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Public engagement on changes to the Manchester Low Level Route (MLLR) launched |
The UK Civil Aviation Authority has announced their public engagement activity on its proposed amendment to the volume of airspace currently known as the Manchester Low Level Route (MLLR).
Their review of the airspace, published in July last year, uncovered a number of safety concerns, notably the risk of mid-air collisions (MAC), which endanger both air traffic and ground communities. Additionally, challenges in ensuring safe emergency landings due to urban expansion, risks of airspace infringements due to proximity to Class D airspace, and discrepancies in pilot GPS navigation software further complicate MLLR operations.
These findings, along with the fact that the current rule exemption that allows the MLLR to operate as it does, underscores the urgent need for amendments to mitigate these risks and enhance safety for all airspace users.
The Proposals
After detailed analysis and collaboration with both Manchester and Liverpool Airports, the CAA are now proposing an amendment to the MLLR with four core elements.
The proposed elements are:
- Reclassifying the current Class D MLLR airspace to Class G uncontrolled airspace.
- Implementing a Restricted Area within the reclassified airspace.
- A maximum altitude within the Class G airspace of 1500ft – 200ft higher than the MLLR currently permits.
- Creating Class G airspace 0.65 nautical miles wider than today’s MLLR along its eastern boundary.
The CAA have conducted a thorough Hazard Identification (HAZID) session with the neighbouring airspace controlling authorities and determined that the proposed amendment will improve safety within the MLLR, while not negatively impact the safety of their existing operations. The CAA also do not expect the amendment to have any negative impacts on the aviation community or local communities.
Have your say
the CAA encourage anyone with an interest in this airspace, including local communities, to participate in their public engagement, which ends on 15 July 2024. This can be accessed through the UK Civil Aviation Authority’s dedicated engagement page.
The CAA will also be holding a public drop-in information session to allow all stakeholders to come and speak to the project team and learn more. The details of this session are:
Date and time: 4 June 2024, 12:45 - 18:15
Venue: Hartford Village Hall, 244 Chester Rd, Hartford, Northwich CW8 1LW
Finally, it is important to note that this proposal to amend the MLLR is being presented by the UK Civil Aviation Authority and is a wholly separate piece of work to the airspace change proposals being presented by both Manchester and Liverpool Airports, as part of the FASI program.
If you have any questions or would like to discuss this further, please contact us at
Airspace Classification team
UK Civil Aviation Authority
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Reclassify general aviation airfields as greenfield not brownfield sites: Government Response |
As the number of signatures has reached over 10,000 the Government published this response on 16 May 2024:
"We are not seeking to alter airfield classification at this current time.
The Government recognises the importance of the General Aviation (GA) industry for supporting key services as well as training and commercial use.
Critical to GA’s success is the network of airfields which reflect the diversity in the sector, differing in size and infrastructure capability, ranging from smaller airfields focused on training and educational opportunities, to larger regional and international business aviation hubs. They all have an important role in supporting the aviation sector.
The National Planning Policy Framework (NPPF) emphasises that planning policies should recognise the importance of maintaining a national network of GA airfields and their need to adapt and change over time. The NPPF is a material consideration in planning decisions, and each application is judged on its individual merits. It is for local planning authorities to make individual decisions based on the planning policy and guidance that reflect the local context and engagement with local stakeholders. The weight given to these considerations is a matter for the authority as the decision taker in the first instance.
The NPPF encourages effective use of land in meeting development needs, while safeguarding and improving the environment and ensuring safe and healthy living conditions. The NPPF states this should be in a way that makes as much use as possible of brownfield land.
Brownfield land is defined in the NPPF as “land which is or was occupied by a permanent structure, including the curtilage of the developed land (although it should not be assumed that the whole of the curtilage should be developed) and any associated fixed surface infrastructure”, with some specific exclusions.
Airfield buildings and their curtilage are currently regarded as brownfield land. However, as the policy above makes clear, it should not be assumed that the whole of the curtilage of a brownfield site should be developed.
Applications for planning permission to redevelop airfields must be determined in accordance with the development plan for the area unless material considerations indicate otherwise.
Applications for the reuse or redevelopment of airfields must also be considered in the context of wider national policy and account should be taken of the Government’s General Aviation Strategy. The NPPF acknowledges the significant contribution aviation makes to economic growth across the country – expecting planning policies, where supported by robust evidence, to identify and protect sites which could be critical in developing infrastructure to widen transport choice.
Department for Levelling Up, Housing and Communities"
You can view the response online here.
If the number of signatories reaches, or exceeds, 100,000 the Petitions Committee will consider it for a debate.
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New Safety Sense Leaflet: VFR into IMC |
A new Safety Sense Leaflet has been published providing guidance to general aviation pilots on the risks and mitigations associated with continued Visual Flight Rules (VFR) flight into Instrument Meteorological Conditions (IMC).
This forms part of the popular Safety Sense series which are currently updating.
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General Aviation Pilot Licensing Review Phase 2: Aeroplanes - Consultation Closes 22 May 2024
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In October 2022, the CAA published CAP2335 (General Aviation Pilot Licensing & Training Simplification – Phase 1: Strategic Direction) as part of a 3 Phase program to simplify training and licensing for the UK’s General Aviation (GA) Sector.
The subsequent GA community response (CAP2532) showed strong support in several key areas for updating our current legislation with regards to Licensing and Training.
AOPA has been fully engaged with the process and made significant contributions to the proposals and community response.
This consultation (Phase 2) will explore these key areas in more detail, to ensure that the CAA are working towards the goals of the community whilst maintaining legislative compliance within these areas. The consultaion closes on 22 May 2024.
The outcome of this consultation will help finalise the proposals for the simplification of licensing and training. The final proposals and legal drafting will be developed with the Department for Transport and presented for legislative amendment Spring 2025.
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HIAL Airport 2024 Parking Charges reduced for light aircraft |
When HIAL first published their charges for 2024, AOPA contacted HIAL to raise a number of concerns about the significant increase in costs for private GA flights in light aircraft, in particular parking fees. AOPA asked for these to be reviewed and HIAL have now revised charges for aircraft up to 2.5 tonnes:
Full details of HIAL terms and conditions can be found here.
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Petition - Reclassify general aviation airfields as greenfield not brownfield sites |
AOPA, along with other Associations and the General Aviation Awareness Council (GAAC) have lobbied, and continue to lobby, Government to afford protection for Aerodromes/Airfields in planning guidelines.
A Petition "Reclassify general aviation airfields as greenfield not brownfield sites" has been started and runs to 24 October 2024. If the Petition achieves 10,000 signatures a government response wil be given. At 100,000 signatures this petition will be considered for debate in Parliament.
AOPA asks our members to consider supporting this petition.
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Online GAR Response Messages - Common Travel Area |
When travelling within the Common Travel Area (CTA) of UK & Northern Ireland, Channel Islands, Isle of Man and Ireland no Response Message will be displayed. This was not obvious to users of the service and in response to a query from AOPA the UPT Queries Team have advised that the guidance notes have been updated as below:
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HIAL Airport Charges Increase from 1 April 2024 |
Highland and Islands Airport Ltd (HIAL) have published charges for the use of their airports with effect from 1 April 2024. Details can be found here.
For private GA flights in light aircraft the charges have increased over 300% compared to 2023 charges. The significant changes have been the introduction of a navigation fee of £15 (+VAT) for aircraft under 2,500 kg and parking fees, the first 60 minutes are free and then charges of £40 (exc VAT) for the next 4 hours and then £2.50 (exc VAT) per hour, or part thereof, thereafter for aircraft up to 10,000 kg. An 8 hour stay for a private flight in an aircarft under 2,500 kg the basic cost will be:
Landing Fee: £21 +VAT
Navigation Fee: £15 + VAT
Parking: 60 minutes free, £40 + VAT for the next 4 Hours and £2.50 + VAT for the next 3 hours
Total: £100.20 inc VAT (The cost in 2023 would have been £31.18 inc VAT)
Other services would be additionally charged for if used.
When the 2024 charges were published, AOPA contacted HIAL with a number of questions in order to establish what charges would apply to private flights and some further clarifications. We have today received a response from Alastair Gleave, HIAL Chief Commercial Office. The salient points from his response are:
1) For clarification cost sharing flights meet the deifintion of a private flight. HIAL will review their wording.
2) The navigation fee covers all aspects of air navigation service provision, including Communication, Navigation, Surveillance (CNS), Meteorological (MET) and Air Traffic Services (ATS) – both Air Traffic Control (ATC) and Aerodrome Flight Information Service (AFIS), as applicable. Therefore, the navigation fee for air navigation services will apply to both IFR and VFR operations.
AOPA: Many of the services listed are not required by private pilots who self-handle and this charge will be challenged.
3) The review of HIAL’s Conditions of Use and charges identified aircraft parking as an area that required re-assessment. The published parking fees apply for all aircraft. The feedback received has highlighted the unintended impact of the new pricing scales on the private light aircraft community. The inclusion of an additional parking scale for aircraft up to 2.5 tonnes will be explored.
AOPA: It has been pointed out to HIAL that Dundee offer a 24 hour flat fee of £15 (+VAT) per day for light aircraft parking on grass. A similar flat fee should be considered for other HIAL airports.
Martin Robinson
CEO AOPA UK
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ACP-2023-033 London Oxford Airport Airspace Change Proposal Stakeholder Engagement: CAP 1616 DESIGN PRINCIPLES |
Oxford Aviation Services Limited (OASL), the operator of London Oxford Airport proposes to modernise its air navigation procedures and associated infrastructure. To progress this, they are required to commence a formal Airspace Change Proposal (ACP) process which is regulated and overseen by the United Kingdom (UK) Civil Aviation Authority (CAA).
In support of this stakeholed engagament, the following documents have been published:
To download either document click on the three dots.
Reponses regarding the draft Design Principles must be received by 24 April 2024. If you wish to provide AOPA with your views:
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ACP-2023-015: Northumbria NHS Air Grid Stakeholder Engagement Part 3 |
Apian are conducting a new period of stakeholder engagement from 28th March to 26th April, 2024. This update aims to inform you of revised timelines for the start of this project and provide further project details. The attached brief outlines these updates, and we encourage you to review the material and provide any feedback you may have on the operational and safety aspects of the trial.
All responses from previous engagement periods are still valid and will be submitted to the CAA as part of our application.
Apian have provided this update for consideration:
Download a copy if you want to use any links in the document. (Click on the 3 dots).
You can respond directly via this link by the 26th April 2024 and/or let AOPA know your views:
- 2024-25 CAA Schemes of Charges Publication
- UK Civil Aviation Authority proposes streamlined licensing system for GA Pilots
- CAP 413 SI 2024/01: Special Use Airspace Activity Information and Crossing Services
- CAA Consultation: Light aircraft to become safer under new proposals from regulator for CO Detectors