Title: Federal Aviation Administration Supplier Control Audit (SCA)
1Federal Aviation AdministrationSupplier Control
Audit (SCA)
- Presented by Ed Bayne
- Boeing Enterprise and Industry Interface
Representative - Prepared by Brian Simons
- Boeing Oversight Representative
2What is an SCA?
- FAA Order 8120.2, Part 3, section 124.
Certificate Management Activity - Certificate management activity will be focused
on the Production Approval Holders (PAH) control
of its suppliers. - The FAA will determine if a PAH (e.g. The Boeing
Company) is complying with its supplier control
system by performing the following activities - b. Supplier Control Audit. The Principle
Inspector (PI) will determine that the supplier
complies with purchase order and/or quality
requirements.
3What is an SCA? (Cont.)
- FAA Order 8120.2, Part 6. Supplier Control Audit,
section 139. General - A SCA is conducted as part of the Certificate
Management of the PAH (e.g. The Boeing Company
PC700). - Evaluates the outside sources (e.g. supplier)
system to control parts, materials, supplies, and
services. - The SCA determines that the supplier complies
with purchase order and/or quality requirements,
including any statistical sampling that may be
utilized.
4What are the results of an SCA?
- FAA Order 8120.2, Part 3, section 125.
Determination of Supplier Control - The PI determines whether a PAH is controlling
its suppliers by reviewing the results of the
supplier control audits. - The PI looks for evidence that may indicate a
system breakdown in supplier control by the PAH. - Corrective action is requested for a system
breakdown.
5What are the results of an SCA? (Cont.)
- If the FAA identifies evidence indicating a
system breakdown in supplier control, a Letter of
Investigation (LOI) or Surveillance Evaluation
Report - (SER) is issued to the PAH.
- LOI vs. SER depends on the severity of the
issue(s) - The LOI/SER informs the PAH that the FAA is
investigating the matter. - The LOI/SER describes each of the identified
nonconformances as follows - Required Condition (e.g. AS9100 requirement,
supplier procedure, etc.) - Encountered Condition (e.g. PAH failed to ensure
AS9100was implemented - at supplier)
- Example (e.g. specific evidence collected during
SCA un-calibrated inspection tools, past due
internal audits or management reviews, incomplete
corrective action, missing training records,
etc., etc., etc.)
6What are the results of an SCA? (Cont.)
- The PAH is requested to provide a response
containing - Additional evidence or statements addressing the
conditions or examples - Mitigating circumstances relevant to the case
- Nonconformance cause, and action to correct and
prevent recurrence - Response is typically due within 20 working days,
upon receipt of LOI - This language sounds like legalese, because it is!
7What are the results of an SCA? (Cont.)
- The PAH, and its suppliers, are required to
maintain a quality management system per Code of
Federal Regulations, 14 CFR 21.165. - The PAHs Production Certificate is at risk
during every SCA - The PAH is at risk for civil penalties stemming
from LOIs - By law, 14 CFR 13.14 Each violation is subject
to civil penalty of not more than 25,000 per
occurrence. (i.e. each individual bolt improperly
torqued, each part improperly heat treated)
8What are the results of an SCA? (Cont.)
- Past supplier Issues resulting in a civil penalty
have included - Special Manufacturing Processes (9100 clause
7.5.2) Improper Heat Treating - Design Control (clause 7.3) Revision Control of
Drawings Specifications, Parts Manufactured
Without Proper Engineering Approval - Material Control (clause 8.3) Level of Control
Over Non-conforming Product Parts Not Properly
Identified for Scrap - Tool Gauge Control (clause 7.6)
Non-compliance of Calibration/Certification
System - Inspection System (clause 8.2.4) Control of
Sampling System (Lack Training, Audits) - Manufacturing Control (clause 7.5.1) Inadequate
Work Instructions - Certifications (clause 6.2.2) Employees Not
Properly Certified Performing Operations
9Why should the Certification Bodies (CBs) and
their auditors care about SCA results?
- PAH supplier approval is based on 9100
certification recognition - The majority of tier 1 and tier 2 aerospace
suppliers are 9100 certified - The supplier QMS processes assessed during the
SCA are the same ones assessed by the CB during
initial and surveillance activity - FAA verbal comment following a recent SCA audit,
regarding a certified supplier that did not have
an established FAI process, per AS9100 - clause 8.2.4.2 requirements
- He (FAA auditor) is concerned that they are CRB
approved and it - apparently wasnt identified as an issue by the
approving CRB
10SCA Statistics (The Big Picture Show)
- FAA supplier control audits conducted at Boeing
Commercial Airplane (BCA) division suppliers from
October 2005 through March 2007 - 52 clients (9100 certified suppliers)
- 28 domestic / 24 non-domestic clients
- 21 clients had at least 1 identified QMS
nonconformance - 40 of total
- 86 total nonconformances identified
- Average per client 4
- Top client 9
11SCA Statistics (The Good, The Bad, The Ugly)
12SCA Statistics Top Nonconforming 9100 Clauses
- FAA SCAs conducted at BCA division suppliers from
October 2005 through March 2007 - 7.5.1 Control of Production and Service Provision
(13) - 8.2.4 Monitoring and Measurement of Product (8)
- 8.2.4.2 First Article Inspection (7)
- 7.5.1.1 Production Documentation (6)
- 7.5.5 Preservation of Product (6)
- 4.2.3 Control of Documents (5)
- 4.2.1 Documentation Requirements (4)
- 4.2.2 Quality Manual (4)
137.5.1 Control of Production and Service Provision
- Production work order issues
- Obsolete/inaccurate drawing and specification
call-out - Missing or omitted manufacturing/inspection
operation entries - Different part counts between operations (Part
accountability) - Manufacturing/inspection practice does not match
operation instruction - Manufacturing practice does not meet
engineering/specification requirements - Recommendations for CB auditor
- Increase audit time in manufacturing/inspection
areas - Increase production work order sample size during
audits - Review for part accountability, required entries,
evidence of operation completion - Compare work order to drawing/specification
requirements - Witness manufacturing/inspection practice vs.
work order, drawing, specification, instruction,
etc.
14The Loud and Clear Message
- Aerospace QMS certification/registration scheme
- The FAA allows the PAH to use other-parties to
perform supplier assessments, surveillance, and
certification. It is an earned privilege, not
guaranteed. - FAA perception of effectiveness is based on facts
collected during SCA activity - Certification body management and auditor
responsibilities - Ensure the integrity of the audit process and the
validity of the issued certificate - Recognize the inherent conflict of interest
perception (Clients pay for certificates) - Demonstrate ethical behavior to build trust and
confidence with the PAH and FAA - (i.e. no soft grading of nonconformances,
thorough CA verification, etc.) - CB auditors role is critical for PAHs
Certificate Management
15Proposed Process Improvements
- Direct communication of SCA results from PAH to
responsible CB - OASIS feedback loop
- Formal PAH report (e.g. Boeing Strengths and
Issues document) - Participation by CB in LOI corrective action
response - Participation of CB auditor, along with PAH
personnel, during a SCA - Direct communication of SCA results to
accreditation body (e.g. ANAB) for CB oversight
planning and auditing activity
16The Reality of the Civil Aviation Industry.......
- PAH and FAA personnel
- Are not as constrained by audit agendas/plans or
time during their audit activity - Audit trails can be methodically followed and
investigated, allowing greater possibility of
exposing process nonconformances - Spend the majority of audit time focused on
manufacturing/inspection processes - Shouldnt the Certification Body Personnel
- Ensure audit planning policies and CB/Client
agreements meet the intent of AS9104 clause 8.2.2
Duration of Assessment - It is anticipated that the requirements of the
AQMS Standards shall add on-site assessment time - Justify and utilize additional on-site assessment
time to emphasize manufacturing/inspection
documentation, personnel competence, and process
conformance
17Supplier Control Audit - SCA
- Questions or clarifications?
- Comments?
- Discussion?
- Email feedback to brian.d.simons_at_boeing.com
- FAA CFR's and Orders http//www.faa.gov/