SIRE 2.0 - Question Library 3.2.4
SIRE 2.0 - Question Library 3.2.4
SIRE 2.0 - Question Library 3.2.4
Vessel Types
Oil, Chemical, LPG, LNG
ROVIQ Sequence
Documentation, Bridge
Publications
OCIMF A Guide to Best Practice for Navigational Assessments and Audits
OCIMF: Recommendations on the Proactive Use of Voyage Data Recorder Information (revised edition August 2020)
Objective
To verify the extent of company evaluation and oversight of navigational standards onboard managed
vessels.
Industry Guidance
Companies may consider using Voyage Data Recorders (VDRs) to conduct remote assessments of navigational
practices. This may be supplemented by downloading data from ECDIS and other electronic navigation aids.
Using the VDR for remote navigational assessments should be seen as an additional assessment tool, not as a
replacement for traditional navigation assessments. Both types of assessment have advantages and limitations and
should not be considered mutually exclusive.
OCIMF: Recommendations on the Proactive Use of Voyage Date Recorder Information (revised edition
August 2020)
Navigational assessments using VDR data could be undertaken on board by Masters with their bridge teams, by
vessel operators in managing offices, or by using services of an independently contracted third-party company. VDR
data will be replayed and analysed against the company SMS, industry best practices and regulatory requirements.
The VDR data is normally used to cover one or more high-risk sections of the voyage, such as canal transits, pilotage
during arrival/departure and/or passage through high traffic density areas such as the Singapore/Malacca Straits or
the English Channel.
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TMSA KPI 5.4.1 requires that comprehensive navigational audits* are conducted while on passage by a suitably
qualified and experienced person.
This fleet audit programme includes a combination of company and independent audits. Where it is impractical for a
vessel to be audited within the 12-month period due to trading pattern then an unannounced remote audit by an
independent contractor, including VDR downloads may be used. All fleet vessels are audited while on passage at
intervals not exceeding 12 months.
*The terminology used in the OCIMF paper “A Guide to Best Practice for Navigational Assessments and Audits” will
take precedence throughout the balance of guidance.
12.2 The Company should periodically verify whether all those undertaking delegated ISM related tasks are acting in
conformity with the Company's responsibilities under the Code
12.3 The Company should periodically evaluate the effectiveness of the SMS in accordance with procedures
established by the Company.
Inspection Guidance
This question will only be generated when the vessel operator had indicated, through the pre-inspection
questionnaire, that a remote navigational assessment had been undertaken for the vessel being inspected within the
previous twelve months.
The inclusion of this question in the CVIQ does not imply an expectation by OCIMF or its members that a remote
navigation assessment will be carried out on any vessel at any particular time.
It is not expected that sensitive personal data relating to the assessment of individual performance is contained within
the report available onboard. Such assessment, although expected to form part of a remote navigational assessment,
should remain confidential.
It is an OCIMF expectation that the assessment report will include brief details of the assessor’s qualifications and
pertinent seafaring experience.
• Make a qualitative assessment of the remote navigation assessment report beyond the specific guidance
contained herein.
• Make a qualitative assessment of the qualification and/or experience of the independent contractor or
specialist company representative undertaking the assessment beyond the specific guidance contained
herein.
• The remote navigational assessment included the phases of a voyage as declared in the pre-inspection
questionnaire.
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• The remote navigational assessment was unannounced and included the download and review of VDR and
ECDIS data.
• Brief details of the assessor’s qualification and experience were included within the report.
• The report was substantially in alignment with the format, and contained information, as suggested by the
OCIMF publication “A Guide to Best Practice for Navigational Assessments and Audits”.
• Where the report identified areas for improvement there was evidence that follow up had been undertaken
by the company and/or vessel as appropriate.
Expected Evidence
• The report for the remote navigational assessment conducted by either an independent contractor or
specialist company representative as declared through the pre-inspection questionnaire.
• The Bridge Log Book to cover the period of the reported remote navigation assessment (for geographical
verification purposes only).
• A corrective action plan with due dates for each area for improvement identified during the remote
navigational assessment.
• Supporting evidence for each closed area for improvement identified and included in the corrective action
plan.
• The remote navigational assessment report for the assessment declared through the pre-inspection
questionnaire was not available onboard.
• The remote navigational assessment did not include review of downloaded VDR and ECDIS data as well as
supporting material such as passage plans, under-keel clearance calculations and copies (photos) of paper
charts where no ECDIS was carried.
• The remote navigational assessment covered a period solely at anchor or open sea navigation where no
navigational challenges were present.
• The remote navigational assessment did not cover the phases of the voyage as declared by the operator
through the pre-inspection questionnaire.
• The details of the qualifications and pertinent seafaring experience of the assessor were not included within
the report.
• The assessor did not hold or had not held a senior deck officer licence and/or had not sailed as a senior
deck officer.
• The remote navigational assessment report was not substantially in alignment with the OCIMF guidance
document “A Guide to Best Practice for Navigational Assessments and Audits”
• There was no corrective action plan with defined due dates for all areas for improvement identified during
the remote navigational assessment.
• There was no evidence that the areas for improvement identified during the remote navigational assessment
had been closed out within the due dates indicated within the corrective action plan.
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