Thank you very much, Mr. Chair, and good morning.
Unfortunately, Mr. Chairman, we did not have time to translate our presentation. I apologize for that.
We appreciate the opportunity to appear before you today on behalf of the Air Transport Association of Canada to speak to the issue of modernizing Canada's flight attendant-passenger ratios. Before I do so, however, I do want to make one thing perfectly clear for the benefit of committee members, in response to some of the characterizations about our industry's position in this debate in the press over the last few weeks and months. Neither ATAC nor any of our members would ever propose a regulatory change that we believe would endanger passengers, period—not to cut costs, not for any reason whatsoever. It simply wouldn't make sense. In fact, safety and innovation have been the hallmarks of our association from the beginning.
ATAC was founded in 1934 as the national service organization for Canada's commercial air service providers, and it currently represents over 200 members, comprising 95% of Canada's commercial aviation revenues. Our membership is diverse, ranging from Canada's largest airlines to flight schools throughout the country. ATAC works on behalf of the industry to promote a world-leading commercial aviation sector based on safety, efficiency, and innovation.
On this issue in particular, ATAC, and more specifically my colleague Andy Vasarins, has been working through the Canadian Aviation Regulation Advisory Council, or CARAC, process to advance this change—Andy, specifically, for over two years now, ATAC for much longer. Indeed, this issue has been studied thoroughly at CARAC, which is an open, inclusive body, where organized labour has been a robust participant in the process. It has also been debated before this committee in each of the last two Parliaments.
While we have no interest in revisiting old ground on this debate, we would like to take the opportunity you have graciously given us here today to provide some context on the issue, to speak to the integrity of the process of amending aviation regulations in Canada, and to set the record straight on some misperceptions that have been perpetuated by those who have waged a very public campaign against modernization.
As you all know, Mr. Chairman, the issue we're referring to is a request by our industry to bring Canadian flight attendant ratio regulations in line with those of the U.S. and most EU countries. The current regulation requires one flight attendant for every forty passengers, whereas most regulatory regimes throughout the world require one flight attendant for every fifty seats. Opponents of this proposal have suggested, unfortunately—and we would suggest irresponsibly—that this would compromise safety. In fact, a detailed review of this proposal, conducted by an independent consultant for CARAC, concluded that no such case could be made. The data wasn't there.
Moreover, it should be noted that during the three years this proposal has taken to work its way through the CARAC and CARC processes, significant amendments and caveats have been added to ensure that this proposal does not in fact compromise safety.
First, air carriers will not be allowed to rotate back and forth between one to forty and one to fifty. We are now going to be required to declare which one we're operating under, and stick with it, to avoid potential confusion amongst staff. For similar reasons, flight attendants will only be allowed to be certified on up to three aircraft types.
Also, notwithstanding the ratio, all wide-bodied jets will have to have as many flight attendants on board as there are emergency exit doors on each passenger level. Moreover, carriers that choose to operate under the new standard will be required to demonstrate equal capability to evacuate their aircraft in case of emergency to the same standard that applies under the existing ratio, commonly known as the 90-second standard.
The result, Mr. Chairman, is that even after this change is implemented, it is highly likely that many flights will still carry more than the minimum crew complement assumed by those doing the simple one-to-fifty math calculation.
In short, the process has worked. Detailed data-driven studies concluded that there would be no reduction in safety by adopting this proposal, and consultative dialogue with all stakeholders resulted in a further set of restrictions to ensure that all possible concerns were addressed.
We respectfully suggest, Mr. Chairman, that this committee should and would want to support the work of a CARAC process. It is one that ensures that civil aviation regulations are debated in a non-politicized, data-driven environment to seek to achieve the best result for Canadians.
Unfortunately, opponents of this proposal have chosen to use fear in their attempt to achieve politically what they have failed to achieve at CARAC. Again, the facts are our best ally in rebuffing these claims. The one-to-fifty ratio has been in use for a little over 30 years in the United States and for slightly less time in the EU. In that period of time, not one aviation incident report has cited this ratio as the contributing factor in cases of serious harm to passengers from aviation incidents. In fact, since air carriers are regulated according to the regime of their home countries, there are literally dozens of large commercial flights from U.S. and European airlines that operate into Canada every day, carrying thousands of passengers quite safely under the one-to-fifty ratio. This standard is so common and universally accepted as a safe one that the modern aircraft are actually designed and built assuming the one-to-fifty ratio. It's working today in Canada and throughout the world.
Similarly, it's been working for some Canadian certified aircraft as well, which are operating under special provisions, allowing them to staff according to one to fifty. Specifically, each of the Bombardier CRJ200 aircraft, the Dash 8-300, and the ATR 42-300 aircraft have been operating safely using the standard for some time now.
Mr. Chairman, it's time to allow Canadians and Canadian carriers to compete fairly with their U.S. and European counterparts. Yes, this is largely a cost issue for our members, but as I stated at the outset, we would never allow cost concerns to supersede safety concerns. The simple reality is, however, that there is no data to suggest there are any outstanding safety issues associated with this proposal. Let's recall that there was a time when every aircraft had a flight engineer on the flight deck. There was a time when every flight attendant had to be a registered nurse. Clearly, those regulations have all been in response to the times. So, too, the flight attendant-passenger ratios in Canada must evolve to meet safe and proven international standards, which allow Canadian operators to compete and thrive with their international counterparts on a level playing field.
Thank you for your time, Mr. Chairman. With that, we look forward to your and the committee members' questions.