Hi all,

Reviewing the language for the new LEED v5 Sustainable Sites Prerequisite, Minimized Site Disturbance, I saw that projects are required to implement the 2017 CGP. I'm curious to learn why the USGBC opted to stick with the 2017 CGP requirement from the LEED v4.1 Sustainable Sites Prerequisite, Construction Activity Pollution Prevention, as the EPA released a newer version in 2022. Were there provisions of the 2022 CGP that the USGBC did not like? Was the 2022 CGP too stringent comparatively? Not stringent enough?

If anyone has any guidance it would be greatly appreciated.