Thank you very much.
We would like to thank the committee for giving us the opportunity to present our concerns and recommendations regarding Bill C-310.
The AQTA is a non-profit organization working for the development of the Quebec air transportation industry. We represent all industry stakeholders, airline companies, airports, schools, maintenance and service companies.
Upon reviewing the bill, our association wonders what justifies such an initiative. After consulting the Canadian Transportation Agency, we learned that the number of new complaints regarding air transport services has decreased since 2005.
In 2005, there were 1,337 new complaints and, as you can see, this figure has decreased from year to year. For the period 2008-2009, there were 901 new complaints. It should be noted that not only has the number of complaints dropped, but according to Statistics Canada, the number of domestic flights has increased since 2003. The percentage of complaints versus the total number of passengers has also gone down.
Aside from peoples' perception, the reality in terms of air transportation services is statistically well documented in Canada. With respect to the percentage of complaints, I believe this ratio would be appreciated by a number of industries. Moreover, I believe our air transportation system is adequate, even though there is always room for improvement.
Our analysis has revealed that this bill does not reflect a negative industry trend. Our research has also revealed that according to the Canadian Transportation Agency's report for the period of 2008-2009, only 9% of those complaints applied to small- to mid-size carriers. It is therefore surprising that the bill does not make any distinction between various categories of carriers.
Article 21 of the bill refers to the Canadian Transportation Agency, however, it seems to give it only a purely administrative role. It is however a fact that if there is a real need in the field, the agency, according to its mission, vision and values, must respond to the concerns of Canadians and put forward a code of practice regarding transport conditions to solve the issue.
Furthermore, we believe that the bill does not address a number of issues. Does this bill cover the complex nature of air operations? How will this bill financially impact carriers? What will be the impact on remote routes? Will it lead to fair increases for passengers?
Air Inuit is a native-operated carrier that has been active in Quebec for several years. One of the company executives has provided us with the following example. On the Salluit-Montreal route, the distance is 1,864 kms; the aircraft would be a 45-seat Dash-8, and in case of cancellation the penalty would be $36,000 per flight for 45 passengers, or $800 per passenger. In the case of a five-hour delay, a penalty of $22,500 per flight would have to be paid. The carrier has mentioned that its rate, as submitted to the Canadian Transportation Agency, already includes measures in the case of cancellations, delays and denied boardings.
Adversely, this bill would lead to a degradation of services and create hardship for a number of regional carriers. This is also true for carriers providing service to northern Quebec, the Maritimes, the Magdalen Islands. Please review the letter from Air Inuit outlining this issue.
Could we improve on this bill? Some stakeholders would like to change its spirit as well as the content of the bill, while others would like to add exceptions and specifics. We do not believe that a bill with such a simplistic view of our industry can solve a systemic problem, because this bill does not take into account the numerous key players influencing the system, the complex nature of air operations, or our geographic reality.
The right question we need to ask ourselves is the following. Which tool available in Canada would be the most suitable to address the concerns that have prompted the creation of such a bill? In our opinion, that tool is the Canadian Transportation Agency. The agency is composed of a team of qualified, experienced and knowledgeable individuals, and above all, it is independent. It is not influenced by private or political interests in its actions regarding those issues.
These are our recommendations. Carriers should not be the only ones bearing the financial burden when they operate within an environment that includes a number of stakeholders and variables. It is difficult to prove beyond reasonable doubt what may have caused a delay, something which unfortunately can be a byproduct of our network's operations.
The concerns that are at the root of this initiative could be validated and analyzed by the Canadian Transportation Agency in view of finding viable solutions that effectively meet real needs.
In the interest of our air transport network and that of the Canadian public, we recommend that this committee reject this bill because it is unjustified, inappropriate and inapplicable.
Thank you.