Published on Australian Maritime Safety Authority (https://www.amsa.gov.au)
We have added past editions of Survey Matters to the AMSA website. They can be found on the AMSA Newsletters page here.
We understand surveyors face difficulties obtaining survey codes from clients in certain instances. To alleviate these difficulties we have put a new process in place to provide codes to surveyors.
If you are unable to obtain survey codes from the certificate holder, send an email to DCVApplications@amsa.gov.au . In your email, provide evidence that you've been engaged to conduct the survey(s).
Examples of sufficient evidence:
This process is only available for survey codes, and does not extend to enquiries about applications or requests for copies of certificates. Please remember that if a surveyor needs to receive information about an application, you have to be added as a contact on the application.
The Queensland Coroner has handed down findings following the joint inquiry into the loss of the fishing vessels Cassandra and Dianne.
The findings contain a recommendation that bulky items should be secured by restraining straps or bolted down where possible. This is an inexpensive measure to implement and relatively easy to achieve.
The coroner also made recommendations relating to:
We request that you make your clients aware of these recommendations.
The full coroner’s report is available on the Queensland Courts website.
Marine Order 503 includes a power permitting AMSA to approve alternate forms of initial or periodic survey. This allows AMSA to vary the survey processes for vessels, on a case by case basis. Importantly, this does not alter the standards that apply to the vessel, just the survey process set out in the Surveyor Manual.
To apply for an alternate survey process:
Email applications to dcvsurvey@amsa.gov.au.
Note: we cannot process applications without adequate detail.
Generally speaking, you can seek an alternate survey process if you have considered the survey requirements specified in Marine Order 503 and believe there is a genuine reason it cannot practically be applied.
You may also propose an innovative or alternate process to satisfy the outcomes of a prescribed type of survey. For example an in water dive survey.
Do not seek an alternate survey unless you have considered the prescribed process in Marine Order 503 and can justify why it cannot be practically applied. Unjustified applications will generally be refused.
Do not seek an alternate survey process for transitional vessel changes that require “initial survey to the extent of a change plus renewal”. These are changes mentioned in clause 3, 4, 5, 6(a), (e) and (f) of schedule
AMSA considers this a straightforward process that generally doesn't require a formal approval.
Q: Will AMSA consider dive surveys instead of out of water surveys?
A: Yes, AMSA will consider a dive survey for a year 3 out of water survey.
Q: Can a vessel undergo dive survey for years 3, 5 and 8?
A: Generally speaking, AMSA will only permit one dive survey in a five year period. However, we may consider longer docking cycles for permanently moored vessels with no appendages or propulsion.
Q: Will AMSA impose conditions on a dive survey approval?
A: Generally, we impose the following conditions on a dive survey approval:
Q: Can AMSA provide a list of all approvals issued for transitional vessels?
A: AMSA has no plan to publish approvals on a public register. The circumstances of each approval differ, and variations may misrepresent the requirements of the approval.
Q: Is there a standard survey process for transitional vessels?
A: Yes, Marine Order 503 and the Surveyor Accreditation Guidance Manual (SAGM) outline the standard process in detail. You should only seek an alternate survey process after considering the standard process. You must justify a departure from the standard process.
Q: In what circumstances does AMSA approve an alternate transitional survey process?
A: Before applying, an applicant should consider the standard process for transitional vessels. AMSA only departs from standard processes where there is no reduction in safety outcomes. AMSA will not approve an alternate process if we believe it may jeopardise safety.
Q: What should I think about before applying for an approval?
A: Before applying, it is particularly important to consider:
Note: the scenarios described below are general in nature and do not constitute an approval.
AMSA generally expects normal design phase plan approval covering all systems affected by the changed service category. The extent of plan approval for unaffected systems depends on the change to operational area or vessel modifications (if any). Refer to the other scenarios.
Generally, this can occur on a change of service category or a vessel that has been out of survey for more than 2 years. AMSA will request submission of all available drawings and we will ask the surveyor to confirm the vessel hasn't been altered from these drawings.
AMSA may accept reduced submissions without the original structural, watertight integrity, engineering and electrical plans, subject to conditions. This is only possible when there is clear evidence the vessel held a certificate from a state that fully implemented the USL code at the time of initial survey.
Generally, AMSA requires initial design phase surveys, including plan approval in this circumstance.
AMSA expects design phase plan approval covering any and all systems of the vessel affected by the change in service category. For non-affected systems it depends on the change to operational area (if any) refer to the questions above.
It is important to give thought to the extent of a change. For example, on a vessel fitting a net reel or crane – the extent of the change may include:
AMSA expects the design phase surveys specified in MO503 and SAGM to be conducted
AMSA will generally approve the vessel to continue operating without construction phase surveys if:
This is subject to the vessel remaining within its current cycle of surveys for:
We may request submission of previous survey reports. If there is no evidence of it occurring recently, AMSA will generally require a 10 year survey at the next renewal.
Electrical: AMSA always requires a current state electrical certificate of compliance, RCD and insulation test report for transitional vessels.
Fire: AMSA always requires evidence that a NSCV C4 compliant fixed fire detection and extinguishing system is fitted to the vessel.
Generally, AMSA will not require a draft mark survey.
Generally, AMSA requires the surveys specified in Marine Order 503 and SAGM to be conducted.
AMSA requires all three commissioning activities (lightship, stability and commissioning) to be completed.
Note: A lightship declaration is not an acceptable form of lightship survey for initial surveys.
Generally, AMSA does not issue alternate survey process approvals for transitional scenarios requiring renewal survey only. These are changes mentioned in clauses 6(c), 6(d) and 8 of schedule 1. AMSA accepts elements of recent renewal surveys as supporting documents for these changes.
For example, if a vessel has undergone a scheduled renewal survey 2 years ago, AMSA considers the shaft reports to have 3 years remaining validity. So, provided the owner is willing to accept a short term 3-year certificate, new shaft surveys are not required.
For out of water surveys the same applies. The vessel will keep its current cycle, provided the owner agrees to receive a shortened certificate.
In all circumstances, lightship reports, lightship declarations and in water surveys are not carried forward.
A new lightship measurement (not declaration) is required. If a lightship variation is measured, stability information must be updated or provided to include updated person weights as required.
Complete an AMSA 901 recommendation to cover equipment and systems. This includes:
Marine order 503 schedule 1 contains vessel changes which trigger a vessel to become transitional. One of the changes causing confusion for owners and accredited marine surveyors alike is clause 8:
8. Other than a like for like replacement of equipment or fittings, there is a change to any of the following for the vessel:
(a) fixed fire system
(b) stern gear
(c) gas system
(d) electrical power and generators.
So let's bring some clarity to the matter.
The scope of a like for like change is limited. Most changes impact the original scope of approval or affect additional systems. The examples below illustrate this:
System | Change | Like for Like or Transition Trigger |
---|---|---|
Fixed fire fighting system | Replacing bottles, canisters, discharge mechanisms etc. | Like for like |
Fixed fire fighting system | Changing from one firefighting medium to another (e.g. gaseous to water mist) | Transition trigger |
Fixed fire fighting system | Changing from one type of gaseous system to another (e.g. Halon to Novec 1230) | Transition trigger |
Stern gear | Shaft change due to engine replacement | Transition trigger |
Stern gear | Adding a propeller nozzle | Transition trigger |
Stern gear | Increasing rudder size or adding a rudder flap | Transition trigger |
Electrical power and generators | Extensive rewiring / adding a switchboard / upgrading generator power | Transition trigger |
Gas systems | Any additions or alterations | Transition trigger |
Other | Main engine change resulting in NO changes to structure or associated systems | Like for like |
The clause 8 changes require an application for a new certificate of survey. MO503 Division 2 requires the vessel to undergo a renewal survey (to the transitional standards).
All items and systems directly affected by the change must be designed, installed and surveyed against the relevant NSCV criteria. The rest of the vessel must meet the transitional standards contained in MO503 Schedule 2.
Clause 8 changes require close examination of all items of the vessel but some of these items may not be immediately obvious. Areas directly affected by the change must meet the current standards. However, there are several areas of the vessel not directly affected that must be upgraded to the transitional standard requirements:
We receive some EX40 submissions that fail to provide sufficient detail about the structural assessment of the vessel.
So let’s look at the requirements under EX40 and Part 2 of SAGM.
Division 2 of EX40 states:
2.1 The vessel must be designed and constructed so that it is fit for purpose…to the satisfaction of the person who surveys the vessel under 4.1.
Division 4 of EX40 states:
4.1 (2) The initial and periodic surveys:
...
(d) must survey the items, and in the manner, mentioned in chapter 7 of Part 2 of the National Law - Marine Surveyors Accreditation Guidance Manual 2014.
Chapter 7 of SAGM includes:
7.5.2 (2) The surveyor may choose to verify the vessel compliance with a standard….and the surveyor may accept third party documentation to do so.
7.5.2 (3) An existing vessel may be considered to be of acceptable strength if it is in a good state of repair and is:
(a) built to one of the standards in (2); or
(b) of a design with a record of at least five years history of safe operation....
7.5.2 (5) for a vessels considered on the basis of safe history of vessel or of design.…the history is adequately documented and supported by an appropriate structural survey and technical specification for the vessel.
All vessels applying for an EX40 permission must undergo an auditable assessment conducted by an accredited surveyor to determine that the vessel is fit for purpose. The assessment must have supporting documentation demonstrating structural adequacy which the surveyor must retain as per SAGM Part 2 7.5.2 (7).
Use the construction section of the AMSA 650 to describe this assessment.
Explain on the AMSA 650 when a vessel is being assessed for compliance against a recognised code. For example;
Vessel designer, Australian Excellent Plate Boats Pty Ltd, supplied approved drawings showing the vessel is designed in accordance with AS4132. The vessel was inspected and found to be built in accordance with the drawings.
When using a record of safe operational history to assess a vessel, document the history and provide a description on the AMSA 650.
For example:
The vessel is a Model XX built by Australian Excellent Plate Boats Pty Ltd. The vessel has been confirmed by the builder and through inspection as a production series boat to Sister Vessel AEPB01 UVI 123456. AEPB01 is designed to AS1799 and has been operating with the applicant for 5 years. Applicant uses AEPB01 for gill net fishing within 15 Nm of the NSW coast as evidenced by statutory certificate number XYZ987. This vessel has been inspected and will undertake the same operations.
There are other options available in SAGM such as direct calculations or testing. If these are not conducted to a recognised code or standard the surveyor must be able to justify the method applied.
SAGM 7.5.2 does not permit the assessment of fitness for purpose based solely on an accredited marine surveyor’s “professional judgement.” The basis for any judgement must be documented in a similar manner as described above.
SAGM Part 2 Chapter 3 defines the three phases of initial survey. For construction phase surveys the manual states:
3.8 (1)
…
(b) Phase 2: Construction phase: verification that the construction of a vessel complies with applicable legislation, exemptions and standards. Construction phase surveys may include, but are not limited to, verification that a vessel is built in accordance with design documentation, quality of workmanship, verification of lines plan, verification of draft marks, quality of materials
The construction phase surveyor must identify departures from the approved design. This requires consultation with the plan approval surveyor and re-approval to be undertaken as per SAGM Pt 2 3.10.2 (3):
Where any deficiencies or deviations from a vessel’s original approved plans are identified, they must be referred back to the surveyor who approved the plans. The surveyor who approved the plans is required to review the deficiencies and deviations that have been identified and determine if any changes to either the plans or the vessel are required in order for the vessel to meet the applicable legislation, exemptions and standards.
Approved documentation must accompany any proposed modifications during construction of the vessel. It must also address construction solutions not reflected in the original approved documentation.
The construction phase surveys must be finalised based on the updated approved documentation.
The survey process requires cooperation between the plan approval and construction phase surveyors. This will ensure all items are adequately addressed and the vessel is built based on approved documentation.