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Audit says FAA lacks risk-based oversight process for civil unmanned aircraft systems
7 December 2016
Typical small drone with camera (photo: Don McCullough / CC:by)

Typical small drone with camera (photo: Don McCullough / CC:by)

The U.S. Office of Inspector General (OIG) concluded, following an audit, that the FAA does not verify that drone operators actually meet or understand the conditions and limitations of their exemptions either before or after the application is approved.
The growing demand for civil Unmanned Aircraft Systems (UAS) operations presented new safety oversight challenges for the Federal Aviation Administration (FAA), causing the OIG to initiate an audit in August 2015.
Using an authority granted by Congress, FAA has approved over 5,500 commercial UAS to operate by exempting them from regulatory requirements, and recently issued a final rule governing operations of small UAS.
The OIG found that FAA streamlined its process in 2015 for exempting civil UAS from regulatory requirements in response to increasing requests for exemptions and concerns over lengthy approval times. However, FAA’s process does not verify that operators actually meet or understand the conditions and limitations of their exemptions either before or after the application is approved. Furthermore, while FAA has taken some steps to advance UAS technology, the Agency has not established a risk-based safety oversight process for civil UAS operations—a key tool for focusing resources on a range of emerging risks. Despite an increase in reported UAS events, FAA lacks a robust data reporting and tracking system for UAS activity. As a result, FAA is currently taking a reactive approach to UAS oversight.
FAA concurred with all six of recommendations:
  1. Establish specific milestones to update and maintain UAS guidance to keep pace with technological developments and incorporate inspector feedback.
  2. Develop comprehensive and updated training for safety inspectors on UAS technologies and Agency rules and guidance related to UAS oversight.
  3. Initiate a periodic process to perform inspections of commercial UAS operators based on operational factors (e.g., location, number of operations, and type of activity) to verify knowledge of and compliance with FAA requirements and to inform the development of a risk-based oversight plan.
  4. Design and implement a risk-based and prioritized oversight plan for UAS to help ensure safe operations of UAS.
  5. Develop and implement a process to coordinate existing disparate UAS databases within FAA to facilitate data mining and safety analysis.
  6. Implement a process to share UAS data with field oversight offices to assist inspectors in risk-based and proactive oversight of civil UAS operations.

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