Airbus A321
19,887 parts applicable to this airframe — narrowbody
Top Replacement-Prone Parts(13)
From FAA SDR — directional buying signal, not a failure rate
| Part # | Propensity | SDRs |
|---|---|---|
| S53678001202 | 100%* | 43 |
| 740120C | 100% | 41 |
| S53672408228 | 100%* | 30 |
| S5367131828001 | 100%* | 29 |
| S53672407252 | 100%* | 22 |
| S5367240620802 | 100%* | 20 |
| 767584M | 100% | 16 |
| 1706903 | 100% | 14 |
| S53678001214 | 100%* | 13 |
| S53671311200 | 100%* | 12 |
| 38E936 | 100% | 10 |
| 89151114 | 97% | 43 |
| 410100211 | 92% | 12 |
* Structural ATA chapters use FAA K-code change rate. Verb-based propensity is suppressed there because "REPAIRED" in the SDR text usually refers to the airframe being repaired around the part.
Utilization & cargo trend(US carriers, 2015–2025)
A320 family family rollup — BTS T-100, domestic + international
US carriers only (BTS T-100, domestic + international segments) — foreign-carrier flying is excluded, so global utilization runs higher. Fleet size is reconstructed from the FAA registry (built on or before each year, not yet deregistered) — an approximation. Freighter share counts departures with zero passengers and freight aboard — a proxy for freighter/combi operations, not a tail-by-tail conversion count. Missing years render as gaps.
USM supply — retirements & teardowns(2023–2026)
A320 family family — FAA registry deregistrations
FAA registry data. Domestic deregistration is a teardown proxy — it also captures re-registrations and some unflagged exports, so it is not a confirmed part-out count; exported aircraft left the US fleet intact and are not USM supply. ATA shares reflect where this directory's parts for the family concentrate (parts in parentheses) — a coverage signal, not the aircraft's bill of materials or a teardown-yield forecast.
Engine-program supply pressure(since 2023)
FAA registry — US-registered fleet
Engines account for roughly half of all MRO spend, so engine programs shedding aircraft are where retirement supply carries the most value.
| Engine model | Active tails | Engine units | Retired since ’23 | Exported | Avg age at dereg |
|---|---|---|---|---|---|
| CFM INTL. CFM56 series | 709 | 1,426 | 174 | 13 | 25.4 yr |
| IAE V2500SERIES | 262 | 524 | 36 | 8 | 25.7 yr |
| IAE V2524-A5 | 27 | 54 | 25 | 1 | 15.4 yr |
| CFM INTL CFM56-5B4/P | 23 | 46 | 8 | 3 | 22.2 yr |
| GE CFM56 series | 29 | 58 | 5 | 3 | 26.4 yr |
| IAE V2527E-A5 | 27 | 54 | 4 | 4 | 14.5 yr |
| CFM INTL CFM56-5B6 | 16 | 32 | 4 | 1 | 16 yr |
| IAE PW1127G-JM | 84 | 168 | 2 | 2 | 4.2 yr |
FAA registry data, US-registered aircraft only. Counts reflect the engine model as registered — generic “series” rows coexist with thrust-variant rows, so per-variant figures are partial. Retired = domestic deregistrations (a teardown proxy, not a confirmed part-out); exported aircraft left the US fleet intact. Active tails span every family the engine flies on, not just this one.
Maintenance economics(US carriers, through 2026)
A320 family family — BTS Form 41 filings
BTS Form 41 data (Schedule P-5.2 maintenance expense over T-2 block hours), Group III US carriers only — filers above $1B annual revenue; smaller US operators, Part 135, and all non-US carriers are not in this data. Dollars are accrual-basis from regulatory filings (reserves and depreciation included), so they benchmark fleet economics and do not track to individual repair events. Averages are block-hour- weighted across every reporting carrier; the range spans per-carrier rates after excluding marginal reporting slices, and small carrier counts are noisy.
Airworthiness Directive activity
FAA / EASA public regulatory data
- EASA AD 2026-0083effective Apr 29, 2026Mixed actions
EASA Safety Publications Tool
- EASA AD 2026-0055effective Apr 21, 2026Mixed actions
EASA Safety Publications Tool
- EASA AD 2026-0055-R1effective Apr 21, 2026Mixed actions
EASA Safety Publications Tool
- EASA AD 2025-0083effective Mar 31, 2026Mixed actions
EASA Safety Publications Tool
- EASA AD 2025-0275effective Dec 23, 2025Mixed actions
EASA Safety Publications Tool
Directives linked to this airframe family in the FAA / EASA regulatory corpus we have processed — not a complete historical AD list. An AD is a compliance requirement that drives scheduled work (inspections, replacements, modifications) across the fleet; inspection directives are not replacement directives, and none of this is a prediction that any part will fail.