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Published byHilary Leonard Modified over 9 years ago
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House builders and developers – What you need to know about the EU Directive John N Thompson Building Regulations Division ODPM John N Thompson Building Regulations Division ODPM
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Overview This part of the presentation looks at the implications of Article 7 for new home builders Action needed through the Building Regulations What interim action should ODPM take on current Reg 16 of the Building Regulations ? This part of the presentation looks at the implications of Article 7 for new home builders Action needed through the Building Regulations What interim action should ODPM take on current Reg 16 of the Building Regulations ?
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What Reg 16 (Building Regs) and Reg 12 (Approved Inspector Regs) currently say Require the person creating a dwelling, by new build or conversion: Calculate SAP rating Notify it to building control Put up a notice of the SAP rating, as soon as practicable, in a conspicuous place in the dwelling Final deadline (roughly speaking) is five days after completion of the dwelling If (exceptionally) dwelling is occupied before notice is posted up, builder must give the notice to the occupier Do not require builders to make SAP ratings directly available to prospective purchasers Require the person creating a dwelling, by new build or conversion: Calculate SAP rating Notify it to building control Put up a notice of the SAP rating, as soon as practicable, in a conspicuous place in the dwelling Final deadline (roughly speaking) is five days after completion of the dwelling If (exceptionally) dwelling is occupied before notice is posted up, builder must give the notice to the occupier Do not require builders to make SAP ratings directly available to prospective purchasers
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How Regulation 16/12 must change to comply with Article 7 Article 7 - when “buildings” are constructed an energy performance certificate must be “made available to the owner” Implies a duty on the builder New Regs must apply to wide categories of new buildings non-housing cases not considered in this presentation What follows are preliminary thoughts - much further work and consultation is needed Article 7 - when “buildings” are constructed an energy performance certificate must be “made available to the owner” Implies a duty on the builder New Regs must apply to wide categories of new buildings non-housing cases not considered in this presentation What follows are preliminary thoughts - much further work and consultation is needed
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New Building Reg requirement – non speculative cases Builder engaged to build one or more homes on client’s land Duty to obtain independent certificate, make it available to client Need for enforcement mechanism, probably involving building control Timing: leave flexible (as now), subject to duty to obtain amended certificate if circumstances change? Early certificate could point to opportunities to modify specification during construction DIY build: self-builder would still need to obtain independent certificate Builder engaged to build one or more homes on client’s land Duty to obtain independent certificate, make it available to client Need for enforcement mechanism, probably involving building control Timing: leave flexible (as now), subject to duty to obtain amended certificate if circumstances change? Early certificate could point to opportunities to modify specification during construction DIY build: self-builder would still need to obtain independent certificate
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New Building Reg requirement - speculative cases Is Builder the same “legal person” as selling developer? If the same, builder’s duty might be formally satisfied by his compliance (as seller) with HIP legislation Even if not the same, could duty on builder be waived.. If developer already obtained energy performance certificate for “off-plan” HIP? Oblige builder to obtain energy performance certificate, if developer has not done so by completion of dwelling? Issue still remains - updating energy performance certificate if circumstances change Is Builder the same “legal person” as selling developer? If the same, builder’s duty might be formally satisfied by his compliance (as seller) with HIP legislation Even if not the same, could duty on builder be waived.. If developer already obtained energy performance certificate for “off-plan” HIP? Oblige builder to obtain energy performance certificate, if developer has not done so by completion of dwelling? Issue still remains - updating energy performance certificate if circumstances change
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What do we do about Reg 16/12 in the short term? Target in-force date for Home Information Pack early 2006 Other legislation, to cover rented dwellings, to a similar time scale (see EU Directive deadline) Replacement of Regs 16/12, to reflect Article 7, needed to a similar time scale Target in-force date for Home Information Pack early 2006 Other legislation, to cover rented dwellings, to a similar time scale (see EU Directive deadline) Replacement of Regs 16/12, to reflect Article 7, needed to a similar time scale
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What do we do about Reg 16/12 in the short term? (continued) What can ODPM do to “bridge the gap” over next two-and-a- half years? ensure builders and BCBs understand current requirements ? seek greater enforcement effort by building control – Part of joint ODPM/LA/building inspector work on better compliance with Part L (Energy White Paper, para 3.20)? seek greater industry commitment, including use of more attractive “labels”? seek voluntary action by industry on presentation of SAP information in sales literature and by sales staff? action to be proportionate - must not distract from action to prepare for HIP and EU Directive What can ODPM do to “bridge the gap” over next two-and-a- half years? ensure builders and BCBs understand current requirements ? seek greater enforcement effort by building control – Part of joint ODPM/LA/building inspector work on better compliance with Part L (Energy White Paper, para 3.20)? seek greater industry commitment, including use of more attractive “labels”? seek voluntary action by industry on presentation of SAP information in sales literature and by sales staff? action to be proportionate - must not distract from action to prepare for HIP and EU Directive
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