With regard to Recommendation AO-2011-115-SR 050 you have recommended that CASA address the safety issue that the Civil Aviation Regulations 1988 allow class B aircraft registration holders to maintain their aircraft using the CASA maintenance schedule in situations where a more appropriate manufacturer's maintenance schedule exists.
Nooooooooooooo.
Whoever made and supports that recommendation obviously had and have no clue what the CASA maintenance schedule and manufacturers’ maintenance schedules actually contain and require, in the context of the regulatory framework of which they are part.