Appendix 3 to AMC 20-29 –
Change of Composite Material and/or Process
ED Decision 2010/003/R
1. It
is necessary to re-certify composite structures, which during production,
incorporate substitutions of, or changes to, the materials and/or processes
from those originally substantiated at the time of initial certification. For
example, the original material supplier may either change its product, or
cease production. Manufacturers may also find it necessary to modify their production
processes to improve efficiency or correct product deficiencies. In either
case, care must be taken to ensure that modifications and/or changes are
adequately investigated to ensure the continued adequacy of already
certificated composite structure. This appendix covers such material and/or
process changes, but does not address other changes to design (e.g., geometry,
loading). The definition of the materials and processes used is required in
the specifications by Part 21.A.31. Changes to the material and process
specifications are often major changes in type design and must be addressed as
such under Part-21, subpart D or E as applicable.
2. The
qualification and structural substantiation of new or modified materials
and/or processes used to produce parts of a previously certified aircraft
product requires:
a. The
identification of the key material and/or process parameters governing
performances;
b. The
definition of the appropriate tests able to measure these parameters; and
c. The
definition of pass/fail criteria for these tests.
3. ‘Qualification’
procedures developed by every manufacturer include specifications
covering:
a. Physical
and chemical properties,
b. Mechanical
properties (coupon level), and
c. Reproducibility
(by testing several batches).
4. Specifications
and manufacturing quality procedures are designed to control specific
materials and processes to achieve stable and repeatable structure for that
combination of materials and processes. However, the interchangeability of
alternate materials and processes for a structural application cannot be
assumed if one only considers the properties outlined in those specifications
(as it could be for materials that are much less process dependent, e.g., some
metallic material forms). A structure fabricated using new or modified
materials and/or processes, which meet the ‘qualification’ tests required for
the original material and process specifications, does not necessarily produce
components that meet all the original engineering requirements for the previously
certified structure.
5. Until
improvements in identifying the complex relations between key material
parameters that govern composite processing occurs, there will be a need for
extensive and diverse testing that directly interrogates material performance
using a range of representative specimens of increasing complexity in building
block tests. Furthermore, failure modes may vary from one material and/or
process to another, and analytical models are sometimes insufficiently precise
to reliably predict failure without sufficient empirical data. Therefore, a
step-by-step test verification with more complex specimens may be required.
6. Classification of Material or Process Change
Material and/or process changes require appropriate classification in
order to aid the determination of the extent of investigation necessary. Some
minor changes may only require material equivalency sampling tests to be
completed at the base of the test pyramid, whilst more significant changes
will require more extensive investigations, including possibly a new
structural substantiation.
a. Any
of the following situations requires further investigation of possible changes
to a given composite structure:
(1) Case
A: A change in one or both of the basic constituents, resin, or fibre
(including sizing or surface treatment alone) would yield an alternate
material. Other changes that result in an alternate material include changes
in fabric weave style, fibre aerial weight and resin content.
(2) Case
B: Same basic constituents, but any change of the resin impregnation method.
Such changes include: (i) prepregging process (e.g., solvent bath to hot melt
coating), (ii) tow size (3k, 6k, 12k) for tape material forms with the same
fibre areal weight, (iii) prepregging machine at the same suppliers, (iv)
supplier change for a same material (licensed supplier).
(3) Case
C: Same material, but modification of the processing route (if the
modification to the processing route governs eventual composite mechanical
properties). Example process changes of significance include: (i) curing
cycle, (ii) bond surface preparation, (iii) changes in the resin transfer
moulding process used in fabricating parts from dry fibre forms, (iv) tooling,
(v) lay-up method, (vi) environmental parameters of the material lay-up room,
and (vii) major assembly procedures.
b. For
each of the above cases, a distinction should be made between those changes
intended to be a replica of the former material/process combination (Case B
and some of Case C) and those which are “truly new material” (Case A and some
of Case C). So, two classes are proposed:
(1) “Identical
materials/processes” in cases intended to create a replica structure.
(2) “Alternative
materials/processes” in cases intended to create truly new structure.
c. Within
the “identical materials/processes” class, a sub-classification can be made
between a change of the prepregging machine alone at the supplier and licensed
production elsewhere. For the time being, a change to a new fibre produced
under a licensed process and reputed to be a replica of the former one, will
be dealt with as an “alternative material/process”.
d. Some
minor changes within the class representing identical materials/processes may
not interact with structural performances (e.g., prepreg release papers, some
bagging materials, etc.) and should not be submitted to the Agency as part of
the change. However, the manufacturers (or the supplier) should develop a
proper system for screening those changes, with adequate proficiency at all
relevant decision levels. Other minor material changes that fall under Case B
may warrant sampling tests to show equivalency only at lower levels of
building block substantiation.
e. Case
C changes that may yield major changes in material and structural performance
need to be evaluated at all appropriate levels of the building block tests to
determine whether the manufacturing process change yields identical or
alternate materials. Engineering judgment will be needed in determining the
extent of testing based on the proposed manufacturing change.
f. Case
A (alternative material) should always be considered as an important change,
which requires structural substantiation. It is not recommended to try a
sub-classification according to the basic constituents being changed, as
material behaviour (e.g., sensitivity to stress concentrations) may be
governed by interfacial properties, which may be affected by either a fibre or
a resin change.
7. Substantiation Method. Only the technical aspects of substantiation
are addressed below.
a. Compliance Philosophy. Substantiation should be based on a
comparability study between the structural performances of the material
accepted for type certification, and the second material. Whatever the
modification proposed for a certificated item, the revised margins of safety
should remain adequate. Any reduction in the previously demonstrated margin should
be investigated in detail.
(1) Alternative Material/Process: New
design values for all relevant properties should be determined for any
alternate material/process combination. Analytical models initially used to
certify structure, including failure prediction models, should be reviewed
and, if necessary, substantiated by tests. The procurement specification
should be modified (or a new specification suited to the selected material
should be defined) to ensure key quality variations are adequately controlled
and new acceptance criteria defined. For example, changing from first to
second generation of carbon fibres may improve tensile strength properties by
more than 20% and a new acceptability threshold will be needed in the
specification of the alternate material to ensure the detection of quality
variations.
(2) Identical Material: Data
should be provided that demonstrates that the original design values (whatever
the level of investigation, material or design) remain valid. Statistical
methods need to be employed for data to ensure that key design properties come
from the same populations as the original material/process combination.
Calculation models including failure prediction should remain the same. The
technical content of the procurement specification (Case B) should not need to
be changed to properly control quality.
b. Testing.
(1) The
extent of testing needed to substantiate a material change should address the
inherent structural behaviour of the composite and will be a function of the
airworthiness significance of the part and the material change definition. For
example, the investigation level might be restricted to the generic specimens
at the test pyramid base (refer to figures in paragraph 7) for an identical
material, but non-generic test articles from higher up the pyramid should be
included for an alternative material. Care needs to be taken to ensure that
the test methods used yield data compatible with data used to determine
properties of the original structure.
(2) The
testing that may be required for a range of possible material and/or process
changes should consider all levels of structural substantiation that may be
affected. In some instances (e.g., a minor cure cycle change), possible
consequences can be assessed by tests on generic specimens only. For other
changes, like those involving tooling (e.g., from a full bag process to
thermo-expansive cores), the assessment should include an evaluation of the
component itself (sometimes called the “tool proof test”). In this case, an
expanded NDI procedure should be required for the first items to be produced.
This should be supplemented – if deemed necessary – by “cut up” specimens from
a representative component, for physical or mechanical investigations.
c. Number of Batches.
(1) The
purpose for testing a number of batches is the demonstration of an acceptable
reproducibility of material characteristics. The number of batches required
should take into account: material classification (identical or alternative),
the investigation level (non-generic or generic specimen) the source of
supply, and the property under investigation. Care should be taken to
investigate the variation of both basic material and the manufacturing
process.
(2) Existing
references (e.g., The Composite Materials Handbook (CMH-17) Volumes 1 and 3,
FAA Technical Report DOT/ FAA/AR-03/19), addressing composite qualification
and equivalence and the building block approach, provide more detailed
guidance regarding batch and test numbers and the appropriate statistical
analysis up to laminate level. Changes at higher pyramid levels, or those
associated with other material forms, e.g., braided VARTM (Vacuum-Assisted
Resin Transfer Moulding) structure, may require use of other statistical procedures
or engineering methods.
d. Pass/Fail Criteria. Target pass/fail criteria should be
established as part of the test programme. For strength considerations for
instance, a statistical analysis of test data should demonstrate that new
design values derived for the second material provide an adequate margin of
safety. Therefore, provision should be made for a sufficient number of test
specimens to allow for such analysis. At the non-generic level, when only one
test article is used to assess a structural feature, the pass criteria should
be a result acceptable with respect to design ultimate loads. In the cases
where test results show lower margins of safety, certification documentation
will need to be revised.
e. Other Considerations. For characteristics other than static
strength (all those listed in AMC
20-29, paragraphs 8, 9, 10 and 11), the substantiation should also ensure an
equivalent level of safety.
[Amdt 20/6]
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