For the benefit of the community I took a couple of minutes and went through the Appendix.Would someone that received their NEW OP"s limits from a trusted FSDO, list the numbers from 8130.2L appendix D, that was applied so others can make sure that when they are going over the restrictions with the FAA, that you can catch an error early.
Or maybe post their entire limits, excluding personal information.
https://www.faa.gov/documentLibrary/media/Order/Order_8130.2L.pdf starts on page 177 / 231.
| No person may operate this aircraft unless within the preceding 12 calendar months it has had a condition inspection performed per the scope and detail of Part 43, appendix D, manufacturer or other FAA-approved programs, and was found to be in a condition for safe operation. The inspections must be recorded in the aircraft maintenance records showing the following, or a similarly worded, statement: “I certify that this aircraft has been inspected on [insert date] per the [insert either: scope and detail of Part 43, appendix D; or manufacturer’s inspection procedures] and was found to be in a condition for safe operation.” The entry will include the aircraft’s total time-in-service (cycles if appropriate), and the name, signature, certificate number, and type of certificate held by the person performing the inspection. (15) |
| Flight over a densely populated area or in a congested airway is authorized for the purpose of takeoff or landing; or unless sufficient altitude is maintained to make a safe emergency landing in the event of a power unit failure, without hazard to persons or property on the ground. (53) |
This is the most valuable post in the past 7 pages...... Thanks ScottFor the benefit of the community I took a couple of minutes and went through the Appendix.
For an experimental amateur built certificate for an aircraft with an internal combustion engine of less than 800 hp, you should be issued the following. (Experimental Light sport is slightly different. I noted those changes below.)
For future.... Keep in mind this is only valid for limitations issued under 8130.2L.It will likely be different for future releases.
This was added with the release of 8130.2K.Scott. You are the man. The only question I have is the Sentence in 8130.2L #7. . "Except during Phase I flight testing, holders of a student pilot certificate with a flight instructor endorsement for solo flight may operate the aircraft in solo flight without holding a category or class rating or other Part 61 endorsements only for the purpose of meeting aeronautical experience requirements of Part 61 pursuant to a sport pilot, recreational pilot, or private pilot certificate." Thanks again.
After Talking to my FSDO he made me realize that your Phase 1 testing location may not default to the one you want after your OL update request. I was under the impression that my local county airport would be available, he said that was not the case.This was added with the release of 8130.2K.
It is a nice concession that the FAA made, that allows a student pilot to fly solo in an experimental amateur built that they have been taking flight training in.
The reason being, is that they don’t have a category and class certificate when operating with a student pilot certificate, so they don’t meet the requirement as the limitation was originally written.
The FAA felt that it wouldn’t be appropriate for a student pilot to be flying an aircraft that was still operating in its phase one flight test period, so that restriction was included in the limitation, which I tend to agree with, and I think most people would.
CorrectAfter Talking to my FSDO he made me realize that your Phase 1 testing location may not default to the one you want after your OL update request. I was under the impression that my local county airport would be available, he said that was not the case.
| After incorporating a major change per § 21.93 that was not presented to the FAA when this airworthiness certificate was issued, the following applies: Notification of Major Changes. The responsible Flight Standards Office where the aircraft is based must be notified and its response received in writing before flying this aircraft. This notice enables the FAA to determine if operating limitations require amendment to reduce exposure of the public to risk due to the major change. Operations. Comply with § 91.319(b) using Phase I operating limitations. Registry. If the major change includes installing a different model of engine or a change of a fixed pitch from or to a controllable propeller, the aircraft owner must submit a revised FAA Form 8130-6 to update the aircraft’s file in the FAA Aircraft Registration Branch, AFB-710. (22) |
Thanks for pointing this out. I vaguely noticed that in the new OpLims for my RV-3B that in Phase I I'm only allowed operations from my local (grass field) airport. I did find that a bit odd but not really important for putting airplane back in Phase I to add loops to approved maneuvers. Yet nearest paved runway (KCTY) is 15 miles away and within specified 30 miles radius Phase I test area. Would have been important for testing wheel shimmy on my RV-4.... Be aware that the days of using any airport within the boundaries of your Phase 1 test area are over. ...
Due to MANY protests from both DARs and applicants, this "one airport" rule lasted only a few days. You may have several airports available to use, but each has to be listed in your op lims.Thanks for pointing this out. I vaguely noticed that in the new OpLims for my RV-3B that in Phase I I'm only allowed operations from my local (grass field) airport. I did find that a bit odd but not really important for putting airplane back in Phase I to add loops to approved maneuvers. Yet nearest paved runway (KCTY) is 15 miles away and within specified 30 miles radius Phase I test area. Would have been important for testing wheel shimmy on my RV-4.
Anyway, definitely important for others to notice.
Finn
Mel is of course correct.Due to MANY protests from both DARs and applicants, this "one airport" rule lasted only a few days. You may have several airports available to use, but each has to be listed in your op lims.
I listed almost every airport (February of 2025) in my Phase 1 and initially the DAR said "we'll see" but FSDO approved it. I also got a little push-back on my request for a 100-mile radius but after I saw on the forum a member received a 100-mile radius requested the AWC from the FAA (I think it was less than 5 bucks to get a copy) and after showing it to the DAR became no issue. (Vic was the DAR on that one)Due to MANY protests from both DARs and applicants, this "one airport" rule lasted only a few days. You may have several airports available to use, but each has to be listed in your op lims.
Good to be back. After over 2 months of hospital and rehab.....Getting old is NOT for wimps!Good to see you back on the forums Mel![]()
Right now, it's Buckley Washington....My brother is looking for the nearest LSRI course near San Diego, (LA would also be ok) Anyone know of a course being taught in Southern Cali.?
Thanks
Thanks !!Right now, it's Buckley Washington....
But Reedley College in CA is gearing up to offer.... check with them.
559-494-3000 ext. 3243