Our project is working with a wood door manufacturer that has indicated that they no longer use CARB ULEF labeling for their products, but can provide ULEF products that comply with the U.S. EPA TSCA Title VI regulation. It appears that the two programs are similar, but I am uncertain if TSCA ULEF products will be suitable for meeting the low-emitting requirements for the Composite Wood category under this credit. Has anyone else had experience with this and can provide some feedback.
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Lou Niles II
Senior Sustainability StrategistGlumac
14 thumbs up
March 12, 2019 - 4:59 pm
my guess is that you better check with your LEED coach. Manufacturers seem to be changing and or "updating" their documentation but that doesn't mean LEED has ingested and accepted them. you are rolling the dice on whether a GBCI review team will accept the documentation or not; Which sadly may have little to do with the product actually meeting the desired health and safety requirements.
Dawn Garcia
Marketing CommunicationsRoseburg Forest Products
14 thumbs up
March 13, 2019 - 6:50 pm
Hello Marcia - When LEED v4 was developed, the EPA TSCA Title VI regulation was not in effect, so the language in LEED only referenced the CARB regulation. LEED v4.1 has addressed this with updated language in the Formaldehyde Emissions Evaluation - linked here https://www.usgbc.org/node/11963828?return=/credits/new-construction/v4.1
I hope this is helpful to you and others trying to source and qualify composite wood products for your LEED projects.
Marcia Weekes
LEED CoordinatorEcostrategic Consulting Services, LLC
27 thumbs up
March 19, 2019 - 6:06 pm
Hi Dawn,
Did we sit through a workshop together at Greenbuild last year in Chicago? Thanks so much for directing me to this update in LEEDv4.1!
I should also note that I did contact my LEED coach as Lou recommended and I received a response stating that wood doors are to be categorized as "walls" rather than "composite wood" for the credit and only the General Emissions Evaluation would apply.
Dawn Garcia
Marketing CommunicationsRoseburg Forest Products
14 thumbs up
March 19, 2019 - 6:38 pm
I believe we did Marcia! Thanks for sharing the info about your door "walls". Does that mean that the door manufacturer has to certify the door system to CDPH Standard Method V1.1-2010?
Lou Niles II
Senior Sustainability StrategistGlumac
14 thumbs up
March 19, 2019 - 6:42 pm
Very interesting Marcia,
can anyone else support that GBCI will consistently accept Wood doors as walls with General Emissions Evaluation? If nervous I would just use the v4.1 Credit Substitution or make sure you include the email from your LEED coach with the submitted documentation.
Debra a. Lombard
Construction Administrator/ LEED APBywater Woodworks, Inc.
47 thumbs up
March 20, 2019 - 9:56 am
it seems that the certification your Door mfgr can provide should be OK according to this info taken from the doc linked below:
"The emission standards established by TSCA Title VI are not altered in this final rule. The requirements in this final rule are consistent, to the extent EPA deemed appropriate and practical considering TSCA Title VI, with the requirements currently in effect in California under the California Air Resources Board’s (CARB) Air Toxics Control Measure to Reduce Formaldehyde Emissions from Composite Wood Products (ATCM) (Ref. 1). "
https://www.epa.gov/sites/production/files/2016-07/documents/formaldehyde_frn_final-prepub_07.26.2016_0.pdf
however as previously suggested I would ask your LEED coach to confirm & possibly send the language above.
If you can keep us posted that would be very helpful and greatly appreciated :")
Debra Lombard
Adam Yarnell
Sustainability ConsultantSteven Winter Associates
12 thumbs up
July 1, 2020 - 3:50 pm
Hi all, we had a similar question pop up for a recent project, and we received the following reply from the LEED Coach:
"For LEED purposes the product must be labeled TSCA Title VI ULEF or TSCA Title VI NAF; it is not sufficient that the product is TSCA Title VI compliant.
Per the EPA.gov website, the label on composite wood panels must include the panel producer’s name, lot number, an EPA-recognized TSCA Title VI Third-Party Certifier number, and a TSCA Title VI compliance statement. Documentation of this label may be provided (such as a photograph of the label). Alternatively (preferably), a certificate from a recognized accreditation body (https://www.epa.gov/formaldehyde/recognized-accreditation-bodies-under-formaldehyde-emission-standards-composite-wood) or third-party certifier (https://www.epa.gov/formaldehyde/recognized-third-party-certifiers-under-formaldehyde-emission-standards-composite-wood) may be provided."
Sophie Kerr
Sustainability ConsultantStantec
13 thumbs up
July 2, 2020 - 10:54 am
There is a third option, CARB exemption through an executive order: https://ww2.arb.ca.gov/resources/documents/nafulef-executive-orders