This video from the 2022 NCC Seminars discusses changes for NCC 2022 Volume Three.
Transcript
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foreign [Music]
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Welcome to the Australian Building Codes Board's presentation of the changes to the
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2022 edition of the NCC Volume Three. My name is Peter McLennan and I'm a senior project
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officer for the plumbing at the Australian Building Codes Board. In this video today
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I'll I will briefly outline some of the more significant changes you'll find in NCC 2022.
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But first you might be wondering how all the regulatory framework works. As you can see on
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this slide, the local legislation deals with administrative matters such as licensing and
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approvals. At this level, everything is handled by the relevant state or territory government.
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This legislation is also what gives the PCA legal effect. This is where the ABCB are involved. We
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developed the Plumbing Code of Australia to set out the policy matters for plumbing as
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well as looking after our product certification schemes such as WaterMark. The NCC then references
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different standards to provide Technical Solutions. For plumbing, the key reference
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standards are of course, AS/NZS 3500, which are developed and published by Standards Australia.
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On this slide it shows some of the key dates in producing the NCC 2022.
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We released NCC 2022 for public consultation in the first half of 2021
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and received a great feedback from the plumbing sector. To meet the deadline for the publication
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of the NCC the key reference documents such as AS/NZS 3500 were published later in 2021.
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Hopefully you all know that the 2022 PCA has already been published in preview mode
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and is available on the ABCB website. If you haven't already, jump on the website
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today and download a free copy. This preview has been released early to allow industry to
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become familiar with the changes ahead of the adoption of NCC and of course these seminar
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sessions are also intended to assist industry to become familiar with the changes to the NCC.
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The 2022 edition of the NCC is the biggest and most comprehensive update since inception and,
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in fact, there are still a couple of big decisions to be finalised.
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The main one is a decision on the proposed changes to residential energy efficiency. That decision is
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expected to be made by the building ministers before the end of August. We recognize the
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challenge that presents with the scheduled commencement of the NCC on 1 September. We
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understand that the building ministers will also be considering transition arrangements that will
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delay the adoption of those provisions and we have recommended that the adoption of the NCC should
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not be any earlier than October 1. As soon as we have more information and the building ministers
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have made a decision we will let you know by sharing across our networks as widely as we can.
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The first change I should mention is the change to
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the structure and the numbering of the NCC Provisions. The NCC has a completely new
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referencing system for 2022 as part of our digitisation strategy for the NCC.
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The old referencing system wasn't machine readable or consistent across all volumes
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so to enable digitisation across the three codes the referencing system had to be updated.
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Whilst this isn't a drastic change to the PCA, which moved towards this approach in the
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previous edition, this is a big numbering change for the BCA, and as I indicated,
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we'll bring all three volumes of the NCC into a consistent numbering structure. If you use the
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BCA for areas of work such as roofing, gutters and downpipes, you'll see some big changes here.
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When looking at Volume One there has not been a huge change. In fact the only real change
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at this level for 2022 is that the special use buildings gets bumped into Section I,
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which leaves section H empty for a housing section, which is contained in Volume Two; more on
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that in a moment. For Volume One things start to really change when you drill down into the parts.
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For NCC 2022 the acceptable construct and practice in Section 3 is picked up and moved
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into a new reference document - the Housing Provision Standard. Think of this as being like
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a reference standard. It's not in the NCC but is called up by the NCC. It's not our first reference
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document - we already have the eight three ABCB reference standards such as the Standard
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for construction in flood hazard areas so the idea of an ABCB standard isn't new, though this
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is our biggest move in relation to Volume Two. The numbering is broken in four key elements to
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indicate what area of the code you are looking at and the type of provision. In this example
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you will see that the B indicates the section, B being the water services section of the PCA,
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the 1 indicates that it's part one of the section which specifically covers cold water services,
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the P indicates that it's a Performance Requirement or if it was a D it would indicate
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that it was a deemed to satisfy provision, and the last number indicates that it's a first clause
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in the provision - in this example Performance Requirement one, which is for cold water supplies.
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Another change of interest is actually in the Building Dode and it's about floor wastes. Before
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I go into that change the image on the slide shows a change room and the hand-based scenario
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of an office building. What might surprise you is that this floor waste is not required by the BCA.
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There is three areas that the BCA requires installation of a floor waste. These are showers,
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which makes sense I'm sure, but the main areas are bathrooms or laundries above a sole occupancy
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unit and rooms containing urinals. In these areas it's mandatory to have a floor waste installed.
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Okay now on to the change which relates to the fall of the floor for the floor waste. In Volume
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One, as shown at the top of the screen, if you have a commercial building which is a Class 2
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or 3 building or a class 4 part of a building and your bathroom or laundry is above a sole occupancy
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unit or a public space then you must have a floor waste. This has always been the case since 1990.
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In the Housing Provisions in Volume 2, which relates to Residential Class 1 Buildings,
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this is slightly different. As you can see on the bottom part of the slide,
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the Clause that states where a floor waste is installed, this Clause isn't making you install
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a floor waste but if you do put a floor waste in then the BCA will now require the floor waste to
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be graded towards that waste. It's always been a good idea but now it's mandatory with NCC 2022.
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After some major changes for commercial buildings in NCC 2019, building ministers
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decided the ABCB should develop an enhanced energy efficient provisions for residential buildings
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this will be the first major stringency increase for residential energy efficiency in the NCC since
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2010. Besides improvements for building envelopes, a Whole of Home approach will be introduced in the
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NCC 2022. The Whole of Home approach is a holistic approach to assess the energy
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performance of a building and covers all of the key appliances as well as the building envelope.
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A key point for the plumbing sector in relation to these energy efficiency requirements are that
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they won't change current work practices for plumbers but may be used to inform
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which water heaters are selected through considerations of the wider house design.
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The NCC 2022 will be reducing the allowable lead content in plumbing products.
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Products which contain copper alloys and are intended for use in contact with drinking water
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will be required to have a weighted average lead content of no more than 0.25 per cent.
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NCC 2022 will specify new requirements and will outline the transition period for this change
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which I'll show you on the next slide. There are a few reasons for this change. One consideration
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was for international practices. Australia is a small market on the global scale and
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consideration was given to what is happening internationally to ensure that Australia does
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not create more stringent requirements than other countries. If this happened
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this requirement we would become a barrier to trade and the importance of plumbing products.
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As such, this change will align the levels set by other countries such as as the USA and Canada and
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this consistency also ensures that there is suitable technology available to continue to
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manufacture copper alloy products compliant with this requirement. The second and major
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consideration was for the health benefits that can be achieved through this change. It is important
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to remember that existing plumbing products must meet stringent manufacturing and testing
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requirements to demonstrate compliance with the requirements of the Australian drinking
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water guidelines that said there are still health benefits which can be derived from the
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use of lead-free plumbing products in further reducing the potential for exposure to lead.
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The ABCB undertook analysis looking into this issue. The analysis also played a key part in
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defining the appropriate application of the lead requirements of the NCC 2022.
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Most people know that lead isn't great for you. That has long been recognized as a
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cumulative toxin and once it enters the body there is no level of lead in your blood that
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is considered safe. The health impacts of lead are most profound in children
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under 4 years of age and pregnant women. The advice from various health agencies
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encourage governments to eliminate non-essential uses of lead where possible,
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so that's what we have done. The application of the lead-free requirements is limited to
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products containing copper alloy and are in contact with the drinking water. These products
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include items such as fittings, valves, mixers, water heaters, water dispensers and water meters.
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I mentioned before that there will be a transition time frame for the lead-free plumbing products.
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There will be a three-year transition period to allow manufacturers and suppliers time to
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ensure that there is sufficient lead-free plumbing products in the market by the 1st
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of September 2025. For now there is nothing that needs to be done by the
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installer but beyond the 1st of September in 2025 only lead-free plumbing products will
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be authorized for installation and existing products will no longer be able to be used.
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This is a big change for the industry so we'll we will talk more about this transition later on.
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So let's move into the compliance structure of the PCA.
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As we work our way through the seminar today, we'll provide an indicator of
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where the requirements sit within the compliance structure of the PCA.
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I will take you through the detail of the changes to the PCA in 2022 which you can use
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to demonstrate compliance with these Performance Requirements. There are a number of changes to the
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Deemed to Satisfy Provisions and I will introduce to you a few new verification methods which can
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also be used to demonstrate compliance through a Performance Solution. The Deemed to Satisfy
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Provisions are prescriptive, like a recipe book, they tell you what and in which location things
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must be done. They include materials, components, design factors and construction methods that,
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if used, are deemed to meet the Performance Requirements, hence the term Deemed to Satisfy.
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As the slide indicates indicates, it is important to reiterate that, to meet the performance
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requirements of the PCA, you can use a Performance Solution, a DTS or a mix of both. If using a
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Performance Solution or a mix of Performance solution and Deemed to Satisfy Provision, the
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proposed solution would generally require local government consent prior to the work being carried
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out. Now we have been through the changes to the Performance Requirements we will talk a little bit
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about Performance Solutions. It is important to remember that if you are using a Deemed to Satisfy
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solution, such as an AS/NZS 3500, you do not need to demonstrate compliance with the Performance
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Requirements as as the solution being used has already been deemed to meet this requirement,
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hence the name. NCC 2022 outlines the required processes for developing a Performance solution.
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This requires project stakeholders to collaborate and develop an agreed pathway for the design
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process to follow. This process will ensure that the solution produces an acceptable outcome.
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As you can see on the slide, there are four key stages. A performance-based design brief is stage
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one. This is a document that is developed in collaboration with key stakeholders and
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proposes how the performance-based solution will meet the requirements of the NCC.
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The second stage is analysis. Given that each performance solution is unique, each proposal
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will require a specific analysis relevant to its complexity. Once completed it is then necessary to
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collate and evaluate the results from the analysis and draw conclusions which form the final report.
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The final report will clearly demonstrate that compliance with the NCC performance requirements
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has been achieved. The ABCB has a large amount of resources available on our website to assist
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you in this area, so if you want to know more just jump online and take a look.