Thank you very much, Mr. Chairman.
Before I get into my formal statement, I would like to extend our sincere condolences to those affected by yesterday's crash in British Columbia.
I would also like to introduce Mr. Martin Eley more completely, in his first appearance at this committee. I'm sure it won't be his last either. He has been our new director general of civil aviation since May 4, 2009. Mr. Eley has held positions of increasing responsibility in the civil aviation organization since 1982. Prior to his appointment as director general, he was director of the national aircraft certification branch, and as such, he was a member of the management team of civil aviation for the last eight years. Mr. Eley is a professional engineer and an associate fellow of the Canadian Aeronautics and Space Institute.
My remarks today will describe the current civil aviation safety program, our role as regulator and industry's role. I will also provide information about areas of the program that have been reviewed by other parties, such as the Auditor General and other international civil aviation authorities.
I hope that this information will help to focus your study. Although we have a solid aviation safety record, there is always room to improve the already high level of aviation safety in Canada. As the second largest national aviation system in the world, Canada is considered a world leader in the international aviation community. That's an important point because virtually all technical, operational and licensing standards in the world are in line with the International Civil Aviation Organization's Standards and Recommended Practices.
This environment has been created to ensure, as much as possible, the seamless international flow of aviation activity.
Let me explain ICAO's role. It is a standards setting organization. It has never been a prescriptive body or an enforcement organization. The standards and guidance material developed by ICAO allow for flexibility so that individual members can have measures in place that reflect their operational reality. Member states, including Canada, use these standards and guidance as an adaptable tool kit to improve civil aviation at the domestic level. International requirements define what we do in Canada when setting strategic policy direction and developing regulations and standards where they are required. Transport Canada uses a consultative approach, where everyone has the opportunity to provide input on regulatory changes as they are being developed. Public comments to regulatory proposals as part of the pre-publication process in part 1 of the Canada Gazette are also an important aspect of our consultation.
Once the regulations make it through the consultative process, the Canadian aviation regulations and associated standards provide the legal framework within which the aviation safety program operates.
Transport Canada delivers Canada's civil aviation safety program. Using risk management techniques, we develop regulations, standards, guidelines, and education to promote a safe and harmonized aviation system for Canadians, for air travellers in Canada, and for Canada's aviation industry as a whole.
Aviation safety oversight is risk-based and supports the aviation industry's compliance with our regulations. Transport Canada provides services to the aviation industry based on the Canadian aviation regulatory framework in areas such as issuing personal licences, medical assessments required for the certification of licensed aviation personnel, issuing operating certificates to organizations, and certification of aeronautical products.
While the end product is the delivery of a certificate, a license, or some other document to an aviation stakeholder, the underlying purpose is for Transport Canada to be reasonably assured that individuals, organizations and aeronautical products can operate safely and in compliance with applicable requirements.
Transport Canada conducts ongoing surveillance of these aviation stakeholders to monitor compliance with the regulatory framework. This is done primarily through assessments and inspections, audits when more information is required, and enforcement action, when necessary.
At Transport Canada we take our oversight role very seriously. Make no mistake, if an air operator is not following the rules, that operator is not allowed to continue working. For this we hold the aviation industry accountable. They must operate safely, complying with the regulations, or face enforcement action. When there are regulatory infractions, they are subject to a firm but fair approach to enforcement.
Regulations require companies to use a systems approach to manage the safety of their organizations. This means implementing safety management systems. The guiding principle of SMS is that the companies must implement procedures that allow them to operate in a safe manner and identify potential issues in order to correct them and prevent accidents or incidents.
The first phase of implementation of these regulations for the commercial aviation sector of the industry, which carries 95% of the travelling public, was in 2005, with large airports and the air navigation system providers coming on in 2007.
We have recently made adjustments to the schedule for the introduction of these regulations to allow more time for smaller operators to prepare for implementation. Specifically, that means the regulations have been delayed until January 2011 at the earliest. This time will also allow us to improve the tools that our inspectors use to conduct oversight and to provide more training to inspectors.
It is worth noting that ICAO is currently developing a standard and recommended practices for a state safety program. Canada already has the main elements in place—regulations, standards, guidelines, and education—to promote a safe and harmonized aviation system. We anticipate that when it comes into effect, Canada will be well placed to meet this ICAO standard.
In addition to the international recognition of our leadership on a systems approach to safety, there have been a number of independent conclusions that we are on the right track. In her May 2008 audit report of Transport Canada's transition to safety management systems--more specifically, our implementation strategy--the Auditor General recognized Transport Canada's leadership role in implementing SMS and the international recognition it has received. More recently, the European Aviation Safety Agency determined that our system is equivalent to theirs. They have described this to us as a confidence-building exercise.
The U.S. National Transportation Safety Board recently recommended, in two accident investigation reports, the adoption of SMS. It also recommended that the Federal Aviation Administration mandate the use of SMS for commercial operators. In recent reports, the Transportation Safety Board of Canada has also recognized the benefits of a systems approach to safety.
The history of aviation has been one of continuous change. In order for change to be successful, it is important to have support from all levels of the organization. The delay in the implementation schedule we've imposed will allow more time to refine oversight tools for our staff based on the experience gained during the assessments of the larger operators and to enhance training.
Let me conclude by saying that we've listened to the concerns that have been voiced, that we will continue to listen, and that we are making adjustments to keep moving the program forward. The department welcomes this public discussion on aviation safety. Public confidence is a key measure of our commitment to aviation safety.
Thank you for your time. We look forward to answering your questions.