There are two major drawbacks on page 25/26:

The text only refers to equivalency with Carpet and Rug Institute Green Label Plus, not to equivalency with FloorScore - there is no reason to see wha that.

On top of page 26 the document requires to address the VOC content of a list of chemicals, while the referenced CRI GLP is about VOC emissions of those chemicals.

As this is for international projects, the same wording about alternative pathways as in draft LEED 2012 could have been selected.

This deserves improvement, I should say.