilots (ALC-677) - All individuals who hold a part 107 remote pilot certificate are eligible to take this course. If you don't hold any other pilot certificates other than part 107, this is likely the course you need to take. http://bit.ly/ALC-677
- Part 107 Small UAS Initial (ALC-451) - Only part 107 remote pilots who are also certificated and current under part 61 are eligible to take this course. http://bit.ly/ALC451
- Part 107 Small UAS Recurrent (ALC -515) - Only part 107 remote pilots who are also certificated and current under part 61 are eligible to take this course. http://bit.ly/ALC515
- UAS Initial Aeronautical Knowledge Test - If you do not hold a current Remote Pilot Certificate and want to operate under part 107, you must take this test through an FAA-Approved Knowledge Testing Center (https://faa.psiexams.com). Please note that there is a fee associated with this test. Part 61 pilots who do not have a current flight review (per 14 CFR 61.56) and wish to operate under Part 107 are required to take this test as well
UAS Regulation:
- Part 107 exists for and applies to the registration, airman certification, and operation of civil small unmanned aircraft systems within the United States
- Part 107 does not apply to:
- Air carrier operations;
- Any aircraft subject to the provisions of part 101 of this chapter; or
- Any operation that a remote pilot in command elects to conduct pursuant to an exemption issued under section 333 of Public Law 112-95, unless otherwise specified in the exemption
Part 107 Compliance:
Means of Compliance:
Establishment of Compliance:
- To meet the requirements of FAR 107.120(a) for operations in Category 2, or the requirements of FAR 107.130(a) for operations in Category 3, the means of compliance must consist of test, analysis, or inspection
Required Information:
- An applicant requesting FAA acceptance of a means of compliance must submit the following information to the FAA in a manner specified by the Administrator:
- Detailed description of the means of compliance, including applicable test, analysis, or inspection procedures to demonstrate how the small unmanned aircraft meets the requirements of § 107.120(a) for operations in Category 2 or the requirements of § 107.130(a) for operations in Category 3. The description should include conditions, environments, and methods, as applicable
- Explanation of how application of the means of compliance fulfills the requirements of § 107.120(a) for operations in Category 2 or the requirements of § 107.130(a) for operations in Category 3
FAA Acceptance:
- If the FAA determines the applicant has demonstrated compliance with paragraphs (a) and (b) of this section, it will notify the applicant that it has accepted the means of compliance
Rescission:
- A means of compliance is subject to ongoing review by the Administrator. The Administrator may rescind its acceptance of a means of compliance if the Administrator determines that a means of compliance does not meet any or all of the requirements of this subpart
- The Administrator will publish a notice of rescission in the Federal Register
Demonstration of Compliance:
- A remote pilot in command, owner, or person manipulating the flight controls of a small unmanned aircraft system must, upon request, make available to the Administrator:
- The remote pilot certificate with a small UAS rating; and
- Any other document, record, or report required to be kept under the regulations of this chapter
Declaraion of Compliance:
Required Information:
- For an applicant to declare a small unmanned aircraft is compliant with the requirements of this subpart for Category 2 or Category 3 operations, an applicant must submit a declaration of compliance for acceptance by the FAA, in a manner specified by the Administrator, that includes the data outlined in FAR 107.160
FAA Acceptance:
- If the FAA determines the applicant has demonstrated compliance with the requirements of this subpart, it will notify the applicant that it has accepted the declaration of compliance
Notification of a Safety Issue:
- Prior to initiating rescission proceedings pursuant to paragraphs (d)(1) through (3) of this section, the FAA will notify the applicant if a safety issue has been identified for the declaration of compliance
Rescission:
- No person may operate a small unmanned aircraft identified on a declaration of compliance that the FAA has rescinded pursuant to this subpart while that declaration of compliance is rescinded
- The FAA may rescind a declaration of compliance if any of the following conditions occur:
- A small unmanned aircraft for which a declaration of compliance was accepted no longer complies with § 107.120(a) or § 107.130(a);
- The FAA finds a declaration of compliance is in violation of § 107.5(a); or
- The Administrator determines an emergency exists related to safety in accordance with the authority in 49 U.S.C. 46105
- The FAA will issue a notice proposing to rescind the declaration of compliance. The notice will set forth the Agency's basis for the proposed rescission and provide the holder of the declaration of compliance with 30 calendar days from the date of issuance of the proposed notice to submit evidentiary information to refute the proposed notice
- The holder of the declaration of compliance must submit information demonstrating how the small unmanned aircraft meets the requirements of this subpart within 30 calendar days from the date of issuance of the proposed notice
- If the FAA does not receive the information required by paragraph (d)(3)(ii) of this section within 30 calendar days from the date of the issuance of the proposed notice, the FAA will issue a notice rescinding the declaration of compliance
- If the Administrator determines that an emergency exists in accordance with paragraph (d)(2)(iii) of this section, the FAA will exercise its authority under 49 U.S.C. 46105(c) to issue an order rescinding a declaration of compliance without initiating the process in paragraph (d)(3) of this section
- A petition to reconsider the rescission of a declaration of compliance must demonstrate at least one of the following:
- A material fact that was not present in the original response to the notification of the safety issue and an explanation for why it was not present in the original response;
- The FAA made a material factual error in the decision to rescind the declaration of compliance; or
- The FAA did not correctly interpret a law, regulation, or precedent
Recreational Flyers:
- Advisory Circular 91-57, Exception for Limited Recreational Operations of Unmanned Aircraft, provides guidance for recreational flyers. Failure of a recreational flyer to adhere to any of the requirements for recreational status under 14 USC 44809 will result in the flight being considered 14 CFR Part 107 by the FAA, which may result in greater penalties if the operator is found operating in an unsafe manner. Recreational flyers may only operate under the statutory exception if they adhere to all of the conditions listed in the statute
- Operations in Class G airspace. Flights in Class G airspace will be the most common environment for many recreational flyers. The upper limit of recreational UAS operations in Class G airspace is 400 feet AGL. When operating in Class G airspace, the recreational flyer must follow the set of safety guidelines outlined and developed by a recognized Community-Based Organization (CBO)
- Operations in controlled airspace or uncontrolled airspace above 400 feet AGL. If a recreational flyer desires to operate in class B, C, or D airspace, or within the lateral boundaries of the surface area of class E airspace designated for an airport, or in class G airspace above 400 feet, the operator must obtain prior authorization from the Administrator or designee before operating. For the recreational flyer wishing to enter controlled airspace, there are two basic routes:
- Fixed sites are locations specifically authorized by the FAA, which are posted at the FAA's interactive map on the UAS Data Delivery System (UDDS). On the map, small blue circles depict the location of these sites in controlled airspace and the altitude limits imposed on those sites. The altitude restrictions are derived from the UASFM which form the basic structure of LAANC and its operating procedures. Recreational flyers can access site-specific information by clicking on the blue circle
- NOTE-These sites have existing letters of agreement or authorization (LOA) with the FAA. For the CBO to operate in controlled airspace, an airspace authorization agreement between the CBO and the FAA must be in place. Certain sites may have access restrictions or other operating limitations, which are available from the site sponsor
- CBO's requesting a sanctioned or sponsored event authorization within Class B, C, D, or within the lateral boundaries of the surface area of Class E airspace designated for an airport are obligated to make the location known to the FAA Administrator. Mutually agreed-upon operating procedures must be established with the event organizer. This is accomplished through a fixed site application in DroneZone
- CBO operations and events occurring at 400 feet AGL and below in Class G airspace do not require FAA review, approval or authorization. CBO's intending to conduct events in Class G airspace that may exceed 400 feet AGL must contact the FAA for further information
UAS Operations on Airports:
- Larger public and civil UAS operate from military, civilian and dual−use airports with set protocols and agreements with local ATC, often operate under IFR
- sUAS operations on airports require coordination with the airport operator and respective air traffic control facility, Spectrum, the FAA Regional Airport District Office, or the State Department of Aviation, where applicable. Due to the complex nature of these operations, requests for on−airport operations within controlled airspace must be submitted via DroneZone for coordination with the air traffic control facility. On−airport operation requests are evaluated on a case−by−case basis due to the inherent risks associated with operating in close proximity to areas frequented by manned aircraft
- NOTE-The FAA’s DroneZone website may be viewed at: https://faadronezone.faa.gov/#/
Resources for UAS Operators:
- FAA.GOV/UAS. The FAA UAS website, www.faa.gov/uas, is the central point for information about FAA UAS rules, regulations, and safety best practices
- FAA DroneZone. The FAA DroneZone is the Agency’s portal for registering drones, requesting Part 107 airspace authorizations and waivers, registering as a CBO, requesting fixed flying sites, and other tasks
- Local FAA offices (Flight Standards District Offices/FSDOs). FSDOs can be the best in−person source for UAS information. A list of FSDOs in the United States is at https://www.faa.gov/about/office_org/field_offices/fsdo/all_fsdos/
- Aeronautical Information. The FAA provides aeronautical information to NAS users, including UAS pilots, through a variety of methods, including publications like this manual, other publications, Advisory Circulars (ACs), charts, website and mobile applications, etc. Check https://www.faa.gov/air_traffic/flight_info/aeronav/ for these items
- The UAS Support Center. For general question or comment about UAS or drones, the FAA’s Support Center is available at 844−FLY−MY−UA or UASHelp@faa.gov
- Clubs and Associations. Local UAS recreational clubs, CBO organizations, and business associations are excellent resources for information and updates on flying in the local region
- LAANC. LAANC is the Low Altitude Authorization and Notification Capability, a collaboration between FAA and industry. It automates the application and approval process for airspace authorizations. Using applications developed by an FAA−approved UAS service supplier (USS) you can apply for an airspace authorization at over 600 airports. Download the free LAANC app at https://www.faa.gov/uas/programs_partnerships/data_exchange/
- B4UFLY. The B4UFLY mobile application is a partnership between the FAA and Kittyhawk. The app helps recreational flyers know whether it is safe to fly their drone, as well as increases their situational awareness. Download the free B4UFLY app at https://www.faa.gov/uas/recreational_fliers/where_can_i_fly/b4ufly/
- Weather Sources. Aviation weather services (such as https://www.aviationweather.gov/) are generally targeted towards manned aviation, the FAA is currently working on UAS−specific weather applications
- NOTAMs. The Notice to Air Missions (NOTAM) system, like aviation weather sources, remains primarily predicated on manned aviation needs. However, the system provides continual updates on all aviation activity (to include UAS flight activities which have been input to the FAA), as well as airport status. The NOTAM system will be of greatest use to larger UAS activities, UAS en route operations in controlled airspace, and thoseflying to or from airports. NOTAMs, temporary flight restrictions (TFRs), and aircraft safety alerts can be accessed at https://www.faa.gov/pilots/safety/notams_tfr/
Conclusion:
- UAS will continue to grow at a rapid pace, accelerated by the International Standards Organization's release of TC 20/SC 16
- There are several factors a pilot should consider regarding UAS activity in an effort to reduce potential flight hazards
- Pilots are urged to exercise increased vigilance when operating in the vicinity of restricted or other special use airspace, military operations areas, and any military installation
- Areas with a preponderance of UAS activity are typically noted on sectional charts advising pilots of this activity
- Since the size of a UA can be very small, they may be difficult to see and track
- If a UA is encountered during flight, as with manned aircraft, never assume that the pilot or crew of the UAS can see you, maintain increased vigilance with the UA and always be prepared for evasive action if necessary
- Always check NOTAMs for potential UAS activity along the intended route of flight and exercise increased vigilance in areas specified in the NOTAM
- Just as is the case with a manned aircraft, the UAS remote pilot or recreational flyer is responsible for the safe operation of their unmanned aircraft
- The remote pilot or recreational flyer must ensure that they are physically ready to fly and knowledgeable of the flight to be performed to include operational parameters, UAS limitations, local weather, and applicable flight rules; that the UAS itself is mechanically ready
References:
- Federal Aviation Administration - Pilot/Controller Glossary
- Aeronautical Information Manual (7-6-6) Unmanned Aircraft Systems
- FAA - Certificates of Waiver or Authorization (COA)
- FAA - UAS Data Delivery System
- Know Before You Fly
- Federal Aviation Regulations (91.113) Right-of-way rules: Except water operations
- AOPA - Drone Collisions with Aircraft Modeled