A NEW ware house project , it consist of :
1- 4 office rooms each with one person occupancy
2- And the ware house space with racks and 32 workers ( moving workers for packaging and moving stuff and wrapping )
Now for credit IEQ 6.1 controllability of lighting : do we take the credit if we provided task lighting for the four persons in the offices ? or do we need to apply a specific strategy for the ware house workers ??
The same for credit : IEQ 6.1 controllability of thermal comfort : do we take the credit if we provided Thermostat for the four persons in the offices ( each room with one person have one thermostat ) ? or do we need to apply a specific strategy for the ware house workers ??
Tristan Roberts
RepresentativeVermont House of Representatives
LEEDuser Expert
11478 thumbs up
December 27, 2012 - 11:37 am
Soha, your questions are addressed in the LEEDuser guidance above, and in other questions on this forum. I'd recommend starting by reviewing that guidance, and post back here with any obstacles that come up for you. Thanks!
soha yamani
Senior Sustainability EngineerMetec Consultants
15 thumbs up
December 27, 2012 - 2:50 pm
Thanks a lot Tristan , but can you please tell me what work station indicates ? like office ? or the place for work ??like inside the warehouse
Please be noted that the space i am taking about is full of logistics racks , and it is for Loading and unloading , packaging and unpack-aging so what if this space should be included , what is the possible strategy for achieving this credit in addition to the thermal control credit ( regarding the warehouse racks space)
N.B : I found in the excel sheet you posted that the ware house (in active can be excluded ) but the active is included , so the question here is what is active and in active ? this is so confusing
Lauren Sparandara
Sustainability ManagerGoogle
LEEDuser Expert
997 thumbs up
January 2, 2013 - 1:09 pm
Hi Soha,
I would look at this CIR (1/18/2008 ID# 5101)
Ruling
Manufacturing floor, warehouse, and shipping/receiving spaces that are, in fact, regularly occupied must be considered regularly occupied for the purpose of this credit. Per LEED-NC 2.2 Reference Guide, page 359, work groups "should have access to adequate controls to provide the functionality to suit their activities." The referenced CIR dated 10/22/07 also states that "the expected building use should be analyzed and control systems should be provided to serve all users as appropriate." If functional or safety requirements do not allow for occupant control in majority of the spaces with 80% of the occupants, then those spaces, and by consequence, this building, does not meet the intent or the requirements of the credit. Applicable Internationally.
More >>
Manufacturing floor, warehouse, and shipping/receiving spaces that are, in fact, regularly occupied must be considered regularly occupied for the purpose of this credit. Per LEED-NC 2.2 Reference Guide, page 359, work groups "should have access to adequate controls to provide the functionality to suit their activities." The referenced CIR dated 10/22/07 also states that "the expected building use should be analyzed and control systems should be provided to serve all users as appropriate." If functional or safety requirements do not allow for occupant control in majority of the spaces with 80% of the occupants, then those spaces, and by consequence, this building, does not meet the intent or the requirements of the credit. Applicable Internationally.
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Formal Inquiry
Our project is a 173,569 SF manufacturing development with a projected labor force of 450 employees. The facility will include a 71,522 SF Manufacturing Floor, with 74,426 SF of Warehouse, and 15,749 SF of Administrative and Employee Service Areas. The facility will be staffed and producing food products on a 24 hour per day basis, 365 days per year. The facility's food manufacturing operations will require a 3-shift per day staffing with approximately 120 employees per shift (80% of total employees) working on the manufacturing floor and/or supporting the manufacturing operation in warehousing, maintenance, and sanitation. The tasks performed in the manufacturing operation and in support of the manufacturing operation by their intrinsic nature are not suited for controllable task lighting or for adjustable shared lighting, primarily because of the personal mobility required for operating the process machinery, sorting, packaging, and transporting the finished products. Additionally, food safety requirements as well as personal employee safety constraints require that these areas be well lighted at all times. In your 10/22/2007 CIR ruling for this credit, it was stated that the determining factor in defining "Building Occupants," "is not WHO uses the space, but HOW the space is being used." In this building, 80% of the total employee count will be engaged in physical, labor intensive tasks in areas comprising 84% of the project building area, which for safety reasons must be performed in consistently well illuminated areas. Controllable task lighting, or or for adjustable shared lighting in these areas would be additional lighting and counter-productive to the intent of the LEED Program. For these reasons, we would like to propose that this manufacturing floor area, the receiving warehouse, and the shipping warehouse, not be considered regularly occupied spaces for the purposes of this credit. We suggest this because it would be unreasonable and a safety hazard to meet the intent of the credit in these area's. The project design will provide controllable task lighting for the 20% of employees included in the various levels of management and administrative staff who are provided with individual work stations. Additionally, employee support areas for training and scheduled work break area will be provided with controllable lighting functionality. So please confirm this interpretation: 1. The manufacturing floor area, the receiving warehouse, and the shipping warehouse, will not be considered regularly occupied spaces for the purposes of this credit. 2. Assuming you affirm the first interpretation, please confirm the following. We will give the 20% of occupants with workstations task lighting, and the other 80% of occupants will be accounted for by providing all other (not including spaces warehouse/shipping/receiving) regularly occupied shared spaces with adjustable lighting to meet group needs. Thus, we will have accounted for 100% of the occupants. Please confirm.
More >>
Our project is a 173,569 SF manufacturing development with a projected labor force of 450 employees. The facility will include a 71,522 SF Manufacturing Floor, with 74,426 SF of Warehouse, and 15,749 SF of Administrative and Employee Service Areas. The facility will be staffed and producing food products on a 24 hour per day basis, 365 days per year. The facility's food manufacturing operations will require a 3-shift per day staffing with approximately 120 employees per shift (80% of total employees) working on the manufacturing floor and/or supporting the manufacturing operation in warehousing, maintenance, and sanitation. The tasks performed in the manufacturing operation and in support of the manufacturing operation by their intrinsic nature are not suited for controllable task lighting or for adjustable shared lighting, primarily because of the personal mobility required for operating the process machinery, sorting, packaging, and transporting the finished products. Additionally, food safety requirements as well as personal employee safety constraints require that these areas be well lighted at all times. In your 10/22/2007 CIR ruling for this credit, it was stated that the determining factor in defining "Building Occupants," "is not WHO uses the space, but HOW the space is being used." In this building, 80% of the total employee count will be engaged in physical, labor intensive tasks in areas comprising 84% of the project building area, which for safety reasons must be performed in consistently well illuminated areas. Controllable task lighting, or or for adjustable shared lighting in these areas would be additional lighting and counter-productive to the intent of the LEED Program. For these reasons, we would like to propose that this manufacturing floor area, the receiving warehouse, and the shipping warehouse, not be considered regularly occupied spaces for the purposes of this credit. We suggest this because it would be unreasonable and a safety hazard to meet the intent of the credit in these area's. The project design will provide controllable task lighting for the 20% of employees included in the various levels of management and administrative staff who are provided with individual work stations. Additionally, employee support areas for training and scheduled work break area will be provided with controllable lighting functionality. So please confirm this interpretation: 1. The manufacturing floor area, the receiving warehouse, and the shipping warehouse, will not be considered regularly occupied spaces for the purposes of this credit. 2. Assuming you affirm the first interpretation, please confirm the following. We will give the 20% of occupants with workstations task lighting, and the other 80% of occupants will be accounted for by providing all other (not including spaces warehouse/shipping/receiving) regularly occupied shared spaces with adjustable lighting to meet group needs. Thus, we will have accounted for 100% of the occupants. Please confirm.