Become a Certificated 14 CFR Part 145 Repair Station
- Preapplication Statement of Intent (PASI), FAA Form 8400-6
- The PASI will be used by the Manager, Flight Standards Division or designee to evaluate the complexity of the proposed operation. This allows the establishment of the certification team to be based on the complexity of the certification. A Certification Project Manager (CPM) will be designated as the principal spokesperson for the FAA during certification.
- An applicant should conduct a thorough review of the appropriate regulations and advisory material to provide guidance for personnel, facility, equipment, and documentation requirements. As a result of this review, the applicant must address, in FAA Form 8400-6, Preapplication Statement of Intent (PASI), how these requirements will be met.
Submittal of the PASI by the applicant shows intent to initiate the certification process.
- Preapplication Meeting. The preapplication meeting should be held in the district office. This will allow the applicant to become familiar with the assigned FAA personnel.
- Application for Repair Station Certificate and/or Rating, FAA Form 8310-3. During the preapplication meeting the applicant should be instructed on how to complete the application.
- Formal Application Attachments. During the preapplication meeting requirements for the application attachments should be discussed. This discussion should include the following:
- Manual. The applicant should be encouraged to use Advisory Circular 145-9, which provides information and guidance material for all repair station certificate holders or applicants under Title 14 of the Code of Federal Regulations (14 CFR) part 145 to develop and evaluate a repair station manual (RSM) and quality control manual (QCM). The material presented in this AC describes an acceptable means, but not the only means, to develop a manual and comply with the referenced regulations. The manual should allow the user to understand its content without further explanation and must not contradict any regulatory requirements.
It is the applicant's responsibility to develop manuals and procedures that ensure safe operating practices and compliance with the rules. The team can offer suggestions for improvement but must not "write" the material.
- Documentation stating the applicant has met the hazardous materials training requirements of 14 CFR 145.53(c) or (d), as applicable.
- Manual. The applicant should be encouraged to use Advisory Circular 145-9, which provides information and guidance material for all repair station certificate holders or applicants under Title 14 of the Code of Federal Regulations (14 CFR) part 145 to develop and evaluate a repair station manual (RSM) and quality control manual (QCM). The material presented in this AC describes an acceptable means, but not the only means, to develop a manual and comply with the referenced regulations. The manual should allow the user to understand its content without further explanation and must not contradict any regulatory requirements.
Last updated: Wednesday, January 24, 2024