81_FR_53130 81 FR 52975 - Airworthiness Directives; Continental Motors, Inc. Reciprocating Engines

81 FR 52975 - Airworthiness Directives; Continental Motors, Inc. Reciprocating Engines

DEPARTMENT OF TRANSPORTATION
Federal Aviation Administration

Federal Register Volume 81, Issue 155 (August 11, 2016)

Page Range52975-52991
FR Document2016-18708

We are adopting a new airworthiness directive (AD) for certain Continental Motors, Inc., (CMI) San Antonio (formerly known as Airmotive Engineering Corp. (AEC)), replacement parts manufacturer approval (PMA) cylinder assemblies marketed by Engine Components International Division (ECi). On July 17, 2015, AEC was purchased by CMI and is now operating as ``Continental Motors--San Antonio.'' These cylinder assemblies are used on all CMI model -520 and -550 reciprocating engines, and on all other CMI engine models approved for the use of model -520 and -550 cylinder assemblies, such as the CMI model -470 when modified by supplemental type certificate (STC). This AD was prompted by reports of multiple cylinder head-to-barrel separations and cracked and leaking aluminum cylinder heads. This AD requires removal of the affected cylinder assemblies, including overhauled cylinder assemblies, according to a phased removal schedule. We are issuing this AD to prevent failure of the cylinder assemblies, which could lead to failure of the engine, in-flight shutdown, and loss of control of the airplane.

Federal Register, Volume 81 Issue 155 (Thursday, August 11, 2016)
[Federal Register Volume 81, Number 155 (Thursday, August 11, 2016)]
[Rules and Regulations]
[Pages 52975-52991]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-18708]


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DEPARTMENT OF TRANSPORTATION

Federal Aviation Administration

14 CFR Part 39

[Docket No. FAA-2012-0002; Directorate Identifier 2011-NE-42-AD; 
Amendment 39-18610; AD 2016-16-12]
RIN 2120-AA64


Airworthiness Directives; Continental Motors, Inc. Reciprocating 
Engines

AGENCY: Federal Aviation Administration (FAA), DOT.

ACTION: Final rule.

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SUMMARY: We are adopting a new airworthiness directive (AD) for certain 
Continental Motors, Inc., (CMI) San Antonio (formerly known as 
Airmotive Engineering Corp. (AEC)), replacement parts manufacturer 
approval (PMA) cylinder assemblies marketed by Engine Components 
International Division (ECi). On July 17, 2015, AEC was purchased by 
CMI and is now operating as ``Continental Motors--San Antonio.'' These 
cylinder assemblies are used on all CMI model -520 and -550 
reciprocating engines, and on all other CMI engine models approved for 
the use of model -520 and -550 cylinder assemblies, such as the CMI 
model -470 when modified by supplemental type certificate (STC). This 
AD was prompted by reports of multiple cylinder head-to-barrel 
separations and cracked and leaking aluminum cylinder heads. This AD 
requires removal of the affected cylinder assemblies, including 
overhauled cylinder assemblies, according to a phased removal schedule. 
We are issuing this AD to prevent failure of the cylinder assemblies, 
which could lead to failure of the engine, in-flight shutdown, and loss 
of control of the airplane.

DATES: This AD is effective September 15, 2016.

ADDRESSES: For service information identified in this AD, contact 
Continental Motors, Inc., San Antonio, 9503 Middlex Drive, San Antonio, 
TX 78217; phone: 210-820-8100; Internet: http://www.continentalsanantonio.com. You may view this service information

[[Page 52976]]

at the FAA, Engine & Propeller Directorate, 1200 District Avenue, 
Burlington, MA. For information on the availability of this material at 
the FAA, call 781-238-7125. It is also available on the Internet at 
http://www.regulations.gov by searching for and locating Docket No. 
FAA-2012-0002.

Examining the AD Docket

    You may examine the AD docket on the Internet at http://www.regulations.gov by searching for and locating Docket No. FAA-2012-
0002; or in person at the Docket Management Facility between 9 a.m. and 
5 p.m., Monday through Friday, except Federal holidays. The AD docket 
contains this AD, the regulatory evaluation, any comments received, and 
other information. The address for the Docket Office (phone: 800-647-
5527) is Document Management Facility, U.S. Department of 
Transportation, Docket Operations, M-30, West Building Ground Floor, 
Room W12-140, 1200 New Jersey Avenue SE., Washington, DC 20590.

FOR FURTHER INFORMATION CONTACT: Jurgen E. Priester, Aerospace 
Engineer, Delegation Systems Certification Office, FAA, Rotorcraft 
Directorate, 10101 Hillwood Parkway, Fort Worth, TX 76177; phone: 817-
222-5190; fax: 817-222-5785; email: [email protected].

SUPPLEMENTARY INFORMATION: 

Discussion

August 12, 2013--NPRM

    We issued a notice of proposed rulemaking (NPRM) to amend 14 CFR 
part 39 by adding an AD that would apply to certain CMI San Antonio 
replacement PMA cylinder assemblies marketed by ECi. These assemblies 
are used on CMI model -520 and -550 reciprocating engines, and all 
other CMI engine models approved for the use of models -520 and -550 
cylinder assemblies such as the CMI model -470 when modified by STC. 
The NPRM published in the Federal Register on August 12, 2013 (78 FR 
48828) (referred to herein after as the ``August 12, 2013, NPRM''). The 
August 12, 2013, NPRM proposed to require initial and repetitive 
inspections, immediate replacement of cracked cylinder assemblies, and 
replacement of cylinder assemblies at reduced times-in-service (TIS) 
since new. The August 12, 2013, NPRM also proposed to prohibit the 
installation of affected cylinder assemblies into any engine.

September 26, 2013-March 12, 2014--Posting Technical Documents/
Extension of Comment Period/Initial Regulatory Flexibility Analysis 
(IRFA)

    We received several hundred comments to our August 12, 2013, NPRM. 
In response to this high-level of public interest, we undertook several 
actions to help the public understand and provide further comment on 
our proposed rule. These actions included:
     Extending the comment period to the August 12, 2013, NPRM;
     publishing an IRFA; and
     adding several technical documents that were posted to 
Docket No. FAA-2012-0002 (see Addresses section of this final rule for 
information on locating the docket) on September 20, 2013.
    Documents added to the docket include:
    (1) FAA Safety Recommendations 08.365, 08.366, and 11.216, which 
were written against the subject ECi cylinder assemblies;
    (2) NTSB Safety Recommendation A-12-7, also written against the 
subject ECi cylinder assemblies;
    (3) The original ECi AD worksheet for 2011-NE-42-AD, which 
documents the reasons for the proposed rule;
    (4) A list of separations of ECi cylinder assemblies;
    (5) A white paper \1\ on failures of ECi cylinders by the FAA Chief 
Scientific and Technical Adviser (CSTA) for Engine Dynamics;
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    \1\ An authoritative report that informs readers about a complex 
issue.
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    (6) Figures showing ECi Dome Separation Failures;
    (7) A briefing on ``ECi Cylinder Head Failures on Continental IO 
520 & 550 Engines''; and
    (8) FAA Policy Memorandum on ``Risk Assessment for Reciprocating 
Engine Airworthiness Directives,'' dated May 24, 1999.
    We notified the public of these actions on September 26, 2013, via 
the Federal Register (78 FR 59293). In that notification, we extended 
the comment period for the August 12, 2013, NPRM to December 11, 2013. 
This extension allowed the public additional time to comment on our 
August 12, 2013, NPRM and the additional information we had added to 
the docket.
    We also determined that we needed to add to the docket a detailed 
regulatory flexibility analysis to estimate the effects of the proposed 
rule on small business entities. We published an Initial Regulatory 
Flexibility Analysis in Docket FAA-2012-0002 on March 12, 2014 (79 FR 
13924).

September 3-4, 2014--Challenge Team's Review of August 12, 2013, NPRM

    Because the response to our August 12, 2013, NPRM was so negative--
we received over 500 comments, most disagreeing with the NPRM--we 
established a Challenge Team to review our proposed AD. The Challenge 
Team was an independent, multi-disciplinary team, consisting of three 
FAA CSTAs, FAA Aircraft Certification Service (AIR) managers, and other 
FAA technical experts from all four Directorates.
    The Challenge Team reviewed the technical information that formed 
the basis for our proposed AD and the public comments we had received 
concerning our proposal. The CSTA for Aircraft Safety Analysis also 
independently computed a new risk assessment using the earlier failure 
reports, and the additional failure reports that we received from the 
public as comments to our August 12, 2013, NPRM.
    Based on their review of this data and the new risk assessment of 
failures of affected cylinder assemblies, the Challenge Team determined 
that an AD was still required. But, they suggested changes to make 
compliance less aggressive and substantially reduce cost. Their 
recommended changes included revising the compliance schedule in favor 
of a phased removal schedule, clarifying that overhauled cylinder 
assemblies are included in the proposed phased removal schedule, 
eliminating the reporting requirement for removed cylinder assemblies, 
and removing the requirement for initial and repetitive inspection.

January 8, 2015--First Supplemental Notice of Proposed Rulemaking 
(SNPRM)

    We adopted the Challenge Team's recommendations, and we then 
published them as an SNPRM in the Federal Register on January 8, 2015 
(80 FR 1008) (referred to herein after as the ``January 8, 2015, 
SNPRM''). The January 8, 2015, SNPRM proposed to modify the schedule 
for removal of the affected cylinder assemblies, added that overhauled 
affected cylinder assemblies be removed within 80 hours, eliminated a 
reporting requirement, and removed a requirement for initial and 
repetitive inspections.
    We also responded in our January 8, 2015, SNPRM, to the several 
hundred comments that we received to the August 12, 2013, NPRM. Many of 
these comments were repetitious, so we grouped the comments and 
provided our responses to the different groups,

[[Page 52977]]

depending on the nature of the comment. For example, some comments 
claimed that airplanes can operate safely with a separated cylinder 
head; others suggested that pilot error was causing cylinder head 
separations; and others recommended adopting less stringent compliance 
requirements. Each of these groups received our response to the group's 
comment.

June 9, 2015--Meeting With National Transportation Safety Board (NTSB)

    The NTSB, in its comments to our August 12, 2013, NPRM; January 8, 
2015, SNPRM; and in its Safety Recommendation A-12-07, did not fully 
support our approach to resolving the unsafe condition that is the 
subject of this final rule. Therefore, we met with the NTSB on June 9, 
2015 to understand the technical basis for their recommendation and 
their technical objections to our proposed AD. At this meeting, we 
presented the NTSB the technical information upon which we based our AD 
as amended. Information that was reviewed included failure reports, the 
risk assessment by the FAA's CSTA for Aircraft Safety Analysis, FAA 
safety recommendations, and the data supporting our conclusion that 
field inspections had an insufficient probability of cylinder failure 
detection.
    The NTSB noted in this meeting that Safety Recommendation A-12-7, 
and the NTSB's comments to the August 12, 2013, NPRM and the January 8, 
2015, SNPRM, were based on the information available to them at that 
time. The NTSB also indicated it would reassess its recommendation and 
comments to our proposed rule based on the presentations and the 
supporting data that we had presented.

June 23, 2015--Additional Technical Documents Posted

    We received additional comments to our August 12, 2013, NPRM and 
our January 8, 2015, SNPRM, requesting that we provide additional 
information that supports this AD. Commenters also requested that we 
identify the data that we relied on in drafting this AD and to explain 
why that data supported our conclusion that an unsafe condition exists. 
Based on these comments, we concluded that further additional public 
participation in our proposed AD was appropriate. Specifically, we 
concluded that we would post to the docket the additional technical 
information responsive to the comments. So, on June 23, 2015, we posted 
the additional technical information to Docket No. FAA-2012-0002 (see 
ADDRESSES section of this final rule for information on locating the 
docket). These documents provide further technical rationale for this 
AD. This additional technical information included:
    (1) The risk analysis process conducted by the FAA's CSTA for 
Aircraft Safety Analysis--referenced in Docket No. FAA-2012-0002 as the 
``Proposed Airworthiness Directive for ECi Cylinders Risk Analysis 
Process,'' referred to herein as the ``risk analysis'';
    (2) A risk analysis using the Small Airplane Risk Analysis (SARA) 
methods used by the FAA's Small Airplane Directorate (SAD)--referenced 
in Docket No. FAA-2012-0002 as ``SARA Worksheet Systems/Propulsion'';
    (3) A June 2011, presentation by AEC to the FAA concerning its ECi 
cylinder assemblies;
    (4) A list of ECi cylinder assembly failure reports consisting of 
only those reports where both cylinder serial number and time in 
service are included in the reports;
    (5) A list of additional failures of ECi cylinder assemblies 
reported by a maintenance organization; and
    (6) AEC Technical Report 1102-13, dated April 30, 2011.

August 28, 2015--2nd SNPRM

    We published a second SNPRM in the Federal Register on August 28, 
2015 (80 FR 52212, referred to herein after as the ``August 28, 2015, 
SNPRM''). The August 28, 2015, SNPRM retained the compliance 
requirements proposed by the January 8, 2015, SNPRM. We published the 
August 28, 2015, SNPRM to provide the public a final opportunity to 
comment on the proposed AD and the additional technical documentation 
we had added to the docket on June 23, 2015.
    Also, since many commenters had cited NTSB support for their 
positions, we wanted to clarify our rationale for disagreeing with the 
compliance actions proposed by the NTSB in its Safety Recommendation A-
12-7, and the NTSB's comments to the August 12, 2013, NPRM and the 
January 8, 2015, SNPRM.
    The NTSB did submit a final comment to our August 28, 2015, SNPRM, 
that was posted to the docket on November 23, 2015. In the NTSB's final 
comment, the NTSB indicated that it now considers that our proposed 
compliance actions satisfy the intent of Safety Recommendation A-12-7. 
The information we covered with the NTSB, including copies of FAA 
presentations to the NTSB, were subsequently posted to Docket No. FAA-
2012-0002 (see ADDRESSES section of this final rule for information on 
locating the docket) on April 6, 2016.

Comments

Introduction

    We have, through the August 12, 2013, NPRM; the September 26, 2013, 
posting of additional information; our extension of the August 12, 
2013, NPRM comment period; the January 8, 2015, SNPRM; and August 28, 
2015, SNPRM, given the public the opportunity to participate in 
developing this AD. The public, as noted already, has participated 
deeply in this rule making; providing hundreds of comments.
    This final rule includes our responses to any previously 
unaddressed comments to the August 12, 2013, NPRM and to the January 8, 
2015, SNPRM, that we may have left without response, and to the August 
28, 2015, SNPRM.
    To organize comments and facilitate their review, we again grouped 
like comments and responses. These groupings in this final rule's 
comments section are:
    (1) Comments to withdraw or revise the SNPRMs for technical 
reasons--these comments, and the resulting groupings, were similar to 
those we used in responding to the August 12, 2013, NPRM. They include, 
for example, requests to withdraw the SNPRM because the commenters 
claim that ECi cylinder assemblies are not unsafe; airplanes can 
operate safely with a separated cylinder head; or the root cause of 
cylinder failure is unknown.
    (2) Comments to the FAA's risk assessment processes and policies--
these comments generally asserted that the SNPRMs should be withdrawn 
because the FAA had not appropriately followed its risk assessment 
processes and policies in determining that the failure of ECi cylinder 
assemblies represents an unsafe condition.
    (3) Comments to the FAA's rulemaking processes--these comments 
generally requested that the SNPRMs be withdrawn, alleging that the FAA 
had failed to follow its rulemaking processes and was adopting a rule 
that is ``arbitrary and capricious.''
    (4) Comments to the cost of compliance--these comments indicated 
that the cost of compliance to this AD was higher than the FAA has 
estimated and will have a substantial effect on small entities.
    (5) Administrative comments--these were generally comments that did 
not pertain to the substance of this AD, such as requests for names and 
phone numbers of FAA personnel involved in this rulemaking.
    (6) Support for the SNPRMs--these were comments in support of 
issuing the SNPRMs.

[[Page 52978]]

A. Comments To Withdraw or Revise the SNPRMs for Technical Reasons

Request To Withdraw the SNPRMs Because ECi Cylinder Assemblies Are Not 
Unsafe
    Comment. Several organizations and individuals, commenting to the 
August 12, 2013, NPRM, commented also to the January 8, 2015, and 
August 28, 2015, SNPRMs, that the affected ECi cylinder assemblies have 
an equivalent, or lower, failure rate than that of cylinder assemblies 
manufactured by the original equipment manufacturer (OEM). The 
commenters also indicated that there have been no failures of ECi 
cylinder assemblies in the last 3 years. These commenters request the 
FAA withdraw this AD because they believe that the ECi cylinder 
assemblies are not unsafe.
    Response. We disagree. The rate of separation for the affected ECi 
cylinder assemblies is at least 32 times greater than that of OEM 
cylinder assemblies over the same period. Although there are 
approximately four times as many OEM cylinder assemblies in service 
than ECi cylinder assemblies, the ECi cylinder assemblies suffered more 
cylinder head separations than OEM cylinder assemblies since 2004. This 
data is available for review in Docket No. FAA-2012-0002 (see ADDRESSES 
section of this final rule for information on locating the docket). In 
addition, we have continued to receive field reports of failures of the 
affected cylinders in the past three years. We did not withdraw the 
August 28, 2015, SNPRM.
    Comment. Commenters also questioned the validity of the data that 
the FAA used to justify the proposed AD.
    Response. We interpret the comment as suggesting that the data used 
to justify the rule is not valid. We disagree. We used warranty reports 
from ECi and RAM Aircraft, which is a major overhauler of CMI engines, 
STC holder for an increased horsepower version of the affected model 
engine, and the largest user of the affected ECi cylinders. We also 
used service difficulty reports (SDRs), and other field service reports 
regarding ECI cylinder separations. We did not withdraw the August 28, 
2015, SNPRM.
    Comment. The IPL Group LLC (IPL Group) commented that the FAA has 
mischaracterized ``quality enhancements'' in production as ``design 
changes.'' IPL Group noted that ECi had applied experience gained 
during manufacturing, as well as through service feedback, to make 
quality improvements in production and the changes made to the design 
data were not due to design deficiencies.
    Response. We disagree. We correctly stated that ECi has made 
increases in the dome transition radius through cylinder serial number 
33697, and has made incremental increases in the head-to-barrel 
interference fit at least through cylinder serial number 61177 (see 
Airmotive Engineering Technical Report 1102-13) to address the two 
identified inherent design deficiencies associated with the effected 
cylinder assemblies. These changes are design changes. We did not 
withdraw the August 28, 2015, SNPRM.
    Comment. RAM Aircraft commented that when it submitted its December 
9, 2013, comment, it calculated the likelihood of a cylinder 
separation. RAM Aircraft indicated it provided a significant amount of 
data that proves that the likelihood of a cylinder separation is 
``extremely remote.'' RAM commented that at that time their data showed 
one cylinder separation for every: 21,808 multi-engine aircraft flight 
hours, or 172 average years of active service; and 42,057 single engine 
aircraft flight hours, or 455 average years of active service. Further, 
that the fleet of aircraft using the cylinders subject to the January 
8, 2015, SNPRM have continued to fly for an additional 14 months since 
December 9, 2013. RAM Aircraft indicated that there is no doubt that 
both the 21,808 multi-engine aircraft flight hour number, and the 
42,057 single engine aircraft flight hour number, would both be now 
much larger, thereby, further reducing the likelihood of a cylinder 
separation.
    Response. We disagree. RAM Aircraft's data does not substantiate 
its claimed failure rate. Without knowing the total number of hours 
flown on all affected cylinders, it is not possible to accurately 
calculate an hours-based failure rate. This data is not available for 
general aviation aircraft. We, therefore, find RAM Aircraft's estimate 
to be unreliable. We did not withdraw the August 28, 2015, SNPRM.
    Comment. RAM Aircraft also indicated that a statement by the FAA in 
the January 8, 2015, SNPRM regarding numbers of failures of affected 
cylinder assemblies was grossly misleading. RAM Aircraft assumes that 
the FAA is referring to reports entered via the SDR system. RAM 
Aircraft indicated that it has provided evidence in an earlier comment 
that not every piece of information in the SDR system can be taken at 
face value. With respect to this SNPRM, RAM suggested that it is very 
important to distinguish between the ``SNPRM failure modes'' 
(quotations not in original comment) and other types of ``nuisance'' 
cracks that are common occurrences in all manufacturer's air-cooled 
aircraft cylinders. The SNPRM failure modes do not include cracks 
between spark plug holes, valve seats, injector ports, etc. There is no 
doubt that the ``hundreds of failures'' referenced by the FAA were 
never researched to determine which were of the SNPRM failure mode and 
which were of the ``nuisance'' variety.
    Response. We disagree. Our response in the January 8, 2015, SNRPM 
is not misleading. On the contrary, under-reporting of cylinder 
assembly cracks in the SDR system further reinforces the need for this 
AD. Further, the FAA did not include the SDR failure reports referred 
to by the commenter as of the ``nuisance'' variety in the list of 
separations that were used to substantiate the need for this AD. We did 
not base this AD on nuisance cracks in the affected cylinder 
assemblies. We did not withdraw the August 28, 2015, SNPRM.
    Comment. One commenter stated that the separated cylinders that 
were determined to be the precipitating root cause events for the two 
fatal accidents cited by the FAA in the January 8, 2015, SNPRM were 
overhauled cylinders, so they therefore should not be considered in the 
determination as to whether or not the proposed corrective action 
should be implemented.
    Response. We disagree. The ECi cylinder heads, P/N AEC 65385, of 
the separated cylinder assemblies that precipitated the two referenced 
fatal accidents were of the same type design and within the same 
affected cylinder assembly serial number range as are used in new ECi 
cylinder assemblies. The cast and then machined aluminum cylinder head 
shrink band region has the predominant features that define the final 
interference fit of the overall cylinder assembly, not the steel 
barrel. This is further supported by the fact that the design changes 
that ECi made to the interference fit were accomplished by modification 
of the cylinder head. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Holdings commented that the FAA should withdraw 
the August 28, 2015 SNPRM because the FAA failed to establish that the 
affected product, i.e., the ECi cylinder assemblies, do not meet the 
established minimum safety standards established by 14 CFR part 33.
    Response. We disagree. The operational history of the affected ECi 
cylinder assemblies established that the affected ECi cylinder 
assemblies present an unacceptable compromise to safety, an unsafe 
condition, when installed in operating aircraft engines. We did not 
withdraw the August 28, 2015, SNPRM.

[[Page 52979]]

    Comment. Danbury Holdings also stated that the ``same unsafe 
condition'' that is addressed by this AD is present in the cylinders of 
all manufacturers and that the FAA failed to consider similar failures 
of the OEM cylinders.
    Response. We disagree. The affected ECi PMA cylinders have 
separated at a significantly higher rate than the OEM cylinders over 
the same service period since the ECi PMA cylinders entered service. 
ECi itself identified two root causes for the separations. See AEC 
Technical Report 1102-13 in Docket No. FAA-2012-0002 (see ADDRESSES 
section of this final rule for information on locating the docket) 
which recommends withdrawal from service of the affected ECi cylinders. 
We compared the number of separations of these affected ECi PMA 
cylinders to the number of OEM separations over the same service 
period, since the ECi PMA cylinders entered service in meaningful 
numbers. Over the same period of time the affected ECi PMA cylinders 
and OEM cylinders were in service, the ECi cylinders experienced eight 
times the number of OEM separations, even though only one-quarter as 
many ECI cylinders were in service as the OEM's. Further, the SDR 
database does not reveal similar separation rates or similar failure 
modes for OEM cylinders. Therefore, we have no reason to regard the OEM 
cylinder assemblies as subject to the same or similar unsafe condition. 
We did not withdraw the August 28, 2015, SNPRM.
Request To Withdraw the SNPRMs Because Airplanes Can Operate Safely 
With a Separated Cylinder Head
    Comment. Several commenters indicated that we should not issue this 
AD because airplanes can continue to operate safely even after a 
cylinder head separation.
    Response. We disagree. An in-flight cylinder head separation is an 
unsafe condition that presents multiple secondary effects. For example, 
in-flight fire and loss of aircraft control. Accident data confirms 
that separated cylinders have also been a precipitating event in fatal 
accidents. Therefore, the safety consequences represented by a cylinder 
head separation in flight are significant, and represent an unsafe 
condition appropriate for an AD. We did not withdraw the August 28, 
2015, SNPRM.
    Comment. Several commenters added that airplane engines are 
designed and certified to safely operate with one failed cylinder.
    Response. We disagree. Applicants are not required to show that 
their engines are designed to operate with one cylinder failed or with 
a separated cylinder, nor that doing so constitutes safe operation of 
an engine. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Aerospace commented that the docket contains 
evidence from RAM Aircraft that valid and verifiable testing 
establishes that a head-to-barrel separation results in less than 20 
percent power loss to the engine.
    Response. We disagree. The RAM Aircraft testing that is included in 
Docket FAA-2012-0002 only quantified the horsepower output per 
cylinder. The RAM Aircraft testing was of an uninstalled engine in a 
test cell and RAM Aircraft did not attempt to assess the impact of 
reduced engine horsepower output on airplane level performance. We 
estimate that a 20% reduction in engine horsepower on a single-engine 
airplane results in a nearly 40% reduction in aircraft rate of climb, 
which is a hazardous condition. It is also a potentially hazardous 
condition for twin-engine airplanes due to the resultant asymmetric 
thrust condition. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Aerospace indicated that FAA guidance material 
does not define this condition as ``hazardous'' in the certification 
process.
    Response. We interpret the comment to be that the FAA has no 
definition of hazardous event that includes loss of one cylinder in a 
six-cylinder engine, within the engine certification regulations (14 
CFR part 33). We agree. The certification process does not define 
``hazardous events.'' The FAA establishes through the engine 
certification process the minimum standards that an engine needs to 
meet to be considered airworthy. For example, Sec.  33.19 establishes 
durability standards that are designed to minimize the development of 
an unsafe condition between overhaul periods. These minimum safety 
standards must also be met by PMA parts, either through establishing 
identicality or through test and computation. FAA Policy PS-ANE100-
1997-00001, provides guidance for the certification of PMA applications 
for reciprocating engine critical, highly stressed or complex parts, 
including, but not limited to crankshafts and cylinder heads. We did 
not withdraw the August 28, 2015, SNPRM.
    Comment. RAM Aircraft commented that it has run tests that 
substantiate and document the power loss as a ``minor power loss'' in 
the event of a cylinder separation.
    Response. We interpret the comment to be that any power loss from 
cylinder head separation is only minor. We disagree. The loss of one 
cylinder's power would equate to approximately a 17 to 20% reduction in 
engine horsepower output. Further, loss of a cylinder at critical 
phases of flight, for example, during climb-out where like here, the 
failure is at increased probability of occurring, produces a power loss 
sufficient to result in a 40% reduction in airplane rate of climb. This 
would constitute a hazardous condition during a critical phase of 
flight like departure/climb. We did not withdraw the August 28, 2015, 
SNPRM.
    Comment. RAM Aircraft suggested that this minor power loss would be 
classified as a ``minor hazard,'' based on guidance from the FAA's 
``Policy Statement on Risk Assessment for Reciprocating Engine 
Airworthiness Directives'' (PS-ANE100-1999-00006). According to the FAA 
policy statement, minor hazards are candidates for AD action only when 
the probability of the event is very high.
    Response. We disagree. FAA policy classifies service problems that 
do not result in a significant power loss, such as a partial power 
loss, rough running, pre-ignition, backfire, single magneto failures, 
as ``minor.'' We found that cylinder separations results in a 17 to 20% 
reduction in engine horsepower output results in an approximately 40% 
reduction in airplane excess power, which translates into a 40% 
reduction in airplane rate of climb. This constitutes a hazardous 
condition that is not a ``minor hazard.'' We did not change this AD 
based on this comment.
    Comment. RAM Aircraft commented that Appendix VI of the SAD 
Airworthiness Directives Manual Supplement includes examples of 
conditions that potentially have a ``minor'' affect. The loss of one 
engine (multi-engine aircraft) is listed as a condition with a 
``minor'' effect. Given the ``minor'' effect of the loss of one engine 
and the likelihood of the cylinder separation being extremely remote, 
then this AD should not be issued against multi-engine aircraft.
    Response. We disagree. By comparing the risk analysis computed by 
the CSTA for Aircraft Safety Analysis with either the Small Airplane 
Risk Analysis guidelines used by the SAD or the Engine and Propeller 
Directorate (E&PD) Continued Airworthiness Assessment Process (CAAP) 
Handbook guidelines, demonstrates that an AD is needed for both single 
and twin-engine aircraft. We did not withdraw the August 28, 2015, 
SNPRM.
    Comment. RAM Aircraft commented that they are not aware of any 
substantiated fact of a ``fire,'' or any other significant consequence 
of a

[[Page 52980]]

cylinder head separation. Further, RAM Aircraft noted that in its May 
12, 2014, comment, it had documented the research it had done to refute 
the ``rumor'' of a fire resulting from a cylinder head separation of an 
ECi cylinder.
    Response. We disagree. RAM Aircraft itself submitted data to the 
FAA indicating that a fire could occur from cylinder head separation. 
FAA requested to see that information. FAA's subsequent visit to RAM 
Aircraft confirmed that a failed cylinder caused an in-flight fire on a 
Cessna 414 airplane. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Aerospace cited FAA documents that indicate that 
the design of an aircraft engine, for reciprocating engines, should 
incorporate mitigating features. For example, Danbury quoted SAD 
Standards Staff (ACE-110) Memorandum, dated May 6, 1986, and an E&PD 
Standards Staff (ANE-110) memorandum, dated May 24, 1997.
    Response. We agree. However, the regulatory requirement for a 
designer to mitigate a possible reciprocating engine failure prior to 
certification is different than correcting an unsafe condition found to 
exist after certification. This AD addresses an unsafe condition--
cylinder head separation, found after certification. A regulatory 
requirement to mitigate in the aircraft design an engine failure is not 
the subject of this AD. We did not withdraw the August 28, 2015, SNPRM.
    Comment. IPL Group commented that we were misusing the term 
``catastrophic'' when describing the effects of potential cylinder 
failures.
    Response. We disagree. As to the use of ``catastrophic,'' we did 
not use the term in the August 12, 2013, NPRM, the two SNPRMs, or in 
this final rule AD. We did not change the August 28, 2015, SNPRM based 
on this comment.
    Comment. IPL Group argued that a cylinder head separation does not 
cause an unsafe event and that there is ``zero evidence'' in Docket No. 
FAA-2012-0002 to support the showing that a failed cylinder causes an 
unsafe condition.
    Response. We disagree. Cylinder separations can cause partial or 
complete engine failure which can cause a subsequent loss of power and 
control of the airplane. Loss of control of the airplane may result in 
the loss of the airplane and injuries or death. Additionally, we note 
the NTSB has stated that cylinder head separations could result in a 
loss of control of the airplane (see NTSB's comment to ``Docket No FAA-
2008-0052; Directorate Identifier 2008-NE-01-AD, dated September 25, 
2009''). We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Holdings commented that the FAA had not provided 
any information to substantiate the FAA's position that cylinder 
separations have a ``significant'' effect on airplane safety or that 
cylinder separations would result in a fire.
    Response. We disagree. The impact of a cylinder separation in-
flight is an unacceptable compromise to safety. To clarify this point, 
we changed the AD to use ``unacceptable.'' We disagree that cylinder 
head separations might not result in fire. Cylinder separations can 
result in engine failure and/or fire. As an example, on November 29, 
1987, a Piper PA-46 airplane experienced a cylinder head separation 
followed by an in-flight fire. We did not withdraw the August 28, 2015, 
SNPRM.
    Comment. Danbury Holdings also stated that the FAA did not issue a 
similar AD against the OEM cylinder assemblies because the OEM 
manufactured more such cylinder assemblies.
    Response. We disagree. The FAA did not mandate actions similar to 
those specified in this AD against the OEM cylinders because the OEM 
cylinders do not have the inherent design deficiencies that the ECi PMA 
cylinders have. Also, the service history of the OEM cylinders 
indicates that the OEM separation rate is approximately 32 times lower 
than the ECi cylinders. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Holdings further commented that ADs are never 
justified for any cylinder manufacturer.
    Response. We interpret the comment as suggesting that we should not 
issue an AD when engine design deficiencies related to cylinders are 
found. We disagree. Cylinders are engine parts whose structural failure 
can result in a degradation to or total loss of, engine power output, 
and loss of control of an airplane. Cylinder separations aloft can also 
cause an in-flight fire. We will exercise our regulatory arm to issue 
ADs when we determine doing so is necessary to resolve an unsafe 
condition in a product. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Aerospace commented that 14 CFR part 33.43 
requires assessment of crankshaft vibration for one cylinder not firing 
because the condition is not an engine failure event condition.
    Response. We disagree. As we noted in our January 8, 2015, SNPRM, 
14 CFR part 33 does not require continued safe operation following a 
cylinder separation or following any other engine structural failure. 
Section 33.43(d), addressing the engine vibration survey of Sec.  
33.43(a), requires assessment of crankshaft vibration for an engine 
that has one cylinder that ``is not firing.'' We require vibration 
testing with a critical cylinder inoperative because it is a failure 
condition where stresses may exceed the endurance limit of the 
crankshaft material. We need to know the speed ranges where the 
excessive stresses occur so operational information may be provided to 
flight crews so they can avoid these speed ranges when a cylinder is 
inoperative. We did not withdraw the August 28, 2015, SNPRM.
Request To Withdraw the SNPRMs Because Root Cause of Cylinder Failure 
Is Unknown
    Comment. Several commenters indicated that the FAA has failed to 
identify the root cause(s) of cylinder head separations.
    Response. We disagree. We have identified the root cause of 
cylinder failure as design deficiencies inherent in the affected ECi 
cylinder assemblies. These ECi cylinder assemblies have two inherent 
design deficiencies: Insufficient dome radius and insufficient head-to-
barrel interference fit. These design deficiencies are identified in 
AEC Technical Report 1102-13, dated April 30, 2011, that we posted to 
Docket No. FAA-2012-0002 (see ADDRESSES section of this final rule for 
information on locating the docket). We did not withdraw the SNPRMs.
    Comment. Danbury Aerospace commented that root cause analysis is 
absolutely essential to determining compliance with regulations and if 
an unsafe condition has been created. Therefore the agency has not 
properly identified the unsafe condition.
    Response. We disagree. We identified the unsafe condition in the 
engine: Cylinder head separation. The purpose of this AD is to correct 
that unsafe condition. We also identified that cylinder head 
separations are due to at least two inherent design deficiencies. All 
cylinders prior to S/N 33697 have insufficient dome transition radius, 
and all cylinders prior to S/N 61177 insufficient head-to-barrel 
interference fit. ECi characterized both of these as ``inherent design 
deficiencies'' in its AEC Technical Report 1102-13. We did not withdraw 
the August 28, 2015, SNPRM.

[[Page 52981]]

Request To Withdraw the SNPRMs Because Pilot Error Is Causing Cylinder 
Head Separations
    Comment. Danbury Aerospace and Danbury Holdings commented that 
cylinder head separations involving the ECi cylinder assemblies 
affected by this AD were caused by excessive CHTs, presumably caused 
pilot error, rather than by design deficiencies of the cylinder 
assemblies.
    One operator observed that operators who use the ECi cylinder 
assemblies and operate them within limits and with good instrumentation 
are not having issues. This operator noted that everyone, with the 
exception of the FAA, believes that overheating beyond CHT limits by 
operators has a direct effect on cylinder head separation.
    Response. We disagree. Although pilot error may cause excessive 
CHT, we have no data to suggest it is the cause of the unsafe condition 
that is the subject of this AD. If pilot error results in excessive 
CHT, which leads to cylinder head separation, then we would expect to 
see similar damage in engines with other than ECi cylinder assemblies 
installed where the pilots exceeded the same limitation(s). However, we 
do not have any such data. Also, we have no evidence that either 
intentional or inadvertent exceedance of CHT limits has caused cylinder 
separation. Further ECi identified several design deficiencies in AEC 
Technical Report 1102-13, dated April 30, 2011.We did not withdraw the 
SNPRMs.
Request To Withdraw the SNPRMs Because of the Risk of Maintenance 
Errors
    Comment. Several commenters commented that the FAA should withdraw 
the SNPRMs because the removal and replacement of affected cylinder 
assemblies before time between overhaul (TBO) would result in 
maintenance errors that would adversely affect safety. For example, IPL 
Group indicated that replacement of the cylinder assemblies would 
likely result in events of main bearings losing clamp-up and turning, 
resulting in cylinder through-bolt and flange stud failures, which 
would likely result in total engine failure.
    Response. We disagree. Our regulatory framework presumes that 
maintenance will be performed correctly by experienced personnel 
authorized by the FAA to return aircraft to service in an airworthy 
condition. Further, we have not observed any negative effects on safety 
due to removal of these cylinder assemblies during maintenance. Also, 
cylinder removal and replacement is a maintenance action addressed in 
engine maintenance manuals. We did not withdraw the SNPRMs.
Request To Justify 80-Hour Removal Requirement for Overhauled Cylinder 
Assemblies
    Comment. Danbury Aerospace and Danbury Holdings requested that the 
FAA provide evidence (including engineering analysis) supporting its 
conclusion that overhauled cylinder assemblies should be removed within 
80 hours after the effective date.
    Response. We interpret the comment to be that the commenters 
disagree that the phased removal plan required by this AD is 
appropriate. We disagree. This AD mandates a phased removal of affected 
cylinders with the intent to retire all affected cylinders by initial 
TBO. The FAA recognizes that some cylinders in service may already have 
exceeded their initial TBO. Metal fatigue damage is cumulative, and the 
longer a cylinder head remains in service, the more likely it will fail 
due to one of the inherent design deficiencies. Overhauled cylinders 
have likely experienced more load and temperature cycles than lower 
time cylinders and the total time in service since new of overhauled 
cylinders often cannot be determined. Our determination of 80 hours is 
supported by our Challenge Team's findings and our risk analysis that 
we uploaded to FAA Docket No. FAA-2012-0002 (see Addresses section of 
this final rule for information on locating the docket). We did not 
change this AD based on this comment.
    Comment. Danbury Aerospace and Danbury Holdings also stated that 
the FAA had not substantiated that the overhaul of a cylinder does not 
reduce the existing fatigue damage that a cylinder may have incurred 
while in service.
    Response. We disagree. Fatigue strength of metal alloys operated at 
high temperatures continuously decreases with cycles until failure. 
This is particularly true for aluminum alloys, including the aluminum 
alloy used to cast cylinder heads. Metallic structural elements that 
are operated at high temperatures are more susceptible to time 
dependent fatigue. The overhaul of a cylinder assembly does not reverse 
the fatigue damage that had been previously accumulated in the aluminum 
cylinder head casting. We did not change the AD based on this comment.
Request To Revise Applicability
    Comment. Danbury Holdings commented that the FAA has no evidence 
that all cylinders through S/N 61176 are at risk for separation in the 
first thread due to insufficient head-to-barrel interference fit.
    Response. We disagree. The SDR database and other field reports 
document instances of first-thread failures of cylinders manufactured 
to design data applicable to all cylinders prior to S/N 61177. For this 
reason, all cylinders through S/N 61176 are subject to the corrective 
actions of this AD. We did not change this AD based on this comment.
    Comment. One commenter stated that he has an O-470 engine converted 
by P. Ponk Aviation to the equivalent of an O-520 engine. He indicated 
that those engines should not be affected by this AD.
    Response. We disagree. The affected S/N cylinders are installed on 
-470 engines, as well as the -520 and -550 engine models. Any engine 
that uses one of these affected cylinders is at risk. We have received 
at least one report of a separation of these affected S/N cylinders on 
-470 engines. Although the unmodified -470 engines have lower engine 
horsepower output, their brake mean effective pressure (BMEP) is 
actually higher than that of the -520 and -550 engines. BMEP is 
proportional to the ratio of horsepower per cubic inch of displacement. 
Therefore, the actual operating stresses in the same cylinder wall are 
even higher when these same cylinders are installed in an unmodified -
470 engines than it would be for either the -520 or the -550 engines. 
The P. Ponk Aviation STC increases the displacement of the unmodified -
470 engine to -520 cubic inches by installing the -520 cylinders on the 
-470 engine. Given that no valid sensitivity analysis exists showing 
the relationship of BMEP to fatigue life of these cylinders, and since 
the crack propagation rate is also unknown, we have included all the -
470 engines, including those modified by the P. Ponk Aviation STC, in 
the effectivity of this AD. We did not change this AD based on this 
comment.
Request To Adopt Less Stringent Compliance Requirements
    Comment. AOPA, RAM Aircraft, as well as operators and private 
citizens, requested that we adopt less stringent requirements than 
those in the proposed AD. The commenters indicated that the affected 
cylinder assemblies should be inspected at regular intervals, but 
removed at TBO. For example, one

[[Page 52982]]

commenter suggested recurring inspections every 60 hours. Several 
commenters cited the NTSB in support of its recommendation. RAM 
Aircraft commented that the FAA may be jumping to conclusions by 
eliminating these inspections. RAM Aircraft noted that the failure of a 
compression/soap test to detect a particular crack in a cylinder 
assembly on several occasions does not mean that the test will fail to 
detect cracked cylinders on most occasions. By their very nature and 
design compromises, i.e., steel barrels to contain the forces of 
combustion combined with lighter cylinder head alloys to reduce weight 
so that aircraft engines have commercial viability and value, and the 
harsh conditions, altitudes, and temperatures in which they operate, 
reciprocating aircraft engine cylinders will inevitably crack. RAM 
Aircraft indicated that there is no question but that some cylinders 
are going to crack, and that therefore, they must be properly operated, 
maintained, and inspected.
    Response. We disagree. Repetitive inspections until TBO, as 
suggested by the commenters, do not adequately address the unsafe 
condition in this particular case. Repetitive inspections would not 
detect cracks until they have already progressed completely across the 
cylinder head wall thickness.
    Several operators and mechanics have reported that they 
successfully passed the compression/soap test with a partially 
separated cylinder. Others have reported that they successfully passed 
the compression/soap test and then experienced an in-flight separation 
before the next scheduled 50-hour inspection.
    Therefore, we conclude that these tests are not sufficiently 
reliable. Also, engine overhaul is not a requirement for all operators. 
Therefore, tying the proposed recurrent inspection to engine overhaul 
would not resolve the unsafe condition. Based on its comment to the 
August 28, 2015, SNPRM, we know that the NTSB now considers this rule 
consistent with the rationale they have provided in the past in support 
of NTSB Safety Recommendation A-12-7 regarding these affected cylinder 
assemblies (Reference NTSB Comment FAA-2012-0002-0653, dated September 
24, 2015 in Docket FAA-2012-0002). We did not change this AD based on 
this comment.
    Comment. One commenter indicated it was incorrect to apply the same 
requirement to remove the cylinders at specified intervals to different 
CMI engine models. He noted, for example, that the TSIO-520-J engine 
that is allowed to produce 36 inches of manifold pressure and 310 
horsepower will produce less stress on a cylinder head than a TSIO-520-
NB engine that is allowed 41 inches of manifold pressure and 325 
horsepower, as installed on a Cessna 414 airplane.
    Response. We disagree. Service history indicates that the affected 
cylinder assemblies have cracked on -470, -520, and -550 engine models. 
The AD, therefore, applies to all affected CMI -470, -520 and -550 
engine models. We have no engineering analysis or test data to justify 
varying compliance times by engine model or applying the corrective 
actions of this AD to only the higher power engines. We did not change 
this AD based on this comment.
    Comment. Danbury Aerospace observed that the average number of 
cylinder assemblies, P/N AEC 631397, in the serial number range in the 
January 8, 2015, SNPRM that are still in operation have less than 500 
hours left to TBO. Danbury Aerospace indicated that the early removal 
of these cylinders is not justified by a statistical analysis developed 
in accordance with the E&PD CAAP Handbook.
    Response. We disagree. We do not know the exact number of total 
hours TIS for each affected cylinder assembly. We have no data to 
support the claim that the existing fleet of cylinder assemblies 
already has accumulated 1,200 or more hours TIS. Service history also 
shows that most of the separations occurred well before initial TBO. 
Therefore, removal of the affected cylinder assemblies before TBO is 
appropriate. We did not change this AD based on this comment.
    Comment. Danbury Holdings commented that the FAA had not provided 
evidence that there have been separations within the originally 
proposed 50-hour recurrent compression test/soap inspection interval.
    Response. We disagree. We received several field reports of 
cylinder separations occurring within 50 hours of passing either the 
originally proposed 50-hour recurrent compression test/soap inspection 
in the August 12, 2013, NPRM. SDR report No. SQP2011F00000 was 
submitted by a part 135 operator who operated a Cessna T210N with an 
affected ECi cylinder assembly installed. The operator reported that on 
September 9, 2011, that affected ECI cylinder head separated at the 5th 
cooling fin on-head. At the time of the failure, the engine and failed 
cylinder had 817.6 hours time since overhaul/time since new, and its 
last compression check inspection was at 19.2 hrs. prior. Other field 
reports also document separated cylinders (for example, see SDR Report 
2010FA0000179) that recently passed the compression test/soap 
inspections. We did not change this AD based on this comment.
    Comment. One commenter commented that, based on his experience, ECi 
has an aluminum head cracking issue and that these cylinders seem to 
crack more than CMI cylinders. The commenter further indicated that he 
believed the number of cylinder failures is underreported in the SDR 
database. The commenter further noted that in his 30 plus years of 
aircraft maintenance experience, he has never seen a cylinder failure 
rate this high. The commenter welcomed an AD that requires these 
cylinders to be inspected at around 100 hours and the reports of cracks 
sent to an FAA database.
    Response. We note the comment. We agree that the ECi failure rate 
is much higher than the OEM failure rate over the same field service 
period and that cylinder cracks are under-reported. For example, many 
of the RAM failures listed in the docket were not reported under the 
SDR system or as required by 14 CFR 21.3. We did not change this AD 
based on this comment.
    Comment. RAM Aircraft commented that, based on its previous 
comments, the FAA should withdraw the SNPRMs. RAM Aircraft recommended 
that the FAA consider education and requiring inspections of all 
reciprocating airplane engine cylinders on the terms and conditions the 
FAA determines to be appropriate.
    Response. We disagree. Our analysis indicates that an AD is 
required to resolve the unsafe condition presented by installed 
affected ECi cylinder assemblies. We did not withdraw the SNPRMs based 
on this comment.
    Comment. One commenter suggested that users of a JPI or other 
engine monitoring system should be subject to a different compliance 
interval.
    Response. We disagree. As noted previously, the root cause of these 
cylinder failures are design deficiencies. The affected cylinders may 
fail without overtemping. Therefore, use of an engine monitoring system 
like JPI would be insufficient to detect the unsafe condition. We did 
not change this AD based on this comment.
Request To Use Mandatory Service Bulletin Instead of This AD
    Comment. One commenter requested that the FAA use a mandatory 
service bulletin instead of this AD to implement corrective action.
    Response. We disagree. Requiring a manufacturer to issue a 
mandatory service bulletin is outside the scope of

[[Page 52983]]

the FAA's authority. We did not change this AD based on this comment.

B. Comments to the FAA's Risk Assessment Processes and Polices

Request That the FAA Follow Its Own Risk Assessment Policies and 
Guidance
    Comment. Multiple commenters, including Danbury Aerospace, Danbury 
Holdings, and the Aeronautical Repair Station Association (ARSA) 
commented that the FAA did not follow its own risk assessment policies 
and guidance, such as FAA Order 8110.107A, Monitor Safety/Analyze Data 
(MSAD), dated October 1, 2012, and FAA Order 8040.4A, Safety Risk 
Management Policy, dated April 30, 2012, and the E&PD CAAP Handbook, 
dated September 23, 2010.
    Response. We interpret this comment as a comment that we failed to 
follow FAA Order 8110.107A, FAA Order 8040.4A, and the CAAP Handbook. 
We disagree. We performed the process as required by FAA Order 
8110.107A, Monitor Safety/Analyze Data (MSAD), dated October 1, 2012, 
to analyze data and determine corrective action for continued 
operational safety issues. We acquired the failure event data from the 
MSAD, SDR, NTSB databases, ECi, and outside sources. We conducted a 
hazard criteria analysis where we filtered the data to identify 
relevant events. We performed a qualitative preliminary risk assessment 
and determined that this safety problem required corrective action. We 
performed risk analyses in conjunction with the E&PD risk assessment 
criteria. We identified that the ECi model separations have two 
inherent design deficiencies: Insufficient dome radius and insufficient 
head-to-barrel interference fit. Finally, we coordinated with our 
Corrective Action Review Board, which determined and agreed to the 
proposed corrective action in our August 12, 2013, NPRM.
    Later, as part of the Challenge Team's meeting in September, 2014, 
the CSTA for Aircraft Safety performed a risk analysis that confirmed 
the need for this AD and shaped its compliance plan. We compared the 
results of the CSTA's risk analysis to the guidelines used by the SAD 
in its SARA and to the guidelines in the E&PD's CAAP Handbook and 
determined that an AD is required.
    FAA Order 8040.4A requires a risk assessment methodology as 
outlined in the Order. FAA Order 8040.4A notes that the safety risk is 
a composite of two factors: The potential ``severity'' or worst 
possible consequence(s) or outcome of an adverse event that is assumed 
to occur, and also the expected frequency of occurrence or likelihood 
of occurrence (failure rate) for that specific adverse event. Each of 
these factors is assessed independent of the other and then entered as 
separate inputs into a risk matrix that yields an overall level of risk 
for the event.
    We performed the risk assessment required by FAA Order 8040.4A and 
concluded that this AD was necessary. Therefore, our August 12, 2013, 
NPRM, as revised by the January 8, 2015 SNPRM, and as republished on 
August 28, 2015, are consistent with FAA Order 8040.4A, FAA Order 
8110.107A, and the CAAP Handbook. We did not change this AD based on 
this comment.
    Comment. Commenters, including Danbury Holdings, commented that the 
FAA should not have included the failure rate of the affected ECi 
cylinders in the FAA risk assessments that were used to substantiate 
the need for the corrective actions in this AD. Danbury Holdings 
indicated that the failure rate is irrelevant to the unsafe condition.
    Response. We disagree. We did not use the failure rate in the risk 
analysis, however, we used the number of reported failures. A risk 
analysis involves using past data; both successful operation as well as 
failures (including cracks), to develop a relationship between part 
parameters, including age and usage, and risk of failure. Therefore, 
our use of failures was appropriate in this risk analysis. We did not 
change this AD based on this comment.
    Comment. Danbury Aerospace commented that the FAA ignored its own 
standards for what constitutes an unsafe condition and therefore has 
failed to identify one.
    Response. We disagree. The FAA followed its standard risk analysis 
processes in determining that the unsafe condition represented by the 
affected ECi cylinder assemblies exists. 14 CFR part 39 prescribes that 
we issue an AD when an unsafe condition exists in a product and that 
condition is likely to exist or develop in other products of the same 
type design. We did not change this AD based on this comment.
    Comment. Danbury Holdings commented that the basis for the FAA's 
risk analysis is seriously flawed because the unsafe condition must be 
the basis for the failure, not one unsubstantiated fatality.
    Response. We disagree. The unsafe condition in the engine presented 
by the presence of affected ECi cylinders is the basis of this AD. We 
did not change this AD based on this comment.
    Comment. Danbury Holdings further commented that the FAA had failed 
to establish a connection between the cylinder separation issue 
addressed by this AD and the official reports of the two fatal 
accidents that the FAA references.
    Response. We disagree. Reports by the Bahamas Department of Civil 
Aviation and the NTSB establish that these accidents in the Bahamas and 
in Swanzey, New Hampshire involved separated ECi cylinders (see Report 
AAIPU# A10-01312 and NTSB Accident Report No. NYC02FA178, 
respectively). We have determined that the separation of the affected 
ECi cylinder assemblies represents an unsafe condition. We are not 
required to establish any further connection with these accidents. We 
did not change this AD based on this comment.
    Comment. Danbury Holdings added that the FAA should not have 
included the fatal accident in the Bahamas in the FAA's risk 
assessments because the NTSB full narrative for that accident 
(ERA11WA008) made no mention of a cylinder separation.
    Response. We interpret the comment as the fatal accident in the 
Bahamas is not relevant to this AD. We disagree. As noted in the 
previous comment response, we have determined that the separation of 
the affected ECi cylinder assemblies, as occurred in the accident in 
the Bahamas, represents an unsafe condition. We did not change this AD.
    Comment. Danbury Holdings also stated that the root cause of the 
other fatal accident, the Swanzey, New Hampshire, accident (see NTSB 
Accident Report No. NYC02FA178) that the FAA included in its risk 
assessments was unsafe and improper operation of the airplane by the 
pilot not cylinder separation.
    Response. We disagree. As noted in the preceding comment 
discussion, we have determined that the separation of the affected ECi 
cylinder assemblies, as occurred in the accident in Swanzey, New 
Hampshire, represents an unsafe condition and is therefore relevant to 
this AD. We did not change this AD based on this comment.
    Comment. Danbury Aerospace added that the accident in the Bahamas 
should not be included in the FAA's risk analysis because: (1) It did 
not concern a U.S.-registered aircraft and therefore cannot be used in 
this rulemaking; (2) loss of control and uncontrolled flight was cited 
as the cause; and (3) even if the accident could be included, it does 
not meet hazard level thresholds required for rulemaking.
    Response. The commenter presents three comments, which have three 
parts. We disagree with all three parts. As to part one, the Bahamas 
accident involved a U.S.-type certificated product, an engine with 
affected ECi cylinders

[[Page 52984]]

installed. Therefore, the product is the proper subject of this AD. As 
to part two, the accident involved an engine with an ECI cylinder 
separation, a failure of a part of the engine, during flight. A 
cylinder separation during flight represents an unsafe condition in the 
engine. Therefore, our action in issuing this AD is appropriate. As to 
the part three, the cylinder failure presented a hazard to the engine 
and an unsafe condition, and therefore, meets the threshold for an AD. 
The need for this AD was confirmed by comparing the result of the risk 
analysis to the guidelines in the SAD's SARA and the E&PD's CAAP 
Handbook. We did not change this AD based on this comment.
Request That the FAA Define Guidelines Used To Define an Unsafe 
Condition
    Comment. Danbury Holdings commented that the FAA had not defined 
the guidelines that it used to establish the existence of an unsafe 
condition.
    Response. We interpret the comment to be a request to identify what 
guidance defines an unsafe condition. The comment therefore, is not to 
the technical merits of this AD, but a request for general guidance. As 
such, a response is unnecessary per the Administrative Procedures Act 
(APA), and we recommend that the commenter seek his answer through a 
direct request to the FAA Aircraft Certification Service or Flight 
Standards Division. We did not change this AD based on this comment.
Request To Withdraw the August 28, 2015, SNPRM Because Supporting 
Documents Do Not Support Issuing This AD
    Comment. Danbury Holdings commented that the documents provided by 
the FAA in Docket No. FAA-2012-0002 do not support issuance of this AD. 
The supporting documents referred to by Danbury Holdings are: (1) The 
risk analysis conducted by the FAA's CSTA for Aircraft Safety Analysis; 
(2) a risk analysis using the Small Airplane Risk Analysis (SARA) 
methods; (3) a June 2011, presentation by Airmotive Engineering to the 
FAA concerning its ECi cylinder assemblies; (4) a list of ECi cylinder 
assembly failure reports consisting of only those reports where both 
cylinder serial number and time in service are included in the reports; 
(5) a list of additional failures of ECi cylinder assemblies reported 
by a maintenance organization; and (6) Airmotive Engineering 
Corporation Technical Report 1102-13, dated April 30, 2011.
    Response. We disagree. The supporting documents that Danbury 
Holdings referred to, identified above, support that the FAA followed 
its process and were used to help determine that an unsafe condition 
exists. We have also uploaded additional documents to Docket No. FAA-
2012-0002 on June 23, 2015 (see ADDRESSES section of this final rule 
for information on locating the docket).
    The risk analysis performed by the FAA's CSTA for Aircraft Safety 
Analysis, recommends removal and replacement of the affected ECi 
cylinder assemblies as specified in this AD. The SARA applied to 
failures of ECi cylinder assemblies confirms that an AD is necessary. 
AEC Technical Report 1102-13 states that a root cause for the first 
thread separations was an inherent design deficiency in the form of 
insufficient head-to-barrel design interference fit. AEC Technical 
Report 1102-13 recommended withdrawing these cylinder assemblies from 
service. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Holdings commented that that the FAA's risk 
analyses and other technical information were ``flawed, improperly 
applied, and replete with unsubstantiated conclusions.''
    Response. The commenter failed to provide any examples of FAA 
technical information that was flawed, improperly applied, or replete 
with unsubstantiated conclusions. Without those details, we are unable 
to consider the comment as having technical merit. Accordingly, we 
interpret the comment as a general objection to the need for the AD. We 
disagree. Our Challenge Team applied the risk assessments by the FAA's 
CSTA for Aircraft Safety Analysis, against the SAD's SARA guidelines 
and the E&PD's CAAP guidelines and independently concluded that an AD 
is required to mitigate the unsafe condition presented by installed 
affected ECi cylinder assemblies. We presented both risk assessments in 
Docket No. FAA-2012-0002 (see ADDRESSES section of this final rule for 
information on locating the docket). We did not change this AD based on 
this comment.
    Comment. Danbury Holdings commented that it found no relationship 
between the risk analysis using SARA methods and any analysis or 
conclusion provided by the agency in this rulemaking. We interpret 
Danbury Holding's comment as suggesting that no relationship exists 
between the risk analysis using SARA methods and any analysis or 
conclusion provided by the agency in this rulemaking.
    Response. We disagree. In comments to the August 12, 2013, NPRM 
some commenters requested that we use the SARA to determine if an AD 
was warranted. We used the SARA, and it confirmed the need for an AD. 
We did not change this AD based on this comment.
    Comment. Danbury Holdings commented that RAM Aircraft had 
concluded, through its own risk analysis, that ``the probability of a 
cylinder separation is extremely remote'' and that ``historical data 
and information thus far evident leads to the conclusion that there has 
been no physical discomfort to pilots or passengers and no damage to 
any aircraft as a result of the subject cylinders.''
    Response. We interpret the comment as two parts; first, that our 
risk assessment reached a wrong conclusion, and second, that a cylinder 
head separation does not result in any discomfort to pilots or 
passengers, or damage to the aircraft. We disagree. FAA Order 8040.4A, 
``Safety Risk Management Policy'', dated April 30, 2012, FAA Order 
8110.107A, ``Monitor Safety/Analyze Data,'' and the guidance in Engine 
& Propeller Directorate memorandum ``Risk Assessment for Reciprocating 
Engine Airworthiness Directives,'' PS-ANE-100-1999-00006, dated May 24, 
1999, direct how we do a risk assessment.
    We analyze safety risk, per FAA Order 8040.4A, as a composite of 
two factors: The potential ``severity'' or worst possible 
consequence(s) or outcome of an adverse event that is assumed to occur, 
and also the ``expected frequency of occurrence'' for that specific 
adverse event. FAA Order 8040.4A directs us to assess both factors 
independently, then enter each as separate inputs into a risk matrix. 
The matrix yields an overall level of risk for the event. The overall 
risk is then categorized as either ``Unacceptable Risk,'' ``Acceptable 
Risk with Mitigation,'' or ``Acceptable Risk.'' The corrective 
action(s), if any, is driven by the assessed overall risk. Table C-1 of 
Appendix C of FAA Order 8040.4A defines five levels of severity and 
Table C-2 defines five levels of event frequency that are used in the 
determination of composite risk.
    The FAA classification for the ``severity'' of an engine cylinder 
head separation event, per FAA Order 8040.4A, is ``hazardous'' for both 
single-engine and light-twin airplanes for several reasons. Cylinder 
head separations can significantly reduce the power of the airplane 
such that under some conditions it may not be able to safely takeoff 
and climb out. It could

[[Page 52985]]

also create a dangerous asymmetric thrust condition for twin-engine 
airplanes. If the separation occurs in cruise flight, the airplane may 
have insufficient excess power to continue safe flight at any altitude. 
Cylinder head separations have also caused in-flight fires. These are 
all unsafe conditions that warrant a ``hazardous'' severity level for 
risk assessment purposes.
    Table C-2 in FAA Order 8040.4A defines ``extremely improbable'' as 
``So unlikely that it is not expected to occur, but it is not 
impossible.'' It defines ``extremely remote'' as ``Expected to occur 
rarely.'' It defines ``Remote'' as ``Expected to occur infrequently.'' 
It defines ``probable'' as ``Expected to occur often.'' Finally, it 
defines ``frequent'' as ``expected to occur routinely.''
    Service history failure reports indicate that in a population of 
43,000 cylinders, that 1 of every 1,000 cylinders could separate on 
average; either in the dome radius or the first thread. A single-engine 
airplane has six of these cylinders, so the actual risk of a separation 
of any one of those six cylinders for any given airplane is 6/1,000: 1 
of every 166 engines. Similarly, a twin-engine airplane will have 12 
cylinders, so the risk of experiencing a separation of one cylinder on 
a twin-engine aircraft is twice that of a single engine, 12/1,000, 1 of 
every 83 twin-engine airplanes that use these model cylinders.
    Separation event under-reporting occurs. This is evidenced by RAM 
Aircraft's submittal of 23 additional reported failures of the subject 
ECi cylinders after the August 12, 2013 NPRM was issued. Photos of 
these failures are available in Docket No. FAA-2012-0002 (see ADDRESSES 
section of this final rule for information on locating the docket). The 
calculated separation rate, therefore, is likely higher than what we 
used in our analysis. Also based on service experience, we expect more 
ECi cylinder head separations in the future. Therefore, we concluded 
that the most appropriate assessment for the frequency of occurrence 
for these cylinder separations is ``Remote C''; ``Expected to occur 
infrequently.''
    Figure C-1 of FAA Order 8040.4A is a risk matrix that yields an 
overall risk based on the severity classification and the assessed 
frequency of occurrence. Using the FAA severity classification of 
``hazardous'' and the FAA assessed frequency of occurrence ``Remote 
C'', yields an overall risk that is ``unacceptable.'' The corrective 
actions required by this final rule AD are based on and consistent with 
this overall risk assessment.
    We, therefore, disagree with claims by RAM Aircraft and other 
commenters that a cylinder head separation will have a negligible 
effect on airplane safety. Also, several documented in-flight fires 
were precipitated by a cylinder head separation. We did not change this 
AD based on this comment.
    Comment. Danbury Holdings also commented that AEC Technical Report 
1102-13 was ``disavowed'' by AEC [now CMI San Antonio] since it was 
obtained under questionable circumstances and has since been proven 
incorrect given its predictions did not come to fruition.
    Response. We disagree. AEC originally provided the analysis to the 
FAA when it was considering a service bulletin for the affected ECi 
cylinder assemblies. ECi requested the FAA return or destroy ECi 
Technical Report 1102-13 after they learned the FAA was considering an 
AD. We found the data in this report useful in our determination of an 
unsafe condition. We did not change this AD based on this comment.
    Comment. Danbury Holdings commented that the FAA has not 
substantiated that the affected ECi cylinder assemblies have separated 
at 32 times the rate of the OEM cylinders. Danbury Holdings stated that 
the FAA had not provided any supporting documentation to substantiate 
the FAA's estimate that the OEM has produced approximately 4 times as 
many cylinders as ECi did over the same period of time. Danbury 
Holdings further commented that that the FAA ignores separations of 
other cylinder manufacturers.
    Response. We disagree. We uploaded supporting information, 
including service history, to Docket No. FAA-2012-0002 (see ADDRESSES 
section of this final rule for information on locating the docket). We 
determined the comparative failure rate of affected ECi cylinders to 
OEM cylinders through comparing the service history of ECi cylinders to 
the OEM's since ECi received their PMA. That service history shows that 
the affected ECi cylinders have had approximately eight times as many 
separations over the same period of time as that of the OEM cylinders; 
since ECi received its PMA. We compared the affected ECi cylinder 
production rates from ECi, to that of the OEM since ECi received its 
PMA. From ECi's and the OEM's production information, we concluded that 
the OEM has produced approximately four times as many cylinders as ECi 
since ECi received its PMA. This yields a normalized failure rate that 
is approximately 8 (comparative cylinder failure rate) x 4 (comparative 
production rate), which showed an overall failure rate 32 times higher 
for ECi cylinders.
    Since we first published that rate information, we subsequently 
learned of more failures of affected ECi cylinders. Those additional 
failures would, if included, increase the ECi failure rate. We did not 
update the failure rate to higher than 32 times that of the OEM's 
because it did not affect our decision regarding this AD. We did not 
change this AD based on this comment.
    The FAA has also issued ADs against other cylinder manufacturers, 
including mandating early retirement of cylinders to preclude cracking 
and separation. For example, ADs 2014-05-29 and 2007-04-19R1 both apply 
to certain Superior Air Parts cylinder assemblies. We did not change 
this AD based on this comment.
    Comment. Danbury Holdings also commented that the FAA failed to 
place all information in its purview into the docket and that the 
agency had failed to link its analyses to verifiable data.
    Response. We disagree. As previously noted, we have uploaded the 
relevant documents used in the decision-making process of this AD in 
Docket No. FAA-2012-0002 (see ADDRESSES section of this final rule for 
information on locating the docket). Our analysis shows that the FAA's 
actions are based on the data that we included in the docket. Our 
analysis is therefore linked to ``verifiable data.'' We did not change 
this AD based on this comment.
    Comment. Danbury Holdings commented that the FAA had failed to 
provide any evidence that cylinder separations have resulted in engine 
failures, in-flight shutdowns, and/or loss of control of an airplane 
and that the agency had included accidents that were not the direct 
result of a cylinder separation.
    Response. We disagree. A cylinder separating from its engine is an 
engine failure. We did not change this AD based on this comment.
    Comment. RAM Aircraft commented that it assumes that the failures 
of ECi cylinder assemblies shown in the supporting document titled 
``ECi AD--Additional Failures Reported by RAM Aircraft'' are based on 
letters RAM Aircraft sent to the FAA in 2013. RAM Aircraft, therefore, 
commented that this is not new information since the issuance of the 
January 8, 2015, SNPRM. Also, of the 38 photographs of damaged cylinder 
assemblies, RAM Aircraft noted that only 23 failures actually represent 
ECi cylinder assemblies.
    Response. We partially agree. First, we agree that the failed 
cylinder

[[Page 52986]]

assemblies identified in the supporting document ``ECi AD--Additional 
Failures Reported by RAM Aircraft'' do not represent new information 
since the issuance of the January 8, 2015, SNPRM. These failures are 
not represented in the SDR database but are consistent with our view 
that failures of these cylinder assemblies are under-reported.
    Second, we agree that some of the cylinder photographs uploaded to 
the docket are not cylinder assemblies affected by this AD. The FAA 
sent a letter to RAM Aircraft specifically requesting any information 
that RAM Aircraft had relative to failures of ECi cylinder assemblies, 
P/N AEC 631397, after we learned of possible failures that had not been 
reported as required by 14 CFR 21.3. RAM Aircraft responded to this 
request with the photographs and data that we uploaded into Docket FAA-
2012-0002 (see ADDRESSES section of this final rule for information on 
locating the docket). These photographs did not have any effect on our 
decision to issue this AD. We did not change this AD based on this 
comment.
Request To Describe FAA's Validation Process
    Comment. Danbury Holdings requested that the FAA provide a 
description of the validation process that was used for each of the 
cylinder separations that the FAA used to substantiate the need for 
this AD.
    Response. We interpret this comment as a request for identification 
of how we found out about the failures of ECi cylinder assemblies. We 
found out about the ECi cylinder assembly failures from the FAA SDR 
database and warranty information at ECi and RAM Aircraft, and failure 
reports from operators. Many of the operator SDR reports contained 
detailed information describing the nature and specific location of the 
separation. The findings of ECi Technical Report 1102-13 agreed with 
the original failure reports. We did not change this AD based on this 
comment.

C. Comments to the FAA's Rulemaking Processes

Request To Follow the APA
    Comment. IPL Group, RAM Aircraft, and Danbury Holdings commented 
that the FAA had failed to follow the requirements of the APA when it 
dispositioned previous comments to the August 12, 2013, NPRM, and the 
January 8, 2015, SNPRM. IPL Group indicated that the FAA had, for 
example, summarily discounted previous comments, failed to conduct 
appropriate investigations of the failed cylinder assemblies, and 
mischaracterized hazard levels in the proposed ADs.
    RAM Aircraft also commented that its previous comments were 
dispositioned in general categories in the January 8, 2015, SNPRM. RAM 
Aircraft, however, does not believe that the specifics of its comments 
were adequately or properly responded to, as required by the APA.
    Response. We disagree. The commenters failed to provide any 
examples of where we failed to comply with the APA in our handling of 
comments to the August 12, 2013, NPRM, and by extension, the January 8, 
2015, and August 25, 2015, SNPRMs. We have in our responses to the NPRM 
and the SNPRMs, and herein in this final rule, fully responded to all 
comments, including those comments concerning our investigation of the 
unsafe condition, hazard levels, and conclusions.
    We carefully considered all comments we received. In our January 8, 
2015, SNPRM and August 28, 2015, SNPRM, we responded to several hundred 
comments that we had received. Many were substantively the same and, 
therefore, as previously discussed we grouped them into several 
categories and answered the comments by category. The commenters have 
not indicated what, if anything, is improper about doing so nor how 
doing as we did might have violated the requirements of the APA. In 
this final rule, we responded to all remaining comments. We again used 
categories to group and answer comments that were similar if not 
identical. As to improperly recognizing affected ECi cylinder 
assemblies, we based our applicability of this AD on the reports of 
failure provided by ECi, the manufacturer, the reports required by 14 
CFR that form the basis for the SDR, and the reports of the commenters 
themselves. We did not change this AD based on this comment.
Request To Withdraw the SNPRMs Because They Are Arbitrary and 
Capricious
    Comment. Danbury Holdings and ARSA referred to the proposed rule as 
``arbitrary and capricious'' because it does not apply equally to 
cylinder assemblies manufactured by the OEM. Danbury Holdings observed 
that the OEM's cylinders also separate and that the FAA has singled out 
ECi with this AD action.
    Response. We disagree. The FAA is not mandating similar corrective 
actions against the OEM's cylinders because OEM service history data is 
different. Our review of OEM service history indicates that OEM 
cylinder assembly failures, unlike ECi cylinder assembly failures, are 
not traceable to any specific design or manufacturing anomaly. In 
contrast, the ECi PMA cylinder separations are traceable to design 
deficiencies, which ECi itself identified in ECi Technical Report 1102-
13. We did not find the ECi cylinder assembly design deficiencies in 
cylinder assemblies produced by any other manufacturer. Further, ECi's 
failure rate is some 32 times greater than the OEM's. We did not change 
this AD based on this comment.
    Comment. ARSA also indicated the rule is arbitrary and capricious 
because the FAA has failed to ``examine the relevant data and 
articulate a satisfactory explanation for its action including a 
`rational connection between the facts found and the choice made.'' 
Further, ARSA cites the APA as requiring federal agencies to allow 
meaningful public participation in the rulemaking process and provide a 
``statement of basis and purpose'' justifying a rule's issuance.'' ARSA 
notes the obligation of the FAA to demonstrate a sound factual basis 
for the issuance of a rule by specifically disclosing to interested 
parties the material upon which a prospective rule would be fashioned.
    Response. We disagree. Beyond its generalized allegation, the 
commenter did not identify any examples of agency shortcoming. We 
examined the relevant data, including the failure rate of the ECi 
assemblies, the ECi cylinder assembly design deficiencies, and the 
consequences to the engine and airplane when an ECi cylinder assembly 
failed. We reviewed and applied the applicable FAA Orders and policies.
    The agency therefore, has articulated a satisfactory explanation 
for its action including a ``rational connection between the facts 
found and the choice made.''
    We provided the public several opportunities to participate in this 
rule making; through extending the comment period and the two 
supplemental notices with their comment periods. For example, we first 
published an NPRM on August 12, 2013 (78 FR 48828), then published an 
extension of the comment period on September 26, 2013 (78 FR 59293) to 
allow the public additional time to comment on the proposed rule. We 
then issued a notice of availability of an initial regulatory 
flexibility analysis on March 12, 2014 (79 FR 13924). We reviewed the 
over 500 comments to the proposed rule that we had received, determined 
that we needed to review how we proposed to address the unsafe 
condition, formed a team to review the technical basis of the

[[Page 52987]]

proposed rule, the numerous public comments, and the additional failure 
information provided by commenters to the NPRM. Through this team we 
confirmed that an AD is needed to correct the unsafe condition 
represented by the subject cylinder assemblies installed in aircraft 
engines, but that we could do so through a lengthier compliance 
interval. We published that revised compliance interval in our January 
8, 2015, SNPRM.
    After publication of the January 8, 2015, SNRPM, we issued the 
August 28, 2015, SNPRM to allow us to explain the rationale for this AD 
action. We also added several documents to Docket No. FAA-2012-0002 
(see ADDRESSES section of this final rule for information on locating 
the docket), including the risk analyses by our CSTA for Aircraft 
Safety Analysis, and one using SARA methods, and various technical 
documents that list failures of ECi cylinder assemblies. For each of 
the documents we published, we allowed the public an opportunity to 
provide comments. We did not change this AD based on this comment.
    Comment. ARSA also commented that presentation of relevant comments 
is further stymied by the agency's conclusory and unsupported responses 
to the NPRM submissions. ARSA commented that the agency stated that it 
was irrelevant that the root cause of the cylinder failures is unknown 
and that it ``disagreed'' that pilot error was a factor.
    Response. We disagree. The purpose of this AD is to remove an 
unsafe condition in aircraft engines, not to identify root cause of 
cylinder failure(s). This AD resolves the unsafe condition by removing 
the affected cylinder assemblies from service in the engine models 
listed in this AD. We did not change this AD based on this comment.
    Comment. Danbury Holdings also commented that the FAA had not 
provided substantiation for a change in the design requirement that 
ensures safe operation with one inoperative cylinder.
    Response. The comment is not germane to this AD. We direct the 
commenter to the regulations relevant to design requirements, as found 
in 14 CFR. We did not withdraw the August 28, 2015, SNPRM.
    Comment. Danbury Holdings commented that the FAA has admitted that 
the SDR database is problematic and that the FAA picked and chose data 
to fit a conclusion.
    Response. We disagree. The SDR database reflects input received 
from field reporting. The SDR database may not reflect all service 
difficulty problems with affected ECI cylinder assemblies, but what 
information it contains indicates the need for this AD. Moreover, the 
SDR database is only one tool in our decision-making process. We did 
not change this AD based on this comment.
    Comment. Several commenters commented that the FAA should withdraw 
the January 8, 2015, SNPRM because it unfairly targets ECi.
    Response. We disagree. This AD does not ``target'' ECi, the PMA 
manufacturer of the affected cylinder assemblies. The AD resolves an 
unsafe condition in a product. We did not change this AD based on this 
comment.
Request To Substantiate That This AD Does Not Affect Airplanes Operated 
by Federal or State Agencies
    Comment. Danbury Holdings commented that the FAA had not provided 
documentation to substantiate that no affected airplanes are operated 
by federal or state agencies.
    Response. The comment is not relevant to whether this AD is 
necessary to resolve the unsafe condition presented by the engine with 
the affected ECi cylinders installed. We did not change this AD based 
on this comment.
Request To Substantiate That Airplanes Operating in Alaska Are Not 
Affected
    Comment. Danbury Holdings stated that the FAA had not provided 
documentation that substantiates that remote locations of Alaska are 
not served by airplanes affected by this AD.
    Response. The comment is not relevant to the technical basis for 
this AD. Further we state that this AD will not affect intrastate 
aviation in Alaska to the extent that it justifies making a regulatory 
distinction. We did not change this AD based on this comment.
Request To Send Proposed Rule to Office of Information and Regulatory 
Affairs (OIRA) and Small Business Administration (SBA)
    Comment. Danbury Aerospace commented that per Executive Order 
(E.O.) No. 13272, the FAA should provide the draft rule to the OIRA in 
the Office of Management and Budget (OMB) under E.O. No. 12866 and to 
the SBA's Chief Counsel for Advocacy.
    Response. We partially agree. We do not agree that this rule meets 
the criteria of a significant regulatory action under E.O. 12866. 
Therefore, we did not provide the draft rule to the OMB. We agree that 
the rule has a significant effect on a substantial number of small 
entities. We, therefore, provided a copy of the rule to the SBA's Chief 
Counsel for Advocacy for comment. We received no comments from the SBA.

D. Comments to the Cost of This AD

Request To Revise and Provide Supporting Data for Number of Affected 
Cylinder Assemblies and Engines
    Comment. Danbury Aerospace and RAM Aircraft indicated that the FAA 
has under-estimated the numbers of airplanes and engines affected and 
up to 11,000 aircraft may be affected based on the aircraft registry, 
or otherwise hasn't provided the data it used to determine the affected 
population of engines and cylinders.
    Response. We disagree in part. We do not agree that 11,000 aircraft 
may be affected by this AD, or that we haven't provided the data used 
to determine the affected populations. Not all aircraft and engines on 
the aircraft registry use the affected ECi cylinder assemblies. 
Further, the commenter hasn't provided any factual basis for its 
assumption that all aircraft on the aircraft registry use ECi cylinder 
assemblies.
    We agree that we could better estimate the number of engines 
affected by this AD. We again reviewed our estimate. We now estimate 
that approximately 6,200 engines are affected by this AD. That number 
is based on our initial estimate of approximately 43,000 affected 
cylinder assemblies produced by ECi from 2002 to 2011. This number is 
supported by AEC Technical Report 1102-13, dated April 30, 2011. We 
then reduced 43,000 by our estimated number of cylinder assemblies that 
would have been removed from service.
    Our review indicates that approximately 6,000 of the 43,000 
cylinder assemblies would have been retired from service by the time of 
the publication of this AD. Therefore, we estimate 37,000 cylinder 
assemblies may be in service, as of June 1, 2016. We divided this 
number by 6 cylinders per engine to give us an estimated 6,167 engines 
in service. To increase the conservatism of our cost estimate, we 
rounded this figure to 6,200 engines. We revised our cost estimate to 
reflect these updated calculations.
Request To Revise the Number of Labor Hours to Perform This AD
    Comment. A few commenters, including IPL Group, indicated that the 
number of hours to replace 6 cylinders would be greater than the 18 
hours that we estimated in our costs of compliance.
    Response. We agree. In the August 12, 2013, NPRM, and the January 
8, 2015, and August 28, 2015, SNPRM, we

[[Page 52988]]

estimated 18 work hours. Although the commenters did not provide data 
to support increasing the number of work hours, we held discussions 
with manufacturers regarding the number of hours they would allow to 
perform this work. Based on these more recent discussions, we revised 
our estimate for the number of work hours to replace 6 cylinder 
assemblies to 32 hours.
Request To Revise Cost of Replacing a Cylinder Assembly in This AD
    Comment. Danbury Aerospace, Danbury Holdings, RAM Aircraft, and IPL 
Group commented that the cost of a cylinder assembly, as calculated by 
the FAA, does not accurately represent replacement costs. The 
commenters indicated that the FAA's use of ``pro-rated cost'' allows a 
vast underestimation of actual expenses that would be incurred by 
owners. The agency must at least provide sound reasoning and facts 
supporting the assertion that the pro-rated cost ``more accurately 
reflects'' replacement cost. IPL Group further commented that a ``pro-
rated value'' is inconsistent with FAA policy and the Regulatory 
Flexibility Act.
    Response. We disagree in part. Industry, including ECi, uses pro-
rated cost in its cost estimates. For example, ECi, in its MSB 05-8, 
Revision No. 1, dated December 29, 2005, used a similar time in service 
based pro-rated cost calculation to determine the discounted cost to 
operators for replacement cylinders, instead of providing the cylinders 
to the operators at no cost. Further, we typically use pro-rated cost 
for larger, turbofan engines when life-limited parts are involved. 
Operators of those engines are typically airlines and other large 
operators. Pro rata estimating therefore, is an acceptable method of 
estimating cost.
    We agree however, that engines with affected ECi cylinders 
installed may be installed on airplanes owned by individual operators 
in the general aviation community, who are less familiar with the 
concept of pro-rated costs to ADs. In consequence, we revised our 
estimate to use the full replacement cost of each cylinder assembly 
even though this will likely result in an over-estimate of the total 
cost of this AD. We, therefore, used the replacement cost of 6 cylinder 
assemblies in this final rule. This resulted in an increase from $4,202 
in the SNPRMs to $11,520 in this final rule.
Request To Include Additional Costs in the Overall Cost Estimate
    Comment. IPL Group and Danbury Aerospace requested that we add 
additional costs to our overall cost estimate. IPL Group indicated that 
the FAA should include costs for loss of use of the aircraft, test 
flight, and break-in expenses. Danbury Aerospace commented that we 
should account for loss of overhauled assemblies as replacement items 
and new costs associated strictly with their replacement.
    Response. We disagree. In constructing our cost estimate, we 
followed the guidance of the FAA's Airworthiness Directives Manual, 
FAA-IR-M-8040.1C, dated May 17, 2010, which states ``Do not state any 
costs beyond initial work-hours and parts costs. . . .'' The additional 
costs cited by the commenters are not appropriate to our cost 
estimates. We did not change this AD based on this comment.
Request To Withdraw the SNPRMs Because of Excessive Overall Cost
    Comment. Several commenters commented that the FAA should withdraw 
the January 8, 2015, SNPRM and the August 28, 2015, SNPRMs because the 
FAA has underestimated the cost of compliance of this AD. These 
commenters represented that the true cost is too high and that the FAA 
has ignored the broader impact of this AD on industry. Most commenters 
failed to provide any data to support these claims, however, IPL Group 
provided some calculations to show that the total cost of this AD 
should be somewhere between $168,666,625 and $320,360,156.
    Response. We disagree. We considered the impact that this AD would 
have on operators. As explained in response to the comments above, we 
increased our estimates of inspection costs, labor costs, and 
replacement costs of the cylinder assemblies. Although we increased our 
cost estimate, we still conclude that the unsafe condition represented 
by the affected cylinder assemblies requires an AD. We did not withdraw 
the SNPRMs based on this comment.
Request To Substantiate Record-Keeping and Time Estimates
    Comment. Danbury Holdings also stated that the FAA had not provided 
documentation to substantiate its estimated record keeping cost and 
time estimates.
    Response. We agree in part. We interpret this comment as a 
reference to both time spent on checking log books and reporting 
requirements. We withdrew our reporting requirement when we published 
the January 8, 2015, SNPRM, so we have no need to account for that 
cost. We added an inspection cost in this final rule for the time 
operators spend determining if they own an ECi cylinder assembly 
affected by this AD. The Costs of Compliance section now states ``We 
estimate 0.5 hours will be needed to check log books to determine if an 
engine is affected by this AD.''

E. Administrative Comments

Request To Clarify Address
    Comment. The Continental Motors Group commented that the business 
at the address and telephone number listed in the August 28, 2015, 
SNPRM (9503 Middlex Drive, San Antonio, Texas 78217, Phone 210-820-
8101) is now that of Continental Motors Inc., San Antonio. Continental 
Motors Group also indicated that the associated company Web site 
(http://www.eci.aero/pages/tech_svcpubs.aspx) listed in the August 28, 
2015, SNPRM is not functional at this time.
    Response. We agree. We updated the address and Web site information 
listed in the ADDRESSES and ``Related Information'' sections of this 
AD.
Request To Provide Names of Those Involved in the AD Process
    Comment. Danbury Aerospace and Danbury Holdings commented that the 
FAA should provide the names and technical positions of each of the 
members of the multi-disciplinary/multi-directorate team that were 
involved in the review of this service difficulty problem, along with 
the dates, locations, and minutes for any meetings that were held.
    Response. We disagree. The names and positions of personnel 
associated with reviewing this AD are not necessary to the public's 
participation in the development of this AD. We did not change this AD 
based on this comment.

F. Support for the SNPRM

    Comment. The NTSB commented that it believes that the August 28, 
2015, SNPRM will satisfy the intent of NTSB Safety Recommendation A-12-
7. An individual commenter indicated that he had reviewed the SDR 
database and determined that the separation rate of ECi cylinder 
assemblies is approximately 10 times the rate of OEM cylinder 
assemblies.
    Response. We note the comment.

[[Page 52989]]

Conclusion

    We reviewed the relevant data, considered the comments received, 
and determined that air safety and the public interest require adopting 
this AD as proposed.

Costs of Compliance

    We estimate that this AD affects about 6,200 CMI model IO-520, 
TSIO-520, IO-550, and IOF-550 reciprocating engines and all other CMI 
engine models approved for the use of CMI models -520 and -550 cylinder 
assemblies (such as the CMI model -470 when modified by STC), installed 
on airplanes of U.S. registry. The average labor rate is $85 per hour. 
We estimate 0.5 hours will be needed to check log books to determine if 
an engine is affected by this AD. We estimate that about 32 hours will 
be required to replace all six cylinder assemblies of an engine during 
overhaul. We estimate the cost of replacement of six cylinder 
assemblies to be, on average, about $11,520 per engine. Based on these 
figures, we estimate the total cost of this AD to U.S. operators to 
change all ECi cylinder assemblies to be $88,551,500.

Authority for This Rulemaking

    Title 49 of the United States Code specifies the FAA's authority to 
issue rules on aviation safety. Subtitle I, section 106, describes the 
authority of the FAA Administrator. Subtitle VII: Aviation Programs, 
describes in more detail the scope of the Agency's authority.
    We are issuing this rulemaking under the authority described in 
Subtitle VII, Part A, Subpart III, Section 44701: ``General 
requirements.'' Under that section, Congress charges the FAA with 
promoting safe flight of civil aircraft in air commerce by prescribing 
regulations for practices, methods, and procedures the Administrator 
finds necessary for safety in air commerce. This regulation is within 
the scope of that authority because it addresses an unsafe condition 
that is likely to exist or develop on products identified in this 
rulemaking action.

Regulatory Flexibility Determination

    The Regulatory Flexibility Act of 1980 (RFA) establishes ``as a 
principle of regulatory issuance that agencies shall endeavor, 
consistent with the objective of the rule and of applicable statutes, 
to fit regulatory and informational requirements to the scale of the 
business, organizations, and governmental jurisdictions subject to 
regulation.'' To achieve that principle, the RFA requires agencies to 
solicit and consider flexible regulatory proposals and to explain the 
rationale for their actions. The RFA covers a wide range of small 
entities, including small businesses, not-for-profit organizations, and 
small governmental jurisdictions.
    Agencies must perform a review to determine whether a proposed or 
final rule will have a significant economic impact on a substantial 
number of small entities. If the agency determines that it will, the 
agency must prepare a regulatory flexibility analysis as described in 
the Act. The FAA determined that this rule will have a significant 
economic impact on a substantial number of small entities and, 
accordingly, as required by Section 603(a) of the RFA, the FAA prepared 
and published an initial regulatory flexibility analysis (IRFA) (79 FR 
13924, March 12, 2014) as part of the NPRM (79 FR 48828, August 12, 
2013) and initial SNPRM (80 FR 1008, January 8, 2015) for this rule. 
For the second SNPRM, the FAA inadvertently stated that there would be 
no significant impact on a substantial number of entities. We also 
omitted the IRFA from the second SNPRM because we thought republication 
unnecessary as costs had not changed and the IRFA had already been 
published in the first SNPRM. In addition to the IRFA, Section 604 of 
the RFA also requires an agency to publish a final regulatory 
flexibility analysis (FRFA) in the Federal Register when issuing a 
final rule.
    With this FRFA we correct our misstatement in the second SNPRM and 
restate our previous conclusions for the NPRM and in the first SNPRM 
that the rule will have a significant impact on a substantial number of 
small entities. Accordingly, in the following section we undertake the 
regulatory flexibility analysis.

Final Regulatory Flexibility Analysis

    Under Section 604(a) of the RFA, the Final analysis must address:
    (1) Statement of the need for, and objectives of, the rule.
    This final rule AD was prompted by failure reports of multiple 
cylinder head-to-barrel separations and cracked and leaking aluminum 
cylinder heads. This AD will apply to certain CMI San Antonio 
replacement PMA cylinder assemblies marketed by ECi, used on the CMI 
model -520 and -550 reciprocating engines, and all other engine models 
approved for the use of CMI model -520 and -550 cylinder assemblies 
such as the CMI model -470 when modified by STC.
    (2) Statement of the significant issues raised by the public 
comments in response to the initial regulatory flexibility analysis, a 
statement of the assessment of the agency of such issues, and a 
statement of any changes made in the proposed rule as a result of such 
comments.
    Danbury Holdings commented that the FAA had not provided the raw 
data that was used in the IRFA. We note that the provision of raw data 
is not required by the FAA's rulemaking procedures or orders.
    In response to comments about problems with the repetitive 
compression/soap test proposed by the NPRM, the FAA agrees that these 
tests do not always reliably detect a cracked cylinder of this failure 
mode and therefore the costs associated with such tests outweigh the 
safety benefits. In the January 8, 2015 SNPRM the FAA removed the 
requirement for repetitive compression/soap inspection tests.
    The FAA received comments questioning the reduction of the 
estimated number of smaller air service businesses (in addition to the 
estimated 609 small part 135 operators) that would be affected by the 
rule, from 5,000 in the IRFA to 2,000 in the January 8, 2015, SNPRM. We 
note that in both cases the FAA stated that a substantial number of 
small entities would be affected. Given the lack of available data, the 
FAA is unable to make an accurate estimate of the number of smaller air 
service businesses that will be affected by this rule, but acknowledges 
that this number is substantial. In addition to the 609 small part 135 
operators, we therefore estimate in this final rule that the number of 
smaller air service businesses affected is substantial.
    After publication of the NPRM and after publication of each of the 
two SNPRMs, we also received comments from small businesses concerning 
understated compliance costs. Some commenters stated that the labor 
rate and the hours required to replace an affected engine's cylinders 
are underestimated. We agree with this comment in part and have 
increased our estimate of the labor hours required to replace an 
affected engine's six cylinder assemblies from 18 to 32 hours, with a 
corresponding labor cost increase from $1,530 to $2,720.
    In response to comments we have also increased our cost of 
materials estimate from a loss-of-service estimate of $4,202 to the 
full cost to replace all six cylinders, which has increased to $11,520. 
Our estimate of the total cost to replace all six cylinders has 
therefore increased from $5,732 to $14,240.
    After publication of the August 28, 2015, SNPRM, we received 
negative comments concerning the inadvertent change from our original 
determination of a significant economic impact on a

[[Page 52990]]

substantial number of small entities in the IRFA (and the January 8, 
2015, SNPRM) to a determination of no significant impact on a 
substantial number of small entities. As noted in the introductory 
section, we are correcting this oversight in this FRFA.
    (3) The response of the agency to any comments filed by the Chief 
Counsel for Advocacy of the Small Business Administration in response 
to the proposed rule, and a detailed statement of any change made to 
the proposed rule in the final rule as a result of the comments.
    The SBA did not submit comments.
    (4) Description and an estimated number of small entities to which 
the final rule will apply.
    Of the 610 part 135 operators we found to be affected by this rule, 
we identified 609 that meet the Small Business Administration (SBA) 
definition of a small entity (entities with 1,500 or fewer employees) 
that will be affected by this final rule. On this basis alone, we 
conclude that the final rule will affect a substantial number of small 
entities. In addition, we estimate that a substantial, but undetermined 
number of smaller air services businesses will be affected by this 
final rule. The FAA is unaware of the assets or financial resources of 
these businesses. The affected part 135 and smaller air services fly 
fixed wing aircraft; employ less than 1,500 employees; and conduct a 
variety of air services such as fly passengers and cargo for hire.
    (5) Description of the record keeping and other compliance 
requirements of the final rule.
Record Keeping Requirement
    The FAA estimates 0.5 hours will be needed to check log books to 
determine if an engine is affected by this AD. At a wage rate of $85 
per hour, the estimated cost will be $42.50 per engine. As the affected 
small part 135 operators have between one and 88 affected airplanes, 
the costs of this requirement range from $42.50 to $3740 per part 135 
operator.
Compliance Requirement To Replace Cylinder Assemblies of Affected 
Engines
    This AD applies to certain CMI model IO-520, TSIO-520, IO-550, and 
IOF-550 reciprocating engines and all other engine models approved for 
the use of CMI models -520 and -550 cylinder assemblies (such as the 
CMI model -470 when modified by STC), installed on airplanes of U.S. 
registry. For the affected engines the AD requires replacement of the 
cylinder assemblies at reduced times-in-service.
    As noted above our estimate of the total cost to replace all six 
cylinders has increased from $5,732 to $14,240. As the number of 
airplanes held by affected small part 135 operators ranges from one to 
88, the costs of required cylinder assembly replacement per operator 
range from about $14.2 thousand to about $1.3 million.
    To determine whether compliance costs will have a significant 
economic impact, we measured the cost of replacing cylinder assemblies 
of affected engines relative to the value of the affected airplanes 
held by the small part 135 operators. The estimated asset value of the 
affected airplanes held by the small part 135 operators ranges from 
$22,000 to $19.6 million. We find that the cost of replacing cylinder 
assemblies relative to affected airplane asset value is greater than 5 
percent for 468 of the 609 affected small part 135 operators.\2\ We 
therefore conclude that the final rule will have a significant economic 
impact on a substantial number of small entities.
---------------------------------------------------------------------------

    \2\ This assessment does not take into account record keeping 
requirement costs. These costs, however, are minor and do not affect 
our assessment of the number of small part 121 operators 
significantly impacted by the final rule.
---------------------------------------------------------------------------

    (6) Steps the agency has taken to minimize the significant economic 
impact on small entities consistent with the stated objectives of 
applicable statutes, including a statement of the factual, policy, and 
legal reasons for selecting the alternative adopted in the final rule 
and why each one of the other significant alternatives to the rule 
considered by the agency which affect the impact on small entities was 
rejected.
    In response to comments about problems with repetitive compression/
soap test, the FAA agrees that these tests do not always reliably 
detect a cracked cylinder of this failure mode and the costs associated 
with such tests outweigh the safety benefit. The FAA removed that 
requirement for repetitive compression/soap inspection tests. We also 
considered these following alternatives:
    (a) Do nothing--This option is not acceptable due to the number of 
failures of ECi cylinder head assemblies and the consequences of the 
failures.
    (b) Periodic inspections only (no forced removals)--Though the NTSB 
recommended this option in its comments to the NPRM (August 12, 2013, 
78 FR 48828), the service history has shown that such inspections may 
not reliably detect existing cracks and the rate of crack growth to 
separation is unknown and variable. The NTSB also submitted a later 
comment, in response to the August 28, 2015, SNPRM, that the revised 
rule as adopted in this final rule, meets the intent of its Safety 
Recommendations A-12-7.
    (c) Forced removal with periodic inspections--Periodic inspections 
may not reliably detect cracks and even with removal the rate of crack 
growth to separation is unknown and variable. Forced removal is the 
only remaining option.

Regulatory Findings

    This AD will not have federalism implications under Executive Order 
13132. This AD will not have a substantial direct effect on the States, 
on the relationship between the national government and the States, or 
on the distribution of power and responsibilities among the various 
levels of government.
    For the reasons discussed above, I certify that this AD:
    (1) Is not a ``significant regulatory action'' under Executive 
Order 12866,
    (2) Is not a ``significant rule'' under DOT Regulatory Policies and 
Procedures (44 FR 11034, February 26, 1979),
    (3) Will not affect intrastate aviation in Alaska to the extent 
that it justifies making a regulatory distinction, and
    (4) Will have a significant economic impact, positive or negative, 
on a substantial number of small entities under the criteria of the 
Regulatory Flexibility Act.

List of Subjects in 14 CFR Part 39

    Air transportation, Aircraft, Aviation safety, Incorporation by 
reference, Safety.

Adoption of the Amendment

    Accordingly, under the authority delegated to me by the 
Administrator, the FAA amends 14 CFR part 39 as follows:

PART 39--AIRWORTHINESS DIRECTIVES

0
1. The authority citation for part 39 continues to read as follows:

    Authority:  49 U.S.C. 106(g), 40113, 44701.


Sec.  39.13  [Amended]

0
2. The FAA amends Sec.  39.13 by adding the following new airworthiness 
directive (AD):

2016-16-12 Continental Motors, Inc. (formerly Teledyne Continental 
Motors, Inc., formerly Continental): Amendment 39-18610; Docket No. 
FAA-2012-0002; Directorate Identifier 2011-NE-42-AD.

(a) Effective Date

    This AD is effective September 15, 2016.

(b) Affected ADs

    None.

[[Page 52991]]

(c) Applicability

    This AD applies to all Continental Motors, Inc. (CMI) model -520 
and -550 reciprocating engines, and to all other CMI engine models 
approved for the use of model -520 and -550 cylinder assemblies such 
as the CMI model -470 when modified by supplemental type certificate 
(STC), with Continental Motors Inc., San Antonio (formerly Airmotive 
Engineering Corp.), replacement parts manufacturer approval (PMA) 
cylinder assemblies, marketed by Engine Components International 
Division (hereinafter referred to as ECi), part number (P/N) AEC 
631397, with ECi Class 71 or Class 76, serial number (S/N) 1 through 
S/N 61176, installed.

(d) Unsafe Condition

    This AD was prompted by multiple failure reports of cylinder 
head-to-barrel separations and cracked and leaking aluminum cylinder 
heads. We are issuing this AD to prevent failure of the cylinder 
assemblies, which could lead to failure of the engine, in-flight 
shutdown, and loss of control of the airplane.

(e) Compliance

    Comply with this AD within the compliance times specified, 
unless already done.
    (1) Review the engine maintenance records to determine if any 
affected cylinder assemblies are installed.
    (2) If you cannot determine based on review of engine 
maintenance records if any affected cylinder assemblies are 
installed, comply with paragraph (e)(4) of this AD.
    (3) If you do not have any of the affected ECi cylinder 
assemblies installed on your engine, no further action is required.
    (4) Cylinder Identification and Serial Number Location
    (i) Check the cylinder assembly P/N and Class number. The ECi 
cylinder assembly, P/N AEC 631397, Class 71 or Class 76, is stamped 
on the bottom flange of the cylinder barrel. Guidance on the P/N and 
Class number description and location can be found in ECi Service 
Instruction No. 99-8-1, Revision 9, dated February 23, 2009.
    (ii) If you cannot see the cylinder assembly P/N when the 
cylinder assembly is installed on the engine, you may use the 
following alternative method of identification:
    (A) Remove the cylinder assembly rocker box cover.
    (B) Find the letters ECi, cast into the cylinder head between 
the valve stems.
    (C) Check the cylinder head casting P/N. Affected cylinder 
assemblies have the cylinder head casting, P/N AEC 65385, cast into 
the cylinder head between the valve stems.
    (D) Find the cylinder assembly S/N as specified in paragraphs 
(e)(4)(iii) or (e)(4)(iv) of this AD, as applicable.
    (iii) For ECi cylinder assemblies, P/N AEC 631397, manufactured 
through 2008, find the cylinder assembly S/N stamped on the intake 
port boss two inches down from the top edge of the head.
    (iv) For ECi cylinder assemblies, P/N AEC 631397, manufactured 
on or after January 1, 2009, find the cylinder assembly S/N stamped 
just below the top edge of the head on the exhaust port side.
    (5) Removal From Service
    (i) For any affected cylinder assembly with 680 or fewer 
operating hours time-in-service (TIS) since new on the effective 
date of this AD, remove the cylinder assembly from service before 
reaching 1,000 operating hours TIS since new.
    (ii) For any affected cylinder assembly with more than 680 
operating hours TIS since new and 1,000 or fewer operating hours TIS 
since new on the effective date of this AD, remove the cylinder 
assembly from service within the next 320 operating hours TIS or 
within 1,160 operating hours TIS since new, whichever occurs first.
    (iii) For any affected cylinder assembly with more than 1,000 
operating hours TIS since new on the effective date of this AD, 
remove the cylinder assembly from service within the next 160 
operating hours or at next engine overhaul, whichever occurs first.
    (iv) For any affected cylinder assembly that has been 
overhauled, remove the cylinder assembly from service within the 
next 80 operating hours TIS after the effective date of this AD.

(f) Installation Prohibitions

    After the effective date of this AD:
    (1) Do not repair, or reinstall onto any engine, any cylinder 
assembly removed per this AD.
    (2) Do not install any affected ECi cylinder assembly that has 
been overhauled, into any engine.
    (3) Do not install any engine that has one or more affected 
overhauled ECi cylinder assemblies, onto any aircraft.
    (4) Do not return to service any aircraft that has an engine 
installed with an ECi cylinder assembly subject to this AD, if the 
cylinder assembly has 1,000 or more operating hours TIS.

(g) Alternative Methods of Compliance (AMOCs)

    The Manager, Delegation Systems Certification Office or Fort 
Worth Aircraft Certification Office, may approve AMOCs for this AD. 
Use the procedures found in 14 CFR 39.19 to make your request.

(h) Related Information

    (1) For more information about this AD, contact Jurgen E. 
Priester, Aerospace Engineer, Delegation Systems Certification 
Office, FAA, Rotorcraft Directorate, 10101 Hillwood Parkway, Fort 
Worth, TX 76177; phone: 817-222-5190; fax: 817-222-5785; email: 
[email protected].
    (2) For ECi Service Instruction No. 99-8-1, Revision 9, dated 
February 23, 2009, which is not incorporated by reference in this 
AD, contact Continental Motors--San Antonio, 9503 Middlex Drive, San 
Antonio, TX 78217; phone: 210-820-8101; Internet: http://www.continentalsanantonio.com.
    (3) You may view this service information at the FAA, Engine & 
Propeller Directorate, 1200 District Avenue, Burlington, MA. For 
information on the availability of this material at the FAA, call 
781-238-7125.

(i) Material Incorporated by Reference

    None.


    Issued in Burlington Massachusetts, on July 19, 2016.
Colleen M. D'Alessandro,
Manager, Engine & Propeller Directorate, Aircraft Certification 
Service.
[FR Doc. 2016-18708 Filed 8-10-16; 8:45 am]
 BILLING CODE 4910-13-P



                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                              52975

                                              CFR part 20 as well as a renumbering of                   • licenses for independent spent fuel                  Dated at Rockville, Maryland, this 3rd day
                                              those regulations. As such, this revision               storage installations under 10 CFR part 72.           of August, 2016.
                                              to the regulatory guide aligns with the                                                                          For the Nuclear Regulatory Commission.
                                              regulatory structure of current 10 CFR             The backfitting provisions in 10 CFR                       Thomas H. Boyce,
                                              part 20 by updating the regulatory              50.109, 70.76, and 72.62, and the issue
                                                                                                                                                            Chief, Regulatory Guidance and Generic
                                              guide’s 10 CFR part 20 cross-references.        finality provisions in 10 CFR part 52 do                      Issues Branch, Division of Engineering, Office
                                                In addition, this revision includes           not apply to holders of licenses under                        of Nuclear Regulatory Research.
                                              additional guidance from operating              10 CFR parts 31, 32, 33, 34, 35, 36, 39,                      [FR Doc. 2016–18767 Filed 8–10–16; 8:45 am]
                                              ALARA experience since 1975. It                 40, or 71, or to holders of licenses for
                                                                                                                                                            BILLING CODE 7590–01–P
                                              provides more details describing                non-power reactors under 10 CFR part
                                              management responsibilities to ensure           50, unless those licensees also have an
                                              commitment to ALARA.                            NRC regulatory approval under 10 CFR
                                                                                              parts 50 or 52 (for a nuclear power                           DEPARTMENT OF TRANSPORTATION
                                              II. Additional Information                      reactor), 70, or 72. In addition, the                         Federal Aviation Administration
                                                 The NRC published a notice of                issuance of this regulatory guide would
                                              availability of DG–8033 in the Federal          not constitute backfitting under 10 CFR                       14 CFR Part 39
                                              Register on December 24, 2015 (80 FR            50.109, 70.76, or 72.62, and would not
                                              80395), for a 60-day public comment             otherwise be inconsistent with the issue                      [Docket No. FAA–2012–0002; Directorate
                                              period. The public comment period               finality provisions in 10 CFR part 52. As                     Identifier 2011–NE–42–AD; Amendment 39–
                                                                                                                                                            18610; AD 2016–16–12]
                                              closed on February 22, 2016. The public discussed in the ‘‘Implementation’’
                                              comments on DG–8033 and the NRC                 section of this regulatory guide, the NRC                     RIN 2120–AA64
                                              staff responses to the public comments          has no intention of initiating any
                                              are available in ADAMS under                    regulatory action that would require the                      Airworthiness Directives; Continental
                                              Accession Number ML16105A137.                   use of this regulatory guide by current                       Motors, Inc. Reciprocating Engines
                                                                                              holders of 10 CFR part 50 operating
                                              III. Congressional Review Act                                                                                 AGENCY:  Federal Aviation
                                                                                              licenses, 10 CFR part 52, subpart B, C,
                                                                                                                                                            Administration (FAA), DOT.
                                                 This regulatory guide is a rule as           E, or F approvals, 10 CFR part 70
                                              defined in the Congressional Review             licenses, or 10 CFR part 72 licenses.                         ACTION: Final rule.
                                              Act (5 U.S.C. 801–808). However, the               If a licensee protected by a backfitting                   SUMMARY:    We are adopting a new
                                              Office of Management and Budget has             or issue finality provision (a ‘‘protected                    airworthiness directive (AD) for certain
                                              not found it to be a major rule as              licensee’’) voluntarily seeks a license                       Continental Motors, Inc., (CMI) San
                                              defined in the Congressional Review             amendment or change, and (1) the NRC                          Antonio (formerly known as Airmotive
                                              Act.                                            staff’s consideration of the request                          Engineering Corp. (AEC)), replacement
                                              IV. Backfitting                                 involves a regulatory issue directly                          parts manufacturer approval (PMA)
                                                 This regulatory guide provides               relevant to this revised regulatory guide                     cylinder assemblies marketed by Engine
                                              updated guidance on the methods                 and (2) the specific subject matter of this                   Components International Division
                                              acceptable to the NRC staff for                 regulatory guide is an essential                              (ECi). On July 17, 2015, AEC was
                                              complying with the NRC’s regulations            consideration in the NRC staff’s                              purchased by CMI and is now operating
                                              associated with ALARA. The regulatory determination of the acceptability of the                               as ‘‘Continental Motors—San Antonio.’’
                                              guide applies to current and future             licensee’s request, then the NRC staff                        These cylinder assemblies are used on
                                              applicants for, and holders of:                 may request that the licensee either                          all CMI model –520 and –550
                                                                                              follow the guidance in this regulatory                        reciprocating engines, and on all other
                                                • Operating licenses for nuclear power        guide or provide an equivalent                                CMI engine models approved for the use
                                              reactors under 10 CFR part 50.                  alternative process that demonstrates                         of model –520 and –550 cylinder
                                                • approvals issued under subpart B, C, E,
                                              and F of 10 CFR part 52 (‘‘protected            compliance with the underlying NRC                            assemblies, such as the CMI model –470
                                              applicants and licensees’’).                    regulatory requirements. Such a request                       when modified by supplemental type
                                                • licenses issued under 10 CFR part 70 to     by NRC staff is not considered                                certificate (STC). This AD was prompted
                                              possess or use, at any site or contiguous sites backfitting as defined in 10 CFR                              by reports of multiple cylinder head-to-
                                              subject to licensee control, a formula quantity 50.109(a)(1), 70.76(a)(1), or 72.62(a), or                    barrel separations and cracked and
                                              of strategic special nuclear material, as       a violation of any applicable finality                        leaking aluminum cylinder heads. This
                                              defined in 10 CFR 70.4.                         provisions in 10 CFR part 52.                                 AD requires removal of the affected
                                                • operating licenses for nuclear non-power
                                              reactors under 10 CFR part 50.                     If a protected licensee believes that                      cylinder assemblies, including
                                                • specific domestic licenses to               the NRC is either using this regulatory                       overhauled cylinder assemblies,
                                              manufacture or transfer certain items           guide or requesting or requiring the                          according to a phased removal schedule.
                                              containing byproduct material under 10 CFR      protected licensee to implement the                           We are issuing this AD to prevent
                                              part 32.                                        methods or processes in this regulatory                       failure of the cylinder assemblies, which
                                                • specific domestic licenses of broad scope                                                                 could lead to failure of the engine, in-
                                              for byproduct material under 10 CFR part 33. guide in a manner inconsistent with the                          flight shutdown, and loss of control of
                                                • licenses for industrial radiography under discussion in the Implementation
                                              10 CFR part 34.                                 section of this regulatory guide, then the                    the airplane.
                                                • licenses for medical use of byproduct       protected licensee may file a backfit                         DATES: This AD is effective September
                                              material under 10 CFR part 35.                  appeal with the NRC in accordance with                        15, 2016.
sradovich on DSK3GMQ082PROD with RULES




                                                • licenses for irradiators under 10 CFR part the guidance in NRC Management                                 ADDRESSES: For service information
                                              36.                                             Directive 8.4, ‘‘Management of Facility-                      identified in this AD, contact
                                                • licenses for well logging under 10 CFR
                                              part 39.
                                                                                              Specific Backfitting and Information                          Continental Motors, Inc., San Antonio,
                                                • licenses for source material under 10       Collection’’ (ADAMS Accession No.                             9503 Middlex Drive, San Antonio, TX
                                              CFR part 40.                                    ML12059A460); and NUREG–1409,                                 78217; phone: 210–820–8100; Internet:
                                                • certificates of compliance for packaging    ‘‘Backfitting Guidelines’’ (ADAMS                             http://www.continentalsanantonio.com.
                                              of radioactive material under 10 CFR part 71. Accession No. ML032230247).                                     You may view this service information


                                         VerDate Sep<11>2014   15:58 Aug 10, 2016   Jkt 238001   PO 00000   Frm 00007   Fmt 4700   Sfmt 4700   E:\FR\FM\11AUR1.SGM   11AUR1


                                              52976            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              at the FAA, Engine & Propeller                          September 26, 2013–March 12, 2014—                    September 3–4, 2014—Challenge
                                              Directorate, 1200 District Avenue,                      Posting Technical Documents/Extension                 Team’s Review of August 12, 2013,
                                              Burlington, MA. For information on the                  of Comment Period/Initial Regulatory                  NPRM
                                              availability of this material at the FAA,               Flexibility Analysis (IRFA)                              Because the response to our August
                                              call 781–238–7125. It is also available                    We received several hundred                        12, 2013, NPRM was so negative—we
                                              on the Internet at http://                              comments to our August 12, 2013,                      received over 500 comments, most
                                              www.regulations.gov by searching for                    NPRM. In response to this high-level of               disagreeing with the NPRM—we
                                              and locating Docket No. FAA–2012–                       public interest, we undertook several                 established a Challenge Team to review
                                              0002.                                                   actions to help the public understand                 our proposed AD. The Challenge Team
                                              Examining the AD Docket                                 and provide further comment on our                    was an independent, multi-disciplinary
                                                                                                      proposed rule. These actions included:                team, consisting of three FAA CSTAs,
                                                You may examine the AD docket on                         • Extending the comment period to                  FAA Aircraft Certification Service (AIR)
                                              the Internet at http://                                 the August 12, 2013, NPRM;                            managers, and other FAA technical
                                              www.regulations.gov by searching for                       • publishing an IRFA; and                          experts from all four Directorates.
                                              and locating Docket No. FAA–2012–                          • adding several technical documents                  The Challenge Team reviewed the
                                              0002; or in person at the Docket                        that were posted to Docket No. FAA–                   technical information that formed the
                                              Management Facility between 9 a.m.                      2012–0002 (see Addresses section of                   basis for our proposed AD and the
                                              and 5 p.m., Monday through Friday,                      this final rule for information on                    public comments we had received
                                              except Federal holidays. The AD docket                  locating the docket) on September 20,                 concerning our proposal. The CSTA for
                                              contains this AD, the regulatory                        2013.                                                 Aircraft Safety Analysis also
                                              evaluation, any comments received, and                     Documents added to the docket                      independently computed a new risk
                                              other information. The address for the                  include:                                              assessment using the earlier failure
                                              Docket Office (phone: 800–647–5527) is                     (1) FAA Safety Recommendations                     reports, and the additional failure
                                              Document Management Facility, U.S.                      08.365, 08.366, and 11.216, which were                reports that we received from the public
                                              Department of Transportation, Docket                    written against the subject ECi cylinder              as comments to our August 12, 2013,
                                              Operations, M–30, West Building                         assemblies;                                           NPRM.
                                              Ground Floor, Room W12–140, 1200                           (2) NTSB Safety Recommendation A–                     Based on their review of this data and
                                              New Jersey Avenue SE., Washington,                      12–7, also written against the subject                the new risk assessment of failures of
                                              DC 20590.                                               ECi cylinder assemblies;                              affected cylinder assemblies, the
                                              FOR FURTHER INFORMATION CONTACT:
                                                                                                         (3) The original ECi AD worksheet for              Challenge Team determined that an AD
                                              Jurgen E. Priester, Aerospace Engineer,                 2011–NE–42–AD, which documents the                    was still required. But, they suggested
                                              Delegation Systems Certification Office,                reasons for the proposed rule;                        changes to make compliance less
                                              FAA, Rotorcraft Directorate, 10101                         (4) A list of separations of ECi                   aggressive and substantially reduce cost.
                                              Hillwood Parkway, Fort Worth, TX                        cylinder assemblies;                                  Their recommended changes included
                                              76177; phone: 817–222–5190; fax: 817–                      (5) A white paper 1 on failures of ECi             revising the compliance schedule in
                                              222–5785; email: jurgen.e.priester@                     cylinders by the FAA Chief Scientific                 favor of a phased removal schedule,
                                              faa.gov.                                                and Technical Adviser (CSTA) for                      clarifying that overhauled cylinder
                                                                                                      Engine Dynamics;                                      assemblies are included in the proposed
                                              SUPPLEMENTARY INFORMATION:                                 (6) Figures showing ECi Dome                       phased removal schedule, eliminating
                                                                                                      Separation Failures;                                  the reporting requirement for removed
                                              Discussion                                                 (7) A briefing on ‘‘ECi Cylinder Head              cylinder assemblies, and removing the
                                              August 12, 2013—NPRM                                    Failures on Continental IO 520 & 550                  requirement for initial and repetitive
                                                                                                      Engines’’; and                                        inspection.
                                                We issued a notice of proposed                           (8) FAA Policy Memorandum on
                                              rulemaking (NPRM) to amend 14 CFR                                                                             January 8, 2015—First Supplemental
                                                                                                      ‘‘Risk Assessment for Reciprocating                   Notice of Proposed Rulemaking
                                              part 39 by adding an AD that would                      Engine Airworthiness Directives,’’ dated
                                              apply to certain CMI San Antonio                                                                              (SNPRM)
                                                                                                      May 24, 1999.
                                              replacement PMA cylinder assemblies                        We notified the public of these                       We adopted the Challenge Team’s
                                              marketed by ECi. These assemblies are                   actions on September 26, 2013, via the                recommendations, and we then
                                              used on CMI model –520 and –550                         Federal Register (78 FR 59293). In that               published them as an SNPRM in the
                                              reciprocating engines, and all other CMI                notification, we extended the comment                 Federal Register on January 8, 2015 (80
                                              engine models approved for the use of                   period for the August 12, 2013, NPRM                  FR 1008) (referred to herein after as the
                                              models –520 and –550 cylinder                           to December 11, 2013. This extension                  ‘‘January 8, 2015, SNPRM’’). The
                                              assemblies such as the CMI model –470                   allowed the public additional time to                 January 8, 2015, SNPRM proposed to
                                              when modified by STC. The NPRM                          comment on our August 12, 2013,                       modify the schedule for removal of the
                                              published in the Federal Register on                    NPRM and the additional information                   affected cylinder assemblies, added that
                                              August 12, 2013 (78 FR 48828) (referred                 we had added to the docket.                           overhauled affected cylinder assemblies
                                              to herein after as the ‘‘August 12, 2013,                  We also determined that we needed to               be removed within 80 hours, eliminated
                                              NPRM’’). The August 12, 2013, NPRM                      add to the docket a detailed regulatory               a reporting requirement, and removed a
                                              proposed to require initial and                         flexibility analysis to estimate the                  requirement for initial and repetitive
                                              repetitive inspections, immediate                       effects of the proposed rule on small                 inspections.
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                                              replacement of cracked cylinder                         business entities. We published an                       We also responded in our January 8,
                                              assemblies, and replacement of cylinder                 Initial Regulatory Flexibility Analysis in            2015, SNPRM, to the several hundred
                                              assemblies at reduced times-in-service                  Docket FAA–2012–0002 on March 12,                     comments that we received to the
                                              (TIS) since new. The August 12, 2013,                   2014 (79 FR 13924).                                   August 12, 2013, NPRM. Many of these
                                              NPRM also proposed to prohibit the                                                                            comments were repetitious, so we
                                              installation of affected cylinder                         1 An authoritative report that informs readers      grouped the comments and provided
                                              assemblies into any engine.                             about a complex issue.                                our responses to the different groups,


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                       52977

                                              depending on the nature of the                          provide further technical rationale for               Comments
                                              comment. For example, some comments                     this AD. This additional technical                    Introduction
                                              claimed that airplanes can operate                      information included:
                                              safely with a separated cylinder head;                     (1) The risk analysis process                         We have, through the August 12,
                                              others suggested that pilot error was                   conducted by the FAA’s CSTA for                       2013, NPRM; the September 26, 2013,
                                              causing cylinder head separations; and                  Aircraft Safety Analysis—referenced in                posting of additional information; our
                                              others recommended adopting less                        Docket No. FAA–2012–0002 as the                       extension of the August 12, 2013, NPRM
                                              stringent compliance requirements.                      ‘‘Proposed Airworthiness Directive for                comment period; the January 8, 2015,
                                              Each of these groups received our                       ECi Cylinders Risk Analysis Process,’’                SNPRM; and August 28, 2015, SNPRM,
                                              response to the group’s comment.                        referred to herein as the ‘‘risk analysis’’;          given the public the opportunity to
                                                                                                         (2) A risk analysis using the Small                participate in developing this AD. The
                                              June 9, 2015—Meeting With National                                                                            public, as noted already, has
                                              Transportation Safety Board (NTSB)                      Airplane Risk Analysis (SARA) methods
                                                                                                      used by the FAA’s Small Airplane                      participated deeply in this rule making;
                                                 The NTSB, in its comments to our                     Directorate (SAD)—referenced in Docket                providing hundreds of comments.
                                              August 12, 2013, NPRM; January 8,                       No. FAA–2012–0002 as ‘‘SARA                              This final rule includes our responses
                                              2015, SNPRM; and in its Safety                          Worksheet Systems/Propulsion’’;                       to any previously unaddressed
                                              Recommendation A–12–07, did not                                                                               comments to the August 12, 2013,
                                                                                                         (3) A June 2011, presentation by AEC
                                              fully support our approach to resolving                                                                       NPRM and to the January 8, 2015,
                                                                                                      to the FAA concerning its ECi cylinder
                                              the unsafe condition that is the subject                                                                      SNPRM, that we may have left without
                                                                                                      assemblies;
                                              of this final rule. Therefore, we met with                                                                    response, and to the August 28, 2015,
                                                                                                         (4) A list of ECi cylinder assembly
                                              the NTSB on June 9, 2015 to understand                                                                        SNPRM.
                                                                                                      failure reports consisting of only those                 To organize comments and facilitate
                                              the technical basis for their
                                                                                                      reports where both cylinder serial                    their review, we again grouped like
                                              recommendation and their technical
                                                                                                      number and time in service are included               comments and responses. These
                                              objections to our proposed AD. At this
                                              meeting, we presented the NTSB the                      in the reports;                                       groupings in this final rule’s comments
                                              technical information upon which we                        (5) A list of additional failures of ECi           section are:
                                              based our AD as amended. Information                    cylinder assemblies reported by a                        (1) Comments to withdraw or revise
                                              that was reviewed included failure                      maintenance organization; and                         the SNPRMs for technical reasons—
                                              reports, the risk assessment by the                        (6) AEC Technical Report 1102–13,                  these comments, and the resulting
                                              FAA’s CSTA for Aircraft Safety                          dated April 30, 2011.                                 groupings, were similar to those we
                                              Analysis, FAA safety recommendations,                   August 28, 2015—2nd SNPRM                             used in responding to the August 12,
                                              and the data supporting our conclusion                                                                        2013, NPRM. They include, for
                                              that field inspections had an insufficient                 We published a second SNPRM in the                 example, requests to withdraw the
                                              probability of cylinder failure detection.              Federal Register on August 28, 2015 (80               SNPRM because the commenters claim
                                                 The NTSB noted in this meeting that                  FR 52212, referred to herein after as the             that ECi cylinder assemblies are not
                                              Safety Recommendation A–12–7, and                       ‘‘August 28, 2015, SNPRM’’). The                      unsafe; airplanes can operate safely with
                                              the NTSB’s comments to the August 12,                   August 28, 2015, SNPRM retained the                   a separated cylinder head; or the root
                                              2013, NPRM and the January 8, 2015,                     compliance requirements proposed by                   cause of cylinder failure is unknown.
                                              SNPRM, were based on the information                    the January 8, 2015, SNPRM. We                           (2) Comments to the FAA’s risk
                                              available to them at that time. The                     published the August 28, 2015, SNPRM                  assessment processes and policies—
                                              NTSB also indicated it would reassess                   to provide the public a final opportunity             these comments generally asserted that
                                              its recommendation and comments to                      to comment on the proposed AD and the                 the SNPRMs should be withdrawn
                                              our proposed rule based on the                          additional technical documentation we                 because the FAA had not appropriately
                                              presentations and the supporting data                   had added to the docket on June 23,                   followed its risk assessment processes
                                              that we had presented.                                  2015.                                                 and policies in determining that the
                                                                                                         Also, since many commenters had                    failure of ECi cylinder assemblies
                                              June 23, 2015—Additional Technical                      cited NTSB support for their positions,
                                              Documents Posted                                                                                              represents an unsafe condition.
                                                                                                      we wanted to clarify our rationale for                   (3) Comments to the FAA’s
                                                We received additional comments to                    disagreeing with the compliance actions               rulemaking processes—these comments
                                              our August 12, 2013, NPRM and our                       proposed by the NTSB in its Safety                    generally requested that the SNPRMs be
                                              January 8, 2015, SNPRM, requesting that                 Recommendation A–12–7, and the                        withdrawn, alleging that the FAA had
                                              we provide additional information that                  NTSB’s comments to the August 12,                     failed to follow its rulemaking processes
                                              supports this AD. Commenters also                       2013, NPRM and the January 8, 2015,                   and was adopting a rule that is
                                              requested that we identify the data that                SNPRM.                                                ‘‘arbitrary and capricious.’’
                                              we relied on in drafting this AD and to                    The NTSB did submit a final                           (4) Comments to the cost of
                                              explain why that data supported our                     comment to our August 28, 2015,                       compliance—these comments indicated
                                              conclusion that an unsafe condition                     SNPRM, that was posted to the docket                  that the cost of compliance to this AD
                                              exists. Based on these comments, we                     on November 23, 2015. In the NTSB’s                   was higher than the FAA has estimated
                                              concluded that further additional public                final comment, the NTSB indicated that                and will have a substantial effect on
                                              participation in our proposed AD was                    it now considers that our proposed                    small entities.
                                              appropriate. Specifically, we concluded                 compliance actions satisfy the intent of                 (5) Administrative comments—these
                                              that we would post to the docket the                    Safety Recommendation A–12–7. The                     were generally comments that did not
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                                              additional technical information                        information we covered with the NTSB,                 pertain to the substance of this AD, such
                                              responsive to the comments. So, on June                 including copies of FAA presentations                 as requests for names and phone
                                              23, 2015, we posted the additional                      to the NTSB, were subsequently posted                 numbers of FAA personnel involved in
                                              technical information to Docket No.                     to Docket No. FAA–2012–0002 (see                      this rulemaking.
                                              FAA–2012–0002 (see ADDRESSES section                    ADDRESSES section of this final rule for                 (6) Support for the SNPRMs—these
                                              of this final rule for information on                   information on locating the docket) on                were comments in support of issuing
                                              locating the docket). These documents                   April 6, 2016.                                        the SNPRMs.


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                                              52978            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              A. Comments To Withdraw or Revise the                      Response. We disagree. We correctly                manufacturer’s air-cooled aircraft
                                              SNPRMs for Technical Reasons                            stated that ECi has made increases in                 cylinders. The SNPRM failure modes do
                                                                                                      the dome transition radius through                    not include cracks between spark plug
                                              Request To Withdraw the SNPRMs
                                                                                                      cylinder serial number 33697, and has                 holes, valve seats, injector ports, etc.
                                              Because ECi Cylinder Assemblies Are
                                                                                                      made incremental increases in the head-               There is no doubt that the ‘‘hundreds of
                                              Not Unsafe
                                                                                                      to-barrel interference fit at least through           failures’’ referenced by the FAA were
                                                 Comment. Several organizations and                   cylinder serial number 61177 (see                     never researched to determine which
                                              individuals, commenting to the August                   Airmotive Engineering Technical Report                were of the SNPRM failure mode and
                                              12, 2013, NPRM, commented also to the                   1102–13) to address the two identified                which were of the ‘‘nuisance’’ variety.
                                              January 8, 2015, and August 28, 2015,                   inherent design deficiencies associated                  Response. We disagree. Our response
                                              SNPRMs, that the affected ECi cylinder                  with the effected cylinder assemblies.                in the January 8, 2015, SNRPM is not
                                              assemblies have an equivalent, or lower,                These changes are design changes. We                  misleading. On the contrary, under-
                                              failure rate than that of cylinder                      did not withdraw the August 28, 2015,                 reporting of cylinder assembly cracks in
                                              assemblies manufactured by the original                 SNPRM.                                                the SDR system further reinforces the
                                              equipment manufacturer (OEM). The                          Comment. RAM Aircraft commented                    need for this AD. Further, the FAA did
                                              commenters also indicated that there                    that when it submitted its December 9,                not include the SDR failure reports
                                              have been no failures of ECi cylinder                   2013, comment, it calculated the                      referred to by the commenter as of the
                                              assemblies in the last 3 years. These                   likelihood of a cylinder separation.                  ‘‘nuisance’’ variety in the list of
                                              commenters request the FAA withdraw                     RAM Aircraft indicated it provided a                  separations that were used to
                                              this AD because they believe that the                   significant amount of data that proves                substantiate the need for this AD. We
                                              ECi cylinder assemblies are not unsafe.                 that the likelihood of a cylinder                     did not base this AD on nuisance cracks
                                                 Response. We disagree. The rate of                   separation is ‘‘extremely remote.’’ RAM               in the affected cylinder assemblies. We
                                              separation for the affected ECi cylinder                commented that at that time their data                did not withdraw the August 28, 2015,
                                              assemblies is at least 32 times greater                 showed one cylinder separation for                    SNPRM.
                                              than that of OEM cylinder assemblies                    every: 21,808 multi-engine aircraft flight               Comment. One commenter stated that
                                              over the same period. Although there                    hours, or 172 average years of active                 the separated cylinders that were
                                              are approximately four times as many                    service; and 42,057 single engine                     determined to be the precipitating root
                                              OEM cylinder assemblies in service                      aircraft flight hours, or 455 average                 cause events for the two fatal accidents
                                              than ECi cylinder assemblies, the ECi                   years of active service. Further, that the            cited by the FAA in the January 8, 2015,
                                              cylinder assemblies suffered more                       fleet of aircraft using the cylinders                 SNPRM were overhauled cylinders, so
                                              cylinder head separations than OEM                      subject to the January 8, 2015, SNPRM                 they therefore should not be considered
                                              cylinder assemblies since 2004. This                    have continued to fly for an additional               in the determination as to whether or
                                              data is available for review in Docket                  14 months since December 9, 2013.                     not the proposed corrective action
                                              No. FAA–2012–0002 (see ADDRESSES                        RAM Aircraft indicated that there is no               should be implemented.
                                              section of this final rule for information              doubt that both the 21,808 multi-engine                  Response. We disagree. The ECi
                                              on locating the docket). In addition, we                aircraft flight hour number, and the                  cylinder heads, P/N AEC 65385, of the
                                              have continued to receive field reports                 42,057 single engine aircraft flight hour             separated cylinder assemblies that
                                              of failures of the affected cylinders in                number, would both be now much                        precipitated the two referenced fatal
                                              the past three years. We did not                        larger, thereby, further reducing the                 accidents were of the same type design
                                              withdraw the August 28, 2015, SNPRM.                    likelihood of a cylinder separation.                  and within the same affected cylinder
                                                 Comment. Commenters also                                Response. We disagree. RAM                         assembly serial number range as are
                                              questioned the validity of the data that                Aircraft’s data does not substantiate its             used in new ECi cylinder assemblies.
                                              the FAA used to justify the proposed                    claimed failure rate. Without knowing                 The cast and then machined aluminum
                                              AD.                                                     the total number of hours flown on all                cylinder head shrink band region has
                                                 Response. We interpret the comment                   affected cylinders, it is not possible to             the predominant features that define the
                                              as suggesting that the data used to                     accurately calculate an hours-based                   final interference fit of the overall
                                              justify the rule is not valid. We disagree.             failure rate. This data is not available for          cylinder assembly, not the steel barrel.
                                              We used warranty reports from ECi and                   general aviation aircraft. We, therefore,             This is further supported by the fact that
                                              RAM Aircraft, which is a major                          find RAM Aircraft’s estimate to be                    the design changes that ECi made to the
                                              overhauler of CMI engines, STC holder                   unreliable. We did not withdraw the                   interference fit were accomplished by
                                              for an increased horsepower version of                  August 28, 2015, SNPRM.                               modification of the cylinder head. We
                                              the affected model engine, and the                         Comment. RAM Aircraft also                         did not withdraw the August 28, 2015,
                                              largest user of the affected ECi                        indicated that a statement by the FAA                 SNPRM.
                                              cylinders. We also used service                         in the January 8, 2015, SNPRM                            Comment. Danbury Holdings
                                              difficulty reports (SDRs), and other field              regarding numbers of failures of affected             commented that the FAA should
                                              service reports regarding ECI cylinder                  cylinder assemblies was grossly                       withdraw the August 28, 2015 SNPRM
                                              separations. We did not withdraw the                    misleading. RAM Aircraft assumes that                 because the FAA failed to establish that
                                              August 28, 2015, SNPRM.                                 the FAA is referring to reports entered               the affected product, i.e., the ECi
                                                 Comment. The IPL Group LLC (IPL                      via the SDR system. RAM Aircraft                      cylinder assemblies, do not meet the
                                              Group) commented that the FAA has                       indicated that it has provided evidence               established minimum safety standards
                                              mischaracterized ‘‘quality                              in an earlier comment that not every                  established by 14 CFR part 33.
                                              enhancements’’ in production as                         piece of information in the SDR system                   Response. We disagree. The
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                                              ‘‘design changes.’’ IPL Group noted that                can be taken at face value. With respect              operational history of the affected ECi
                                              ECi had applied experience gained                       to this SNPRM, RAM suggested that it                  cylinder assemblies established that the
                                              during manufacturing, as well as                        is very important to distinguish between              affected ECi cylinder assemblies present
                                              through service feedback, to make                       the ‘‘SNPRM failure modes’’ (quotations               an unacceptable compromise to safety,
                                              quality improvements in production                      not in original comment) and other                    an unsafe condition, when installed in
                                              and the changes made to the design data                 types of ‘‘nuisance’’ cracks that are                 operating aircraft engines. We did not
                                              were not due to design deficiencies.                    common occurrences in all                             withdraw the August 28, 2015, SNPRM.


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                        52979

                                                 Comment. Danbury Holdings also                       cylinder, nor that doing so constitutes               disagree. The loss of one cylinder’s
                                              stated that the ‘‘same unsafe condition’’               safe operation of an engine. We did not               power would equate to approximately a
                                              that is addressed by this AD is present                 withdraw the August 28, 2015, SNPRM.                  17 to 20% reduction in engine
                                              in the cylinders of all manufacturers                      Comment. Danbury Aerospace                         horsepower output. Further, loss of a
                                              and that the FAA failed to consider                     commented that the docket contains                    cylinder at critical phases of flight, for
                                              similar failures of the OEM cylinders.                  evidence from RAM Aircraft that valid                 example, during climb-out where like
                                                 Response. We disagree. The affected                  and verifiable testing establishes that a             here, the failure is at increased
                                              ECi PMA cylinders have separated at a                   head-to-barrel separation results in less             probability of occurring, produces a
                                              significantly higher rate than the OEM                  than 20 percent power loss to the                     power loss sufficient to result in a 40%
                                              cylinders over the same service period                  engine.                                               reduction in airplane rate of climb. This
                                              since the ECi PMA cylinders entered                        Response. We disagree. The RAM                     would constitute a hazardous condition
                                              service. ECi itself identified two root                 Aircraft testing that is included in                  during a critical phase of flight like
                                              causes for the separations. See AEC                     Docket FAA–2012–0002 only quantified                  departure/climb. We did not withdraw
                                              Technical Report 1102–13 in Docket No.                  the horsepower output per cylinder. The               the August 28, 2015, SNPRM.
                                              FAA–2012–0002 (see ADDRESSES section                    RAM Aircraft testing was of an                           Comment. RAM Aircraft suggested
                                              of this final rule for information on                   uninstalled engine in a test cell and                 that this minor power loss would be
                                              locating the docket) which recommends                   RAM Aircraft did not attempt to assess                classified as a ‘‘minor hazard,’’ based on
                                              withdrawal from service of the affected                 the impact of reduced engine                          guidance from the FAA’s ‘‘Policy
                                              ECi cylinders. We compared the number                   horsepower output on airplane level                   Statement on Risk Assessment for
                                              of separations of these affected ECi PMA                performance. We estimate that a 20%                   Reciprocating Engine Airworthiness
                                              cylinders to the number of OEM                          reduction in engine horsepower on a                   Directives’’ (PS–ANE100–1999–00006).
                                              separations over the same service                       single-engine airplane results in a nearly            According to the FAA policy statement,
                                              period, since the ECi PMA cylinders                     40% reduction in aircraft rate of climb,              minor hazards are candidates for AD
                                              entered service in meaningful numbers.                  which is a hazardous condition. It is                 action only when the probability of the
                                              Over the same period of time the                        also a potentially hazardous condition                event is very high.
                                              affected ECi PMA cylinders and OEM                      for twin-engine airplanes due to the                     Response. We disagree. FAA policy
                                              cylinders were in service, the ECi                      resultant asymmetric thrust condition.                classifies service problems that do not
                                              cylinders experienced eight times the                   We did not withdraw the August 28,                    result in a significant power loss, such
                                              number of OEM separations, even                         2015, SNPRM.                                          as a partial power loss, rough running,
                                              though only one-quarter as many ECI                        Comment. Danbury Aerospace                         pre-ignition, backfire, single magneto
                                              cylinders were in service as the OEM’s.                 indicated that FAA guidance material                  failures, as ‘‘minor.’’ We found that
                                              Further, the SDR database does not                      does not define this condition as                     cylinder separations results in a 17 to
                                              reveal similar separation rates or similar              ‘‘hazardous’’ in the certification process.           20% reduction in engine horsepower
                                              failure modes for OEM cylinders.                           Response. We interpret the comment                 output results in an approximately 40%
                                              Therefore, we have no reason to regard                  to be that the FAA has no definition of               reduction in airplane excess power,
                                              the OEM cylinder assemblies as subject                  hazardous event that includes loss of                 which translates into a 40% reduction
                                              to the same or similar unsafe condition.                one cylinder in a six-cylinder engine,                in airplane rate of climb. This
                                              We did not withdraw the August 28,                      within the engine certification                       constitutes a hazardous condition that is
                                              2015, SNPRM.                                            regulations (14 CFR part 33). We agree.               not a ‘‘minor hazard.’’ We did not
                                                                                                      The certification process does not define             change this AD based on this comment.
                                              Request To Withdraw the SNPRMs                          ‘‘hazardous events.’’ The FAA                            Comment. RAM Aircraft commented
                                              Because Airplanes Can Operate Safely                    establishes through the engine                        that Appendix VI of the SAD
                                              With a Separated Cylinder Head                          certification process the minimum                     Airworthiness Directives Manual
                                                 Comment. Several commenters                          standards that an engine needs to meet                Supplement includes examples of
                                              indicated that we should not issue this                 to be considered airworthy. For                       conditions that potentially have a
                                              AD because airplanes can continue to                    example, § 33.19 establishes durability               ‘‘minor’’ affect. The loss of one engine
                                              operate safely even after a cylinder head               standards that are designed to minimize               (multi-engine aircraft) is listed as a
                                              separation.                                             the development of an unsafe condition                condition with a ‘‘minor’’ effect. Given
                                                 Response. We disagree. An in-flight                  between overhaul periods. These                       the ‘‘minor’’ effect of the loss of one
                                              cylinder head separation is an unsafe                   minimum safety standards must also be                 engine and the likelihood of the
                                              condition that presents multiple                        met by PMA parts, either through                      cylinder separation being extremely
                                              secondary effects. For example, in-flight               establishing identicality or through test             remote, then this AD should not be
                                              fire and loss of aircraft control. Accident             and computation. FAA Policy PS–                       issued against multi-engine aircraft.
                                              data confirms that separated cylinders                  ANE100–1997–00001, provides                              Response. We disagree. By comparing
                                              have also been a precipitating event in                 guidance for the certification of PMA                 the risk analysis computed by the CSTA
                                              fatal accidents. Therefore, the safety                  applications for reciprocating engine                 for Aircraft Safety Analysis with either
                                              consequences represented by a cylinder                  critical, highly stressed or complex                  the Small Airplane Risk Analysis
                                              head separation in flight are significant,              parts, including, but not limited to                  guidelines used by the SAD or the
                                              and represent an unsafe condition                       crankshafts and cylinder heads. We did                Engine and Propeller Directorate (E&PD)
                                              appropriate for an AD. We did not                       not withdraw the August 28, 2015,                     Continued Airworthiness Assessment
                                              withdraw the August 28, 2015, SNPRM.                    SNPRM.                                                Process (CAAP) Handbook guidelines,
                                                 Comment. Several commenters added                       Comment. RAM Aircraft commented                    demonstrates that an AD is needed for
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                                              that airplane engines are designed and                  that it has run tests that substantiate and           both single and twin-engine aircraft. We
                                              certified to safely operate with one                    document the power loss as a ‘‘minor                  did not withdraw the August 28, 2015,
                                              failed cylinder.                                        power loss’’ in the event of a cylinder               SNPRM.
                                                 Response. We disagree. Applicants                    separation.                                              Comment. RAM Aircraft commented
                                              are not required to show that their                        Response. We interpret the comment                 that they are not aware of any
                                              engines are designed to operate with                    to be that any power loss from cylinder               substantiated fact of a ‘‘fire,’’ or any
                                              one cylinder failed or with a separated                 head separation is only minor. We                     other significant consequence of a


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                                              52980            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              cylinder head separation. Further, RAM                  Directorate Identifier 2008–NE–01–AD,                 operation following a cylinder
                                              Aircraft noted that in its May 12, 2014,                dated September 25, 2009’’). We did not               separation or following any other engine
                                              comment, it had documented the                          withdraw the August 28, 2015, SNPRM.                  structural failure. Section 33.43(d),
                                              research it had done to refute the                         Comment. Danbury Holdings                          addressing the engine vibration survey
                                              ‘‘rumor’’ of a fire resulting from a                    commented that the FAA had not                        of § 33.43(a), requires assessment of
                                              cylinder head separation of an ECi                      provided any information to                           crankshaft vibration for an engine that
                                              cylinder.                                               substantiate the FAA’s position that                  has one cylinder that ‘‘is not firing.’’ We
                                                 Response. We disagree. RAM Aircraft                  cylinder separations have a                           require vibration testing with a critical
                                              itself submitted data to the FAA                        ‘‘significant’’ effect on airplane safety or
                                                                                                                                                            cylinder inoperative because it is a
                                              indicating that a fire could occur from                 that cylinder separations would result
                                                                                                                                                            failure condition where stresses may
                                              cylinder head separation. FAA                           in a fire.
                                              requested to see that information. FAA’s                   Response. We disagree. The impact of               exceed the endurance limit of the
                                              subsequent visit to RAM Aircraft                        a cylinder separation in-flight is an                 crankshaft material. We need to know
                                              confirmed that a failed cylinder caused                 unacceptable compromise to safety. To                 the speed ranges where the excessive
                                              an in-flight fire on a Cessna 414                       clarify this point, we changed the AD to              stresses occur so operational
                                              airplane. We did not withdraw the                       use ‘‘unacceptable.’’ We disagree that                information may be provided to flight
                                              August 28, 2015, SNPRM.                                 cylinder head separations might not                   crews so they can avoid these speed
                                                 Comment. Danbury Aerospace cited                     result in fire. Cylinder separations can              ranges when a cylinder is inoperative.
                                              FAA documents that indicate that the                    result in engine failure and/or fire. As              We did not withdraw the August 28,
                                              design of an aircraft engine, for                       an example, on November 29, 1987, a                   2015, SNPRM.
                                              reciprocating engines, should                           Piper PA–46 airplane experienced a
                                              incorporate mitigating features. For                    cylinder head separation followed by an               Request To Withdraw the SNPRMs
                                              example, Danbury quoted SAD                             in-flight fire. We did not withdraw the               Because Root Cause of Cylinder Failure
                                              Standards Staff (ACE–110)                               August 28, 2015, SNPRM.                               Is Unknown
                                              Memorandum, dated May 6, 1986, and                         Comment. Danbury Holdings also
                                                                                                                                                               Comment. Several commenters
                                              an E&PD Standards Staff (ANE–110)                       stated that the FAA did not issue a
                                                                                                                                                            indicated that the FAA has failed to
                                              memorandum, dated May 24, 1997.                         similar AD against the OEM cylinder
                                                 Response. We agree. However, the                     assemblies because the OEM                            identify the root cause(s) of cylinder
                                              regulatory requirement for a designer to                manufactured more such cylinder                       head separations.
                                              mitigate a possible reciprocating engine                assemblies.                                              Response. We disagree. We have
                                              failure prior to certification is different                Response. We disagree. The FAA did                 identified the root cause of cylinder
                                              than correcting an unsafe condition                     not mandate actions similar to those                  failure as design deficiencies inherent in
                                              found to exist after certification. This                specified in this AD against the OEM                  the affected ECi cylinder assemblies.
                                              AD addresses an unsafe condition—                       cylinders because the OEM cylinders do                These ECi cylinder assemblies have two
                                              cylinder head separation, found after                   not have the inherent design                          inherent design deficiencies:
                                              certification. A regulatory requirement                 deficiencies that the ECi PMA cylinders               Insufficient dome radius and
                                              to mitigate in the aircraft design an                   have. Also, the service history of the                insufficient head-to-barrel interference
                                              engine failure is not the subject of this               OEM cylinders indicates that the OEM                  fit. These design deficiencies are
                                              AD. We did not withdraw the August                      separation rate is approximately 32                   identified in AEC Technical Report
                                              28, 2015, SNPRM.                                        times lower than the ECi cylinders. We                1102–13, dated April 30, 2011, that we
                                                 Comment. IPL Group commented that                    did not withdraw the August 28, 2015,                 posted to Docket No. FAA–2012–0002
                                              we were misusing the term                               SNPRM.                                                (see ADDRESSES section of this final rule
                                              ‘‘catastrophic’’ when describing the                       Comment. Danbury Holdings further
                                                                                                                                                            for information on locating the docket).
                                              effects of potential cylinder failures.                 commented that ADs are never justified
                                                 Response. We disagree. As to the use                                                                       We did not withdraw the SNPRMs.
                                                                                                      for any cylinder manufacturer.
                                              of ‘‘catastrophic,’’ we did not use the                    Response. We interpret the comment                    Comment. Danbury Aerospace
                                              term in the August 12, 2013, NPRM, the                  as suggesting that we should not issue                commented that root cause analysis is
                                              two SNPRMs, or in this final rule AD.                   an AD when engine design deficiencies                 absolutely essential to determining
                                              We did not change the August 28, 2015,                  related to cylinders are found. We                    compliance with regulations and if an
                                              SNPRM based on this comment.                            disagree. Cylinders are engine parts                  unsafe condition has been created.
                                                 Comment. IPL Group argued that a                     whose structural failure can result in a              Therefore the agency has not properly
                                              cylinder head separation does not cause                 degradation to or total loss of, engine               identified the unsafe condition.
                                              an unsafe event and that there is ‘‘zero                power output, and loss of control of an                  Response. We disagree. We identified
                                              evidence’’ in Docket No. FAA–2012–                      airplane. Cylinder separations aloft can              the unsafe condition in the engine:
                                              0002 to support the showing that a                      also cause an in-flight fire. We will
                                                                                                                                                            Cylinder head separation. The purpose
                                              failed cylinder causes an unsafe                        exercise our regulatory arm to issue ADs
                                              condition.                                                                                                    of this AD is to correct that unsafe
                                                                                                      when we determine doing so is
                                                 Response. We disagree. Cylinder                                                                            condition. We also identified that
                                                                                                      necessary to resolve an unsafe condition
                                              separations can cause partial or                                                                              cylinder head separations are due to at
                                                                                                      in a product. We did not withdraw the
                                              complete engine failure which can                       August 28, 2015, SNPRM.                               least two inherent design deficiencies.
                                              cause a subsequent loss of power and                       Comment. Danbury Aerospace                         All cylinders prior to S/N 33697 have
                                              control of the airplane. Loss of control                commented that 14 CFR part 33.43                      insufficient dome transition radius, and
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                                              of the airplane may result in the loss of               requires assessment of crankshaft                     all cylinders prior to S/N 61177
                                              the airplane and injuries or death.                     vibration for one cylinder not firing                 insufficient head-to-barrel interference
                                              Additionally, we note the NTSB has                      because the condition is not an engine                fit. ECi characterized both of these as
                                              stated that cylinder head separations                   failure event condition.                              ‘‘inherent design deficiencies’’ in its
                                              could result in a loss of control of the                   Response. We disagree. As we noted                 AEC Technical Report 1102–13. We did
                                              airplane (see NTSB’s comment to                         in our January 8, 2015, SNPRM, 14 CFR                 not withdraw the August 28, 2015,
                                              ‘‘Docket No FAA–2008–0052;                              part 33 does not require continued safe               SNPRM.


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                         52981

                                              Request To Withdraw the SNPRMs                          maintenance. Also, cylinder removal                   Request To Revise Applicability
                                              Because Pilot Error Is Causing Cylinder                 and replacement is a maintenance                         Comment. Danbury Holdings
                                              Head Separations                                        action addressed in engine maintenance                commented that the FAA has no
                                                 Comment. Danbury Aerospace and                       manuals. We did not withdraw the                      evidence that all cylinders through S/N
                                              Danbury Holdings commented that                         SNPRMs.                                               61176 are at risk for separation in the
                                              cylinder head separations involving the                 Request To Justify 80-Hour Removal                    first thread due to insufficient head-to-
                                              ECi cylinder assemblies affected by this                Requirement for Overhauled Cylinder                   barrel interference fit.
                                              AD were caused by excessive CHTs,                       Assemblies                                               Response. We disagree. The SDR
                                              presumably caused pilot error, rather                                                                         database and other field reports
                                              than by design deficiencies of the                         Comment. Danbury Aerospace and                     document instances of first-thread
                                              cylinder assemblies.                                    Danbury Holdings requested that the                   failures of cylinders manufactured to
                                                 One operator observed that operators                 FAA provide evidence (including                       design data applicable to all cylinders
                                              who use the ECi cylinder assemblies                     engineering analysis) supporting its                  prior to S/N 61177. For this reason, all
                                              and operate them within limits and with                 conclusion that overhauled cylinder                   cylinders through S/N 61176 are subject
                                              good instrumentation are not having                     assemblies should be removed within                   to the corrective actions of this AD. We
                                              issues. This operator noted that                        80 hours after the effective date.                    did not change this AD based on this
                                              everyone, with the exception of the                                                                           comment.
                                                                                                         Response. We interpret the comment
                                              FAA, believes that overheating beyond                                                                            Comment. One commenter stated that
                                                                                                      to be that the commenters disagree that
                                              CHT limits by operators has a direct                                                                          he has an O–470 engine converted by P.
                                                                                                      the phased removal plan required by                   Ponk Aviation to the equivalent of an
                                              effect on cylinder head separation.
                                                 Response. We disagree. Although                      this AD is appropriate. We disagree.                  O–520 engine. He indicated that those
                                              pilot error may cause excessive CHT, we                 This AD mandates a phased removal of                  engines should not be affected by this
                                              have no data to suggest it is the cause                 affected cylinders with the intent to                 AD.
                                              of the unsafe condition that is the                     retire all affected cylinders by initial                 Response. We disagree. The affected
                                              subject of this AD. If pilot error results              TBO. The FAA recognizes that some                     S/N cylinders are installed on –470
                                              in excessive CHT, which leads to                        cylinders in service may already have                 engines, as well as the –520 and –550
                                              cylinder head separation, then we                       exceeded their initial TBO. Metal                     engine models. Any engine that uses
                                              would expect to see similar damage in                   fatigue damage is cumulative, and the                 one of these affected cylinders is at risk.
                                              engines with other than ECi cylinder                    longer a cylinder head remains in                     We have received at least one report of
                                              assemblies installed where the pilots                   service, the more likely it will fail due             a separation of these affected S/N
                                              exceeded the same limitation(s).                        to one of the inherent design                         cylinders on –470 engines. Although the
                                              However, we do not have any such data.                  deficiencies. Overhauled cylinders have               unmodified –470 engines have lower
                                              Also, we have no evidence that either                   likely experienced more load and                      engine horsepower output, their brake
                                              intentional or inadvertent exceedance of                temperature cycles than lower time                    mean effective pressure (BMEP) is
                                              CHT limits has caused cylinder                          cylinders and the total time in service               actually higher than that of the –520 and
                                              separation. Further ECi identified                      since new of overhauled cylinders often               –550 engines. BMEP is proportional to
                                              several design deficiencies in AEC                      cannot be determined. Our                             the ratio of horsepower per cubic inch
                                              Technical Report 1102–13, dated April                   determination of 80 hours is supported                of displacement. Therefore, the actual
                                              30, 2011.We did not withdraw the                        by our Challenge Team’s findings and                  operating stresses in the same cylinder
                                              SNPRMs.                                                 our risk analysis that we uploaded to                 wall are even higher when these same
                                                                                                      FAA Docket No. FAA–2012–0002 (see                     cylinders are installed in an unmodified
                                              Request To Withdraw the SNPRMs
                                                                                                      ADDRESSES section of this final rule for              –470 engines than it would be for either
                                              Because of the Risk of Maintenance
                                                                                                      information on locating the docket). We               the –520 or the –550 engines. The P.
                                              Errors
                                                                                                      did not change this AD based on this                  Ponk Aviation STC increases the
                                                Comment. Several commenters                           comment.                                              displacement of the unmodified –470
                                              commented that the FAA should                                                                                 engine to –520 cubic inches by
                                                                                                         Comment. Danbury Aerospace and
                                              withdraw the SNPRMs because the                                                                               installing the –520 cylinders on the
                                                                                                      Danbury Holdings also stated that the
                                              removal and replacement of affected                                                                           –470 engine. Given that no valid
                                                                                                      FAA had not substantiated that the
                                              cylinder assemblies before time between                                                                       sensitivity analysis exists showing the
                                                                                                      overhaul of a cylinder does not reduce
                                              overhaul (TBO) would result in                                                                                relationship of BMEP to fatigue life of
                                                                                                      the existing fatigue damage that a
                                              maintenance errors that would                                                                                 these cylinders, and since the crack
                                                                                                      cylinder may have incurred while in
                                              adversely affect safety. For example, IPL                                                                     propagation rate is also unknown, we
                                                                                                      service.
                                              Group indicated that replacement of the                                                                       have included all the –470 engines,
                                              cylinder assemblies would likely result                    Response. We disagree. Fatigue                     including those modified by the P. Ponk
                                              in events of main bearings losing clamp-                strength of metal alloys operated at high             Aviation STC, in the effectivity of this
                                              up and turning, resulting in cylinder                   temperatures continuously decreases                   AD. We did not change this AD based
                                              through-bolt and flange stud failures,                  with cycles until failure. This is                    on this comment.
                                              which would likely result in total                      particularly true for aluminum alloys,
                                              engine failure.                                         including the aluminum alloy used to                  Request To Adopt Less Stringent
                                                Response. We disagree. Our                            cast cylinder heads. Metallic structural              Compliance Requirements
                                              regulatory framework presumes that                      elements that are operated at high                       Comment. AOPA, RAM Aircraft, as
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                                              maintenance will be performed                           temperatures are more susceptible to                  well as operators and private citizens,
                                              correctly by experienced personnel                      time dependent fatigue. The overhaul of               requested that we adopt less stringent
                                              authorized by the FAA to return aircraft                a cylinder assembly does not reverse the              requirements than those in the proposed
                                              to service in an airworthy condition.                   fatigue damage that had been previously               AD. The commenters indicated that the
                                              Further, we have not observed any                       accumulated in the aluminum cylinder                  affected cylinder assemblies should be
                                              negative effects on safety due to removal               head casting. We did not change the AD                inspected at regular intervals, but
                                              of these cylinder assemblies during                     based on this comment.                                removed at TBO. For example, one


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                                              52982            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              commenter suggested recurring                           manifold pressure and 310 horsepower                  separated cylinders (for example, see
                                              inspections every 60 hours. Several                     will produce less stress on a cylinder                SDR Report 2010FA0000179) that
                                              commenters cited the NTSB in support                    head than a TSIO–520–NB engine that                   recently passed the compression test/
                                              of its recommendation. RAM Aircraft                     is allowed 41 inches of manifold                      soap inspections. We did not change
                                              commented that the FAA may be                           pressure and 325 horsepower, as                       this AD based on this comment.
                                              jumping to conclusions by eliminating                   installed on a Cessna 414 airplane.                      Comment. One commenter
                                              these inspections. RAM Aircraft noted                      Response. We disagree. Service                     commented that, based on his
                                              that the failure of a compression/soap                  history indicates that the affected                   experience, ECi has an aluminum head
                                              test to detect a particular crack in a                  cylinder assemblies have cracked on                   cracking issue and that these cylinders
                                              cylinder assembly on several occasions                  –470, –520, and –550 engine models.                   seem to crack more than CMI cylinders.
                                              does not mean that the test will fail to                The AD, therefore, applies to all affected            The commenter further indicated that
                                              detect cracked cylinders on most                        CMI –470, –520 and –550 engine                        he believed the number of cylinder
                                              occasions. By their very nature and                     models. We have no engineering                        failures is underreported in the SDR
                                              design compromises, i.e., steel barrels to              analysis or test data to justify varying              database. The commenter further noted
                                              contain the forces of combustion                        compliance times by engine model or                   that in his 30 plus years of aircraft
                                              combined with lighter cylinder head                     applying the corrective actions of this               maintenance experience, he has never
                                              alloys to reduce weight so that aircraft                AD to only the higher power engines.                  seen a cylinder failure rate this high.
                                              engines have commercial viability and                   We did not change this AD based on                    The commenter welcomed an AD that
                                              value, and the harsh conditions,                        this comment.                                         requires these cylinders to be inspected
                                              altitudes, and temperatures in which                       Comment. Danbury Aerospace                         at around 100 hours and the reports of
                                              they operate, reciprocating aircraft                    observed that the average number of                   cracks sent to an FAA database.
                                              engine cylinders will inevitably crack.                 cylinder assemblies, P/N AEC 631397,                     Response. We note the comment. We
                                              RAM Aircraft indicated that there is no                 in the serial number range in the                     agree that the ECi failure rate is much
                                              question but that some cylinders are                    January 8, 2015, SNPRM that are still in              higher than the OEM failure rate over
                                              going to crack, and that therefore, they                operation have less than 500 hours left               the same field service period and that
                                              must be properly operated, maintained,                  to TBO. Danbury Aerospace indicated                   cylinder cracks are under-reported. For
                                              and inspected.                                          that the early removal of these cylinders             example, many of the RAM failures
                                                 Response. We disagree. Repetitive                    is not justified by a statistical analysis            listed in the docket were not reported
                                              inspections until TBO, as suggested by                  developed in accordance with the E&PD                 under the SDR system or as required by
                                              the commenters, do not adequately                       CAAP Handbook.                                        14 CFR 21.3. We did not change this AD
                                              address the unsafe condition in this                       Response. We disagree. We do not                   based on this comment.
                                              particular case. Repetitive inspections                 know the exact number of total hours                     Comment. RAM Aircraft commented
                                              would not detect cracks until they have                 TIS for each affected cylinder assembly.              that, based on its previous comments,
                                              already progressed completely across                    We have no data to support the claim                  the FAA should withdraw the SNPRMs.
                                              the cylinder head wall thickness.                       that the existing fleet of cylinder                   RAM Aircraft recommended that the
                                                 Several operators and mechanics have                 assemblies already has accumulated                    FAA consider education and requiring
                                              reported that they successfully passed                  1,200 or more hours TIS. Service history              inspections of all reciprocating airplane
                                              the compression/soap test with a                        also shows that most of the separations               engine cylinders on the terms and
                                              partially separated cylinder. Others                    occurred well before initial TBO.                     conditions the FAA determines to be
                                              have reported that they successfully                    Therefore, removal of the affected                    appropriate.
                                              passed the compression/soap test and                    cylinder assemblies before TBO is                        Response. We disagree. Our analysis
                                              then experienced an in-flight separation                appropriate. We did not change this AD                indicates that an AD is required to
                                              before the next scheduled 50-hour                       based on this comment.                                resolve the unsafe condition presented
                                              inspection.                                                Comment. Danbury Holdings                          by installed affected ECi cylinder
                                                 Therefore, we conclude that these                    commented that the FAA had not                        assemblies. We did not withdraw the
                                              tests are not sufficiently reliable. Also,              provided evidence that there have been                SNPRMs based on this comment.
                                              engine overhaul is not a requirement for                separations within the originally                        Comment. One commenter suggested
                                              all operators. Therefore, tying the                     proposed 50-hour recurrent                            that users of a JPI or other engine
                                              proposed recurrent inspection to engine                 compression test/soap inspection                      monitoring system should be subject to
                                              overhaul would not resolve the unsafe                   interval.                                             a different compliance interval.
                                              condition. Based on its comment to the                     Response. We disagree. We received                    Response. We disagree. As noted
                                              August 28, 2015, SNPRM, we know that                    several field reports of cylinder                     previously, the root cause of these
                                              the NTSB now considers this rule                        separations occurring within 50 hours of              cylinder failures are design deficiencies.
                                              consistent with the rationale they have                 passing either the originally proposed                The affected cylinders may fail without
                                              provided in the past in support of NTSB                 50-hour recurrent compression test/soap               overtemping. Therefore, use of an
                                              Safety Recommendation A–12–7                            inspection in the August 12, 2013,                    engine monitoring system like JPI would
                                              regarding these affected cylinder                       NPRM. SDR report No. SQP2011F00000                    be insufficient to detect the unsafe
                                              assemblies (Reference NTSB Comment                      was submitted by a part 135 operator                  condition. We did not change this AD
                                              FAA–2012–0002–0653, dated                               who operated a Cessna T210N with an                   based on this comment.
                                              September 24, 2015 in Docket FAA–                       affected ECi cylinder assembly installed.
                                              2012–0002). We did not change this AD                   The operator reported that on                         Request To Use Mandatory Service
                                              based on this comment.                                  September 9, 2011, that affected ECI                  Bulletin Instead of This AD
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                                                 Comment. One commenter indicated                     cylinder head separated at the 5th                      Comment. One commenter requested
                                              it was incorrect to apply the same                      cooling fin on-head. At the time of the               that the FAA use a mandatory service
                                              requirement to remove the cylinders at                  failure, the engine and failed cylinder               bulletin instead of this AD to implement
                                              specified intervals to different CMI                    had 817.6 hours time since overhaul/                  corrective action.
                                              engine models. He noted, for example,                   time since new, and its last compression                Response. We disagree. Requiring a
                                              that the TSIO–520–J engine that is                      check inspection was at 19.2 hrs. prior.              manufacturer to issue a mandatory
                                              allowed to produce 36 inches of                         Other field reports also document                     service bulletin is outside the scope of


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                        52983

                                              the FAA’s authority. We did not change                  frequency of occurrence or likelihood of              this AD and the official reports of the
                                              this AD based on this comment.                          occurrence (failure rate) for that specific           two fatal accidents that the FAA
                                                                                                      adverse event. Each of these factors is               references.
                                              B. Comments to the FAA’s Risk                                                                                    Response. We disagree. Reports by the
                                                                                                      assessed independent of the other and
                                              Assessment Processes and Polices                                                                              Bahamas Department of Civil Aviation
                                                                                                      then entered as separate inputs into a
                                              Request That the FAA Follow Its Own                     risk matrix that yields an overall level              and the NTSB establish that these
                                              Risk Assessment Policies and Guidance                   of risk for the event.                                accidents in the Bahamas and in
                                                                                                         We performed the risk assessment                   Swanzey, New Hampshire involved
                                                 Comment. Multiple commenters,
                                                                                                      required by FAA Order 8040.4A and                     separated ECi cylinders (see Report
                                              including Danbury Aerospace, Danbury
                                                                                                      concluded that this AD was necessary.                 AAIPU# A10–01312 and NTSB
                                              Holdings, and the Aeronautical Repair
                                                                                                      Therefore, our August 12, 2013, NPRM,                 Accident Report No. NYC02FA178,
                                              Station Association (ARSA) commented
                                                                                                      as revised by the January 8, 2015                     respectively). We have determined that
                                              that the FAA did not follow its own risk                                                                      the separation of the affected ECi
                                                                                                      SNPRM, and as republished on August
                                              assessment policies and guidance, such                  28, 2015, are consistent with FAA Order               cylinder assemblies represents an
                                              as FAA Order 8110.107A, Monitor                         8040.4A, FAA Order 8110.107A, and                     unsafe condition. We are not required to
                                              Safety/Analyze Data (MSAD), dated                       the CAAP Handbook. We did not                         establish any further connection with
                                              October 1, 2012, and FAA Order                          change this AD based on this comment.                 these accidents. We did not change this
                                              8040.4A, Safety Risk Management                            Comment. Commenters, including                     AD based on this comment.
                                              Policy, dated April 30, 2012, and the                   Danbury Holdings, commented that the                     Comment. Danbury Holdings added
                                              E&PD CAAP Handbook, dated                               FAA should not have included the                      that the FAA should not have included
                                              September 23, 2010.                                     failure rate of the affected ECi cylinders            the fatal accident in the Bahamas in the
                                                 Response. We interpret this comment                  in the FAA risk assessments that were                 FAA’s risk assessments because the
                                              as a comment that we failed to follow                   used to substantiate the need for the                 NTSB full narrative for that accident
                                              FAA Order 8110.107A, FAA Order                          corrective actions in this AD. Danbury                (ERA11WA008) made no mention of a
                                              8040.4A, and the CAAP Handbook. We                      Holdings indicated that the failure rate              cylinder separation.
                                              disagree. We performed the process as                   is irrelevant to the unsafe condition.                   Response. We interpret the comment
                                              required by FAA Order 8110.107A,                           Response. We disagree. We did not                  as the fatal accident in the Bahamas is
                                              Monitor Safety/Analyze Data (MSAD),                     use the failure rate in the risk analysis,            not relevant to this AD. We disagree. As
                                              dated October 1, 2012, to analyze data                  however, we used the number of                        noted in the previous comment
                                              and determine corrective action for                     reported failures. A risk analysis                    response, we have determined that the
                                              continued operational safety issues. We                 involves using past data; both successful             separation of the affected ECi cylinder
                                              acquired the failure event data from the                operation as well as failures (including              assemblies, as occurred in the accident
                                              MSAD, SDR, NTSB databases, ECi, and                     cracks), to develop a relationship                    in the Bahamas, represents an unsafe
                                              outside sources. We conducted a hazard                  between part parameters, including age                condition. We did not change this AD.
                                              criteria analysis where we filtered the                 and usage, and risk of failure. Therefore,               Comment. Danbury Holdings also
                                              data to identify relevant events. We                    our use of failures was appropriate in                stated that the root cause of the other
                                              performed a qualitative preliminary risk                this risk analysis. We did not change                 fatal accident, the Swanzey, New
                                              assessment and determined that this                     this AD based on this comment.                        Hampshire, accident (see NTSB
                                              safety problem required corrective                         Comment. Danbury Aerospace                         Accident Report No. NYC02FA178) that
                                              action. We performed risk analyses in                   commented that the FAA ignored its                    the FAA included in its risk
                                              conjunction with the E&PD risk                          own standards for what constitutes an                 assessments was unsafe and improper
                                              assessment criteria. We identified that                 unsafe condition and therefore has                    operation of the airplane by the pilot not
                                              the ECi model separations have two                      failed to identify one.                               cylinder separation.
                                              inherent design deficiencies:                              Response. We disagree. The FAA                        Response. We disagree. As noted in
                                              Insufficient dome radius and                            followed its standard risk analysis                   the preceding comment discussion, we
                                              insufficient head-to-barrel interference                processes in determining that the unsafe              have determined that the separation of
                                              fit. Finally, we coordinated with our                   condition represented by the affected                 the affected ECi cylinder assemblies, as
                                              Corrective Action Review Board, which                   ECi cylinder assemblies exists. 14 CFR                occurred in the accident in Swanzey,
                                              determined and agreed to the proposed                   part 39 prescribes that we issue an AD                New Hampshire, represents an unsafe
                                              corrective action in our August 12,                     when an unsafe condition exists in a                  condition and is therefore relevant to
                                              2013, NPRM.                                             product and that condition is likely to               this AD. We did not change this AD
                                                 Later, as part of the Challenge Team’s               exist or develop in other products of the             based on this comment.
                                              meeting in September, 2014, the CSTA                    same type design. We did not change                      Comment. Danbury Aerospace added
                                              for Aircraft Safety performed a risk                    this AD based on this comment.                        that the accident in the Bahamas should
                                              analysis that confirmed the need for this                  Comment. Danbury Holdings                          not be included in the FAA’s risk
                                              AD and shaped its compliance plan. We                   commented that the basis for the FAA’s                analysis because: (1) It did not concern
                                              compared the results of the CSTA’s risk                 risk analysis is seriously flawed because             a U.S.-registered aircraft and therefore
                                              analysis to the guidelines used by the                  the unsafe condition must be the basis                cannot be used in this rulemaking; (2)
                                              SAD in its SARA and to the guidelines                   for the failure, not one unsubstantiated              loss of control and uncontrolled flight
                                              in the E&PD’s CAAP Handbook and                         fatality.                                             was cited as the cause; and (3) even if
                                              determined that an AD is required.                         Response. We disagree. The unsafe                  the accident could be included, it does
                                                 FAA Order 8040.4A requires a risk                    condition in the engine presented by the              not meet hazard level thresholds
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                                              assessment methodology as outlined in                   presence of affected ECi cylinders is the             required for rulemaking.
                                              the Order. FAA Order 8040.4A notes                      basis of this AD. We did not change this                 Response. The commenter presents
                                              that the safety risk is a composite of two              AD based on this comment.                             three comments, which have three parts.
                                              factors: The potential ‘‘severity’’ or                     Comment. Danbury Holdings further                  We disagree with all three parts. As to
                                              worst possible consequence(s) or                        commented that the FAA had failed to                  part one, the Bahamas accident involved
                                              outcome of an adverse event that is                     establish a connection between the                    a U.S.-type certificated product, an
                                              assumed to occur, and also the expected                 cylinder separation issue addressed by                engine with affected ECi cylinders


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                                              52984            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              installed. Therefore, the product is the                  Response. We disagree. The                             Response. We disagree. In comments
                                              proper subject of this AD. As to part                   supporting documents that Danbury                     to the August 12, 2013, NPRM some
                                              two, the accident involved an engine                    Holdings referred to, identified above,               commenters requested that we use the
                                              with an ECI cylinder separation, a                      support that the FAA followed its                     SARA to determine if an AD was
                                              failure of a part of the engine, during                 process and were used to help                         warranted. We used the SARA, and it
                                              flight. A cylinder separation during                    determine that an unsafe condition                    confirmed the need for an AD. We did
                                              flight represents an unsafe condition in                exists. We have also uploaded                         not change this AD based on this
                                              the engine. Therefore, our action in                    additional documents to Docket No.                    comment.
                                              issuing this AD is appropriate. As to the               FAA–2012–0002 on June 23, 2015 (see                      Comment. Danbury Holdings
                                              part three, the cylinder failure presented              ADDRESSES section of this final rule for              commented that RAM Aircraft had
                                              a hazard to the engine and an unsafe                    information on locating the docket).                  concluded, through its own risk
                                              condition, and therefore, meets the                       The risk analysis performed by the                  analysis, that ‘‘the probability of a
                                              threshold for an AD. The need for this                  FAA’s CSTA for Aircraft Safety                        cylinder separation is extremely
                                              AD was confirmed by comparing the                       Analysis, recommends removal and                      remote’’ and that ‘‘historical data and
                                              result of the risk analysis to the                      replacement of the affected ECi cylinder              information thus far evident leads to the
                                              guidelines in the SAD’s SARA and the                    assemblies as specified in this AD. The               conclusion that there has been no
                                              E&PD’s CAAP Handbook. We did not                        SARA applied to failures of ECi cylinder              physical discomfort to pilots or
                                              change this AD based on this comment.                   assemblies confirms that an AD is                     passengers and no damage to any
                                                                                                      necessary. AEC Technical Report 1102–                 aircraft as a result of the subject
                                              Request That the FAA Define                                                                                   cylinders.’’
                                              Guidelines Used To Define an Unsafe                     13 states that a root cause for the first
                                                                                                      thread separations was an inherent                       Response. We interpret the comment
                                              Condition                                                                                                     as two parts; first, that our risk
                                                                                                      design deficiency in the form of
                                                Comment. Danbury Holdings                             insufficient head-to-barrel design                    assessment reached a wrong conclusion,
                                              commented that the FAA had not                          interference fit. AEC Technical Report                and second, that a cylinder head
                                              defined the guidelines that it used to                                                                        separation does not result in any
                                                                                                      1102–13 recommended withdrawing
                                              establish the existence of an unsafe                                                                          discomfort to pilots or passengers, or
                                                                                                      these cylinder assemblies from service.
                                              condition.                                                                                                    damage to the aircraft. We disagree.
                                                Response. We interpret the comment                    We did not withdraw the August 28,
                                                                                                                                                            FAA Order 8040.4A, ‘‘Safety Risk
                                              to be a request to identify what guidance               2015, SNPRM.
                                                                                                                                                            Management Policy’’, dated April 30,
                                              defines an unsafe condition. The                          Comment. Danbury Holdings
                                                                                                                                                            2012, FAA Order 8110.107A, ‘‘Monitor
                                              comment therefore, is not to the                        commented that that the FAA’s risk
                                                                                                                                                            Safety/Analyze Data,’’ and the guidance
                                              technical merits of this AD, but a                      analyses and other technical                          in Engine & Propeller Directorate
                                              request for general guidance. As such, a                information were ‘‘flawed, improperly                 memorandum ‘‘Risk Assessment for
                                              response is unnecessary per the                         applied, and replete with                             Reciprocating Engine Airworthiness
                                              Administrative Procedures Act (APA),                    unsubstantiated conclusions.’’                        Directives,’’ PS–ANE–100–1999–00006,
                                              and we recommend that the commenter                       Response. The commenter failed to                   dated May 24, 1999, direct how we do
                                              seek his answer through a direct request                provide any examples of FAA technical                 a risk assessment.
                                              to the FAA Aircraft Certification Service               information that was flawed, improperly                  We analyze safety risk, per FAA Order
                                              or Flight Standards Division. We did not                applied, or replete with unsubstantiated              8040.4A, as a composite of two factors:
                                              change this AD based on this comment.                   conclusions. Without those details, we                The potential ‘‘severity’’ or worst
                                                                                                      are unable to consider the comment as                 possible consequence(s) or outcome of
                                              Request To Withdraw the August 28,                      having technical merit. Accordingly, we               an adverse event that is assumed to
                                              2015, SNPRM Because Supporting                          interpret the comment as a general                    occur, and also the ‘‘expected frequency
                                              Documents Do Not Support Issuing This                   objection to the need for the AD. We                  of occurrence’’ for that specific adverse
                                              AD                                                      disagree. Our Challenge Team applied                  event. FAA Order 8040.4A directs us to
                                                 Comment. Danbury Holdings                            the risk assessments by the FAA’s CSTA                assess both factors independently, then
                                              commented that the documents                            for Aircraft Safety Analysis, against the             enter each as separate inputs into a risk
                                              provided by the FAA in Docket No.                       SAD’s SARA guidelines and the E&PD’s                  matrix. The matrix yields an overall
                                              FAA–2012–0002 do not support                            CAAP guidelines and independently                     level of risk for the event. The overall
                                              issuance of this AD. The supporting                     concluded that an AD is required to                   risk is then categorized as either
                                              documents referred to by Danbury                        mitigate the unsafe condition presented               ‘‘Unacceptable Risk,’’ ‘‘Acceptable Risk
                                              Holdings are: (1) The risk analysis                     by installed affected ECi cylinder                    with Mitigation,’’ or ‘‘Acceptable Risk.’’
                                              conducted by the FAA’s CSTA for                         assemblies. We presented both risk                    The corrective action(s), if any, is driven
                                              Aircraft Safety Analysis; (2) a risk                    assessments in Docket No. FAA–2012–                   by the assessed overall risk. Table C–1
                                              analysis using the Small Airplane Risk                  0002 (see ADDRESSES section of this final             of Appendix C of FAA Order 8040.4A
                                              Analysis (SARA) methods; (3) a June                     rule for information on locating the                  defines five levels of severity and Table
                                              2011, presentation by Airmotive                         docket). We did not change this AD                    C–2 defines five levels of event
                                              Engineering to the FAA concerning its                   based on this comment.                                frequency that are used in the
                                              ECi cylinder assemblies; (4) a list of ECi                Comment. Danbury Holdings                           determination of composite risk.
                                              cylinder assembly failure reports                       commented that it found no relationship                  The FAA classification for the
                                              consisting of only those reports where                  between the risk analysis using SARA                  ‘‘severity’’ of an engine cylinder head
                                              both cylinder serial number and time in                 methods and any analysis or conclusion                separation event, per FAA Order
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                                              service are included in the reports; (5)                provided by the agency in this                        8040.4A, is ‘‘hazardous’’ for both single-
                                              a list of additional failures of ECi                    rulemaking. We interpret Danbury                      engine and light-twin airplanes for
                                              cylinder assemblies reported by a                       Holding’s comment as suggesting that                  several reasons. Cylinder head
                                              maintenance organization; and (6)                       no relationship exists between the risk               separations can significantly reduce the
                                              Airmotive Engineering Corporation                       analysis using SARA methods and any                   power of the airplane such that under
                                              Technical Report 1102–13, dated April                   analysis or conclusion provided by the                some conditions it may not be able to
                                              30, 2011.                                               agency in this rulemaking.                            safely takeoff and climb out. It could


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                       52985

                                              also create a dangerous asymmetric                      on and consistent with this overall risk              approximately 8 (comparative cylinder
                                              thrust condition for twin-engine                        assessment.                                           failure rate) × 4 (comparative production
                                              airplanes. If the separation occurs in                     We, therefore, disagree with claims by             rate), which showed an overall failure
                                              cruise flight, the airplane may have                    RAM Aircraft and other commenters                     rate 32 times higher for ECi cylinders.
                                              insufficient excess power to continue                   that a cylinder head separation will                     Since we first published that rate
                                              safe flight at any altitude. Cylinder head              have a negligible effect on airplane                  information, we subsequently learned of
                                              separations have also caused in-flight                  safety. Also, several documented in-                  more failures of affected ECi cylinders.
                                              fires. These are all unsafe conditions                  flight fires were precipitated by a                   Those additional failures would, if
                                              that warrant a ‘‘hazardous’’ severity                   cylinder head separation. We did not                  included, increase the ECi failure rate.
                                              level for risk assessment purposes.                     change this AD based on this comment.                 We did not update the failure rate to
                                                 Table C–2 in FAA Order 8040.4A                          Comment. Danbury Holdings also                     higher than 32 times that of the OEM’s
                                              defines ‘‘extremely improbable’’ as ‘‘So                commented that AEC Technical Report                   because it did not affect our decision
                                              unlikely that it is not expected to occur,              1102–13 was ‘‘disavowed’’ by AEC [now                 regarding this AD. We did not change
                                              but it is not impossible.’’ It defines                  CMI San Antonio] since it was obtained                this AD based on this comment.
                                              ‘‘extremely remote’’ as ‘‘Expected to                   under questionable circumstances and                     The FAA has also issued ADs against
                                              occur rarely.’’ It defines ‘‘Remote’’ as                has since been proven incorrect given                 other cylinder manufacturers, including
                                              ‘‘Expected to occur infrequently.’’ It                  its predictions did not come to fruition.             mandating early retirement of cylinders
                                              defines ‘‘probable’’ as ‘‘Expected to                      Response. We disagree. AEC                         to preclude cracking and separation. For
                                              occur often.’’ Finally, it defines                      originally provided the analysis to the               example, ADs 2014–05–29 and 2007–
                                                                                                      FAA when it was considering a service                 04–19R1 both apply to certain Superior
                                              ‘‘frequent’’ as ‘‘expected to occur
                                                                                                      bulletin for the affected ECi cylinder                Air Parts cylinder assemblies. We did
                                              routinely.’’
                                                                                                      assemblies. ECi requested the FAA                     not change this AD based on this
                                                 Service history failure reports indicate
                                                                                                      return or destroy ECi Technical Report                comment.
                                              that in a population of 43,000 cylinders,
                                                                                                      1102–13 after they learned the FAA was                   Comment. Danbury Holdings also
                                              that 1 of every 1,000 cylinders could                   considering an AD. We found the data                  commented that the FAA failed to place
                                              separate on average; either in the dome                 in this report useful in our                          all information in its purview into the
                                              radius or the first thread. A single-                   determination of an unsafe condition.                 docket and that the agency had failed to
                                              engine airplane has six of these                        We did not change this AD based on                    link its analyses to verifiable data.
                                              cylinders, so the actual risk of a                      this comment.                                            Response. We disagree. As previously
                                              separation of any one of those six                         Comment. Danbury Holdings                          noted, we have uploaded the relevant
                                              cylinders for any given airplane is 6/                  commented that the FAA has not                        documents used in the decision-making
                                              1,000: 1 of every 166 engines. Similarly,               substantiated that the affected ECi                   process of this AD in Docket No. FAA–
                                              a twin-engine airplane will have 12                     cylinder assemblies have separated at 32              2012–0002 (see ADDRESSES section of
                                              cylinders, so the risk of experiencing a                times the rate of the OEM cylinders.                  this final rule for information on
                                              separation of one cylinder on a twin-                   Danbury Holdings stated that the FAA                  locating the docket). Our analysis shows
                                              engine aircraft is twice that of a single               had not provided any supporting                       that the FAA’s actions are based on the
                                              engine, 12/1,000, 1 of every 83 twin-                   documentation to substantiate the                     data that we included in the docket. Our
                                              engine airplanes that use these model                   FAA’s estimate that the OEM has                       analysis is therefore linked to
                                              cylinders.                                              produced approximately 4 times as                     ‘‘verifiable data.’’ We did not change
                                                 Separation event under-reporting                     many cylinders as ECi did over the same               this AD based on this comment.
                                              occurs. This is evidenced by RAM                        period of time. Danbury Holdings                         Comment. Danbury Holdings
                                              Aircraft’s submittal of 23 additional                   further commented that that the FAA                   commented that the FAA had failed to
                                              reported failures of the subject ECi                    ignores separations of other cylinder                 provide any evidence that cylinder
                                              cylinders after the August 12, 2013                     manufacturers.                                        separations have resulted in engine
                                              NPRM was issued. Photos of these                           Response. We disagree. We uploaded                 failures, in-flight shutdowns, and/or
                                              failures are available in Docket No.                    supporting information, including                     loss of control of an airplane and that
                                              FAA–2012–0002 (see ADDRESSES section                    service history, to Docket No. FAA–                   the agency had included accidents that
                                              of this final rule for information on                   2012–0002 (see ADDRESSES section of                   were not the direct result of a cylinder
                                              locating the docket). The calculated                    this final rule for information on                    separation.
                                              separation rate, therefore, is likely                   locating the docket). We determined the                  Response. We disagree. A cylinder
                                              higher than what we used in our                         comparative failure rate of affected ECi              separating from its engine is an engine
                                              analysis. Also based on service                         cylinders to OEM cylinders through                    failure. We did not change this AD
                                              experience, we expect more ECi                          comparing the service history of ECi                  based on this comment.
                                              cylinder head separations in the future.                cylinders to the OEM’s since ECi                         Comment. RAM Aircraft commented
                                              Therefore, we concluded that the most                   received their PMA. That service history              that it assumes that the failures of ECi
                                              appropriate assessment for the                          shows that the affected ECi cylinders                 cylinder assemblies shown in the
                                              frequency of occurrence for these                       have had approximately eight times as                 supporting document titled ‘‘ECi AD—
                                              cylinder separations is ‘‘Remote C’’;                   many separations over the same period                 Additional Failures Reported by RAM
                                              ‘‘Expected to occur infrequently.’’                     of time as that of the OEM cylinders;                 Aircraft’’ are based on letters RAM
                                                 Figure C–1 of FAA Order 8040.4A is                   since ECi received its PMA. We                        Aircraft sent to the FAA in 2013. RAM
                                              a risk matrix that yields an overall risk               compared the affected ECi cylinder                    Aircraft, therefore, commented that this
                                              based on the severity classification and                production rates from ECi, to that of the             is not new information since the
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                                              the assessed frequency of occurrence.                   OEM since ECi received its PMA. From                  issuance of the January 8, 2015, SNPRM.
                                              Using the FAA severity classification of                ECi’s and the OEM’s production                        Also, of the 38 photographs of damaged
                                              ‘‘hazardous’’ and the FAA assessed                      information, we concluded that the                    cylinder assemblies, RAM Aircraft
                                              frequency of occurrence ‘‘Remote C’’,                   OEM has produced approximately four                   noted that only 23 failures actually
                                              yields an overall risk that is                          times as many cylinders as ECi since                  represent ECi cylinder assemblies.
                                              ‘‘unacceptable.’’ The corrective actions                ECi received its PMA. This yields a                      Response. We partially agree. First,
                                              required by this final rule AD are based                normalized failure rate that is                       we agree that the failed cylinder


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                                              52986            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              assemblies identified in the supporting                 cylinder assemblies, and                              failures, unlike ECi cylinder assembly
                                              document ‘‘ECi AD—Additional                            mischaracterized hazard levels in the                 failures, are not traceable to any specific
                                              Failures Reported by RAM Aircraft’’ do                  proposed ADs.                                         design or manufacturing anomaly. In
                                              not represent new information since the                    RAM Aircraft also commented that its               contrast, the ECi PMA cylinder
                                              issuance of the January 8, 2015, SNPRM.                 previous comments were dispositioned                  separations are traceable to design
                                              These failures are not represented in the               in general categories in the January 8,               deficiencies, which ECi itself identified
                                              SDR database but are consistent with                    2015, SNPRM. RAM Aircraft, however,                   in ECi Technical Report 1102–13. We
                                              our view that failures of these cylinder                does not believe that the specifics of its            did not find the ECi cylinder assembly
                                              assemblies are under-reported.                          comments were adequately or properly                  design deficiencies in cylinder
                                                 Second, we agree that some of the                    responded to, as required by the APA.                 assemblies produced by any other
                                              cylinder photographs uploaded to the                       Response. We disagree. The                         manufacturer. Further, ECi’s failure rate
                                              docket are not cylinder assemblies                      commenters failed to provide any                      is some 32 times greater than the OEM’s.
                                              affected by this AD. The FAA sent a                     examples of where we failed to comply                 We did not change this AD based on
                                              letter to RAM Aircraft specifically                     with the APA in our handling of                       this comment.
                                              requesting any information that RAM                     comments to the August 12, 2013,                         Comment. ARSA also indicated the
                                              Aircraft had relative to failures of ECi                NPRM, and by extension, the January 8,                rule is arbitrary and capricious because
                                              cylinder assemblies, P/N AEC 631397,                    2015, and August 25, 2015, SNPRMs.                    the FAA has failed to ‘‘examine the
                                              after we learned of possible failures that              We have in our responses to the NPRM                  relevant data and articulate a
                                              had not been reported as required by 14                 and the SNPRMs, and herein in this                    satisfactory explanation for its action
                                              CFR 21.3. RAM Aircraft responded to                     final rule, fully responded to all                    including a ‘rational connection
                                              this request with the photographs and                   comments, including those comments                    between the facts found and the choice
                                              data that we uploaded into Docket                       concerning our investigation of the                   made.’’ Further, ARSA cites the APA as
                                              FAA–2012–0002 (see ADDRESSES section                    unsafe condition, hazard levels, and                  requiring federal agencies to allow
                                              of this final rule for information on                   conclusions.                                          meaningful public participation in the
                                              locating the docket). These photographs                    We carefully considered all comments               rulemaking process and provide a
                                              did not have any effect on our decision                 we received. In our January 8, 2015,                  ‘‘statement of basis and purpose’’
                                              to issue this AD. We did not change this                SNPRM and August 28, 2015, SNPRM,                     justifying a rule’s issuance.’’ ARSA
                                                                                                      we responded to several hundred                       notes the obligation of the FAA to
                                              AD based on this comment.
                                                                                                      comments that we had received. Many                   demonstrate a sound factual basis for
                                              Request To Describe FAA’s Validation                    were substantively the same and,                      the issuance of a rule by specifically
                                              Process                                                 therefore, as previously discussed we                 disclosing to interested parties the
                                                 Comment. Danbury Holdings                            grouped them into several categories                  material upon which a prospective rule
                                              requested that the FAA provide a                        and answered the comments by                          would be fashioned.
                                              description of the validation process                   category. The commenters have not                        Response. We disagree. Beyond its
                                              that was used for each of the cylinder                  indicated what, if anything, is improper              generalized allegation, the commenter
                                              separations that the FAA used to                        about doing so nor how doing as we did                did not identify any examples of agency
                                              substantiate the need for this AD.                      might have violated the requirements of               shortcoming. We examined the relevant
                                                 Response. We interpret this comment                  the APA. In this final rule, we                       data, including the failure rate of the
                                              as a request for identification of how we               responded to all remaining comments.                  ECi assemblies, the ECi cylinder
                                              found out about the failures of ECi                     We again used categories to group and                 assembly design deficiencies, and the
                                              cylinder assemblies. We found out                       answer comments that were similar if                  consequences to the engine and airplane
                                              about the ECi cylinder assembly failures                not identical. As to improperly                       when an ECi cylinder assembly failed.
                                              from the FAA SDR database and                           recognizing affected ECi cylinder                     We reviewed and applied the applicable
                                              warranty information at ECi and RAM                     assemblies, we based our applicability                FAA Orders and policies.
                                                                                                      of this AD on the reports of failure                     The agency therefore, has articulated
                                              Aircraft, and failure reports from
                                                                                                      provided by ECi, the manufacturer, the                a satisfactory explanation for its action
                                              operators. Many of the operator SDR
                                                                                                      reports required by 14 CFR that form the              including a ‘‘rational connection
                                              reports contained detailed information
                                                                                                      basis for the SDR, and the reports of the             between the facts found and the choice
                                              describing the nature and specific
                                                                                                      commenters themselves. We did not                     made.’’
                                              location of the separation. The findings                                                                         We provided the public several
                                              of ECi Technical Report 1102–13 agreed                  change this AD based on this comment.
                                                                                                                                                            opportunities to participate in this rule
                                              with the original failure reports. We did               Request To Withdraw the SNPRMs                        making; through extending the comment
                                              not change this AD based on this                        Because They Are Arbitrary and                        period and the two supplemental
                                              comment.                                                Capricious                                            notices with their comment periods. For
                                              C. Comments to the FAA’s Rulemaking                        Comment. Danbury Holdings and                      example, we first published an NPRM
                                              Processes                                               ARSA referred to the proposed rule as                 on August 12, 2013 (78 FR 48828), then
                                                                                                      ‘‘arbitrary and capricious’’ because it               published an extension of the comment
                                              Request To Follow the APA                                                                                     period on September 26, 2013 (78 FR
                                                                                                      does not apply equally to cylinder
                                                Comment. IPL Group, RAM Aircraft,                     assemblies manufactured by the OEM.                   59293) to allow the public additional
                                              and Danbury Holdings commented that                     Danbury Holdings observed that the                    time to comment on the proposed rule.
                                              the FAA had failed to follow the                        OEM’s cylinders also separate and that                We then issued a notice of availability
                                              requirements of the APA when it                         the FAA has singled out ECi with this                 of an initial regulatory flexibility
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                                              dispositioned previous comments to the                  AD action.                                            analysis on March 12, 2014 (79 FR
                                              August 12, 2013, NPRM, and the                             Response. We disagree. The FAA is                  13924). We reviewed the over 500
                                              January 8, 2015, SNPRM. IPL Group                       not mandating similar corrective actions              comments to the proposed rule that we
                                              indicated that the FAA had, for                         against the OEM’s cylinders because                   had received, determined that we
                                              example, summarily discounted                           OEM service history data is different.                needed to review how we proposed to
                                              previous comments, failed to conduct                    Our review of OEM service history                     address the unsafe condition, formed a
                                              appropriate investigations of the failed                indicates that OEM cylinder assembly                  team to review the technical basis of the


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                        52987

                                              proposed rule, the numerous public                      assemblies, but what information it                   for Advocacy for comment. We received
                                              comments, and the additional failure                    contains indicates the need for this AD.              no comments from the SBA.
                                              information provided by commenters to                   Moreover, the SDR database is only one
                                                                                                                                                            D. Comments to the Cost of This AD
                                              the NPRM. Through this team we                          tool in our decision-making process. We
                                              confirmed that an AD is needed to                       did not change this AD based on this                  Request To Revise and Provide
                                              correct the unsafe condition represented                comment.                                              Supporting Data for Number of Affected
                                              by the subject cylinder assemblies                        Comment. Several commenters                         Cylinder Assemblies and Engines
                                              installed in aircraft engines, but that we              commented that the FAA should                            Comment. Danbury Aerospace and
                                              could do so through a lengthier                         withdraw the January 8, 2015, SNPRM                   RAM Aircraft indicated that the FAA
                                              compliance interval. We published that                  because it unfairly targets ECi.                      has under-estimated the numbers of
                                              revised compliance interval in our                        Response. We disagree. This AD does                 airplanes and engines affected and up to
                                              January 8, 2015, SNPRM.                                 not ‘‘target’’ ECi, the PMA manufacturer
                                                 After publication of the January 8,                                                                        11,000 aircraft may be affected based on
                                                                                                      of the affected cylinder assemblies. The              the aircraft registry, or otherwise hasn’t
                                              2015, SNRPM, we issued the August 28,                   AD resolves an unsafe condition in a
                                              2015, SNPRM to allow us to explain the                                                                        provided the data it used to determine
                                                                                                      product. We did not change this AD                    the affected population of engines and
                                              rationale for this AD action. We also                   based on this comment.
                                              added several documents to Docket No.                                                                         cylinders.
                                              FAA–2012–0002 (see ADDRESSES section                    Request To Substantiate That This AD                     Response. We disagree in part. We do
                                              of this final rule for information on                   Does Not Affect Airplanes Operated by                 not agree that 11,000 aircraft may be
                                              locating the docket), including the risk                Federal or State Agencies                             affected by this AD, or that we haven’t
                                              analyses by our CSTA for Aircraft Safety                                                                      provided the data used to determine the
                                                                                                         Comment. Danbury Holdings                          affected populations. Not all aircraft and
                                              Analysis, and one using SARA methods,                   commented that the FAA had not
                                              and various technical documents that                                                                          engines on the aircraft registry use the
                                                                                                      provided documentation to substantiate                affected ECi cylinder assemblies.
                                              list failures of ECi cylinder assemblies.               that no affected airplanes are operated
                                              For each of the documents we                                                                                  Further, the commenter hasn’t provided
                                                                                                      by federal or state agencies.                         any factual basis for its assumption that
                                              published, we allowed the public an
                                                                                                         Response. The comment is not                       all aircraft on the aircraft registry use
                                              opportunity to provide comments. We
                                                                                                      relevant to whether this AD is necessary              ECi cylinder assemblies.
                                              did not change this AD based on this
                                                                                                      to resolve the unsafe condition                          We agree that we could better
                                              comment.
                                                 Comment. ARSA also commented that                    presented by the engine with the                      estimate the number of engines affected
                                              presentation of relevant comments is                    affected ECi cylinders installed. We did              by this AD. We again reviewed our
                                              further stymied by the agency’s                         not change this AD based on this                      estimate. We now estimate that
                                              conclusory and unsupported responses                    comment.                                              approximately 6,200 engines are
                                              to the NPRM submissions. ARSA                           Request To Substantiate That Airplanes                affected by this AD. That number is
                                              commented that the agency stated that                   Operating in Alaska Are Not Affected                  based on our initial estimate of
                                              it was irrelevant that the root cause of                                                                      approximately 43,000 affected cylinder
                                                                                                        Comment. Danbury Holdings stated                    assemblies produced by ECi from 2002
                                              the cylinder failures is unknown and
                                                                                                      that the FAA had not provided                         to 2011. This number is supported by
                                              that it ‘‘disagreed’’ that pilot error was
                                                                                                      documentation that substantiates that                 AEC Technical Report 1102–13, dated
                                              a factor.
                                                 Response. We disagree. The purpose                   remote locations of Alaska are not                    April 30, 2011. We then reduced 43,000
                                              of this AD is to remove an unsafe                       served by airplanes affected by this AD.              by our estimated number of cylinder
                                              condition in aircraft engines, not to                     Response. The comment is not                        assemblies that would have been
                                              identify root cause of cylinder failure(s).             relevant to the technical basis for this              removed from service.
                                              This AD resolves the unsafe condition                   AD. Further we state that this AD will                   Our review indicates that
                                              by removing the affected cylinder                       not affect intrastate aviation in Alaska to           approximately 6,000 of the 43,000
                                              assemblies from service in the engine                   the extent that it justifies making a                 cylinder assemblies would have been
                                              models listed in this AD. We did not                    regulatory distinction. We did not                    retired from service by the time of the
                                              change this AD based on this comment.                   change this AD based on this comment.                 publication of this AD. Therefore, we
                                                 Comment. Danbury Holdings also                       Request To Send Proposed Rule to                      estimate 37,000 cylinder assemblies
                                              commented that the FAA had not                          Office of Information and Regulatory                  may be in service, as of June 1, 2016. We
                                              provided substantiation for a change in                 Affairs (OIRA) and Small Business                     divided this number by 6 cylinders per
                                              the design requirement that ensures safe                Administration (SBA)                                  engine to give us an estimated 6,167
                                              operation with one inoperative cylinder.                                                                      engines in service. To increase the
                                                 Response. The comment is not                            Comment. Danbury Aerospace                         conservatism of our cost estimate, we
                                              germane to this AD. We direct the                       commented that per Executive Order                    rounded this figure to 6,200 engines. We
                                              commenter to the regulations relevant to                (E.O.) No. 13272, the FAA should                      revised our cost estimate to reflect these
                                              design requirements, as found in 14                     provide the draft rule to the OIRA in the             updated calculations.
                                              CFR. We did not withdraw the August                     Office of Management and Budget
                                                                                                      (OMB) under E.O. No. 12866 and to the                 Request To Revise the Number of Labor
                                              28, 2015, SNPRM.                                                                                              Hours to Perform This AD
                                                 Comment. Danbury Holdings                            SBA’s Chief Counsel for Advocacy.
                                              commented that the FAA has admitted                        Response. We partially agree. We do                  Comment. A few commenters,
                                              that the SDR database is problematic                    not agree that this rule meets the criteria           including IPL Group, indicated that the
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                                              and that the FAA picked and chose data                  of a significant regulatory action under              number of hours to replace 6 cylinders
                                              to fit a conclusion.                                    E.O. 12866. Therefore, we did not                     would be greater than the 18 hours that
                                                 Response. We disagree. The SDR                       provide the draft rule to the OMB. We                 we estimated in our costs of
                                              database reflects input received from                   agree that the rule has a significant                 compliance.
                                              field reporting. The SDR database may                   effect on a substantial number of small                 Response. We agree. In the August 12,
                                              not reflect all service difficulty                      entities. We, therefore, provided a copy              2013, NPRM, and the January 8, 2015,
                                              problems with affected ECI cylinder                     of the rule to the SBA’s Chief Counsel                and August 28, 2015, SNPRM, we


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                                              52988            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              estimated 18 work hours. Although the                   Request To Include Additional Costs in                and reporting requirements. We
                                              commenters did not provide data to                      the Overall Cost Estimate                             withdrew our reporting requirement
                                              support increasing the number of work                     Comment. IPL Group and Danbury                      when we published the January 8, 2015,
                                              hours, we held discussions with                         Aerospace requested that we add                       SNPRM, so we have no need to account
                                              manufacturers regarding the number of                   additional costs to our overall cost                  for that cost. We added an inspection
                                              hours they would allow to perform this                  estimate. IPL Group indicated that the                cost in this final rule for the time
                                              work. Based on these more recent                        FAA should include costs for loss of use              operators spend determining if they
                                              discussions, we revised our estimate for                of the aircraft, test flight, and break-in            own an ECi cylinder assembly affected
                                              the number of work hours to replace 6                   expenses. Danbury Aerospace                           by this AD. The Costs of Compliance
                                              cylinder assemblies to 32 hours.                        commented that we should account for                  section now states ‘‘We estimate 0.5
                                                                                                      loss of overhauled assemblies as                      hours will be needed to check log books
                                              Request To Revise Cost of Replacing a                                                                         to determine if an engine is affected by
                                                                                                      replacement items and new costs
                                              Cylinder Assembly in This AD                            associated strictly with their                        this AD.’’
                                                 Comment. Danbury Aerospace,                          replacement.                                          E. Administrative Comments
                                              Danbury Holdings, RAM Aircraft, and                       Response. We disagree. In
                                                                                                      constructing our cost estimate, we                    Request To Clarify Address
                                              IPL Group commented that the cost of
                                              a cylinder assembly, as calculated by                   followed the guidance of the FAA’s                       Comment. The Continental Motors
                                                                                                      Airworthiness Directives Manual, FAA–                 Group commented that the business at
                                              the FAA, does not accurately represent
                                                                                                      IR–M–8040.1C, dated May 17, 2010,                     the address and telephone number
                                              replacement costs. The commenters
                                                                                                      which states ‘‘Do not state any costs                 listed in the August 28, 2015, SNPRM
                                              indicated that the FAA’s use of ‘‘pro-
                                                                                                      beyond initial work-hours and parts                   (9503 Middlex Drive, San Antonio,
                                              rated cost’’ allows a vast                              costs. . . .’’ The additional costs cited
                                              underestimation of actual expenses that                                                                       Texas 78217, Phone 210–820–8101) is
                                                                                                      by the commenters are not appropriate                 now that of Continental Motors Inc., San
                                              would be incurred by owners. The                        to our cost estimates. We did not change
                                              agency must at least provide sound                                                                            Antonio. Continental Motors Group also
                                                                                                      this AD based on this comment.                        indicated that the associated company
                                              reasoning and facts supporting the
                                              assertion that the pro-rated cost ‘‘more                Request To Withdraw the SNPRMs                        Web site (http://www.eci.aero/pages/
                                                                                                      Because of Excessive Overall Cost                     tech_svcpubs.aspx) listed in the August
                                              accurately reflects’’ replacement cost.
                                                                                                                                                            28, 2015, SNPRM is not functional at
                                              IPL Group further commented that a                        Comment. Several commenters
                                                                                                                                                            this time.
                                              ‘‘pro-rated value’’ is inconsistent with                commented that the FAA should
                                              FAA policy and the Regulatory                           withdraw the January 8, 2015, SNPRM                      Response. We agree. We updated the
                                              Flexibility Act.                                        and the August 28, 2015, SNPRMs                       address and Web site information listed
                                                                                                      because the FAA has underestimated                    in the ADDRESSES and ‘‘Related
                                                 Response. We disagree in part.                                                                             Information’’ sections of this AD.
                                              Industry, including ECi, uses pro-rated                 the cost of compliance of this AD. These
                                                                                                      commenters represented that the true                  Request To Provide Names of Those
                                              cost in its cost estimates. For example,
                                                                                                      cost is too high and that the FAA has                 Involved in the AD Process
                                              ECi, in its MSB 05–8, Revision No. 1,
                                                                                                      ignored the broader impact of this AD
                                              dated December 29, 2005, used a similar                 on industry. Most commenters failed to                  Comment. Danbury Aerospace and
                                              time in service based pro-rated cost                    provide any data to support these                     Danbury Holdings commented that the
                                              calculation to determine the discounted                 claims, however, IPL Group provided                   FAA should provide the names and
                                              cost to operators for replacement                       some calculations to show that the total              technical positions of each of the
                                              cylinders, instead of providing the                     cost of this AD should be somewhere                   members of the multi-disciplinary/
                                              cylinders to the operators at no cost.                  between $168,666,625 and                              multi-directorate team that were
                                              Further, we typically use pro-rated cost                $320,360,156.                                         involved in the review of this service
                                              for larger, turbofan engines when life-                   Response. We disagree. We                           difficulty problem, along with the dates,
                                              limited parts are involved. Operators of                considered the impact that this AD                    locations, and minutes for any meetings
                                              those engines are typically airlines and                would have on operators. As explained                 that were held.
                                              other large operators. Pro rata estimating              in response to the comments above, we                   Response. We disagree. The names
                                              therefore, is an acceptable method of                   increased our estimates of inspection                 and positions of personnel associated
                                              estimating cost.                                        costs, labor costs, and replacement costs             with reviewing this AD are not
                                                 We agree however, that engines with                  of the cylinder assemblies. Although we               necessary to the public’s participation
                                              affected ECi cylinders installed may be                 increased our cost estimate, we still                 in the development of this AD. We did
                                              installed on airplanes owned by                         conclude that the unsafe condition                    not change this AD based on this
                                                                                                      represented by the affected cylinder                  comment.
                                              individual operators in the general
                                                                                                      assemblies requires an AD. We did not
                                              aviation community, who are less                                                                              F. Support for the SNPRM
                                                                                                      withdraw the SNPRMs based on this
                                              familiar with the concept of pro-rated                  comment.
                                              costs to ADs. In consequence, we                                                                                 Comment. The NTSB commented that
                                              revised our estimate to use the full                    Request To Substantiate Record-Keeping                it believes that the August 28, 2015,
                                              replacement cost of each cylinder                       and Time Estimates                                    SNPRM will satisfy the intent of NTSB
                                              assembly even though this will likely                     Comment. Danbury Holdings also                      Safety Recommendation A–12–7. An
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                                              result in an over-estimate of the total                 stated that the FAA had not provided                  individual commenter indicated that he
                                              cost of this AD. We, therefore, used the                documentation to substantiate its                     had reviewed the SDR database and
                                              replacement cost of 6 cylinder                          estimated record keeping cost and time                determined that the separation rate of
                                              assemblies in this final rule. This                     estimates.                                            ECi cylinder assemblies is
                                              resulted in an increase from $4,202 in                    Response. We agree in part. We                      approximately 10 times the rate of OEM
                                              the SNPRMs to $11,520 in this final                     interpret this comment as a reference to              cylinder assemblies.
                                              rule.                                                   both time spent on checking log books                    Response. We note the comment.


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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                        52989

                                              Conclusion                                              and to explain the rationale for their                assessment of the agency of such issues,
                                                We reviewed the relevant data,                        actions. The RFA covers a wide range of               and a statement of any changes made in
                                              considered the comments received, and                   small entities, including small                       the proposed rule as a result of such
                                              determined that air safety and the                      businesses, not-for-profit organizations,             comments.
                                              public interest require adopting this AD                and small governmental jurisdictions.                    Danbury Holdings commented that
                                              as proposed.                                               Agencies must perform a review to                  the FAA had not provided the raw data
                                                                                                      determine whether a proposed or final                 that was used in the IRFA. We note that
                                              Costs of Compliance                                     rule will have a significant economic                 the provision of raw data is not required
                                                 We estimate that this AD affects about               impact on a substantial number of small               by the FAA’s rulemaking procedures or
                                              6,200 CMI model IO–520, TSIO–520,                       entities. If the agency determines that it            orders.
                                              IO–550, and IOF–550 reciprocating                       will, the agency must prepare a                          In response to comments about
                                              engines and all other CMI engine                        regulatory flexibility analysis as                    problems with the repetitive
                                              models approved for the use of CMI                      described in the Act. The FAA                         compression/soap test proposed by the
                                              models –520 and –550 cylinder                           determined that this rule will have a                 NPRM, the FAA agrees that these tests
                                              assemblies (such as the CMI model –470                  significant economic impact on a                      do not always reliably detect a cracked
                                              when modified by STC), installed on                     substantial number of small entities                  cylinder of this failure mode and
                                              airplanes of U.S. registry. The average                 and, accordingly, as required by Section              therefore the costs associated with such
                                              labor rate is $85 per hour. We estimate                 603(a) of the RFA, the FAA prepared                   tests outweigh the safety benefits. In the
                                              0.5 hours will be needed to check log                   and published an initial regulatory                   January 8, 2015 SNPRM the FAA
                                              books to determine if an engine is                      flexibility analysis (IRFA) (79 FR 13924,             removed the requirement for repetitive
                                              affected by this AD. We estimate that                   March 12, 2014) as part of the NPRM (79               compression/soap inspection tests.
                                              about 32 hours will be required to                      FR 48828, August 12, 2013) and initial                   The FAA received comments
                                              replace all six cylinder assemblies of an               SNPRM (80 FR 1008, January 8, 2015)                   questioning the reduction of the
                                              engine during overhaul. We estimate the                 for this rule. For the second SNPRM, the              estimated number of smaller air service
                                              cost of replacement of six cylinder                     FAA inadvertently stated that there                   businesses (in addition to the estimated
                                              assemblies to be, on average, about                     would be no significant impact on a                   609 small part 135 operators) that would
                                              $11,520 per engine. Based on these                      substantial number of entities. We also               be affected by the rule, from 5,000 in the
                                              figures, we estimate the total cost of this             omitted the IRFA from the second                      IRFA to 2,000 in the January 8, 2015,
                                              AD to U.S. operators to change all ECi                  SNPRM because we thought                              SNPRM. We note that in both cases the
                                              cylinder assemblies to be $88,551,500.                  republication unnecessary as costs had                FAA stated that a substantial number of
                                                                                                      not changed and the IRFA had already                  small entities would be affected. Given
                                              Authority for This Rulemaking                           been published in the first SNPRM. In                 the lack of available data, the FAA is
                                                 Title 49 of the United States Code                   addition to the IRFA, Section 604 of the              unable to make an accurate estimate of
                                              specifies the FAA’s authority to issue                  RFA also requires an agency to publish                the number of smaller air service
                                              rules on aviation safety. Subtitle I,                   a final regulatory flexibility analysis               businesses that will be affected by this
                                              section 106, describes the authority of                 (FRFA) in the Federal Register when                   rule, but acknowledges that this number
                                              the FAA Administrator. Subtitle VII:                    issuing a final rule.                                 is substantial. In addition to the 609
                                              Aviation Programs, describes in more                       With this FRFA we correct our                      small part 135 operators, we therefore
                                              detail the scope of the Agency’s                        misstatement in the second SNPRM and                  estimate in this final rule that the
                                              authority.                                              restate our previous conclusions for the              number of smaller air service businesses
                                                 We are issuing this rulemaking under                 NPRM and in the first SNPRM that the                  affected is substantial.
                                              the authority described in Subtitle VII,                rule will have a significant impact on a                 After publication of the NPRM and
                                              Part A, Subpart III, Section 44701:                     substantial number of small entities.                 after publication of each of the two
                                              ‘‘General requirements.’’ Under that                    Accordingly, in the following section                 SNPRMs, we also received comments
                                              section, Congress charges the FAA with                  we undertake the regulatory flexibility               from small businesses concerning
                                              promoting safe flight of civil aircraft in              analysis.                                             understated compliance costs. Some
                                              air commerce by prescribing regulations                                                                       commenters stated that the labor rate
                                              for practices, methods, and procedures                  Final Regulatory Flexibility Analysis                 and the hours required to replace an
                                              the Administrator finds necessary for                      Under Section 604(a) of the RFA, the               affected engine’s cylinders are
                                              safety in air commerce. This regulation                 Final analysis must address:                          underestimated. We agree with this
                                              is within the scope of that authority                      (1) Statement of the need for, and                 comment in part and have increased our
                                              because it addresses an unsafe condition                objectives of, the rule.                              estimate of the labor hours required to
                                              that is likely to exist or develop on                      This final rule AD was prompted by                 replace an affected engine’s six cylinder
                                              products identified in this rulemaking                  failure reports of multiple cylinder                  assemblies from 18 to 32 hours, with a
                                              action.                                                 head-to-barrel separations and cracked                corresponding labor cost increase from
                                                                                                      and leaking aluminum cylinder heads.                  $1,530 to $2,720.
                                              Regulatory Flexibility Determination                    This AD will apply to certain CMI San                    In response to comments we have also
                                                 The Regulatory Flexibility Act of 1980               Antonio replacement PMA cylinder                      increased our cost of materials estimate
                                              (RFA) establishes ‘‘as a principle of                   assemblies marketed by ECi, used on the               from a loss-of-service estimate of $4,202
                                              regulatory issuance that agencies shall                 CMI model –520 and –550 reciprocating                 to the full cost to replace all six
                                              endeavor, consistent with the objective                 engines, and all other engine models                  cylinders, which has increased to
                                              of the rule and of applicable statutes, to              approved for the use of CMI model –520                $11,520. Our estimate of the total cost
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                                              fit regulatory and informational                        and –550 cylinder assemblies such as                  to replace all six cylinders has therefore
                                              requirements to the scale of the                        the CMI model –470 when modified by                   increased from $5,732 to $14,240.
                                              business, organizations, and                            STC.                                                     After publication of the August 28,
                                              governmental jurisdictions subject to                      (2) Statement of the significant issues            2015, SNPRM, we received negative
                                              regulation.’’ To achieve that principle,                raised by the public comments in                      comments concerning the inadvertent
                                              the RFA requires agencies to solicit and                response to the initial regulatory                    change from our original determination
                                              consider flexible regulatory proposals                  flexibility analysis, a statement of the              of a significant economic impact on a


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                                              52990            Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations

                                              substantial number of small entities in                    As noted above our estimate of the                 to the August 28, 2015, SNPRM, that the
                                              the IRFA (and the January 8, 2015,                      total cost to replace all six cylinders has           revised rule as adopted in this final rule,
                                              SNPRM) to a determination of no                         increased from $5,732 to $14,240. As                  meets the intent of its Safety
                                              significant impact on a substantial                     the number of airplanes held by affected              Recommendations A–12–7.
                                              number of small entities. As noted in                   small part 135 operators ranges from                    (c) Forced removal with periodic
                                              the introductory section, we are                        one to 88, the costs of required cylinder             inspections—Periodic inspections may
                                              correcting this oversight in this FRFA.                 assembly replacement per operator                     not reliably detect cracks and even with
                                                 (3) The response of the agency to any                range from about $14.2 thousand to                    removal the rate of crack growth to
                                              comments filed by the Chief Counsel for                 about $1.3 million.                                   separation is unknown and variable.
                                              Advocacy of the Small Business                             To determine whether compliance                    Forced removal is the only remaining
                                              Administration in response to the                       costs will have a significant economic                option.
                                              proposed rule, and a detailed statement                 impact, we measured the cost of
                                                                                                                                                            Regulatory Findings
                                              of any change made to the proposed                      replacing cylinder assemblies of affected
                                              rule in the final rule as a result of the               engines relative to the value of the                    This AD will not have federalism
                                              comments.                                               affected airplanes held by the small part             implications under Executive Order
                                                 The SBA did not submit comments.                     135 operators. The estimated asset value              13132. This AD will not have a
                                                 (4) Description and an estimated                     of the affected airplanes held by the                 substantial direct effect on the States, on
                                              number of small entities to which the                   small part 135 operators ranges from                  the relationship between the national
                                              final rule will apply.                                  $22,000 to $19.6 million. We find that                government and the States, or on the
                                                 Of the 610 part 135 operators we                     the cost of replacing cylinder assemblies             distribution of power and
                                              found to be affected by this rule, we                   relative to affected airplane asset value             responsibilities among the various
                                              identified 609 that meet the Small                      is greater than 5 percent for 468 of the              levels of government.
                                              Business Administration (SBA)                           609 affected small part 135 operators.2                 For the reasons discussed above, I
                                              definition of a small entity (entities with             We therefore conclude that the final rule             certify that this AD:
                                              1,500 or fewer employees) that will be                  will have a significant economic impact                 (1) Is not a ‘‘significant regulatory
                                              affected by this final rule. On this basis              on a substantial number of small                      action’’ under Executive Order 12866,
                                              alone, we conclude that the final rule                  entities.                                               (2) Is not a ‘‘significant rule’’ under
                                              will affect a substantial number of small                  (6) Steps the agency has taken to                  DOT Regulatory Policies and Procedures
                                              entities. In addition, we estimate that a               minimize the significant economic                     (44 FR 11034, February 26, 1979),
                                                                                                      impact on small entities consistent with                (3) Will not affect intrastate aviation
                                              substantial, but undetermined number
                                                                                                      the stated objectives of applicable                   in Alaska to the extent that it justifies
                                              of smaller air services businesses will be
                                                                                                      statutes, including a statement of the                making a regulatory distinction, and
                                              affected by this final rule. The FAA is                                                                         (4) Will have a significant economic
                                              unaware of the assets or financial                      factual, policy, and legal reasons for
                                                                                                                                                            impact, positive or negative, on a
                                              resources of these businesses. The                      selecting the alternative adopted in the
                                                                                                                                                            substantial number of small entities
                                              affected part 135 and smaller air                       final rule and why each one of the other
                                                                                                                                                            under the criteria of the Regulatory
                                              services fly fixed wing aircraft; employ                significant alternatives to the rule
                                                                                                                                                            Flexibility Act.
                                              less than 1,500 employees; and conduct                  considered by the agency which affect
                                              a variety of air services such as fly                   the impact on small entities was                      List of Subjects in 14 CFR Part 39
                                              passengers and cargo for hire.                          rejected.                                               Air transportation, Aircraft, Aviation
                                                 (5) Description of the record keeping                   In response to comments about                      safety, Incorporation by reference,
                                              and other compliance requirements of                    problems with repetitive compression/                 Safety.
                                              the final rule.                                         soap test, the FAA agrees that these tests
                                                                                                      do not always reliably detect a cracked               Adoption of the Amendment
                                              Record Keeping Requirement                              cylinder of this failure mode and the                   Accordingly, under the authority
                                                 The FAA estimates 0.5 hours will be                  costs associated with such tests                      delegated to me by the Administrator,
                                              needed to check log books to determine                  outweigh the safety benefit. The FAA                  the FAA amends 14 CFR part 39 as
                                              if an engine is affected by this AD. At                 removed that requirement for repetitive               follows:
                                              a wage rate of $85 per hour, the                        compression/soap inspection tests. We
                                              estimated cost will be $42.50 per                       also considered these following                       PART 39—AIRWORTHINESS
                                              engine. As the affected small part 135                  alternatives:                                         DIRECTIVES
                                              operators have between one and 88                          (a) Do nothing—This option is not
                                              affected airplanes, the costs of this                   acceptable due to the number of failures              ■ 1. The authority citation for part 39
                                              requirement range from $42.50 to $3740                  of ECi cylinder head assemblies and the               continues to read as follows:
                                              per part 135 operator.                                  consequences of the failures.                             Authority: 49 U.S.C. 106(g), 40113, 44701.
                                                                                                         (b) Periodic inspections only (no
                                              Compliance Requirement To Replace                       forced removals)—Though the NTSB                      § 39.13    [Amended]
                                              Cylinder Assemblies of Affected                         recommended this option in its                        ■ 2. The FAA amends § 39.13 by adding
                                              Engines                                                 comments to the NPRM (August 12,                      the following new airworthiness
                                                 This AD applies to certain CMI model                 2013, 78 FR 48828), the service history               directive (AD):
                                              IO–520, TSIO–520, IO–550, and IOF–                      has shown that such inspections may
                                                                                                                                                            2016–16–12 Continental Motors, Inc.
                                              550 reciprocating engines and all other                 not reliably detect existing cracks and                   (formerly Teledyne Continental Motors,
                                              engine models approved for the use of                   the rate of crack growth to separation is                 Inc., formerly Continental): Amendment
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                                              CMI models -520 and -550 cylinder                       unknown and variable. The NTSB also                       39–18610; Docket No. FAA–2012–0002;
                                              assemblies (such as the CMI model -470                  submitted a later comment, in response                    Directorate Identifier 2011–NE–42–AD.
                                              when modified by STC), installed on                                                                           (a) Effective Date
                                                                                                        2 This assessment does not take into account
                                              airplanes of U.S. registry. For the                                                                             This AD is effective September 15, 2016.
                                                                                                      record keeping requirement costs. These costs,
                                              affected engines the AD requires                        however, are minor and do not affect our
                                              replacement of the cylinder assemblies                  assessment of the number of small part 121
                                                                                                                                                            (b) Affected ADs
                                              at reduced times-in-service.                            operators significantly impacted by the final rule.     None.



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                                                               Federal Register / Vol. 81, No. 155 / Thursday, August 11, 2016 / Rules and Regulations                                              52991

                                              (c) Applicability                                         (5) Removal From Service                              Issued in Burlington Massachusetts, on
                                                 This AD applies to all Continental Motors,             (i) For any affected cylinder assembly with         July 19, 2016.
                                              Inc. (CMI) model –520 and –550                          680 or fewer operating hours time-in-service          Colleen M. D’Alessandro,
                                              reciprocating engines, and to all other CMI             (TIS) since new on the effective date of this         Manager, Engine & Propeller Directorate,
                                              engine models approved for the use of model             AD, remove the cylinder assembly from                 Aircraft Certification Service.
                                              –520 and –550 cylinder assemblies such as               service before reaching 1,000 operating hours
                                                                                                                                                            [FR Doc. 2016–18708 Filed 8–10–16; 8:45 am]
                                              the CMI model –470 when modified by                     TIS since new.
                                              supplemental type certificate (STC), with                 (ii) For any affected cylinder assembly with        BILLING CODE 4910–13–P
                                              Continental Motors Inc., San Antonio                    more than 680 operating hours TIS since new
                                              (formerly Airmotive Engineering Corp.),                 and 1,000 or fewer operating hours TIS since
                                              replacement parts manufacturer approval                 new on the effective date of this AD, remove          DEPARTMENT OF TRANSPORTATION
                                              (PMA) cylinder assemblies, marketed by                  the cylinder assembly from service within
                                              Engine Components International Division                the next 320 operating hours TIS or within            Federal Aviation Administration
                                              (hereinafter referred to as ECi), part number           1,160 operating hours TIS since new,
                                              (P/N) AEC 631397, with ECi Class 71 or Class            whichever occurs first.                               14 CFR Part 71
                                              76, serial number (S/N) 1 through S/N 61176,              (iii) For any affected cylinder assembly
                                              installed.                                                                                                    [Docket No. FAA–2016–5856; Airspace
                                                                                                      with more than 1,000 operating hours TIS
                                                                                                                                                            Docket No. 16–AGL–9]
                                              (d) Unsafe Condition                                    since new on the effective date of this AD,
                                                                                                      remove the cylinder assembly from service
                                                 This AD was prompted by multiple failure                                                                   Establishment of Class E Airspace;
                                              reports of cylinder head-to-barrel separations          within the next 160 operating hours or at
                                                                                                      next engine overhaul, whichever occurs first.
                                                                                                                                                            Park River, ND
                                              and cracked and leaking aluminum cylinder
                                              heads. We are issuing this AD to prevent                  (iv) For any affected cylinder assembly that        AGENCY:  Federal Aviation
                                              failure of the cylinder assemblies, which               has been overhauled, remove the cylinder              Administration (FAA), DOT.
                                              could lead to failure of the engine, in-flight          assembly from service within the next 80
                                                                                                      operating hours TIS after the effective date of       ACTION: Final rule.
                                              shutdown, and loss of control of the airplane.
                                                                                                      this AD.
                                              (e) Compliance                                                                                                SUMMARY:   This action establishes Class
                                                 Comply with this AD within the                       (f) Installation Prohibitions                         E airspace in Park River, ND. Controlled
                                              compliance times specified, unless already                After the effective date of this AD:                airspace is necessary to accommodate
                                              done.                                                     (1) Do not repair, or reinstall onto any            new Standard Instrument Approach
                                                 (1) Review the engine maintenance records            engine, any cylinder assembly removed per             Procedures developed at Park River-W C
                                              to determine if any affected cylinder                   this AD.                                              Skjerven Field, Park River, ND, for the
                                              assemblies are installed.                                 (2) Do not install any affected ECi cylinder        safety and management of Instrument
                                                 (2) If you cannot determine based on                 assembly that has been overhauled, into any
                                              review of engine maintenance records if any
                                                                                                                                                            Flight Rules (IFR) operations at the
                                                                                                      engine.                                               airport. Additionally, to correct airport
                                              affected cylinder assemblies are installed,               (3) Do not install any engine that has one
                                              comply with paragraph (e)(4) of this AD.                                                                      name to correspond with the NASR in
                                                                                                      or more affected overhauled ECi cylinder
                                                 (3) If you do not have any of the affected           assemblies, onto any aircraft.
                                                                                                                                                            the header and legal description.
                                              ECi cylinder assemblies installed on your                 (4) Do not return to service any aircraft that      DATES: Effective 0901 UTC, November
                                              engine, no further action is required.                                                                        10, 2016. The Director of the Federal
                                                                                                      has an engine installed with an ECi cylinder
                                                 (4) Cylinder Identification and Serial
                                              Number Location
                                                                                                      assembly subject to this AD, if the cylinder          Register approves this incorporation by
                                                 (i) Check the cylinder assembly P/N and              assembly has 1,000 or more operating hours            reference action under title 1, Code of
                                              Class number. The ECi cylinder assembly, P/             TIS.                                                  Federal Regulations, part 51, subject to
                                              N AEC 631397, Class 71 or Class 76, is                  (g) Alternative Methods of Compliance                 the annual revision of FAA Order
                                              stamped on the bottom flange of the cylinder            (AMOCs)                                               7400.9 and publication of conforming
                                              barrel. Guidance on the P/N and Class                                                                         amendments.
                                              number description and location can be                    The Manager, Delegation Systems
                                              found in ECi Service Instruction No. 99–8–              Certification Office or Fort Worth Aircraft           ADDRESSES:   FAA Order 7400.9Z,
                                              1, Revision 9, dated February 23, 2009.                 Certification Office, may approve AMOCs for           Airspace Designations and Reporting
                                                 (ii) If you cannot see the cylinder assembly         this AD. Use the procedures found in 14 CFR           Points, and subsequent amendments can
                                              P/N when the cylinder assembly is installed             39.19 to make your request.
                                                                                                                                                            be viewed on line at http://
                                              on the engine, you may use the following                (h) Related Information                               www.faa.gov/air_traffic/publications/.
                                              alternative method of identification:                                                                         For further information, you can contact
                                                 (A) Remove the cylinder assembly rocker                 (1) For more information about this AD,
                                              box cover.                                              contact Jurgen E. Priester, Aerospace                 the Airspace Policy Group, Federal
                                                 (B) Find the letters ECi, cast into the              Engineer, Delegation Systems Certification            Aviation Administration, 800
                                              cylinder head between the valve stems.                  Office, FAA, Rotorcraft Directorate, 10101            Independence Avenue SW.,
                                                 (C) Check the cylinder head casting P/N.             Hillwood Parkway, Fort Worth, TX 76177;               Washington, DC, 20591; telephone: 202–
                                              Affected cylinder assemblies have the                   phone: 817–222–5190; fax: 817–222–5785;               267–8783. The Order is also available
                                              cylinder head casting, P/N AEC 65385, cast              email: jurgen.e.priester@faa.gov.                     for inspection at the National Archives
                                              into the cylinder head between the valve                   (2) For ECi Service Instruction No. 99–8–
                                                                                                                                                            and Records Administration (NARA).
                                              stems.                                                  1, Revision 9, dated February 23, 2009,
                                                                                                      which is not incorporated by reference in this        For information on the availability of
                                                 (D) Find the cylinder assembly S/N as
                                              specified in paragraphs (e)(4)(iii) or (e)(4)(iv)       AD, contact Continental Motors—San                    this material at NARA, call 202–741–
                                              of this AD, as applicable.                              Antonio, 9503 Middlex Drive, San Antonio,             6030, or go to http://www.archives.gov/
                                                 (iii) For ECi cylinder assemblies, P/N AEC           TX 78217; phone: 210–820–8101; Internet:              federal_register/code_of_federal-
                                              631397, manufactured through 2008, find the             http://www.continentalsanantonio.com.                 regulations/ibr_locations.html.
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                                              cylinder assembly S/N stamped on the intake                (3) You may view this service information            FAA Order 7400.9, Airspace
                                              port boss two inches down from the top edge             at the FAA, Engine & Propeller Directorate,           Designations and Reporting Points, is
                                              of the head.                                            1200 District Avenue, Burlington, MA. For             published yearly and effective on
                                                 (iv) For ECi cylinder assemblies, P/N AEC            information on the availability of this               September 15.
                                              631397, manufactured on or after January 1,             material at the FAA, call 781–238–7125.
                                              2009, find the cylinder assembly S/N                                                                          FOR FURTHER INFORMATION CONTACT:
                                              stamped just below the top edge of the head             (i) Material Incorporated by Reference                Rebecca Shelby, Federal Aviation
                                              on the exhaust port side.                                 None.                                               Administration, Operations Support


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Document Created: 2018-02-09 11:27:35
Document Modified: 2018-02-09 11:27:35
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis AD is effective September 15, 2016.
ContactJurgen E. Priester, Aerospace Engineer, Delegation Systems Certification Office, FAA, Rotorcraft Directorate, 10101 Hillwood Parkway, Fort Worth, TX 76177; phone: 817- 222-5190; fax: 817-222-5785; email: [email protected]
FR Citation81 FR 52975 
RIN Number2120-AA64
CFR AssociatedAir Transportation; Aircraft; Aviation Safety; Incorporation by Reference and Safety

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