U.S. Department of Transportation
Office of the Chief Counsel
800 Independence Ave., S.W. Washington, D.C. 20591
Federal Aviation Administration
fEB -'2 ~ 2016
Scott Rohlfing
3410 Royal Meadow Lane San Jose, CA 95135
Re: Clarification oflnstrument Rating Requirements of 14 C.F.R. § 61.65(d)(2) Dear Mr. Rohlfing:
This is in response to your letter dated October 18, 2015, in which you requested a legal interpretationof14C.F.R.§61.65(d)(2). Youspecificallysoughtclarificationonwhether aeronautical experience used to satisfy requirements of§ 61.109(a)(3), the control and maneuvering of an airplane solely by reference to instruments, can also be used to satisfy the requirements of§ 61.65(d)(2), which specifies the aeronautical experience requirements for an instrument rating.
Section 61.65(d)(2) states, in relevant part, that a person applying for an instrument-airplane rating must have logged forty hours of actual or simulated instrument time, of which fifteen hours must have been received from an authorized instructor who holds an instrument- airplanerating. Section61.109(a)(3)requiresthatanapplicantforaprivatepilotcertificate have 3 hours of flight training in a single-engine airplane on "the control and maneuvering of an airplane solely by reference to instruments."
The requirements of§§ 61.65(d)(2) and 61.109(a)(3) are not mutually exclusive. "Section 61.65(d)(2) does not require 40 hours of instrument training; it requires 40 hours of actual or simulated instrument time. As part of those 40 hours of instrument time, 15 must be completed with a CFI who has an instrument rating (in other words instrument training)." Legal Interpretation to Taylor Grayson (July 6, 2010). Under§ 61.65(d)(2), "the required instrument time other than instrument training does not require the presence of a CFI but only the presence of an individual qualified to act as a safety pilot or as a pilot in command of an operation in actual instrument conditions." Id.
Flight instructors who provide flight training on the "control and maneuvering of an airplane solely by reference to the instruments" in§ 61.109 are not required to have an instrument rating on their flight instructor certificate. See Legal Interpretation to Taylor Grayson (Jan. 4, 201 0). Therefore, the 3 hours of flight training on "the control and maneuvering of an airplane solely by reference to instruments" in§ 61.109(a)(3) may be applied toward the 40 hours of actual or simulated instrument time under § 61.65(d)(2), but may not be applied toward the 15 hours of instrument training unless the flight instructor who provided the flight training under § 61.109(a)(3) held an instrument rating on his or her flight instructor cetiificate and otherwise meets the requirements of§ 61.65.
Weappreciateyourpatienceandtrustthattheaboverespondstoyourconcerns. Ifyouneed furtherassistance,pleasecontactmystaffat(202)267-3073. Thisresponsewasprepared by Neal O'Hara and Katie Patrick, Attorneys in the Regulations Division of the Office of the Chief Counsel, and coordinated with the General Aviation and Commercial Division of the Flight Standards Service.
Sincerely,
Lorelei Peter
Acting Assistant Chief Counsel for Regulations
2
October 18, 2015
Office of the Chief Counsel
800 Independence Avenue SW Washington, DC 20591
RE: Request for 61.65 legal interpretation Office of the Chief Counsel,
As a Gold Seal CFI, I have found the regional FSDO's as well as their appointed Designee's have been interpreting the eligibility requirements for the instrument airplane rating inconsistently. Therefore I am requesting a legal interpretation or opinion from your office.
The question is whether the 3 hours that are required for Private Pilot eligibility per 61.109 (a) (3) which states, "3 hours of flight training in a single-engine airplane on the control and maneuvering of an airplane solely by reference to instruments" can be applied towards the Instrument Rating experience requirement per 61.65 (d) (2) which states, "Forty hours" of actual or simulated instrument time in the areas of operation listed in paragraph (c) of this section, of which 15 hours must have been received from an authorized instructor who holds an instrument-airplane rating."
And further, if the student pilot training experience per 61.1 09 (a) (3) can be applied towards the requirements of 61.65 (d) (2), is the time applied towards the "Forty hours of actual or simulated instru'ment time" or, can it be applied towards the "15 hours must have been received frpm. ao authorized instructor who holds an instrument-airplane rating." If the stude.nt pilot training time can in fact be applied at all, the latter would
imply that the training titne would only be applicable if the CFI giving the student pilot instruction also h~ld an Instrument Instructor certificate.
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I look forward to your reply.
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Respectfully,
Scott Rohlfing
341 0 Royal Meadow Lane San Jose, CA 95135
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