Joint Statement by ETF and CER on the Revision of the Train Drivers Directive

Joint Statement by ETF and CER on the Revision of the Train Drivers Directive

ETF: European Transport Worker's Federation — 2022-12-05

Land transportation

Safety must be key in the revision of the Train Drivers Directive

The EU social partners CER and ETF welcome the revision of the current Directive on the certification of train drivers (2007/59/EC). Our agreement on the European licence for drivers carrying out a cross-border interoperability service (27 January 2004) was at the origin of this Directive.
In this process, we are fully committed to maintain a high level of safety. The further development of the directive should focus on practical orientation and feasibility.

In order to achieve the goals of the European Green Deal, the significant contribution made by railway transport must be adequately taken into account. Therefore, hurdles and obstacles in and for the railway sector must be removed with the sustainable development of this directive. We call to avoid unfair disadvantages for railway actors in competition with other modes of transport. The railway sector must continue to gain in attractiveness.

We, the railway operators and employees, are ready to share our expertise for an improved Directive. We call on the European Commission to perform the revision of this Directive in an open and transparent way with realistic timelines and deadlines that respect the role and work of the social partners who were at the source of the original Directive.

CER and ETF put forward this social partner joint statement and recommend to take onboard the following aspects for the revision of the Train Drivers Directive (TDD) (2007/59/EC):

Maintaining TDD as a Directive

The current Directive on the certification of train drivers (2007/59/EC) is to be kept as a directive in such a way that it takes into account and ensures regional and country-specific conditions in an appropriate manner without compromising safety, competitiveness with the other transport modes and sustainability. We object to the transformation of this Directive into a Regulation.

Agreement on a European language regime

General requirement: Language level “B1” for all traffic. Safe train operation on a country’s network can only function if communication between drivers and traffic controllers, as well as other railway staff and emergency services, works well, especially in disturbed/emergency situations.
There are different approaches between ETF and CER regarding potential exemptions. For ETF, the minimum of a B1 level shall be required on the entire European railway network whereas CER favours exemptions for countries with more than one official EU language as well as for border sections.

Open to the use of “alternative means”

We are open to the development of “alternative means” (e.g. railway-specific terminology, tools) that help ensure safe, practical and appropriate conditions without creating additional disadvantages for the rail sector. With this in mind, we welcome future developments to facilitate communication across language barriers and to reduce language difficulties, especially in cross-border traffic. However, these shall only be used in addition to an adequate language knowledge.

No single European operational language (such as English)

The majority of passenger and freight transport as well as maintenance and other activities are carried out at national level. Under these conditions, the introduction of an alternative, single European language would not bring any added value. The switch to a single language would not only affect train drivers, but all professional profiles, especially those responsible for safety-related activities. The introduction of such a system would be unnecessary for the majority of rail transport and would come with the requirement for massive (re-)training of staff.

This would furthermore create dangerous situations in case of emergencies when a driver needs to be able to effectively communicate with local emergency services. It would also be unnecessary, because the current system is fully adapted to function with multiple languages and has been doing so successfully for decades.

This would be an unrealistic challenge for a sector where only a very small percentage of workers currently speak English and where attracting new workers to the sector is a matter of urgency.

Driving licences and complementary certificates: Yes to digitalisation – No to merging licenses and complementary certificates in a single certificate
Driving licences and complementary certificates shall not be merged because of their differences, as they cover different requirements and professional knowledge and cannot be harmonised to a full extent at European level.

CER and ETF support digital developments for driving licences and complementary certificates in terms of transforming paper documents into a digital format. Affordable, more sustainable and viable technical solutions are required that present the contents of the license and the complementary certificates in a simple way and can be accessed and updated quickly without drivers having to carry multiple different documents. However, any further technical development must pay particular attention to ensuring data protection & cyber security. Access rights shall be granted to the national safety authorities (NSAs) facilitating their supervision activities, or, for the license, with explicit permission by the driver for any other railway undertaking (RU).

Strong NSA

The national safety authorities (NSAs) are to remain the responsible supervisory and control authorities. Their proven supervisory practice as well as established operational processes shall also be continued to ensure the high safety standard. Their funding and competences need to be strengthened so they can continue to properly fulfil this role.

Confirmed role of ERA as described in the 4th Railway Package

The CER and ETF social partners recommend that the European Union Agency for Railways (ERA) focusses on the assigned tasks according to Regulation (EU) 2016/796 of 11 May 2016 on the European Union Agency for Railways. The objectives and mandate of the Agency are clearly described and sufficient.

If applicable, the Agency needs to be sufficiently staffed and funded for any additional supportive task. The social partners ETF and CER call to be actively involved by the Agency in all relevant respective activities and offer to continue supporting ERA’s work.

The Statement is available for download here.