FAA Confirms Receiving Tasks Not Maintenance, No D&A Testing Requirement

On May 30, the FAA issued a legal interpretation clarifying that repair station employees receiving items for stock are not performing safety sensitive functions under 14 CFR part 120 and need not be included in a drug and alcohol testing pool. The interpretation was provided in response to a Feb. 15 request from 16 different … Continue reading FAA Confirms Receiving Tasks Not Maintenance, No D&A Testing Requirement