17.4 Port State Control Inspections - 2
17.4 Port State Control Inspections - 2
17.4 Port State Control Inspections - 2
Purpose
To outline procedure for preparation and conduct of Port State Control (PSC) inspections.
Caution
Certain port administrations require port officials and pilots to report problems that may pose a risk to
safety or to the marine environment. Whistle blowing by them may lead to stringent PSC inspections.
Caution
When entering any PSC MOU, check the last PSC report issued by that MOU. Review the validity date
and closure of observations. In general, every Port State Control (PSC)/ Memorandum of Understanding
(MoU) inspects vessels annually. This period is reduced to 6 months on older vessels or on vessels that
have a bad inspection record (over 5 deficiencies in any PSC inspection).
17.4 PORT STATE CONTROL INSPECTIONS
Policy and Administration Manual 01-Dec-2022 Rev 10 Page 2 of 10
Paris MOU:
The scope, frequency and priority of inspection is determined basis the ship’s Risk Profile
All ships are assigned either as high, standard or low risk based on generic and historic
parameters. Calculate ship’s risk profile using the calculators on this website:
https://www.parismou.org/inspections-risk/ship-risk-profile/ship-risk-calculator
Periodic Inspections are carried out at intervals determined by the ship risk profile .
Ships become due for periodic inspection in the following time windows:
• High risk vessel – 5 to 6 months
• Standard risk vessel – 10 to 12 months
• Low risk vessel – 24 to 36 months
Overriding/ unexpected factors might trigger an ‘Additional Inspection’ in between periodic
inspections. Periodic Inspections and Additional Inspections count equally. Therefore, the
time span for the next periodic inspection re-starts after an Additional Inspection’.
The selection scheme is divided into 2 priorities.
• Priority I: Ships must be inspected because the time window has closed/ there is an
overriding factor.
• Priority II: Ships may be inspected because they are within the time window/ the port
State considers an unexpected factor warrants an inspection
Tokyo MoU:
It implements a New Inspection Regime (NIR).
The information sheet of NIR provides detailed explanations on ship risk profile, ship risk
profile inspection window and company performance. It is available at: https://www.tokyo-
mou.org/inspections_detentions/NIR.php
The PSC inspection interval depends on the Ship’s Risk Profile assigned to a vessel.
• High risk vessel – 2 to 4 months.
• Standard risk vessel – 5 to 8 months.
• Low risk vessel – 9 to 18 months
The selection scheme is divided into 2 priorities.
• Priority I: Where practical, ships are to be inspected when the time window has closed.
• Priority II: Ships may be inspected because they are within the time window of
inspection, if no higher priority ship to be inspected is available.
eligible for a ‘random’ exam, or an exam based upon reports or credible information
regarding potential non-compliance. If selected for a ‘random’ exam, the vessel might
undergo a PSC A or PSC B exam
The USCG targeting matrix evaluates the risk factors related to a vessel’s compliance or
non-compliance with requirements regarding safety, environmental, and security standards.
USCG will also considers the following:
➢ U.S. Exam History: When the vessel was last examined and when next due
➢ Performance record of Flag States, Ship Management and Class
➢ Vessel’s record of control actions, detentions, deficiencies, marine casualties and
violations
➢ Vessel class (type of service) and age
USCG gives relaxation to Qualship 21 vessels.
AMSA:
Vessels become eligible for inspections every six months, however if deemed necessary,
AMSA may reduce this period.
The system prioritises inspections based upon a calculated risk factor. The ‘risk factor’
calculation takes into account a number of criteria.
Based on this, vessels are categorised into ‘Priority’ groups with each group having a
specific target inspection rate.
Priority Group Probability of Detention (Risk Factor) Target Inspection Rate
Priority 1 More than 5% 80%
Priority 2 4% to 5% 60%
Priority 3 2% to 3% 40%
Priority 4 1% or less 20%
Port states may inspect vessels outside inspection regimes/ criteria also. Additionally,
overriding and unexpected factors may also result in an inspection.
Type of PSC
Description
Inspections
➢ Inspection carried to check the validity of the relevant
Initial Inspection certificates, other documents, and the overall condition of
the vessel, its equipment and its crew
➢ Inspection carried out when there are ‘clear grounds’ that
point to the non-compliance with regulations.
➢ ‘Clear grounds’ to conduct more detailed inspections
include, but are not limited to:
• Absence of principal equipment or arrangements
More Detailed required by the convention.
Inspection • Invalid vessel’s certificate(s)
• Documents and records required are not on board,
incomplete, not maintained or falsely maintained
• Serious hull or structural deterioration or deficiencies
exist
• Serious deficiencies exist in safety, pollution prevention
17.4 PORT STATE CONTROL INSPECTIONS
Policy and Administration Manual 01-Dec-2022 Rev 10 Page 4 of 10
or navigational equipment
• Staff unfamiliar with or have not carried out essential
shipboard operations relating to the safety of vessel or
pollution prevention
• Staff unable to communicate in a common language
• Emission of false distress alert is not followed by proper
cancellation procedures
• Receiving a report or complaint regarding the vessels
substandard condition
➢ Some MOU’s may carry out an expanded inspection of
vessels that fall under higher risk category.
Expanded Inspection ➢ E.g. Vessel type and age are used to decide if an expanded
inspection is required. In general, any vessel over 10 years,
tankers, gas carriers, bulk carriers and passenger vessels
are more likely to be targeted.
➢ Concentrated Inspection Campaigns (CICs) focus on
specific areas where high levels of deficiencies are noted or
when a new convention has recently entered into force.
Concentrated ➢ Campaigns are held over a period of 3 months along with
Inspection Campaigns the regular inspection.
➢ Prior arrival port, check in advance with agents for any
ongoing CIC. Prepare the vessel as per CIC questionnaire.
➢ Inform office if notice any non-compliance.
Life-saving Appliances
➢ Lifeboat/ rescue boat engine not operational
➢ Lifeboat on load release gear unit/ mechanism defective
➢ Lifeboat/ rescue boat launching arrangements or davits or limit switches not
operational
➢ Rescue boat launching arrangement in dead vessel condition not working
➢ Poor condition of lifeboat hull, fittings or equipment
➢ Defective EEBD
MARPOL
➢ OWS defective. 15 ppm alarm, 3-way valve not operational, dirty oil filters
➢ Excessive oil leaks from machinery and oily water mixture in bilges
➢ Intentional discharge of oil into the sea
➢ Defective sewage treatment plant (STP). No flow sighted in recirculation line
of STP. Dosage pump for sewage treatment plant unable to disch arge
disinfectant fluid
➢ Intentional discharge of untreated sewage in port
➢ Incinerator malfunction
➢ Sulphur content of fuel in use not as per requirement
➢ Fuel change over procedures not complied with as per the requirements
➢ Boiler unable to burn waste as per requirements of international oil pollution
prevention certificate (IOPP) certificate
Load Line
➢ Self-closing devices on sounding pipes defective
➢ Poor condition of air pipes. Floats cracked or missing
➢ Watertight integrity compromised on hatch cover/ watertight doors. Hatch
cover securing devices defective
➢ Presence of cement boxes on sea water lines
➢ Vessel side railings missing
➢ Excessive structural wastage
➢ Load line violation like overloading, draught marks illegible
➢ Inadequate stability of the vessel
17.4 PORT STATE CONTROL INSPECTIONS
Policy and Administration Manual 01-Dec-2022 Rev 10 Page 7 of 10
ISPS
➢ Inadequate access control
➢ Identification of visitors not being checked
➢ Visitor’s log not maintained
➢ Security alert system defective
MLC
➢ Manning not as per Safe Manning Certificate
➢ Invalid vessel’s certificates/ crew licenses/ Flag State endorsements
➢ Inadequate housekeeping in deck, engine room or accommodation. Vessel’s
crew repeatedly falling ill
➢ Non-compliance with work and rest hours of crew
Refer to the Company provided safety card and poster for PSC detainable items.
Note 2
Vessel staff must ensure that all equipment and machinery specific to the vessel are operational and
safety equipment complies with relevant requirements.
Caution
PSCO may detain a vessel if evidence suggests that it is unseaworthy and presents a danger to vessel
or person or marine environment, if allowed to proceed to sea.
17.4 PORT STATE CONTROL INSPECTIONS
Policy and Administration Manual 01-Dec-2022 Rev 10 Page 8 of 10
Caution
PSCOs carry out frequent inspections and are usually well aware of the regulations and conditions. Do
not lie or misinterpret a condition to the PSCO.
Caution
When any Company vessel is detained, automatically all other vessels come under a higher priority for
boarding by port states.
Clarify with the PSCO regarding the use of audio/ video recording during the inspection.
Prior to the commencement of inspection, Master must inform the PSCO of the following:
➢ Status of all critical equipment and if any maintenance is carried out on them
➢ Any existing defects and action being taken to rectify them. PSCOs generally treat
such issues less strictly
➢ Discuss and formally agree on the conduct of the inspection with due consideration
to safety of crew and vessel
➢ Request notification of irregularities as soon as possible in order to effect
corrections ‘on the spot’
Note 4
Senior Officer, preferably Master or Chief Engineer, must always accompany PSCOs.
Caution
Master must not sign the detention order without first consulting the vessel manager or Fleet Manager/
Fleet Director.