Sustainability Implementation

Corporate Social Responsibility – Updated EU Strategy 2011-14

2011-11-15:  The European Commission, in Brussels, recently published a New European Union Policy Document on Corporate Social Responsibility (CSR)COM(2011) 681 final – Brussels, 2011-10-25.

To access this document … just go down to the EUR-Lex Link on the right hand side of this Page.

The Updated EU CSR Strategy for 2011-2014  signals an important change of direction … more a re-balancing of emphasis … which enterprises, of all sizes, should immediately be aware of … and whether or not these enterprises are located within Europe … or outside, as far away as China, India, Japan, South Africa, the USA or Brazil, etc.

The Updated CSR Strategy  also confirms how the merging of the different and interrelated aspects of Sustainable Human & Social Development, i.e. social, economic, environmental, institutional, political and legal … is progressing nicely, and gathering some momentum.  We have discussed this issue here many times … and promoted it elsewhere in our work, particularly during the last decade.  How time flies !

[ In this last regard, reference should also be made to the United Nations Development Programme (UNDP) 2011 Human Development Report: 'Sustainability and Equity - A Better Future for All', which was launched in Copenhagen on 2 November 2011.]

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A New Definition for Corporate Social Responsibility (CSR)

The European Commission puts forward a new definition of CSR as ‘the responsibility of enterprises for their impacts on society’.

Respect for applicable legislation and for collective agreements between social partners are prerequisites for meeting that responsibility.  To fully meet their corporate social responsibility, enterprises should have in place a process to integrate social - environmental - ethical - human rights and consumer concerns into their business operations and core strategy in close collaboration with their stakeholders, with the aim of:

  • maximising the creation of shared value for their owners/shareholders, and for their other stakeholders and society at large ;
  • identifying, preventing and mitigating their possible adverse impacts.

The complexity of that process will depend on factors such as the size of the enterprise and the nature of its operations.  For most small and medium-sized enterprises, especially micro-enterprises, the CSR Process is likely to remain informal and intuitive.

To maximise the creation of shared value, enterprises are encouraged to adopt a long-term, strategic approach to CSR, and to explore the opportunities for developing innovative products, services and business models that contribute to Social Wellbeing and lead to higher quality and more productive jobs.

To identify, prevent and mitigate their possible adverse impacts, large enterprises, and enterprises at particular risk of having such impacts, are encouraged to carry out risk-based due diligence, including through their supply chains.

Certain types of enterprise, such as co-operatives, mutuals, and family-owned businesses, have ownership and governance structures that can be especially conducive to responsible business conduct.

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The Updated EU CSR Strategy elaborates an Action Agenda for 2011-2014

     1.  Improving Company Disclosure of Social and Environmental Information:  the new strategy confirms the European Commission’s intention to bring forward a new legislative proposal on this issue.

     2.  Enhancing Market Reward for CSR:  this means leveraging EU Policies in the fields of consumption, investment and public procurement in order to promote market reward for responsible business conduct.

     3.  Enhancing the Visibility of CSR and Disseminating Good Practices:  this includes the creation of a European award, and the establishment of sector-based platforms for enterprises and stakeholders to make commitments and jointly monitor progress.

     4.  Improving and Tracking Levels of Trust in Business:  the European Commission will launch a public debate on the role and potential of enterprises, and organise surveys on citizen trust in business.

     5.  Better Aligning European and International Approaches to CSR:  the European Commission highlights the following …

  • OECD Guidelines for Multinational Enterprises ;
  • 10 Principles of the UN Global Compact ;
  • UN Guiding Principles on Business and Human Rights ;
  • ILO Tri-Partite Declaration of Principles on Multinational Enterprises and Social Policy ;
  • ISO 26000 Guidance Standard on Social Responsibility.

     6.  Further Integrating CSR into Education, Training and Research:  the European Commission will provide further support for education and training in the field of CSR, and explore opportunities for funding more research.

     7.  Improving Self- and Co-Regulation Processes:  the European Commission proposes to develop a short protocol to guide the development of future self- and co-regulation initiatives.

     8.  Emphasising the Importance of National and Sub-National CSR Policies:  the European Commission invites EU Member States to present or update their own plans for the promotion of CSR by mid 2012.

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European Commission COM(2011) 681 final – Brussels, 2011-10-25  (PDF File, 136 kb)

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Sustainable Fire Engineering – IABSE Lecture 1 December 2011

2011-11-14 …

On Thursday evening, 1st December 2011, at 19.00 hrs … in the Dublin Institute of Technology … I will present an IABSE-Ireland Sponsored Lecture on the subject: ‘Sustainable Fire Engineering IS THE FUTURE !’.

This Presentation has been in continuous development across a snaking international path … Dubayy (UAE) in 2008 … Lund (Sweden) and Bengaluru (India) in 2009 … Dilli (India), Zurich (Switzerland) and Dublin (Ireland) in 2010 … Paris (France), the IFE’s International Fire Conference in Cardiff (Wales) and the ASFP-Ireland Fire Seminar in 2011 … and on 1 December next, in Dublin, I will be introducing some tough new realities for fire engineering generally … not just in Ireland …

Colour photograph showing the impact of witnessing the 9-11 WTC Incident in New York. Sustainable Fire Engineering must be 'reliability-based' & 'person-centred'. But ... do building designers, including fire engineers, actually understand that the people who use their buildings are 'individuals' ... each having a different range of abilities ? Photograph by Marty Lederhandler/AP. Click to enlarge.

Colour photograph showing the impact of witnessing the 9-11 WTC Incident in New York. Sustainable Fire Engineering must be 'reliability-based' & 'person-centred'. But ... do building designers, including fire engineers, actually understand that the people who use their buildings are 'individuals' ... each having a different range of abilities ? Photograph by Marty Lederhandler/AP. Click to enlarge.

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IABSE Irish National Group Sponsored Lecture

Dublin Institute of Technology, Bolton Street – Michael O’Donnell Room (259)

Thursday, 1 December 2011 @ 19.00 hrs / 7.00 p.m.

CJ Walsh: Sustainable Fire Engineering IS THE FUTURE !  (Lecture Flyer, PDF File, 259 kb)

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The aim of Sustainable Fire Engineering is to realize a safe and sustainable built environment.

Responding ethically, in built and/or wrought form, to the still evolving concept of sustainable human and social development … a principal objective of Sustainable Fire Engineering is to design for maximum credible fire and user scenarios … in order to maintain a proper and satisfactory level of fire safety and protection over the full life cycle of, for example, a building … and for a Sustainable Building, that life cycle is 100 years minimum.

Sustainable Fire Engineering must, therefore, be ‘reliability-based’ & ‘person-centred’.

This presentation will examine the authentic language and meaning of sustainability … and will then track how this impacts on the professional practice of fire engineering.  Special mention will be made of Fire-Induced Progressive Collapse.

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See you all there !   And I will be looking forward to a lot of challenging feedback on the night !!

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‘Priory Hall’, Fire Engineering & Protecting Society’s Interests ??

2011-10-23:  Further to my post, dated 18 October 2011 …

Has anybody’s interests been protected by what has happened at the ‘Priory Hall’ Apartment Development, in Donaghmede, Dublin 13 ?   NO.

Now that the buildings there have been completed … will it be possible to effectively repair the most serious fire protection, sound transmission and energy conservation problems with the buildings ??   NO.

At the heart of these problems lie Fundamental Design and Construction Flaws … because, back in the 1990′s and early 2000′s, indigenous builders of simple two storey semi-detached houses suddenly became ‘developers’ of apartment complexes … and these were very different building animals altogether, requiring a degree of technical competence well beyond their reach.  And, of course, during the actual construction process everything had to be finished ‘yesterday’, and as cheaply as possible (a policy of cheap product substitution was the un-stated national norm !).  In fact, so many corners were cut on Irish Building Sites, at the time, that we should refer to almost the entire construction output from this era as: The Celtic Tiger Round Towers !

And guess who is going to carry out the Corrective/Repair/Refurbishment Works at ‘Priory Hall’ ?   The very same Construction Organization which created the mess in the first place !!   Can you believe it ??

Furthermore … once these Corrective/Repair/Refurbishment Works are eventually finished … the performance of the Fire Protection Measures in ‘Priory Hall’ will still be compromised, because you can only do so much, physically, when a building is completed.  BUT … it would be possible to achieve a Proper Level of Fire Safety in ‘Priory Hall’ … by installing a Fire Suppression System (sprinklers or mist) throughout the development.  That’s what it will take !!

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Tremendous fire damage was caused to the local environment in Buncefield ... but SOCIETY can no longer suffer this scale of damage ... and these Criminal Human Acts! Click to enlarge.

Tremendous fire damage was caused to the local environment in Buncefield ... but SOCIETY can no longer suffer this scale of damage ... and these Criminal Human Acts! Click to enlarge.

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WHO IS PROTECTING SOCIETY ?

So extensive is the damage caused by fire … throughout Europe … that not all of the Direct and Indirect Fire Losses have yet been identified.

Pause, to consider this definition …

Environmental Impact:  Any effect caused by a given activity on the environment, including human health, safety and welfare, flora, fauna, soil, air, water, and especially representative samples of natural ecosystems, climate, landscape and historical monuments or other physical structures, or the interactions among these factors; it also includes effects on accessibility, cultural heritage or socio-economic conditions resulting from alterations to those factors.

And this means, of course, that our current Fire Loss Data and Statistics are unreliable.

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It is not well known, or widely publicised, that the Fire Safety Objectives of Building Regulations are limited to protecting building occupants.  The Objectives are only concerned with protecting property, insofar as it is relevant to the protection of those building occupants.

Can you image the look of astonishment on the face of a Managing Director, after his/her factory has been entirely destroyed by a fire, when told by a fire consultant …

” We complied with Part B of the Building Regulations, and here is your Fire Safety Certificate to prove it”  ??

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What should be happening instead ?

     1.  Fire Engineering Design & Practice cannot … and must not … be concerned merely with the ‘cost-effective’ compliance with minimal (which they most certainly are !) Fire Safety Objectives mandated by Building Legislation.

     2.  To properly protect the interests of Society and Clients/Client OrganizationsFire Engineering Design & Practice must also take into account: Safety at Work Legislation; Rights, Equality & Anti-Discrimination Legislation; Environmental Impact Legislation; Public Procurement Legislation; Product Liability Legislation; etc., etc.

     3.  There is an evolving realization in Ethical Fire Engineering Design & Practice, however, that there is still a significant gap to be bridged.  There is no legislation (effective, or otherwise) yet in place, anywhere, which deals with such issues as …

  • Resistance to Fire-Induced Progressive Collapse – as very strongly recommended in the 2005 & 2008 U.S. NIST Final Reports on the 9-11 World Trade Center Building 1, 2 & 7 Collapses ;
  • Protection of Vulnerable Building Users in ‘Situations of Risk’ – as required, for example, by Article 11 of the UN Convention on the Rights of Persons with Disabilities (CRPD) ;
  • Safety of Firefighters/Rescue Teams – as specified in Basic Requirement for Construction Works No.2, in Annex I of European Union Construction Product Regulation 305/2011 ;
  • Adaptation to Climate Change and Severe Weather Events – the Developed World Economies appear to have no interest, whatsoever, in these issues ;
  • Sustainable Human & Social Development !

     4.  We must clearly distinguish, therefore, between the Fire Safety Objectives of Building Regulations/Codes … and Project-Specific Fire Engineering Design Objectives.  This difference must be fully understood by the Fire Engineer himself/herself … and then, in all circumstances, properly explained to the Client/Client Organization.

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In designing a Building for conditions of fire, and its aftermath … which may take place at any time during the Life Cycle of that Building … Project-Specific Fire Engineering Design Objectives should cover the following spectrum of concerns … in order to properly protect the interests of Society and our Clients/Client Organizations

  -   Protection of the Health & Safety of All Building Users … including People with Activity Limitations (2001 WHO ICF), visitors to the building who may be unfamiliar with its layout, and contractors or product/service suppliers temporarily engaged in work or business transactions on the premises ;

  -   Protection of Property … including the building, its contents, and adjoining or adjacent properties … from loss or damage ;

  -   Protection of the Health & Safety of Firefighters, Rescue Teams & Other Emergency First Response Personnel ;

  -   Facility, Ease & Efficient Cost of Carrying Out Effective Reconstruction, Refurbishment or Repair Works after a Fire ;

  -   Sustainability of the Human Environment (social, built, virtual, economic, …) – including Fitness for Intended Use and Life Cycle Costing of fire engineering related products, components, systems, etc., fixed, installed or incorporated in the building ;

  -   Protection of the Natural Environment from Harm, i.e. Adverse Impacts.

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CRIMINAL RESPONSE TO 1981 DUBLIN STARDUST TRAGEDY !

As I write … a stampede has just commenced by the various Construction-Related Professional Institutes and Organizations … to demand closer independent monitoring of what is happening on Irish Building Sites.  Far too little … and definitely, far too late !   Back in the early 1990′s, everybody stood by … and co-operated with the installation of an entirely ineffective and dysfunctional system of National Building Control in Ireland … which, let us not forget, survives intact to this day … while, at the same time, the strong long-established and well-resourced Building Control Sections in Dublin and Cork were being quietly dismantled.

The Minister for the Environment, Community & Local Government, Mr. Phil Hogan T.D. … is also chirping in from his ivory tower !

Crocodile Tears !!

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Take a Fire Safety Certificate for a Building, for example …

With or Without Conditions … this document confirms that the Local Building Control/Fire Authority is satisfied that the Design Documentation for that building shows proper compliance with the Legal Requirements of Part B of the Irish Building Regulations.

Focus in on the relevant wording of a Fire Safety Certificate, which is as follows …

‘ … hereby certify that the works or building to which the application relates, will, if constructed in accordance with the plans, calculations, specifications and particulars submitted, comply with the requirements of Part B of the Second Schedule to the Building Regulations 1997 to 2008.’

Fire Safety Related Inspections of Construction Projects are not carried out by Competent Local Authority Personnel, or by Competent Independent Technical Controllers.  Therefore … a Fire Safety Certificate cannot give, and is not intended to give, any indication with regard to Fire Safety in the Completed Building.  The ‘Fire’ Establishment in Ireland knows full well that this is the situation !

Is this any sort of a reasonable, caring or competent response to the 1981 Stardust Discotheque Fire Tragedy in Dublin ??

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New EU Construction Product Regulation 305/2011 – Halleluiah !

2011-09-13:  Closely related to our current discussions about the 10th Anniversary of the 9-11 WTC Incident in New York …

For more years than I care to remember … I have been involved, directly and/or indirectly, with piecing together the edifice that is European Union (EU) Council Directive 89/106/EEC Interpretation … a lumbering giant which has failed, miserably, to bring about the necessary conditions for the efficient operation of an effective European Economic Area (EEA) Single Market for Construction Products.

Proper Implementation has always been the fatal weakness of this ‘system’ … because on the ground, in Europe, no such Single Market exists in reality.  Politicians, at both European and national levels and typically lacking a competence on technical issues, believe otherwise.  Bureaucrats, at both European and national levels and always lacking a working familiarity with the full scope of EU Treaties, do not want to recognise this fundamental truth.

To refresh your memories … the full title of the now Repealed EU Directive 89/106/EEC was …

Council Directive, of 21 December 1988, on the Approximation of Laws, Regulations and Administrative Provisions of the Member States relating to Construction Products

ANNEX I of that Directive described 6 ‘Essential Requirements’ …

  1. Mechanical Resistance & Stability
  2. Safety in Case of Fire
  3. Hygiene, Health & the Environment
  4. Safety in Use
  5. Protection against Noise
  6. Energy Economy & Heat Retention

The unusual feature of this particular New Approach Directive was that the ‘suitable’ construction products, i.e. products which could be shown to be fit for their intended use, had to facilitate the construction works in satisfying all of the 6 Essential Requirements, taken together as a whole … not just some of the Requirements.

Down through the years, however, it has been deeply frustrating … to have to pressure the TÜV Organization in Germany, for example, to issue proper Test Reports to their German Clients … or, as recently as last July, to have to explain basic information about CE Marking to Manufacturers.  And there appears to be no proper infrastructure in any EU Member State to check and control CE Marks on industrial products generally, never mind construction products.

Further up the chain, there were also problems.  In developing a family of 6 Separate Interpretative Documents for each of the Essential Requirements … important cross linking concepts between Requirements, e.g. Fire-Induced Progressive Building Collapse, fell into a deep void, almost never to be heard from again.  And concepts explicitly referenced in ANNEX I, such as the Safety of Rescue Teams (i.e. firefighters), received little or no attention in those Interpretative Documents … which then had a serious knock-on effect when Harmonized European Standards, European Technical Approvals (ETA’s) and EuroCodes were being drafted, based on the guidelines in Interpretative Documents.

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Lucca, Italy - Early Morning on 21 August 2011. Photograph by CJ Walsh. Click to enlarge.

Lucca, Italy - Early Morning on 21 August 2011. Photograph by CJ Walsh. Click to enlarge.

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Halleluiah !   At Long Last … published on 4th April 2011, in the Official Journal of the European Union … the new EU Construction Product Regulation 305/2011 … the full title of which is …

Regulation (EU) No. 305/2011 of the European Parliament and of the Council, of 9 March 2011, laying down Harmonized Conditions for the Marketing of Construction Products and Repealing Council Directive 89/106/EEC

ANNEX I of these New Regulations now describe 7 ‘Basic Requirements for Construction Works’ … requirements which are appropriate to the needs of our time.  Please note the newly revised/additional texts, highlighted in red …

Construction works as a whole and in their separate parts must be fit for their intended use, taking into account in particular the health and safety of persons involved throughout the life cycle of the works.  Subject to normal maintenance, construction works must satisfy these basic requirements for construction works for an economically reasonable working life.

     1. Mechanical Resistance and Stability

The construction works must be designed and built in such a way that the loadings that are liable to act on them during their construction and use will not lead to any of the following:

(a)   collapse of the whole or part of the works ;

(b)   major deformations to an inadmissible degree ;

(c)   damage to other parts of the construction works or to fittings or installed equipment as a result of major deformation of the load-bearing construction ;

(d)   damage by an event to an extent disproportionate to the original cause.

     2. Safety in Case of Fire

The construction works must be designed and built in such a way that in the event of an outbreak of fire:

(a)   the load-bearing capacity of the construction works can be assumed for a specific period of time ;

(b)   the generation and spread of fire and smoke within the construction works are limited ;

(c)   the spread of fire to neighbouring construction works is limited ;

(d)   occupants can leave the construction works or be rescued by other means ;

(e)   the safety of rescue teams is taken into consideration.

     3. Hygiene, Health and the Environment

The construction works must be designed and built in such a way that they will, throughout their life cycle, not be a threat to the hygiene or health and safety of workers, occupants or neighbours, nor have an exceedingly high impact, over their entire life cycle, on the environmental quality or on the climate during their construction, use and demolition, in particular as a result of any of the following:

(a)   the giving-off of toxic gas ;

(b)   the emission of dangerous substances, volatile organic compounds (VOC’s), greenhouse gases or dangerous particles into indoor or outdoor air ;

(c)   the emission of dangerous radiation ;

(d)   the release of dangerous substances into ground water, marine waters, surface waters or soil ;

(e)   the release of dangerous substances into drinking water, or substances which have an otherwise negative impact on drinking water ;

(f)    faulty discharge of waste water, emission of flue gases or faulty disposal of solid or liquid waste ;

(g)   dampness in parts of the construction works or on surfaces within the construction works.

     4. Safety and Accessibility in Use

The construction works must be designed and built in such a way that they do not present unacceptable risks of accidents or damage in service or in operation such as slipping, falling, collision, burns, electrocution, injury from explosion and burglariesIn particular, construction works must be designed and built taking into consideration accessibility and use for disabled persons.

     5. Protection against Noise

The construction works must be designed and built in such a way that noise perceived by the occupants or people nearby is kept to a level that will not threaten their health and will allow them to sleep, rest and work in satisfactory conditions.

     6. Energy Economy and Heat Retention

The construction works and their heating, cooling, lighting and ventilation installations must be designed and built in such a way that the amount of energy they require in use shall be low, when account is taken of the occupants and of the climatic conditions of the location.  Construction works must also be energy-efficient, using as little energy as possible during their construction and dismantling.

     7. Sustainable Use of Natural Resources

The construction works must be designed, built and demolished in such a way that the use of natural resources is sustainable and in particular ensure the following:

(a)   re-use or recyclability of the construction works, their materials and parts after demolition ;

(b)   durability of the construction works ;

(c)   use of environmentally compatible raw and secondary materials in the construction works.

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I will be anxious to see if the full intent of these ‘Basic Requirements for Construction Works’ is properly transposed into the new interpretative framework (comprising Delegated Acts, Harmonized Standards, etc., etc.) of EU Regulation 305/2011 …

and …

I will be even more anxious to see how and when specific output (Harmonized Standards, European Technical Approvals (ETA’s) and EuroCodes) from the obsolete interpretative framework of the Repealed Directive 89/106/EEC is revised and updated !

and, finally …

When will we ever see the vital Infrastructure of Implementation operating successfully in the EU Member States … so that Manufacturers can reap the enormous benefits of an effective EEA Single Market for Construction Products ??

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2011 IFE International Fire Conference & AGM in Cardiff, Wales

2011-07-17:  On 6th & 7th July last … in Cardiff, the Capital City of Wales … the Institution of Fire Engineers (IFE) held its Annual General Meeting (AGM), followed by a very well attended 1½ Day International Fire Conference.  Participants came from as far away as Australia, New Zealand, Malaysia, Taiwan, Hong Kong (in China), Canada, U.S.A., Nigeria and Switzerland.  A large, vocal group of delegates from The Netherlands also attended … and of course, there were many people from these islands … Ireland and Great Britain … the Irish Isles !

For me, it was an enjoyable few days in Cardiff.

The Immediate Past President of the IFE, Mr John Woodcock, had initiated an important programme of activities during his 2010/2011 Term of Office on the theme of ‘Fire Engineering & Sustainability’.  The New IFE President for 2011/2012, Mr. H.G. (Hao-Giang) Tay, has stated that he will continue this work with enthusiasm.

This brings me very neatly to the reason for my attendance at the Cardiff ‘Gig’.  I had been invited by HG Tay to make a presentation on ‘Sustainable Fire Engineering’.  This, I was very pleased and honoured to do.

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” The audience found the conference extremely valuable and I had many delegates who spoke to me specifically about how good the conference was and the high standard of the presentations.  The number of questions on each presentation was a testament to the interest of the audience.

The subject is of such importance that we really need to make sure the voice of the profession is firmly planted in all decision-making on design, protection and management of buildings.”

[Short Extract, Letter from HG Tay, International IFE President, dated 27 July 2011]

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Tremendous Injury was caused to the Local Environment in Buncefield ... but Our Planet can no longer suffer these Criminal Human Acts !

Tremendous Injury was caused to the Local Environment in Buncefield ... but Our Planet can no longer suffer these Criminal Human Acts !

 

2011 IFE Cardiff Overhead Presentation

CJ Walsh: “Sustainable Fire Engineering IS THE FUTURE !”

Click the Link Above to read and/or download PDF File (3.98 Mb)

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In order to properly protect the interests of Society and our Clients/Client Organizations … and to effectively realize a Safe and Sustainable Built Environment in the 21st Century … it is necessary, in designing a building for fire and its immediate aftermath, for the Fire Engineer to develop Project-Specific Fire Engineering Design Objectives … which must never be confused with the minimal Fire Safety Objectives mandated in Building and Fire Regulations and Codes.

Sustainable Fire Engineering is concerned with far more than compliance with Legislation !   For this reason, a Fire Engineering Code of Ethics is essential.

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Ethically Based Sustainable Fire Engineering must also consider the following issues, which are relevant to Today’s Human Environment :

  1. Sustainable Human & Social Development.
  2. Adaptation to Climate Change and Severe Weather Events … not less than a recurrence interval of 100 years should be used in design, always bearing in mind that the minimum Building Life Cycle for a Sustainable Building is 100 years.
  3. Resistance to Fire-Induced Progressive Building Collapse and Disproportionate Damage.
  4. Sufficient attention and care for Vulnerable Building Users in ‘situations of risk’ – refer to Article 11 of the 2006 United Nations Convention on the Rights of Persons with Disabilities.
  5. Safety of Firefighters & Rescue Teams – refer to Essential Requirement 2 of the European Union’s Construction Products Directive 89/106/EEC.

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In this Overhead Presentation …

  • Clearly outlined is a Holistic Perspective of the much wider scope for Sustainable Fire Engineering in the Future … Fire Engineering which has an empirical and scientifically robust foundation … Fire Engineering which is not afraid to confront and absorb the lessons of the 9-11 WTC Incident (2001) in New York, or the 2008 Mumbai ‘Hive Attacks’ … Fire Engineering which discards its outrageously shameful disregard for People with Activity Limitations … Fire Engineering which understands Fire-Induced Progressive Collapse and Disproportionate Damage in Buildings and, most importantly, understands the difference between these two related structural concepts … Fire Engineering which is capable of full integration with the Mainstream Construction Sector ;
  • Sustainable Human & Social Development is clearly defined, and the current widespread confusion about the far more limited concept of ‘Green’ is removed ;
  • The UNESCO WFEO/FMOI Model Code of Ethics, updated by CJ Walsh in 2011, is proposed as a suitable and very necessary template for the Institution of Fire Engineers (IFE) ;
  • As Sustainable Design Solutions are appropriate to Local Geography, Culture, Climate (and Climate Change), Economy, Social Need, Language/Dialect, etc … it is strongly recommended that the IFE should develop Global Regional Guidance Documents on Sustainable Fire Engineering, i.e. separate documents for Africa, Asia, Europe, South America, etc ;
  • Finally … this Presentation initiates a fresh and entirely new dialogue within the International Fire Science and Engineering Community.

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What are your views and comments ?

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Fantasy Climate Change Policies, Landfill Gases & Water ?!?

2011-07-15:  The recent failure by European Union Environment Ministers to increase, unconditionally, the EU 2020 GHG Emission Reduction Target from 20% below 1990 levels to 30% … and the even more recent vote in the European Parliament against such an unconditional increase … leaves a stench in the nostrils.  Something stinks … and it’s the EU’s Climate Change Policy.  Too many alterations to the European Lifestyle … too many sacrifices … are required to effectively implement a ‘real’ climate change policy !

Taken as a whole … this is also a reliable indicator with regard to what is not happening in a strongly related policy area … the implementation of EU Sustainability Policy.

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The next BIG United Nations International Climate Change Conference in 2011COP 17 – will take place from 28 November to 9 December, 2011 … in Durban, South Africa.  Let’s not get our hopes up for the long-awaited, very necessary and urgent Global, Legally Binding Consensus Agreement on Climate Change Mitigation to be finalized there … but let’s not be too negative either !

And how are the UNFCCC Annex I Countries doing so far ?   For an answer, please follow the link below to the United Nations Framework Convention on Climate Change (UNFCCC) WebSite …

Official UNFCCC Map – All Annex I Countries

I wrote ‘an answer’ … as this is not ‘the answer’ … because the Climate Change Numbers produced by each country are not yet sufficiently accurate, precise and reliable.  In fact, there is so much massaging of numbers that it might be better just to imagine this whole process as the Climate Change Red Light District !

BUT … we do know enough to be able to identify the worst offenders:

  • 34 – IRELAND !
  • 35 – Iceland
  • 36 – Greece
  • 37 – Portugal
  • 38 – New Zealand
  • 39 – Spain
  • 40 – Canada
  • 41 – Australia
  • 42 – Malta
  • 43 – Turkey

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Looking back to when the Climate Change ‘Train’ began to come off the rails … the 2009 Copenhagen Accord was a political agreement between a small number of Heads of State, Heads of Government, Ministers, and Heads of Delegation from Brazil, South Africa, India and China (BASIC) and the USA … who attended the UNFCCC Climate Change Summit in December 2009.  Many countries have made voluntary submissions, i.e. not legally binding, to Appendices I and II of the Accord.

A general overview of the submissions made by the Developed Economies, however, reveals the following about the emissions targets being undertaken …

     -   they are highly conditional on the performance of other countries ;

     -   they are very disappointing … being far below what is required to cap the planetary temperature rise at 1.5 degrees Celsius ;   and

     -   there is no consistent emission base year … varying, for example, from 1990, 1992, 2000 to 2005.

This is very far from being a signal of serious intent from these countries … and is not … in any way, shape or manner … an acceptance of historical responsibilities.  It would be reasonable, therefore, to surmise that the process of achieving a global, legally binding, consensus agreement on greenhouse gas (GHG) emission reduction targets will be long and difficult.  The Climate Change Mitigation Agenda is fraught with difficulty … and is going absolutely nowhere at present !

Some Conclusions about Copenhagen and Since:

  1. The Danish Organizers were entirely responsible for the 2009 Climate Change Train Wreck !   And … this incompetent bungling continues to contaminate events since then.
  2. All Sectors of Europe’s Social Environment must now take seriously, i.e. pro-actively engage with, the Climate Change Adaptation Agenda … and prepare for a planetary temperature rise of at least 3-4 degrees Celsius before the end of this century !!

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Meanwhile, at national level in Ireland … and further to my post, dated 23 February 2011 … the Environmental Protection Agency (EPA) issued the following Press Release on 4 July 2011 …

‘ Kerdiffstown Landfill Remediation Project – Community Update Number No. 4

Gas flares at the Kerdiffstown Landfill are now installed and fully operational.  The flares burn off odorous gas that is collected by gas wells in two areas at the site – the lined landfill cell, and the North-West corner.

The lined landfill cell has now been fully covered with a heavy plastic membrane that will prevent gas escaping into the air.  This membrane will also stop rainwater getting into the waste and creating ‘leachate’ – the residual liquid that seeps through waste after rainfall.

These temporary gas control measures should result in a reduction in odour coming from the site.  Odour will continue to be encountered on occasion until the full remediation is completed and, in particular, there is a risk of odour during work phases where wastes will be disturbed.

The next major remedial works to occur on site will be the demolition of a number of unsafe buildings. The buildings are scheduled to be demolished in August, and the EPA will communicate the specific dates before the works commence.

On Friday, 1 July 2011, the EPA welcomed a number of TDs, councillors, council officials and members of the local community to the site for a briefing, and tour of the site works done to date.  The EPA would like to thank deputies Emmet Stagg, Anthony Lawlor, and Catherine Murphy, and Councillors Anne Breen, Emer McDaid, and Ger Dunne, for attending.

The EPA then met with members of the Local Community for the first Community Liaison Group meeting.  This group was formed to ensure that those people affected by the site can communicate directly with the people who will clean the site.  The Liaison Group includes EPA staff, Kildare County Council officials, members of CAN (Clean Air Naas), a representative from Kerdiffstown House, and local residents and business people.  The group took a tour of the site to review ongoing remedial works.

The EPA will continue to issue Community Updates as remedial works on the site take place.  For information about works at the site, go to … www.kerdiffstowncleanup.ie .’

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Please read, again, that first paragraph of the Press Release above … and pinch yourself !

Ireland’s EPA has an onerous legal responsibility with regard to the development and implementation of this country’s National Climate Change Policy.  Furthermore … the EPA, on its own WebSite ( http://www.epa.ie/ ) states the following …

‘ The Environmental Protection Agency (EPA) aims to be a leader in the climate change debate in Ireland, and to be the first port of call for information on climate change.  We hope that the information we provide on these WebPages will keep you informed on the latest news, research and events in the climate change area, not only in Ireland but internationally.’

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I ask: “Why are those Landfill Gases at Kerdiffstown being burned off ???”

Because Ireland’s National Climate Change Policy is a ‘paper’ policy … an ‘Alice in Wonderland’ policy … a policy not intended for ‘real’ implementation.  Surely we have a right to expect that, within the same national organization … somebody, somewhere … is able to think laterally ?

Climate Change Time is running out … and there is an immediate and desperate need for simple, direct and honest talk, consultation, awareness raising, training and education … across all sectors of our Social Environment !

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At European level … an example, to follow below, of the continuing weak and feeble Climate Change Language still being used by EU Institutions and Official Organizations … where individual employees, of all ranks, are more fearful of offending national and/or EU politicians than they are in doing their jobs properly and protecting EU Citizens and the Environment …

A recently published European Environment Agency (EEA) Technical Report 7: ‘Safe Water & Healthy Water Services in a Changing Environment’ … summarises existing knowledge of Climate Change Impacts on water services and health; the nature and effectiveness of the policy responses; and the coverage and gaps in existing assessments of these themes.

To download the Full Technical Report, go to the EEA’s WebSite … http://www.eea.europa.eu/ .

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‘ Climate Change, Water & Health

Millennium Development Goal 7 (MDG7) is to halve the proportion of the global population without sustainable access to safe drinking water and basic sanitation by 2015.  A World Health Organization (WHO) assessment in 2010 finds that access to improved water sources, sanitation and wastewater treatment has increased over the past two decades.  In many countries in the Eastern European Region, however, progress is slow.  More than 50% of the rural population in ten countries have no access to improved water, giving rise to important health inequalities.

• It is important to understand how Climate Change and Extreme Weather Events will affect the achievement of MDG7.  Drinking water supplies and sanitation systems will have to be made resilient to Climate Change, and drinking water and sanitation must be fully incorporated into integrated water resource management.

Climate Change is projected to cause major changes in yearly and seasonal precipitation and water flow, flooding and coastal erosion risks, water quality, and the distribution of species and ecosystems.

Climate Change will impact all areas of water services – the quality and availability of water sources, infrastructure, and the type of treatment needed to meet quality standards.  We will also see more frequent and severe droughts, flooding and weather events.

• Countries of Eastern Europe, the Caucasus and Central Asia face the greatest threats to safe water.  The infrastructure in many towns and rural areas is in poor condition, and water provision is erratic and of unsatisfactory quality.

• Heavy rainfall events may also lead to flooding, especially in urban areas, and this can have serious impacts on the performance and efficiency of water supply and wastewater treatment systems, which may potentially lead to health risks.  Waterborne diseases arise predominantly from contamination of water supplies after heavy rainfall and flooding.

• Low river flows and increased temperatures during droughts reduce dilution of wastewater effluent, and drinking water quality could be compromised, increasing the need for extra treatment of both effluent and water supplies.

Water Management Policies & Extreme Weather Events

• Water management policies at European and EU Levels are being made increasingly adaptable to Climate Change, which should help safeguard public health and ecosystem services in the future.

• There are numerous guidelines for the design of water and human health policies across Europe (e.g. WHO Guidelines on drinking water quality, Protocol on Water and Health, and draft guidance on water supply and sanitation in extreme weather).  Recently, such Guidance has focused on how policy design and implementation might be affected by and adapted to Climate Change Events.

The WHO Vision 2030 Study assesses how and where Climate Change will affect drinking water and sanitation in the medium term, and what can be done to maximise the resilience of drinking water and sanitation systems.

• Several existing EU Policies address water management issues (the Urban Wastewater Treatment Directive, the Water Framework Directive, Floods Directive and the EU Water Scarcity and Droughts Strategy) and others deal more directly with potential water-related impacts on human health (e.g. the Drinking Water Directive, and Bathing Water Directive).

• There is a clear recognition that Climate Change creates a need for coherent, sustainable, cross-sectoral policy and regulation; sharing of available tools; facilitating mechanisms for partnerships and financing; and readiness to optimise across sectors during implementation.

• The water utility sector faces a unique set of challenges.  A primary challenge will be enhancing its capacity to cope with Climate Change Impacts and Other Human Pressures on water systems, while fostering greater resiliency to extreme hydrological events.

• With more frequent higher-intensity storms projected, utilities face the need to update infrastructure design practices.  This necessitates investments – not necessarily only in larger structures but also smarter (using better process control technologies) or local measures on storm water run-off.

Assessment Knowledge Base

• At international, national and local levels … much information is produced for assessments of the state of water and related health impacts.  Overall, both the current international and national water and health assessments have limited focus on extreme weather events and their effects on water services.

• In national assessments and programmes, countries appear to be aware of the adverse consequences of Climate Change on water and health.  However, sometimes assessments appear to be based on ‘expert knowledge’, largely qualitative in scope, and not going further than identifying likely scenarios.  The evidence‑base is lacking to make reliable estimates of the health effects of Climate Change resulting from impacts on water resources.

• Much effort is now focused on the impact of Climate Change on water and the environment, including health-related impacts.  Many international and European organisations have mapped out future Climate Change Impacts on water-related issues, identifying vulnerable groups and vulnerable sub-regions.

• The vast majority of the assessments of drought and water scarcity have focused on the impact of water scarcity, water use by sectors and strategies for meeting demand.  Very little consideration has been given to the health effects or consequences of future extreme weather events.

• The health effects of flooding do not feature significantly in national assessments.  The main focus is identifying regions most at risk of flooding and preparing plans for responding and mitigating the main consequences.

• Sufficient public health competences exist to cope with the health effects of Climate Change.  However, no (comprehensive) assessment has been undertaken to predict the severity or extent of future health risks related to the impact of Climate Change on water services.

• Irrespective of an assessment of the disease burden, actions being taken on the wider scale to respond to water scarcity, drought and flooding will help to reduce the health effects associated with Climate Change and water.’

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If you were a Key Decision-Maker … would this language spur you into action … or make you yawn, and put you to sleep ???

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Building Design Must Improve Firefighter Safety in Fire Incidents !

2011-07-05 … 
It has been a harsh experience to leave the last post undisturbed for a few weeks !   It was necessary … and I feel better as a result.
 

Back to the present … and in any jurisdiction, news of  Firefighter Fatalities and/or Injuries is very distressing.  It has been remarkable to note, however, how some countries, e.g. Japan, are expending significant time and resources on developing innovative ways to improve firefighter safety in buildings … while most countries are not.  Over many years, I have formed the clear impression that, generally, firefighters are regarded in much the same way as soldiers, i.e. they are a disposable asset … ‘Theirs not to reason why / Theirs but to do and die’ … etc., etc.  This situation is entirely unacceptable, and in need of urgent resolution !

On 6th & 7th July … in Cardiff, Wales … I have been invited by the International President of the Institution of Fire Engineers (IFE), Mr. HG Tay, to make a presentation on ‘Sustainable Fire Engineering’ at the 2011 IFE International Fire Conference and Annual General Meeting.  I am greatly honoured by this invitation.

During the course of that presentation, I will be referring to Firefighter Safety … but much more needs to be said, beforehand, in relation to the untapped contribution of building design to greater levels of firefighter safety …

INTRODUCTION

It may be obvious for some (but, believe me, not for all !) that with regard to fighting fires in buildings … Firefighters have 2 Basic Functions :

  • to rescue people who are trapped in a Fire Building (i.e. a building which is on fire) … or people who, for some reason, cannot independently evacuate the building (e.g. people with activity limitations) ;   and
  • to fight those fires, and ensure that they are properly extinguished.

Note:  Extinction of a fire is confirmed only after a thorough visual inspection by a competent person.

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DESIGN & CONSTRUCTION

In a previous post, dated 13 December 2010 I said that it was no longer ethically acceptable to ignore the issue of Firefighter Safety in the design and construction of buildings … because design can make a major contribution to their safety.

Unfortunately, Firefighter Safety must continue to remain an ethical issue because Building Regulations in most countries rarely, if ever, refer to this important aspect of design and construction.  Safety at Work Legislation has a related, but different, intent.

Regrettably, most of the building design professions either have no Code of Ethics … or there is a Code which is ‘lite-lite-lite’, i.e. very weak on ethics … or, worse still, they have a Code … but it is called a Code of Professional Conduct, the principal intent of which is to preserve and protect the profession and its vested interests.

At European Level …

Essential Requirements 1 & 2 (of 6 … for the time being) … in Annex I of European Union (EU) Council Directive 89/106/EEC, of 21 December 1988, on the approximation of laws, regulations and administrative provisions of the Member States relating to Construction Products … state the following …

1. Mechanical Resistance & Stability

The construction works must be designed and built in such a way that the loadings that are liable to act on it during its construction and use will not lead to any of the following:

(a) collapse of the whole or part of the works ;

(b) major deformations to an inadmissible degree ;

(c) damage to other parts of the works or to fittings or installed equipment as a result of major deformation of the load-bearing construction ;

(d) damage by an event to an extent disproportionate to the original cause.

2. Safety in Case of Fire

The construction works must be designed and built in such a way that in the event of an outbreak of fire:

- the load-bearing capacity of the construction can be assumed for a specific period of time ;

- the generation and spread of fire and smoke within the works are limited ;

- the spread of the fire to neighbouring construction works is limited ;

- occupants can leave the works or be rescued by other means ;

- the safety of rescue teams is taken into consideration.

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Sweden … has incorporated all 6 Essential Requirements of EU Construction Products Directive 89/106/EEC into its National Building Regulations … but has omitted the reference to the ‘safety of rescue teams’, i.e. Firefighter Safety.  Why is that ?

Ireland, along with England & Wales, has not incorporated the EU CPD Essential Requirements into its National Building Regulations.  There is no requirement, in Part B of the Building Regulations of either of these two separate jurisdictions, to consider Firefighter Safety in the design and construction of buildings.

In these three specific cases, taken as a simple example, this is a serious legal flaw … especially since the European Template, above, has existed since the late 1980′s !

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Let me illustrate how Building Design & Construction can make a major contribution to improved levels of Firefighter Safety …

     A.  Accessible Internal Staircases Having Sufficient Unobstructed Width

From a building user’s point of view … the success of a building depends, to a large extent, on the ‘quality’ of its circulation spaces.  During the design process, however, an architect is typically concerned with the relationship between different functions and spaces … while, at the same time, he/she is shaping and moulding the internal and external forms of the building.

The full range of tasks and activities in these circulation spaces is rarely, if ever, considered by the building designer.  The subject is not covered in Architectural Schools … and in later professional life, a reluctance to carry out Building Post-Occupation Evaluations (POE’s) reinforces this low level of awareness.

Some Tasks & Activities in Building Circulation Spaces …

  • Access to the building’s spaces and use of its services and facilities ;
  • Egress from the building during normal, everyday circumstances ;
  • Independent Evacuation, in the event of an emergency ;
  • Assisted Evacuation by others, or Rescue by Firefighters, for those building users who cannot independently evacuate the building, e.g. people with activity limitations ;
  • Firefighter Access & Reconnaissance, in the event of an emergency ;
  • Firefighter Attack, as they approach the proximity of the fire scene ;
  • Firefighter Removal from the building, by colleagues, in the event of injury, impairment, or a fire event induced health condition ;
  • Firefighter Withdrawal at the successful conclusion of firefighting operations.

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Colour photograph showing an injured, or impaired, firefighter being assisted by two colleagues in an upward staircase removal exercise. For reasons outlined in a previous post (2010-12-13) ... all three firefighters must continue to wear full Personal Protection Equipment (PPE) ... and use Self-Contained Breathing Apparatus (SCBA). Click to enlarge.

Colour photograph showing an injured, or impaired, firefighter being assisted by two colleagues in an upward staircase removal exercise. For reasons outlined in a previous post (2010-12-13) ... all three firefighters must continue to wear full Personal Protection Equipment (PPE) ... and use Self-Contained Breathing Apparatus (SCBA). Click to enlarge.

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The photograph above was extracted from this  2010 Poster Presentation

Daniel DiRenzo, Cherry Hill Fire Department, New Jersey, USA

Building Fires – Personal Harness Use – Firefighter Removals

Click the Link Above to read and/or download PDF File (1.73 Mb)

No matter what the jurisdiction … no matter what Building Regulations do or do not require … it is clear that, during a ‘real’ fire emergency, patterns of circulation are not simple … and they cannot easily be segregated into categories with simple titles.  They are complex … and, quite often, they overlap.

In the case of the firefighter removal on a staircase (shown above) … there is a necessity to consider another type of ‘Contraflow’ … where the injured, or impaired, firefighter with two of his/her colleagues rendering assistance are together moving away from the scene of the fire … while other firefighters are moving in the opposite direction, towards the fire.

In all but the most simple and smallest building types, this is what a Fire Evacuation Staircase should look like below … having a clear unobstructed staircase width, between handrails, of 1500 mm … with a stair going/tread of 300 mm, and a stair riser of 150 mm.  Proper attention by the designer to Accessibility Design Criteria will also make the staircase far, far easier … and safer … for Firefighter Movement …

Colour drawing taken from International Standard ISO FDIS 21542, and associated inset photographs ... showing a Fire Evacuation Staircase suitable for All Building Types, which is designed for Firefighter Safety. The staircase is also designed to accommodate Building User Evacuation/Firefighter Contraflow, illustrated with an inset colour photograph ... the Rescue/Assisted Evacuation of People with Activity Limitations, also illustrated with an inset colour photograph ... and the Use of a Stretcher. The staircase design is based on the work of CJ Walsh. Click to enlarge.

Colour drawing taken from International Standard ISO FDIS 21542, and associated inset photographs ... showing a Fire Evacuation Staircase suitable for All Building Types, which is designed for Firefighter Safety. The staircase is also designed to accommodate Building User Evacuation/Firefighter Contraflow, illustrated with an inset colour photograph ... the Rescue/Assisted Evacuation of People with Activity Limitations, also illustrated with an inset colour photograph ... and the Use of a Stretcher. The staircase design is based on the work of CJ Walsh. Click to enlarge.

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     B.  Accessible Façade Walkways in High-Rise Buildings

With today’s powerful drivers of greater energy conservation and efficiency in buildings, adaptation to climate change, and a paradigm shift in thinking on the reduction of adverse environmental impact by buildings … External Façade Design is rapidly evolving … becoming far more complex and, in many cases, comprising multiple ‘skins’.

Just check out this architectural feature, below, in an Osaka (Japan) High-Rise Hotel … which not only serves as an accessible route for evacuation and/or rescue in the event of a fire incident … but also permits much easier access for maintenance and window cleaning.

This architectural feature should be mandatory in the case of high-rise buildings with a single, central core …

Colour photograph showing the High-Rise Swissôtel Nankai in Osaka, Japan. Photograph by CJ Walsh. 2010-04-20. Click to enlarge.

Colour photograph showing the High-Rise Swissôtel Nankai in Osaka, Japan. Photograph by CJ Walsh. 2010-04-20. Click to enlarge.

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Colour photograph showing the External Walkway on the Building Façade of the High-Rise Swissôtel Nankai in Osaka, Japan. Photograph by CJ Walsh. 2010-04-19. Click to enlarge.

Colour photograph showing the External Walkway on the Building Façade of the High-Rise Swissôtel Nankai in Osaka, Japan. Photograph by CJ Walsh. 2010-04-19. Click to enlarge.

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Colour photograph showing the Hotel Room Evacuation Panel to the External Façade Walkway, which can also facilitate rescue by firefighters during a fire incident. Photograph by CJ Walsh. 2010-04-19. Click to enlarge.

Colour photograph showing the Hotel Room Evacuation Panel to the External Façade Walkway, which can also facilitate rescue by firefighters during a fire incident. Photograph by CJ Walsh. 2010-04-19. Click to enlarge.

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Building Design can make a substantial contribution to greater Firefighter Safety !!

BUT … who is raising the awareness of building designers about this issue ???

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New Dublin Criminal Courts Building – Denying Human Rights !

2011-04-07:  The United Nations Convention on the Rights of Persons with Disabilities (CRPD) is an issue, right here and now, for Architects in Ireland … and the Irish Built Environment, whoever designs, constructs, operates or manages it … not because this country has, or has not, ratified the Convention … but because the European Union has ratified this Convention !   And as we have all witnessed, on countless times since the early 1970′s … it has required a big stick from Europe to drag Ireland’s social legislation into the modern era.

UN CRPD Article 13 – Access to Justice

1.  States Parties shall ensure effective access to justice for persons with disabilities on an equal basis with others, including through the provision of procedural and age-appropriate accommodations, in order to facilitate their effective role as direct and indirect participants, including as witnesses, in all legal proceedings, including at investigative and other preliminary stages.

2.  In order to help to ensure effective access to justice for persons with disabilities, States Parties shall promote appropriate training for those working in the field of administration of justice, including police and prison staff.

Last week … from Monday, 28 March 2011 … until Thursday, 31 March 2011 … I attended as a Juror at the  New Criminal Courts of Justice Building, which is located at the Main Gate to the Phoenix Park in Dublin … near the junction between Parkgate Street and Infirmary Road.

I was very curious to experience this new building as an ordinary user.  However, I was not at all happy at the outcome … the accessibility performance was so inadequate.

In the case of this new building, it is clear that the Irish State has failed – is failing – to comply with Article 13 of the UN Convention on the Rights of Persons with Disabilities … and is thus denying a basic human right to many people in our society.

Colour photograph showing the Main Entrance to the New Criminal Courts of Justice Building in Dublin, with entrance steps in the foreground. Photograph taken by CJ Walsh. 2011-03-30. Click to enlarge.

Colour photograph showing the Main Entrance to the New Criminal Courts of Justice Building in Dublin, with entrance steps in the foreground. Photograph taken by CJ Walsh. 2011-03-30. Click to enlarge.

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Post Occupation Evaluation (POE) is not a well-known architectural concept among architects … and even when it is known, it is not the most favoured.  This subject has, in my direct experience, been treated with light-hearted frivolity in 8 Merrion Square, Dublin !   Afterall, who wants to meet the failures of their cherished designs head-on … up-front and in their faces ??   To some architects, successes never seem to count as being of equal, or more, importance.  But, they are both a vital tool in continuous learning.

POE, however, is a crucial part of work as a practicing architect.  It is essential to feed previous design failures and successes … and ‘real’ information about building user/occupant behaviour … back into new projects !   This is ‘real’ CPD (Continuing Professional Development) in action … and a serious issue which is completely overlooked in the Royal Institute of the Architects of Ireland’s current approach to CPD !!

The reason so much of the built environment … so many buildings … is/are so inaccessible for many people … is not because designers have something against people with activity limitations … it is because designers just do not want human beings … anybody … to enter and use their buildings.  People are so messy … and they always want to do silly things with a building which were never planned … or they want to change things around, spoiling ‘the design’ … etc., etc., etc.

This problem begins back in the architectural schools, and becomes a deeper problem on the professional practice courses organized by professional institutes … here, and in other countries.  POE and building user/occupant behaviour is not covered … at all !   Can you believe that ??   I still can’t.

Tyranny of the Plan is another architectural concept.  I will try to explain it this way.  Take the photograph above.  Why, for example, are there no handrails on the right hand side … the major part … of those steps ?   Because of that Tyranny of the Plan Drawing !   It looked ‘right’ … beautiful, almost sexy … just to have handrails on that part of the steps leading from the main front doors … design movement was continued and controlled.  This is not the same as people movement.

On Sunday morning last, I measured those steps myself … (riser) 150 mm in height x (going) 300 mm in depth … (2 x riser) + (1 x going) = 600 mm … ideal dimensions for steps inside a building … but not the most convenient, comfortable or safe dimensions for steps outside a building.

Handrails are definitely required throughout the full extent of the steps !   But, that would have looked very sloppy on the plan drawing.  Now, however, take a closer look at those steps … looking down from above … and just imagine that you are a frail, older person and your sight may not be the greatest … that you are visually impaired in some manner …

Colour photograph showing details of the steps, handrails and tactile ground surface indicators at the Main Entrance to the New Criminal Courts of Justice Building in Dublin, Ireland. Photograph taken by CJ Walsh. 2011-03-30. Click to enlarge.

Colour photograph showing details of the steps, handrails and tactile ground surface indicators at the Main Entrance to the New Criminal Courts of Justice Building in Dublin, Ireland. Photograph taken by CJ Walsh. 2011-03-30. Click to enlarge.

The wrong type of tactile ground surface information is being given at the top and bottom of the steps … we would like to warn users of the hazard they are approaching, i.e. the steps, by using a ‘blister’ surface indicator … not direct them to turn left or right when they perceive those continuous ‘corduroy’ ridges.  The horizontal handrail extensions at the top and bottom of the short flight of steps are insufficiently long.  There is inadequate visual contrast at all of the step nosings (i.e. the leading top edges) which would have helped people to accurately locate those edges.  And, as already referred to above, the step dimensions could have been greatly improved with a slight adjustment … for example, (riser) 125 mm in height x (going) 350 mm in depth … (2 x riser) + (1 x going) = 600 mm … much better altogether for steps outside a building !   Compare and contrast with the many Japanese photographs shown in earlier posts.  There is no comparison !   This is sloppy work in Dublin.

Mies van der Rohe (1886-1969), the Master German Architect, is often quoted as having said: “God is in the details”.  Right on, Ludwig … ride ‘em cowboy !!!

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For security reasons, it was not possible to take any photographs inside the building.  However, it was abundantly clear that accessibility for people with activity limitations, generally, was inadequate.  While some small account had been taken of the needs of people using wheelchairs … people with a visual impairment would have a very difficult time using this building.  Furthermore, when it came to the ‘swearing-in’ of Jurors at Court No.7, circulation was incredibly confined and restricted … I was having to squeeze myself forward in order to be ‘processed’.  What a mess !

This was an unacceptable and very disappointing example of poor, misguided and minimalist accessibility implementation … making an ironclad case for effective independent verification of Accessibility Performance, as required by the United Nations Convention on the Rights of Persons with Disabilities … at the end of the design stage in a project, and especially during the actual process of construction … to ensure that an ‘informed’ design intention becomes reality.

UN CRPD Article 33 – National Implementation & Monitoring

1.  States Parties, in accordance with their system of organization, shall designate one or more focal points within government for matters relating to the implementation of the present Convention, and shall give due consideration to the establishment or designation of a co-ordination mechanism within government to facilitate related action in different sectors and at different levels.

2.  States Parties shall, in accordance with their legal and administrative systems, maintain, strengthen, designate or establish within the State Party, a framework, including one or more independent mechanisms, as appropriate, to promote, protect and monitor implementation of the present Convention.  When designating or establishing such a mechanism, States Parties shall take into account the principles relating to the status and functioning of national institutions for protection and promotion of human rights.

3.  Civil society, in particular persons with disabilities and their representative organizations, shall be involved and participate fully in the monitoring process.

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And that is not the end of the story !   When construction of a building has been completed and it is then occupied, Competent Building Management  is critical in maintaining an initial level of good accessibility performance throughout the life cycle of that building.  Once again, however, the management of this building was sloppy … take a bow, the  Courts Service of Ireland !

Symptoms of Larger Problems … Two Short Little Anecdotes …

a) Unheeded Building Evacuation Warning

In the middle of Roll Call, on the first morning that I attended as a Juror, a Voiced Stand-By Building Evacuation Warning was announced over the building’s public address system.  It was explained that there had been ‘an incident’.  That’s all … no other information was given.  This announcement was repeated again, and again, and again.  It then stopped, momentarily, and then started again.  It finally ended.

During the announcements … we all looked around … there were at least 150 people in the room … then looked at each other, shrugged our shoulders and smiled.  We at least thought that the person in charge of the Roll Call would be in a position to quickly find out what was going on … but no, she also shrugged her shoulders and carried on calling out names.

Afterwards, I asked one of the many ushers what had happened … was it a serious incident ?   He didn’t know, and just stated that ushers are generally told nothing.

This is entirely unacceptable !   Are clowns managing the New Criminal Courts of Justice Building in Dublin ??

b) Disrespectful ‘Swearing-In’ of Jurors

An Information Leaflet, produced by the Courts Service back in January 2010, entitled: ‘Attending for Jury Service’ … contains the following Introduction …

Jury Service is an important civic duty.  It is a vital part of our criminal justice system.  You must arrive on time to ensure trials are not delayed.  To assist you we have prepared this leaflet which includes a map to guide you to (the) jury assembly area of the Criminal Courts of Justice.

Concerning ‘Swearing-In a Jury’ … it is stated in the Leaflet …

The court registrar calls out your name and asks you to take an oath on the Holy Book of your choice, or you may affirm.

From the beginning, nobody was informed about these options.  On the final morning, when I was selected to be a Juror, the only Holy Book which was placed in front of Jurors was the Christian Bible.  No other Holy Book was visible.  Everyone was being processed in one way … without any consideration or respect for their dignity as an individual person.

With all of the stress of these occasions, and the formalities involved … the ‘Swearing-In’ Judge was even wearing a wig (I thought that those days were long gone !) … it would be all too easy for people … ‘automatically’, almost by reflex action, and not wanting to make a fuss … to go through a ‘standard’ processing procedure, which for them had little or no meaning.  Is that the intended purpose of ‘Swearing-In’ ??

It may have escaped the attention of the Courts Service that Ireland is now a pluralist and richly varied multi-cultural society.  Some people are religious, others are not … some people are Christians, others are Moslems, Jews or Buddhists, etc., etc … whatever !

A range of Holy Books must be visible to all Jurors … and they must all be informed about the option of ‘Affirming’ … before ‘Swearing-In’ commences !

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Recent Terenure Terraced Housing Fires – Party Wall Failures !!

2011-04-06:  Further to my earlier Post, dated 11 November 2010 … specifically, the photographs in that Post which showed that there was NO Fire and Smoke Separation between a house and its neighbouring property … and my statement that those photographs “could have been taken in almost any house, anywhere in the country” … so widespread is this problem …

On Friday afternoon last, 1 April 2011 … fire spread through a long terrace of houses in the Dublin City Suburbs of Terenure.  Luckily, no one was killed … but it was reported that some people were injured, including a firefighter.  This was very far from being an April Fool’s Day Joke for the owners and occupants of the buildings.  The fire losses for everyone concerned, both direct and indirect, were enormous … and will continue to increase for quite some time.

The unsustainable losses to society, waste of valuable resources and environmental damage … will never be quantified and will remain unknown …

Colour photograph showing the cordoned-off scene in the aftermath of the fires at a Terrace of Housing in Terenure, Dublin City. In the foreground, Gardaí are keeping a watchful eye. Photograph taken by CJ Walsh. 2011-04-04. Click to enlarge.

Colour photograph showing the cordoned-off scene in the aftermath of the fires at a Terrace of Housing in Terenure, Dublin City. In the foreground, Gardaí are keeping a watchful eye. Photograph taken by CJ Walsh. 2011-04-04. Click to enlarge.

I will make no comment here about the fires, how they started, or any of the people involved on the day of the fire. 

Colour photograph showing the Detail of a Party Wall ... the wall separating one property from another ... in the aftermath of the fires at a Terrace of Housing in Terenure, Dublin. Photograph taken by CJ Walsh. 2011-04-04. Click to enlarge.

Colour photograph showing the Detail of a Party Wall ... the wall separating one property from another ... in the aftermath of the fires at a Terrace of Housing in Terenure, Dublin. Photograph taken by CJ Walsh. 2011-04-04. Click to enlarge.

What I can say, with clarity and precision, is that the Party Walls between the different properties utterly failed to perform, i.e. to provide adequate Fire Separation between those properties … in other words, to resist the passage of heat, smoke and flame from one side of the Party Wall to the other … both during the fire, and for a minimum period afterwards … during the ‘cooling phase’.

I was shocked at how these fires spread through the long terrace … but I was not surprised !

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Why has this serious problem with our housing stock been allowed to fester for so long ???

Most of the Answer lies not in the Relevant Functional Requirements of Part B of the Irish Building Regulations … but in this Diagram 13 below, which is contained in Technical Guidance Document B (2006): ‘Fire Safety’.  The details shown are technically incompetent, and will NOT work in a ‘real’ fire incident.  The reference to Paragraph 3.2.5.10 at the top right hand corner of the diagram is an error … the reference should be to Paragraph 3.2.5.11: ‘Junction of Compartment Wall and Roof’.

Black and white graphic image showing part of Diagram 13: 'Junction of Compartment Wall with Roof' ... in Irish Building Regulations Technical Guidance Document B: 'Fire Safety'. These details are technically incompetent. Click to enlarge.

Black and white graphic image showing part of Diagram 13: 'Junction of Compartment Wall with Roof' ... in Irish Building Regulations Technical Guidance Document B: 'Fire Safety'. These details are technically incompetent. Click to enlarge.

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Status of the Guidance Text in Ireland’s TGD B: ‘Fire Safety’

‘ The materials, methods of construction, standards and other specifications (including technical specifications) which are referred to in this document are those which are likely to be suitable for the purposes of the Regulations.  Where works are carried out in accordance with the guidance in this document, this will, prima facie, indicate compliance with Part B of the Second Schedule of the Building Regulations.  However, the adoption of an approach other than that outlined in the guidance is not precluded provided that the relevant requirements of the Regulations are complied with.’   [Page 2 of Technical Guidance Document B]

It is of critical importance to know and understand that Guidance Text in the Irish Technical Guidance Documents is NOT prescriptive regulation, and it is NOT ‘deemed-to-satisfy’.  All of the Technical Guidance Documents contain errors … they are not infallible documents … and, with sufficient time, technical guidance becomes outdated and inadequate.  This is routine, and to be expected.

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Similar Details to those in Diagram 13 above, which are shown in the various editions of the HomeBond House Building Manual, are equally incompetent.  Furthermore, before the First Edition of the Manual was ever published in the early 1990′s … I stated this fact, very directly, to the individual having responsibility for leading the Manual Project.

And furthermore … Similar Details, which are contained in Diagram 11 of the British (England & Wales) Building Regulations Approved Document B (2006): ‘Fire Safety’ … Volume 1 – Dwellinghouses, are just as incompetent as the Irish details.  This is compellingly relevant, at the present time, since word on the jungle drums is very strongly indicating that our Department of the Environment, Heritage & Local Government (DEHLG) is seriously considering a major updating of Ireland’s Technical Guidance Document B.  And just give one guess where they will go for the model template ??!!??   Ah, go on … go on … go on … go on … guess !!!

The Rest of the Answer can be put down to the Poor Technical Skills of DesignersBad Workmanship on Site, building with Materials and Products which are not ‘Fit for their Intended Use’ … and an Inadequate National System of Local Authority and/or Independent Technical Control.

Check out the Party Walls in your Attic Roof Spaces today !!

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Sustainability in Action ?!? – The Edge’s Malibu Housing Project

2011-04-02:  While ‘sustainability’ may be a difficult concept to understand and implement … our collective consciousness of what is not sustainable … unsustainable … should be improving.  Does this, or that, intuitively ‘feel’ wrong ?   Please discuss.

This item came to my attention a few days ago, via an Architectural e-Newsletter from the ‘US of A’ … and it is a sad, sad reminder of the unsustainable construction frenzy which infected so many people in Ireland during the Celtic Tiger Years.

The Edge is one of our own … we delight in his success, and we are proud of him !

Colour photograph, extracted from the Project Fact Sheet (available to download from the 'Leaves in the Wind' WebSite), showing the view from Surfrider Beach of The Edge's Proposed 5 House Coastal Development in Malibu, California. The hilltop locations of 4 of the houses are indicated by white arrows. Where is the last house ? Click to enlarge.

Colour photograph, extracted from the Project Fact Sheet (available to download from the 'Leaves in the Wind' WebSite), showing the view from Surfrider Beach of The Edge's Proposed 5 House Coastal Development in Malibu, California. The hilltop locations of 4 of the houses are indicated by white arrows. Where is the last house ? Click to enlarge.

At the beginning of a slick and convincing promotional video, the Proposed Coastal Housing Development by The Edge (David Evans) and his wife Morleigh Steinberg, is described as follows …

Leaves in the Wind is an innovative five-home green building and organic design project in Malibu, California.  Each home is actively seeking LEED Gold Certification from the U.S. Green Building Council.

All five terrain-appropriate, environmentally sustainable homes will be built on just over 1 acre of the 156-acre site, leaving most of the land untouched and in its natural state.”

A vague ‘artistic impression’ of each of the 5 Houses, available to download from the Project WebSite, shows that the designs are far from being earth-shatteringly innovative … and, in the case of at least 4 of the Houses, they will break the skyline at the top of the hills …

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David (aka The Edge) … some Questions and Comments …

  1. A building which breaks a hilltop skyline has an enormously adverse visual impact.  Just visit the Bodrum Peninsula, in the south-west of Turkey, to see exactly what I am talking about.  Please move the houses in Malibu.  They are not ‘terrain-appropriate’.  Don’t destroy the visual enjoyment of the landscape for everyone else in the local community !
  2. Yes … there are 5 Sites available for constructing 5 Houses.  BUT … do you really have a desperate urge to build all 5 ?   Why not just 1 … or 2 at the most … and find a ‘sustainable’ use, or uses, for the rest of the landscape ??   Are you familiar with ‘sustainable’ management ?   Would you like to do something to slow down the rate of, and perhaps even reverse, biodiversity loss in Malibu ?   If you have not done so already … would you like to consult, meaningfully, with members of the local community about your ideas … even at this advanced stage ?
  3. Have you fully considered the large range of adverse environmental impacts during the long, difficult process of construction ?
  4. Finally (for now) … I regret very much that you have been an innocent victim of Ubiquitous American Greenwash Marketing … with profound apologies to Canada, Mexico and the rest of Central and South America !   The U.S. Green Building Council’s LEED (Leadership in Energy and Environmental Design) Building Rating System is only concerned with certain environmental aspects of Sustainable Human & Social Development.  There are many other aspects to sustainability which are equally, if not more, important.  LEED is not a Sustainable Building Rating System.  And the Green Building Council, itself, knows this !   Please do some proper research !   And PLEASE … do this before the ‘real’ design process commences … and definitely, before any work starts on site !!

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