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Old 04-08-2022 | 06:48 PM
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StartngOvr
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From: Drivin’ the bus
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Originally Posted by FangsF15
You are conflating two totally different things. (For the record, or any NH reading this, you meant to reference 23.S.7.b). That paragraph is talking about one VERY specific circumstance, where you can call CS, and inform them you are "unavailable for contact during the first two hours of the short call." That is it, period, nothing more. The whole point is so you can be commuting in so as to be at the airport, and can report immediately upon the end of those first two hours. If you are not actively commuting to base in the first two hours of a SC, this provision is totally moot.

But that is totally independent of SC "report time", per se. In ANY other circumstance, "promptly available" is the controlling time frame, be it SC or a Reg GS report, and '2 hours' is nowhere in the conversation. There is intentionally NO written number for what "promptly available" means. If it was, the company would have to enforce it. While many people throw out 'about 2 hours is generally agreed upon', that is not - repeat NOT - in policy anywhere (which, in fairness, you do state). In LA or NY, 3 hours may well be reasonable due to traffic or co-terminal proximity. Having said that, you will not want to have to explain why it took you much longer than about that. As a general statement (and as you said), if you report 2+01 from contact, you will not be in trouble.

This issue is like whack-a-mole. It keeps coming up, again and again. SC and "2 hours" should never be used in the same sentence, ever - unless that sentence is, "SC is NOT 2 hours".

Could we all maybe agree that taking more than 2 hours to report for a short call assignment is going to generate an inquiry from your CPO?

If you’re comfortable popping up on the CPO radar on a regular basis, have at it.

If taking more than two hours becomes a regular habit, in the long run, we will end up getting a hard time defined in the PWA and we all lose then.


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