Sustainability Implementation

Rigorous Implementation Of Environmental Law – A Priority !

2019-03-17:  Saint Patrick’s Day …

The United Nations Environment Programme (UNEP – https://www.unenvironment.org/) has recently published the First Global Report on Environmental Rule of Law … which finds weak enforcement to be a global trend that is exacerbating environmental threats, despite the prolific growth in environmental laws and agencies worldwide over the last four decades.

The answer, of course, is rigorous implementation of environmental law … most particularly in those developed countries which have amassed their riches, over past centuries, from the plunder of natural, human and cultural resources in Central & South America, Africa and Asia.

UNEP: ‘Environmental Rule of Law – First Global Report’ (2019)

Download The Full UNEP Report Here … https://www.unenvironment.org/resources/assessment/environmental-rule-law-first-global-report   (PDF File, 30.76 MB)

Executive Summary

If human society is to stay within the bounds of critical ecological thresholds, it is imperative that environmental laws are widely understood, respected, and enforced … and the benefits of environmental protection are enjoyed by people and the planet.  Environmental rule of law offers a framework for addressing the gap between environmental laws on the books and in practice, and is key to achieving the U.N. Sustainable Development Goals.

Environmental laws have grown dramatically over the last three decades, as countries have come to understand the vital linkages between environment, economic growth, public health, social cohesion, and security.  As of 2017, 176 countries have environmental framework laws; 150 countries have enshrined environmental protection or the right to a healthy environment in their constitutions; and 164 countries have created cabinet-level bodies responsible for environmental protection.  These and other environmental laws, rights, and institutions have helped to slow – and in some cases to reverse – environmental degradation and to achieve the public health, economic, social, and human rights benefits which accompany environmental protection.

The 1972 United Nations Conference on the Human Environment brought the global environment into the public consciousness, leading to the establishment of the United Nations Environment Programme.  Following the 1992 United Nations Conference on Environment and Development (known as the Rio Earth Summit), many countries made a concerted effort to enact environmental laws, establish environment ministries and agencies, and enshrine environmental rights and protections in their national constitutions.  By the 2012 United Nations Conference on Sustainable Development, the focus had shifted to implementation of environmental laws, which is where progress has waned.

Too often, implementation and enforcement of environmental laws and regulations falls far short of what is required to address environmental challenges.  Laws sometimes lack clear standards or necessary mandates.  Others are not tailored to national and local contexts and so fail to address the conditions on the ground.  Implementing ministries are often underfunded and politically weak in comparison to ministries responsible for economic or natural resource development.  And while many countries are endeavouring to strengthen implementation of environmental law, a backlash has also occurred as environmental defenders are killed and funding for civil society restricted.  These shortfalls are by no means limited to developing nations: reviews of developed nations have found their performance on environmental issues lacking in certain respects.  In short, environmental rule of law is a challenge for all countries.  This Report discusses the range of measures that countries are adopting to address this implementation gap – and to ensure that rule of law is effective in the environmental sphere.

As the first assessment of the global environmental rule of law, this Report draws on experiences, challenges, viewpoints, and successes of diverse countries around the world, highlighting global trends as well as opportunities for countries and partners to strengthen the environmental rule of law.

The Report highlights the need to undertake a regular global assessment of the state of environmental rule of law.  To track progress nationally and globally, it is necessary to utilize a set of consistent indicators.  The Report proposes an indicator framework for environmental rule of law and highlights existing datasets that may be utilized in support of the global assessment.

The Report also calls for a concerted effort to support countries in pilot testing approaches to strengthen environmental rule of law.  Such an initiative could support testing of approaches in diverse contexts, and then adapting them before scaling them up.  It should also foster exchange of experiences between jurisdictions to foster learning.

In addition to these two cross-cutting recommendations, the Report highlights numerous actionable steps that States can take to support environmental rule of law.  For example, States can evaluate the current mandates and structure of environmental institutions to identify regulatory overlap or underlap.  States and partners can build the capacity of the public to engage thoughtfully and meaningfully with government and project proponents.  They can prioritize protection of environmental defenders and whistle-blowers.  States may consider the creation of specialized environmental courts and tribunals, and use administrative enforcement processes to handle minor offences.  And there is an ongoing need to research which approaches are effective under what circumstances.

The benefits of environmental rule of law extend far beyond the environmental sector.  While the most direct effects are in protection of the environment, it also strengthens rule of law more broadly, supports sustainable economic and social development, protects public health, contributes to peace and security by avoiding and defusing conflict, and protects human and constitutional rights.  As such, it is a growing priority for all countries.

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2017 Architecture & Building Expo – An Annoying Experience !!

2017-10-09:  On Saturday last, 7 October, I had the great misfortune to attend the Architecture & Building Expo … which was being held, in conjunction with the RIAI’s (Royal Institute of the Architects of Ireland) Annual Conference, at the RDS (Royal Dublin Society) Main Hall in Ballsbridge, Dublin …

Colour photograph showing the Entrance to the RDS Main Hall … and the 2017 Architecture & Building Exhibition.  Click to enlarge.
Colour photograph showing a high level view over the 2017 Architecture & Building Exhibition in the RDS Main Hall.  Click to enlarge.
Colour photograph showing some of the people who attended the 2017 Architecture & Building Exhibition in the RDS Main Hall.  Click to enlarge.

What was annoying … really annoying … and depressing, all at the same time … was having to introduce a senior individual on one Exhibition Stand to Part D of the Irish Building Regulations !   I even had to show that same individual where to find Technical Guidance Document D on the Irish DHPLG (Department of Housing, Planning & Local Government) Website.  And on more than a few other Stands … having to explain what is a CE Mark !!   This is entirely unacceptable.  FUBAR.

And let us all not forget that this Exhibition was being held in conjunction with the RIAI’s 2017 Annual Conference

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GB Climate Change’s Green Deal – National Audit Office Report !

2016-04-23:  Yesterday … Earth Day … and also the Official Signing Ceremony for the 2015 Paris Climate Change Agreement at United Nations Headquarters, in New York City …

UN Official Signing Ceremony for the 2015 Paris Climate Change Agreement
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On the day before that, 21 April, in a Press Release issued by the World Meteorological Organization (WMO)

A prolonged run of record global temperatures and extreme weather, the rapid melting of Arctic ice, and widespread bleaching of ocean coral reefs underline the urgent need to sign and implement the Paris Agreement on Climate Change, according to the World Meteorological Organization (WMO).

WMO Secretary-General Petteri Taalas said that 2016 has so far overshadowed even the record-breaking year of 2015.

“The magnitude of the changes has been a surprise even for veteran climate scientists. The state of the planet is changing before our eyes,” said Mr Taalas.

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A little earlier in April 2016 … and within the above international context came this problematic, but not-entirely-unexpected tale from Great Britain … the tip of a foul-smelling iceberg in quite a few countries …

Green Deal & Energy Company Obligation

“Improving household energy efficiency is central to government achieving its aims of providing taxpayers with secure, affordable and sustainable energy.  The Department of Energy and Climate Change’s ambitious aim to encourage households to pay for measures looked good on paper, as it would have reduced the financial burden of improvements on all energy consumers.  But in practice, its Green Deal design not only failed to deliver any meaningful benefit, it increased suppliers’ costs – and therefore energy bills – in meeting their obligations through the Energy Company Obligation (ECO) Scheme.  The Department now needs to be more realistic about consumers’ and suppliers’ motivations when designing schemes in future to ensure it achieves its aims.”

Amyas Morse, Head of the British National Audit Office (NAO), 14 April 2016.

[ And as you read further down … consider how important it must be for future effective climate change policy implementation in all of our countries, particularly those countries with an ‘historical responsibility’ …

  • that accurate, precise and reliable climate change data and statistics be gathered together and properly managed … and this means, for example, that at European Union Member State level, the national statistics organization must be in control of the process … and at EU level, Eurostat must be in control ;
  • that implementation be stringently and independently monitored for long-term effectiveness ;
  • that economists be removed from core decision-making in this area … and the veto they currently exercise over necessary mitigation and adaptation actions be removed. ]

The National Audit Office has today concluded that the Department of Energy and Climate Change’s (DECC) Green Deal has not achieved value for money.  The scheme, which cost taxpayers £240 Million including grants to stimulate demand, has not generated additional energy savings.  This is because DECC’s design and implementation did not persuade householders that energy efficiency measures are worth paying for.

The NAO Report: Green Deal and Energy Company Obligation also found that DECC’s design of its Energy Company Obligation (ECO) scheme to support the Green Deal added to energy suppliers’ costs of meeting their obligations.  This reduced the value for money of ECO, but the Department’s information is not detailed enough to conclude by how much suppliers have met their obligations for saving carbon dioxide (CO2) and reducing bills.

The report finds that while the Department achieved its target to improve 1 Million Homes with the schemes, this is not a direct indicator of progress against the objective of reducing carbon dioxide (CO2) emissions.  This is because different types of energy-efficiency measures save different amounts of CO2.

The schemes have saved substantially less CO2 than previous supplier obligations, mainly because of the Department’s initial focus on ‘harder-to-treat’ homes, as its analysis showed that previous schemes had absorbed demand for cheaper measures.  The Department expects the measures installed through ECO up to 31 December 2015 to generate 24 Mega Tonnes of carbon dioxide (Mt CO2) savings over their lifetime, only around 30% of what the predecessor schemes achieved over similar timescales.

Demand for Green Deal finance has fallen well below the government’s expectations, with households only funding 1% of the measures installed through the schemes with a Green Deal loan.  The schemes have not improved as many solid-walled homes, a key type of ‘harder-to-treat’ homes, as the Department initially planned.  As part of changes to ECO in 2014, the Department enabled suppliers to achieve their obligations with cheaper measures, moving away from its focus on harder-to-treat properties.  ECO has generated £6.2 Billion of notional lifetime bill savings to 31 December 2015 in homes most likely to be occupied by fuel poor people.  Beyond this, the Department cannot measure the impact of the schemes on fuel poverty.

There are significant gaps in the Department’s information on costs, which means it is unable to measure progress towards two of its objectives: to increase the efficiency with which suppliers improve the energy efficiency of ‘harder-to-treat’ houses, and to stimulate private investment.  The lack of consistency in the government’s approach during the schemes could increase the long-term costs of improving household energy efficiency.

In the NAO’s accompanying investigation into DECC’s loans to the Green Deal Finance Company, also published today, it found that the Department expects that it will not recover its £25 Million stakeholder loan to the finance company, plus £6 Million of interest that has accrued on it.  The Department based its stakeholder loan on forecasts of significant consumer demand for Green Deal loans.  But demand for Green Deal finance was lower than the Department forecast from the outset, meaning the finance company could not cover its operating costs.  The Department agreed a second loan worth up to £34 Million in October 2014, of which the finance company has drawn down £23.5 Million.  The Department still expects to recover this loan in full as it will be repaid before other investors in the finance company.

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Is it any wonder that the ‘real’ Greenhouse Gas (GHG) Numbers continue to climb relentlessly ?!?

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Wind Turbine Fires – Facing Up To The ‘Environmental Impact’ !?!

2016-04-19:  A Priority Theme of  SFE 2016 DUBLIN, next September, is the ‘Adverse Environmental Impact’ caused by Preventable Fires in the Built Environment.  Last year’s horrendous devastation of large tracts of land, air and ground waters in the Tianjin port region of North-Eastern China is one very obvious example.

BUT, consider also … Wind Turbine Fires.  As we move closer and closer towards a planetary environmental precipice … there IS enormous pressure to harvest more and more energy from renewable, non-carbon resources.  Windmills, of old, used wind energy to perform an important function in a local context.  Everybody could see what was happening inside.  Local people reaped the benefits.  Modern wind turbines, on the other hand … ?

The First Major Issue concerning Wind Turbines, which received only half-hearted attention at best, was their …

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.

But, at least, ‘it’ was mentioned in conversations !

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The next major issue, the Fire Issue, is a different matter entirely.  This problem does NOT exist … NEVER happens … NOBODY KNOWS NOTHING !   And not just in Ireland or Europe … the ‘real’ fire statistics are either ignored, massaged or concealed.

Wind turbines differ from other forms of traditional power generation because of the inherent risk of total fire loss of the nacelle.  The main features of this risk include:

  • high concentration of value within the nacelle ;
  • high concentration of potential ignition sources within the nacelle, and increased risk of lightning strikes ;
  • unmanned operation ;
  • no possibility of fighting a fire in the nacelle by local fire service personnel, because they are too high up and/or there is no access for fire service vehicles ;
  • remote, sometimes very difficult to reach geographical locations of wind turbines, particularly in the case of offshore installations.

[ Nacelle:  A cover, or housing, for all of the generating components in a wind turbine, including the generator, gearbox, drive train, and brake assembly.]

The cost of wind turbines and their components, as well as restoration and repair costs after a fire, increase in proportion to installed generating capacity.  In addition, losses caused by service interruption also increase in a similar proportion.

According to the loss experience of Insurers, fires in wind turbines can cause significant damage to property and have very high post-fire costs.

Fire Loss in Wind Turbines Can Occur …

  • in the nacelle ;
  • in the tower ;
  • in the electrical sub-station of the wind turbine or wind farm.

Due to the high concentration of technical equipment and combustible material in the nacelle, fire can develop and spread rapidly.  There is also the danger that the upper tower segment will be damaged.  In the case of a total loss of the nacelle, restoration costs may well reach the original value of the whole turbine.

These ‘Preventable’ Fire Losses Are NOT Sustainable !

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PDF File, 601Kb – Click ‘CFPA-E Guideline’ link below to download.

Which is why, in September 2012, the European Fire Protection Associations decided to publish a common guideline in order to ensure similar interpretations in the different European countries … and to give examples of acceptable solutions, concepts and models.  The Confederation of Fire Protection Associations in Europe (CFPA-E) aims to facilitate and support fire protection work.

The European marketplace is constantly imposing new demands for quality and safety.  According to CFPA-E, fire protection forms an integral part of a modern business strategy for survival and competitiveness.  We thoroughly agree !

This CFPA-E Guideline (No.22 – September 2012) on Wind Turbine Fire Protection in Europe – produced by VdS Schadenverhütung and drafted by Hardy Rusch – is primarily intended for those people responsible for fire safety in companies and organizations.  It is also addressed to fire services, consultants, safety companies, etc … so that, in the course of their work, they may be able to assist companies and organizations in increasing levels of fire safety.

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LEED, PassivHaus & BREEAM Housing ~ Atrocious Fire Safety !!

2016-04-11:  It Happened One Night !

And Maybe … if it hadn’t been that particular night, during all the festivities of New Year’s Eve 2015, we would never have heard about the Address Supertall Hotel Fire, in Dubayy (UAE).  A long search on the Internet afterwards led to the detailed, post fire analysis report on the 2014 Lacrosse Docklands Fire, in Melbourne (Australia) … followed by some more searching, and a very large can of worms opened up … similar nasty façade (external fabric) fires in many, many countries … involving large chunks of flaming debris falling from terrific heights, carried by the wind to a significant distance away from the building of fire origin.

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Some people have tried to suggest that the only reason for these fires is inadequate building codes/regulations.  No … the reason for these fires is much more than that … it’s the ‘SYSTEM’ !   In other words, how the International Construction Sector is organized and goes about its ordinary, everyday activities and tasks.  We must also talk about poor quality design and construction … and a lack of stringent, independent enforcement of effective building codes/regulations and standards.  I have written this down many times before … Self-Regulation is NO Regulation !!

It is very clear that Conventional Fire Engineering … as currently practiced, internationally … is no longer ‘fit for purpose’.  For discussion at SFE 2016 DUBLIN.  Check out the Fire Conference Website: www.sfe-fire.eu … and on Twitter: @sfe2016dublin

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IN IRELAND … A 2015 TERRACED HOUSING FIRE …

The general public was shocked and stunned, to put it mildly, by a very rapid and extensive 2015 Terraced Housing Fire on the outskirts of Dublin …

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[ See my Blog, dated 2011-04-06 … about a different, but related, 2011 Terraced Housing Fire in Terenure, a suburb of Dublin City.]

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[ Fast forward from 2011 … overtaking Priory Hall (see my series of Blogs) … to Longboat Quay, a large residential development on the south bank of the River Liffey, which flows through the middle of Dublin.  A recent visual/surface inspection of one of the units there revealed not just a poor quality of construction … but a lack of care and attention, with a mixture of incompetence and ignorance thrown in for good measure.]

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The 2015 Terraced Housing Fire, shown above, should not have been a surprise to the ‘System’ in Ireland.  Research carried out in the U.S.A., Belgium and The Netherlands since 2012, and a serious PassivHaus Apartment Fire in Köln, Germany, on the night of 5 February 2013  … have all shown that the modern home (highly insulated, airtight, packed with electronic equipment and wiring, and fast-burning synthetic furnishings, etc.) is the ‘perfect storm’ of fire conditions and outcomes.  More open residential design + increased fuel loads + new construction systems and materials = faster development of fires, much reduced times to flashover, far less time for occupant evacuation, particularly people with activity limitations … and shorter building collapse times.

The time to flashover in modern high-performance housing, i.e. Sustainable/Green/PassivHaus/Eco/LEED/Bio/+Energy/Low Carbon/BREEAM/Zero Carbon/SMART … can be 7 times faster than in conventional/legacy housing … or less than 5 minutes, compared with just over 29 minutes !

All of this research can be found on the Links & Docs Page of the SFE 2016 DUBLIN Website.

Let us be crystal clear … there is nothing Sustainable/Green/PassivHaus/Eco/LEED/Bio/+Energy/Low Carbon/BREEAM/Zero Carbon/SMART about the post-fire scenes of destruction shown above.  And only for the physical separation between terraces, which can be clearly seen in the last photograph … the fire would have kept spreading.

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URGENT FIRE SAFETY RECOMMENDATIONS …

Without a balanced, proper approach to the issue of Fire Safety in this type of modern, high-performance housing … occupant safety is seriously threatened.  And if, in the event of a fire incident, the occupants are asleep … or people with activity limitations are living in the house … that threat will be extremely grave indeed.

Reality – Reliability – Redundancy – Resilience !

So … what needs to change ?   In Ireland, our immediate problem is Timber-Framed Housing (as shown above) … and the following is an outline of what must change … NOW !

  1. Party Walls, i.e. the walls separating one house from another, must be constructed of solid masonry, with a uniform and uncompromised thickness of at least 200mm … plastered on both sides, not dry-lined, for adequate smoke resistance … and be continued above the roof covering for at least 300mm.
  2. An effective Fire Detection System must be installed.  The conventional ‘package’ of one smoke detector per floor in the hallway and staircase of a standard 2 storey semi-detached house is nowhere near being adequate.
  3. An effective Residential / Domestic Fire Suppression System must be installed, e.g. low pressure water mist.  See later post, dated 2016-06-13, for a costed notional installation.
  4. If there is a Controlled Ventilation System, either mechanical or natural, in the house (for the purposes of air quality, heat exchange and energy conservation), it must be linked to the fire detection system.  In the event of a fire incident, the Ventilation System must immediately cease operation, and remain ‘fully open’.  This is in order to mitigate the build-up of high positive pressure, within a confined airtight space, caused by a developing fire … and to provide an exhaust route for smoke and toxic gases … during the short period of time prior to activation of the fire suppression system.
  5. Intermediate Timber Floors and Evacuation Routes, including fire resisting doorsets, must be reliably protected from fire and smoke.  The minimum period of fire and smoke resistance must be linked to local fire service support infrastructure.  In other words, the local fire services must be allowed sufficient time to arrive at the scene of a fire in strength … to search for any occupants still remaining in the fire building … and to bring the fire under control.
  6. Uppermost Ceilings under a trussed timber roof structure, including any trap doorsets into the roof space, must be similarly and reliably protected from fire and smoke.  Once fire enters a roof space, the light trussed timber structure will collapse within a few minutes.
  7. Front and Back Entrance/Egress Doors must be outward opening.  In the 2013 German PassivHaus Apartment Fire, the occupant found it extremely difficult to open inward opening doors and windows because of the high positive pressure caused by the developing fire.  This unusual phenomenon was confirmed in the 2015 Finnish Apartment Fire Tests, when much higher positive pressures were observed.
  8. Internal Linings of External Walls must comprise 2 layers of plasterboard, with all joints staggered … steel fixed, at not more than 150mm centres.  Once fire breaches the internal lining of an external wall, the whole building will become involved in the fire.  Horizontal and vertical fire sealing behind these linings, even if properly installed (!), are too little and too late.
  9. Frontline Firefighters must be supported by specialist structural engineering and hazard appraisal units … and light/portable/reliable Thermal Imaging Cameras must be recognized as a standard tool of firefighting.

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SUSTAINABLE HOUSING & RESIDENTIAL BUILDINGS …

These building types are more popularly known as Green, PassivHaus / Passive House, LEED, Eco, Bio, BREEAM, +Energy, Zero / Low / Nearly Zero Carbon, or SMART, etc., etc, etc.   In ALL of these cases, however, an Effective Residential Fire Suppression System MUST BE INSTALLED, e.g. low pressure water mist !

In everyday practice … Authorities Having Jurisdiction (AHJ’s), and the Organizations and Individuals responsible for the far-too-rapid construction of these innovative building types are either completely and blissfully ignorant, or callously and negligently in denial, about the seriously negative impacts on Occupant & Firefighter Fire Safety and Building Fire Protection.

BUT … slowly … more and more reliable evidence is being gathered !   Please visit the Links & Docs Page on: www.sfe-fire.eu … and also view this Presentation on some very interesting 2015 Apartment Fire Tests in Finland: www.youtube.com/watch?v=0Ss_ONolzLY

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ENERGY CONSERVATION & EFFICIENCY UPGRADING OF EXISTING BUILDINGS …

In refurbishment projects where insulation is fixed to the internal surfaces of external walls … similar fire safety problems exist, and they must be solved by reviewing the full checklist above.  Refer again to the PassivHaus Apartment Fire in Köln, Germany, on the night of 5 February 2013 … and to the 2015 Apartment Fire Tests in Finland

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SFE 2016 DUBLIN – A Benchmark Fire Engineering Event !

2015-11-06 !   We are very pleased to announce that the Fire Safe Europe Alliancewww.firesafeeurope.eu … has become actively involved, together with Glasgow Caledonian University and FireOx International, in co-hosting SFE 2016 DUBLIN.  To facilitate the Network’s full engagement and provide sufficient time for promotion, etc … it was jointly agreed that the new dates for this Event shall be from 28-30 September 2016.

We have every confidence that SFE 2016 DUBLIN will now be a much better event … having a wider range of stakeholder participation.

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2015-06-29 …

Sustainable Fire Engineering – Effective Fire Safety for All in Sustainable Buildings !
28-30 September 2016      Dublin, Ireland
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www.sustainable-firengineering.ie  or  www.sfe-fire.eu
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Approved Regional Sustainable Built Environment Conference in the 2016-17 Series
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The Gresham Hotel, O’Connell Street, Dublin, Ireland

Céad Míle Fáilte (Hundred Thousand Welcomes) to Dublin, in Ireland … and to the First International Conference devoted to this complex subject !

The 21st Century has had a cruel and savage birth: extreme man-made events, hybrid disasters, severe natural events, complex humanitarian emergencies, with accelerating climate change and variability.  The old certainties are crumbling before our eyes …

The resolute Answer to these threats and the rapidly changing social and environmental needs of our world is Sustainable Fire Engineering !

•  SFE fulfils a critical role in the realization of a Safe, Resilient & Sustainable Built Environment for All ;
•  SFE facilitates positive progress towards the United Nation’s 17 Sustainable Development Goals & 169 Performance Targets, which were adopted in September 2015 ;
•  SFE fast-tracks proper compliance with the Basic Requirements for Construction Works in the European Union’s Construction Products Regulation 305/2011 (Annex I), specifically the interlinked Requirements 7, 2, 1, 3 & 4.

Please join us in an informal, multidisciplinary and pre-normative forum … as we examine Sustainable Fire Engineering more deeply.Event Logo for SFE 2016 DUBLIN

INTRODUCTION to SFE 2016 DUBLIN

Fire Losses – both direct and indirect – amount to a very significant percentage of GDP in all economies, whether they are rich or poor … and result in enormous environmental damage and social disruption.  Fire Engineering, including Fire Prevention and Protection in Buildings, is a major multi-billion Euro/Dollar component of the Construction Industrial Sector – worldwide.

Unfortunately … a fundamental conflict exists between Sustainable Building Design Strategies and the fire safety responses adopted in today’s Conventional Fire Engineering.  To take a simple example: for cooling, heating or ventilation purposes in a Sustainable Building, it is necessary to take advantage of natural unobstructed patterns of air movement in that building.  On the other hand, fire engineers in private practice and control personnel in Authorities Having Jurisdiction (AHJ’s) will demand that building spaces be tightly compartmented in order to limit the spread of fire and smoke … dramatically interfering with those natural patterns of air movement.

Unusual fire behaviour and a range of difficult fire safety issues (critical, in the case of firefighters) also arise from the Innovative Design Features (for example, ‘green’ roofs, elaborate intelligent façades) and Building Products / Systems (for example, photovoltaic panels) being installed in Sustainable Buildings.

A wide chasm separates the language and understanding of these two very different design disciplines.  As a result, the performance of Sustainable Buildings can be seriously compromised.  If, on the other hand, adequate independent technical control is absent on site … it is fire safety which is weakened.

And because, in most countries, the emphasis is placed on pre-construction design intent rather than the ‘real’ performance of the completed/occupied building … these problems are ignored and remain hidden … until a serious fire breaks out !

SUSTAINABLE FIRE ENGINEERING’s AIM

The Aim of Sustainable Fire Engineering is to dramatically reduce all direct and indirect fire losses in the Human Environment (including social, built, economic, environmental, virtual, and institutional) … and to protect the Natural Environment.

Towards Zero Preventable Fires in the Built Environment !

In essence … Sustainable Fire Engineering heavily front-loads Fire Prevention and Fire Protection Measures … above and beyond the minimal and very limited fire safety objectives mandated by current legislation.

SFE’s Key Concepts are … RealityReliabilityRedundancyResilience !

SFE Design Solutions are …

  • Adapted to local geography, climate change and variability, social need, economy, and culture ;
  • Reliability-based ;
  • Person-centred ;
  • Resilient.

SFE 2016 DUBLIN OBJECTIVES

1.  To initiate discussion and foster mutual understanding between the International Sustainable Development / Climate Change / Urban Resilience Communities and the International Fire Science & Engineering Community.
2.  To bring together today’s disparate Sectors within the International Fire Science and Engineering Community … to encourage better communication between each and trans-disciplinary collaboration between all.
3.  To transform Conventional Fire Engineering into an ethical and fully professional Sustainable Design Discipline which is fit for purpose in the 21st Century … meaning … that fire engineers can participate actively in a sustainable design process, and can respond creatively with sustainable fire engineering design solutions which result in Effective Fire Safety for All in Sustainable Buildings.
4.  To launch a CIB W14 Research Working Group VI Reflection Document: ‘Sustainable Fire Engineering Design & Construction’ … which will establish a framework for discussion on the future development of Sustainable Fire Engineering.

SFE 2016 DUBLIN WEBSITE

Today !   Visit the SFE 2016 DUBLIN Website at … www.sustainable-firengineering.ie  or  www.sfe-fire.eu

Download the Information on the Links Page … Review the wide range of Topics which will be examined and discussed at SFE 2016 DUBLIN … Submit an Abstract for a Paper … and Give serious consideration to becoming an Industry Exhibitor, or an Enlightened, Far-sighted Sponsor !!

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2015 Dublin Declaration on ‘Fire Safety for All’ Adopted !

2015-04-20:  After a lengthy, constructive and very interesting discussion which resulted in some important text revisions … on Friday afternoon in Dublin, 10 April 2015, at the ‘Fire Safety for All’ Conference (www.fire-safety-for-all.eu) … all participants voted to adopt, support and promote the 2015 Dublin Declaration on ‘Fire Safety for All’ in Buildings !

With regard to International Distribution and Promotion of the Declaration … many readers of this Technical Blog belong to varied professional, social and business networks.  I would earnestly ask you to circulate the Declaration widely within those networks, and to actively seek the support of as many organizations and individuals as possible.  This support should be confirmed by means of a simple e-mail message to: fireox@sustainable-design.ie … and I will then add the names of supporters to the Fire Safety for All WebSite (www.fire-safety-for-all.eu).  Copies of the Declaration, in PDF and WORD Formats, can also be downloaded from the WebSite.

Fire-Safety-4-All_smlThis Benchmark Declaration on Accessibility and Fire Safety for People with Activity Limitations … is an essential reference document for all stakeholders and interested parties.  It draws a long-awaited, broad, distinct and stable line in the shifting sands of a rapidly evolving Sustainable Human Environment (social, built, virtual, economic, and institutional) ….

1.   As of 14 July 2015 … 156 Countries, plus the European Union, have ratified the United Nations Convention on the Rights of Persons with Disabilities (CRPD).  Since the Convention became an international legal instrument in 2008, however, the UN CRPD Preamble’s Paragraph (g): ‘mainstreaming disability in sustainable development strategies’ … and Paragraph (v): ‘the importance of accessibility in enabling people to fully enjoy their rights and fundamental freedoms’ … have tended to receive insufficient public attention and scrutiny.  The Dublin Declaration on ‘Fire Safety for All’ in Buildings and the related CIB W14 Research Working Group 5’s Reflection Document have been drafted with those two paragraphs very much in mind.

2.   Although a situation of serious risk for vulnerable building users … it is not appropriate to deal with Fire Safety for All in Buildings under Article 11: ‘Situations of Risk & Humanitarian Emergencies’ of the U.N. Convention on the Rights of Persons with Disabilities … where situations of grave risk are handled, e.g. Extreme Man-Made Events, Hybrid Disasters, Severe Natural Events, Complex Humanitarian Emergencies … all amid Accelerating Climate Change & Variability.

Take the case of an earthquake, for example … where there will be large-scale serious building damage and many, many building collapses throughout an affected region.  On the other hand, when considering fire safety for all in any building … it is necessary that the building shall remain not just structurally stable, but serviceable.

3.   It is more appropriate, particularly since the publication of International Standard ISO 21542 (2011) with its expanded definition of Building Accessibility, that Fire Safety for All be incorporated into the meaning and implementation of Article 9: ‘Accessibility’ of the CRPD … in exactly the same manner that fire safety is fully integrated into everyday mainstream building use, and mainstream building fire safety codes and standards.

As there are no references, at all, to either ‘fire’ or ‘safety’ in Articles 9 … there is much to be explained and clarified in the 2015 Dublin Declaration on ‘Fire Safety for All’ in Buildings, if ‘real’ implementation is to be both practical and successful.

An improved and updated definition of Building Accessibility is contained in Principle 3 of the Dublin Declaration …

‘Accessibility of a Building encompasses the complete cycle of independent use, in a dignified manner and on an equal basis with others … and includes the approach, entry and use of a building and its facilities, egress during normal conditions and removal from its vicinity … and, most importantly, safe evacuation during a fire incident to a place of safety which is remote from the building and reached by way of an accessible route.’

4.   The Dublin Declaration contains a Preamble, Principles 1-9 which are headlined below, and an Appendix with many Terms and Definitions …

Principle 1 – A Human Right
Principle 2 – Successful Implementation
Principle 3 – Building Accessibility
Principle 4 – Design for Safe Evacuation
Principle 5 – Accessible EICT’s
Principle 6 – Fire Safety Skills
Principle 7 – Reasonable Spatial Provision
Principle 8 – Building Management
Principle 9 – Firefighters

5.   Existing approaches to Fire Safety, Protection & Evacuation in Buildings for People with Activity Limitations … as described and illustrated in the notable examples of British Standard B.S. 9999 (2008), Singapore’s FSR 7 (2011), and Hong Kong’s Fire Safety Code Addendum (2014) … are technically inadequate, tokenistic, discriminatory, create barriers to social participation, and violate human rights.  Therefore, any further use or recourse to such existing approaches must be terminated immediately !

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2015  DUBLIN  DECLARATION  ON  ‘FIRE SAFETY FOR ALL’  IN  BUILDINGS
A Call to Action and Successful Implementation !

(Adopted in Dublin, 2015-04-10)

Meeting In  Dublin, Ireland … on Thursday and Friday, 9 and 10 April, 2015

In Co-Operation With  the International Council for Research & Innovation in Building & Construction (CIB), Rehabilitation International’s International Commission on Technology & Accessibility (RI-ICTA), the Global Alliance for Accessible Technologies & EnvironmentS (GAATES), and the EUropean Concept for Accessibility Network (EuCAN) ;

Recognizing  the integral and interdependent nature of the natural and human environments (social, built, virtual, economic and institutional) on this small planet Earth, our common home … and the need for harmonized principles to inspire and guide the peoples of the World in the enhancement of a human environment which cherishes the dignity, worth and many abilities of every person ;

Whereas  in the United Nations Charter, the U.N. Member States pledged their respect for, and the protection and observance of, fundamental human and social rights … and have determined to promote social development and better standards of living for all ;

Recalling  the Universal Declaration of Human Rights (UDHR), adopted on 10th December 1948 … which established a global framework of human and social rights – basic needs and protections – and fundamental freedoms for every person and communal gathering ;

Recalling Also  the Rio de Janeiro Declaration on Sustainable Social Development, Disability & Ageing, adopted on 11th December 2004 … which stressed the importance of the social aspects in Sustainable Human & Social Development ;

Mindful Especially  of the United Nations Convention on the Rights of Persons with Disabilities (CRPD), adopted on 13th December 2006 … the principal aim of which is to ensure that the human environment is sufficiently accessible to permit a vulnerable and major population group in all communities to safely exercise and enjoy the human and social rights and fundamental freedoms described in the 1948 UDHR ;

Working Towards  the achievement of justice, equality of opportunity, social inclusion, active participation and development for every person with an activity limitation in all communities … and recognizing that accessibility of the human environment is an essential prerequisite for the above, and that fire safety for all is a critical life safety component of that accessibility ;

Aware Always  of the universal reality that there is still a strong social stigma associated with disability and, particularly, mental ill-health … that much of the human environment is not accessible for all, and even where it is robustly mandated in law, the quality of that accessibility is poor … and that fire safety guidelines for people with activity limitations in buildings, if they exist, are inadequate and/or tokenistic, and rarely implemented ;

Welcoming the launch of the CIB Working Commission 14: Fire Safety – Research Working Group 5’s Reflection Document: Buildings & ‘Fire Incident Human Behaviour and Abilities’ which presents a practical examination and general overview of fire safety for all

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Addressed to every Country and the European Union – those many Voluntary Parties to the U.N. Convention on the Rights of Persons with Disabilities – and the Politicians, Authorities Having Jurisdiction, State Agencies, Professional Bodies & Institutions, Non-Governmental Organizations, Charitable & Private Organizations, etc., based within those separate jurisdictions:

We Declare That The Following Principles Must …

Be carefully studied, successfully implemented, and independently monitored … supported by Benchmarking, reliable Data and Statistics, and the informed use of pertinent Accessibility & Fire Safety Related Performance Indicators …

Principle 1 – A Human Right

Full and effective accessibility of the Human Environment (social, built, virtual, economic and institutional) is a fundamental human and social right, i.e. a basic need, for people with activity limitations – it is an essential prerequisite for the safe exercise and enjoyment of those rights, protections and freedoms set down in the 1948 Universal Declaration of Human Rights and subsequent international rights instruments … and crucially, for their health, participation, inclusion and development in all communities.

Principle 2 – Successful Implementation

Successful accessibility implementation … meaning high quality accessibility performance in the built environment … is reliant upon:

  • A robust legal base mandating accessibility for all and fire safety for all ;
  • Determined political will ;
  • Sufficient public financial resources ;
  • A compassionate and understanding bureaucracy at all levels ;
  • Competent … meaning duly educated, trained and experienced in accessibility and fire safety design … spatial planners, architects, structural engineers, fire engineers, quantity surveyors, technical controllers, industrial designers, building managers, and people at all levels in construction organizations ;
  • Independent monitoring of accessibility and fire safety performance ;
  • Innovative, well-designed accessibility and fire safety related products and systems which can be shown to be ‘fit for their intended use’.

Principle 3 – Building Accessibility

Accessibility of a Building encompasses the complete cycle of independent use, in a dignified manner and on an equal basis with others … and includes the approach, entry and use of a building and its facilities, egress during normal conditions and removal from its vicinity … and, most importantly, safe evacuation during a fire incident to a place of safety which is remote from the building and reached by way of an accessible route.

Principle 4 – Design for Safe Evacuation

Accessibility design criteria must be infused into all of the practical, day-to-day work of building designers and, especially, in the development of project-specific fire engineering design objectives … and be applied from the initial stages of building design, through to the construction and reliable life cycle operation of vertical and horizontal fire evacuation routes facilitating contraflow, areas of rescue assistance, fire safety related signage, controls and fittings, fire prevention and protection measures, fire safety management procedures, routes to and locations of places of safety, etc., etc.
• Evacuation way finding in buildings must be intuitive and obvious ;
• 3 Keywords for building designers must be: reality – reliability – redundancy.

Principle 5 – Accessible EICT’s

Electronic, information and communication technologies are ubiquitous in today’s complex built and virtual environments.  During a real fire incident in a building, they serve a function which is critical for the safety of all building users and firefighters, property protection, minimizing environmental damage and harm, and sustainability. For that reason, they must have a control and/or user interface which is accessible for all.

Principle 6 – Fire Safety Skills

People with activity limitations who occupy or use a building frequently must be included in all practice fire evacuations, in order to learn the skill of safe independent evacuation to an accessible place of safety remote from the building.  During a real fire incident, evacuation assistance provided by other building users or rescue by firefighters, and the time spent waiting for that assistance or rescue in the building must be kept to an absolute minimum.

People with activity limitations must be actively encouraged to participate in fire safety preparatory planning and regular practices … and, without exception, must be consulted and included in all activities concerning their own evacuation from a building.

Management systems and fire protection measures in buildings are never 100% reliable.  People with activity limitations must, therefore, be actively encouraged to be self-aware in situations of risk, and facilitated in learning the skill of self-protection.

Principle 7 – Reasonable Spatial Provision

Reasonable spatial provision must be allocated in a building for the needs of real users, who vary in the range of their individual behaviour and abilities … and for the real building user population profile which, avoiding discrimination, must reflect a society as a whole.  Concerning fire safety for all and the necessary size, for example, of an area of rescue assistance which adjoins a fire evacuation staircase on every floor in a building … the following indicators, exclusive of extra provision for assistants, must guide the architect and fire engineer in the collaborative design process:

(a)  Minimum reasonable provision for people with disabilities in a building – 10% of design occupant/user population ;

(b)  Minimum reasonable provision for people with activity limitations in a building … 15% of design occupant/user population.

Principle 8 – Building Management

Building managers must ensure that fire safety for all preparatory planning is effective, and that practices are held regularly … before any real fire incident occurs.  And as part of their normal, day-to-day functioning … managers must be fully aware that, without due attention to accessibility-related services, product maintenance and occupant/user welfare policies, the quality of accessibility in a building will rapidly deteriorate.

Personal Emergency Evacuation Plans (PEEPS) must not be used to limit or restrict access to any part of a building and its facilities.

Principle 9 – Firefighters

Firefighters must be trained to interact with and rescue people with activity limitations from buildings, using procedures and equipment which will not cause injury to either.  Fire services must ensure that they operate such procedures and possess such regularly serviced equipment.

Emergency service organizations must operate reliable systems to notify the fire services of emergency situations, which are accessible for all and useable by the public at all times.

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APPENDIX – Terms & Definitions

Area of Rescue Assistance:  A sufficiently large building space directly adjoining, and visible from, a main vertical evacuation route – robustly and reliably protected from heat, smoke and flame during and after a fire – where people may temporarily wait with confidence for further information, instructions, and evacuation assistance or rescue, without obstructing or interfering with the evacuation travel of other building users.

Contraflow Circulation in a Fire Building:  Emergency access by firefighters or rescue teams into a building and towards a real fire … while building users are still moving away from the fire and evacuating the building.

Evacuation from a Fire Building:  To withdraw, or cause to withdraw, all users from a building which is on fire … in pre-planned and orderly phased movements to an accessible place of safety remote from the building.

Fire Compartmentation:  The division of a building into fire-tight compartments by fire, smoke and heat resisting elements of construction, in order to …
a)  contain an outbreak of fire, including any smoke and heat generated by the fire ;
b)  prevent damage, within the building, to other adjoining compartments and spaces ;
c)  protect a compartment interior from external fire attack, e.g. fire spread across the building’s facade or from an adjacent building ;
d)  minimize adverse, or harmful, environmental impacts outside the building.

Human Health:  A state of complete physical, mental and social wellbeing, and not merely the absence of disease or infirmity.

People with Activity Limitations (E) / Personnes à Performances Réduites (F):  Those people, of all ages, who are unable to perform, independently and without aid, basic human activities or tasks – because of a health condition or physical / mental / cognitive / psychological impairment of a permanent or temporary nature.

The above Term includes …

  • wheelchair users ;
  • people who experience difficulty in walking, with or without a facilitation aid, e.g. stick, crutch, calliper or walking frame ;
  • frail, older people ;
  • the very young (people under the age of 5 years) ;
  • people who suffer from arthritis, asthma, or a heart condition ;
  • the visually and/or hearing impaired ;
  • people who have a cognitive impairment disorder, including dementia, amnesia, brain injury, or delirium ;
  • women in the later stages of pregnancy ;
  • people impaired following the use of alcohol, other ‘social’ drugs e.g. cocaine and heroin, and some medicines ;
  • people who suffer any partial or complete loss of language related abilities, i.e. aphasia ;
  • people impaired following exposure to environmental pollution and/or other irresponsible human activities, e.g. war and terrorism ;

and …

  • people who experience a panic attack in a real fire situation or other emergency ;
  • people, including firefighters, who suffer incapacitation as a result of exposure, during a real fire, to smoke and poisonous or toxic substances, and/or elevated temperatures.

Place of Safety:
•  Any accessible location beyond a perimeter which is [100] metres from the fire building or a distance of [10] times the height of such building, whichever is the greater ;   and
•  Where necessary triage can safely be rendered … and from where effective medical care and supervision can be organized and provided within one hour of injury (the ‘golden hour’) ;   and
•  Where people can be identified.

Note: If there is a risk of an explosion associated with a fire – multiply the numbers in square brackets above by 4.

Progressive Damage in Fire / Fire-Induced Progressive Damage:  The sequential growth and intensification of structural deformation and displacement, beyond fire engineering design parameters, and the eventual failure of elements of construction in a building – during a fire and the ‘cooling phase’ afterwards – which, if unchecked, will result in disproportionate damage, and may lead to total building collapse.

Note: Fire-induced progressive damage may commence long before there is any breach in the integrity of a fire compartment’s boundaries.

Real Fire:  A fire which develops in a building and is influenced by such factors as the type of building and its occupancy (numbers, abilities and activities) ;  the combustible content (fire load) ;  the ventilation, geometry and thermal properties of the fire compartment or building space (should no fire compartmentation exist) ;  the fire suppression systems in the building, and the actions of firefighters.

Skill:  The ability of a person – resulting from proper training and regular practice – to carry out complex, well-organized patterns of behaviour efficiently and adaptively, in order to achieve some end or goal.

Social Environment:  The complex network of real and virtual human interaction – at a communal or larger group level – which operates for reasons of tradition, culture, business, pleasure, information exchange, institutional organization, legal procedure, governance, human betterment, social progress and spiritual enlightenment, etc.

Social Rights:  Rights to which an individual person is legally entitled, e.g. the right to free elementary education (Art.26(1), UDHR), but which are only exercised in a social context with other people, and with the active support of a competent legal authority, e.g. a Nation State.

Social Wellbeing:  A general condition – in a community, society or culture – of health, happiness, creativity, responsible fulfilment, and sustainable development.

Virtual Environment:  A designed environment, electronically generated from within the built environment, which may have the appearance, form, functionality and impact – to the person perceiving and actually experiencing it – of a real, imagined and/or utopian world.

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‘Fire Safety for All’: Open Call for Innovative Products & Systems

2015-02-02:  This is NOT … I repeat NOT … a small niche market in the Global Multi-Billion Euro Fire Safety & Protection Related Construction Industrial Sector !   This IS the whole nine yards !!

This is an Open Call for Innovative, Well-Designed Fire Safety / Protection and Accessibility Related Construction Products and Systems, Other Measures and Means, Mechanical and Electronic Devices, ETC, ETC, ETC, ETC !

This Call is particularly aimed at Manufacturers, Suppliers and Distributors in China, India, Japan, and Mainland Europe !

We want to see ‘Real’ Products and Systems, Measures and Means, Mechanical and Electronic Devices, ETC, ETC, ETC, ETC … not flashy brochures … at the 2015 Dublin ‘Fire Safety for All’ Industrial Exhibition, on 9 & 10 April !

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An Accessible Building is Safer, Easier to Use and More Comfortable for ALL Building Users

If Fire Safety for All is properly considered at Building Design Stage :
• Buildings are easier to understand (intuitive) during a Real Fire Evacuation
Fire Evacuation Routes (obvious) are easier to find and to use
• Everyone can safely evacuate a Building on Fire – no more tragic tales about people being left behind in multi-storey schools and offices
RealityReliabilityRedundancy – are the 3 Essential Keywords

Client Organizations: A Building which is NOT Accessible is difficult, if not impossible, for everybody to evacuate during a real fire incident !

So …

Grab a Bicycle – Get a Horse – Take a Train or a Plane – Come to Dublin in April !

Fire-Safety-4-All_smlTo Exhibit / To Sponsor … please go to the Event WebSite: www.fire-safety-for-all.eu

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‘Fire Safety for All’ Update: Dublin Declaration & Press Release

2015-02-01:  This important Event is still a few months away, but the following update will be of interest …. a mixture of some good news and some bad news …

Fire-Safety-4-All_smlTo Register / To Attend … please go to the Event WebSite: www.fire-safety-for-all.eu … places are limited in the New Conference Venue.

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1.  2015 Dublin ‘Fire Safety for All’ Declaration – A Call to Action & Successful Implementation !

From the beginning, we promised that this would not be a polite gathering in Dublin.  It will, instead, be a time for hard work and straight talking by everybody attending … and a good opportunity to have some fun also.  Dublin is a very ‘sociable’ city !

As an indication of our serious intent … please now download and examine the Proposed 2015 Dublin Declaration on ‘Fire Safety for All’ in Buildings (PDF File, 153 Kb) …

Proposed 2015 Dublin Declaration on 'Fire Safety for All' in Buildings
Proposed 2015 Dublin Declaration on ‘Fire Safety for All’ in Buildings

If you would like to comment on this document, or if you have any questions … please send an e-mail message to: fireox@sustainable-design.ie

Drafting of the CIB W14 Research Working Group V Reflection Document has already commenced.

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2.  Dublin Fire Safety for All Event’s First Press Release

A strong message from and about the Dublin Event must be widely disseminated at international and national levels … download and read / forward / circulate / publish FireOx International’s First Event Press Release (PDF File, 49 Kb), dated 1 February 2015 …

FireOx International's First Event Press Release
FireOx International’s First Event Press Release

Please help us to spread the word !

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3.  Embarrassment about Original Conference Venue

Accessibility of a Building … encompasses the complete cycle of independent use, in a dignified manner and on an equal basis with others … and includes the approach, entry and use of a building and its facilities, egress during normal conditions and removal from its vicinity … and, most importantly, safe evacuation during a fire incident to a place of safety which is remote from the building and reached by way of an accessible route.

As I write … Ireland has a truck load of accessibility-related National Building Regulations and EU Safety at Work Law (transposed at national level a long, long time ago).  We have strong Equality Law.  We have ease of access to accessibility-related International Standards (such as ISO 21542: 2011) and National Standards from other European Countries, North & South America, and Asia.  We have accessibility-related National Guidance Documents coming out of our ears, and easy access to all sorts of other guidance from around the world.  Lots and lots and lots and lots of paperwork, in digital and hardcopy formats !

Ireland today … is still one of only a few remaining countries which have yet to ratify the United Nations Convention on the Rights of Persons with Disabilities (CRPD), the principal aim of which is to ensure that the Human Environment (including the built, social, economic, virtual and institutional environments) is sufficiently accessible for people with activity limitations to participate positively in all aspects of their local communities … a basic human right, which every able-bodied person takes for granted !

” This is not just a national disgrace, it is a huge embarrassment for our country when you consider that the European Union itself and most of the EU’s Member States have already ratified this UN Convention.”

AND … as I look around Dublin … the City is NOT accessible for its many vulnerable residents and foreign visitors !

Dublin Castle Printworks Building – Main Entrance
Colour photograph showing the Main Entrance to Dublin Castle’s Printworks Building.  Telepathy is required to be ‘aware’ that there is a ramp located way down at the far end of the building.  Notice the limited extent of ground tactile information at the bottom of the steps in the foreground, and the unmarked glazing on the left of the Entrance Doors above.

Are you sitting comfortably ?   Then I will tell you a short story … a ‘real’ story, not a fairy tale … about the Original Conference Venue …

Mr. Sean Sherlock, T.D., Minister of State at Ireland’s Department of Foreign Affairs with responsibility for Overseas Development Aid, has agreed to open the Event on the evening of Thursday, 9 April 2015.  All of Irish Aid’s Partner Countries in Africa have ratified the UN Convention on the Rights of Persons with Disabilities.

Given the serious, socially transformative topic of this Conference … the Minister had also kindly offered to waive the fee for the hire of the Printworks Building in Dublin Castle – a very prestigious location in the City, and a building which was been extensively refurbished in time for Ireland’s recent Presidency of the European Union.  The audio-visual fit-out for this building is magnificently elaborate.  Most unfortunately, the building’s accessibility is entirely inadequate (‘ATROCIOUS’ would be a better word to describe it) !

Dublin Castle Printworks Building – Set Down Area
Colour photograph showing a marked Set Down Area at the front of Dublin Castle’s Printworks Building.  Bollards prevent a Taxi from dropping off a passenger, who uses a wheelchair, at the bottom of the ramp.

However, with the right attitude and positive co-operation from the Venue Management Team, many improvements to the building’s accessibility could have been made for the Conference.  From the beginning, however, the Management Team’s response to this issue was negative.

” It is entirely unacceptable that this State’s New and Heritage Building Stock is designed, constructed, and/or managed without a full and proper consideration … and successful implementation … of Accessibility for All and Fire Safety for All ! “

Dublin Castle Printworks Building – Main Entrance Steps
Colour photograph showing, from above, the Main Entrance Steps of Dublin Castle’s Printworks Building.  Also notice the hazardous lack of visual colour contrast in platform and step surfaces.

The Venue Management Team has refused to honour the Minister’s waiver.

Dublin Castle Printworks Building – Top of Ramp
Colour photograph showing the Top of the Ramp at the side of Dublin Castle’s Printworks Building.  Notice the lack of ground tactile information.

We have had no other option but to move the Conference and Workshop to a far better Venue just around the corner … the Radisson Blu Hotel in Golden Lane, Dublin.

Dublin Castle Printworks Building – Bottom of Ramp
Colour photograph showing the Bottom of the Ramp at the side of Dublin Castle’s Printworks Building.  Notice the difficult approach to the Ramp, and also no indication of where there are level surfaces to rest when using the Ramp.

A Building which is NOT Accessible is difficult, if not impossible, for everybody to evacuate during a real fire incident …

‘Rigorous enforcement of building codes and standards by state and local agencies, well trained and managed, is critical in order for standards and codes to ensure the expected level of safety.  Unless they are complied with, the best codes and standards cannot protect occupants, emergency responders, or buildings.’

(2005 U.S. NIST NCSTAR 1: Final Report on the Collapse of the World Trade Center Towers … Page 202, Chapter 9: Recommendations)

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United Nations Convention on the Rights of Persons with Disabilities

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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The Access Consultants for Dublin Castle were O’Herlihy Access Consultancy.

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