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© Copyright U.S. Green Building Council, Inc. All rights reserved.
Requirements
Option 1
All flooring must comply with the following as applicable to the project scope:- All carpet installed in the building interior must meet one of the following requirements:
- Meets the testing and product requirements of the Carpet and Rug Institute Green Label Plus1 program.
- Maximum VOC concentrations are less than or equal to those specified in the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda, using the office scenario as defined in Table 7.5 within the practice. The additional VOC concentration limits listed in Section 9.1a must also be met.
- Maximum VOC concentrations meet the California requirements specified above based on the following:
- California Department of Public Health (CDPH) Standard Method V1.1-2010 using test results obtained at the 14 day time point
- Projects outside the U.S. may use the German AgBB/DIBt testing method and all testing methods based on AgBB/DIBt method (GUT, EMICODE, Blue Angel) using test results obtained at the 3 day or 7 day or 14 day time point. For caprolactam, if test results obtained at the 3 day or 7 day time point is used, the emission concentration must be less than ½ of the concentration limit specified above because the emission may not have peaked at the measured time points. If a European testing method (AgBB/DIBt GUT, EMICODE, Blue Angel) had used parameters for calculating test results different from those specified in the referenced California method, then the European test results for carpets or floorings need to be converted into California air concentrations by multiplication with 0.7.
- All carpet cushion installed in the building interior must meet the requirements of the Carpet and Rug Institute Green Label program.
- All carpet adhesive must meet the requirements of IEQ Credit 4.1: Adhesives and Sealants, which includes a volatile organic compound (VOC) limit of 50 g/L (0.4 lb/gal).
- All hard surface flooring installed in the building interior must meet one of the following requirements:
- Meet the requirements of the FloorScore2 standard (current as of the date of this rating system, or more stringent version) as shown with testing by an independent third-party.
- Demonstrate maximum VOC concentrations less than or equal to those specified in the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda, using the office scenario as defined in Table 7.5 within the practice.
- Maximum VOC concentrations meet the California requirements specified above based on the following:
- California Department of Public Health (CDPH) Standard Method V1.1-2010 using test results obtained at the 14 day time point
- Projects outside the U.S. may use the German AgBB/DIBt testing method and all testing methods based on AgBB/DIBt method (GUT, EMICODE, Blue Angel) using test results obtained at the 3 day or 7 day or 14 day time point. For caprolactam, if test results obtained at the 3 day or 7 day time point is used, the emission concentration must be less than ½ of the concentration limit specified above because the emission may not have peaked at the measured time points. If a European testing method (AgBB/DIBt GUT, EMICODE, Blue Angel) had used parameters for calculating test results different from those specified in the referenced California method, then the European test results for carpets or floorings need to be converted into California air concentrations by multiplication with 0.7.
- Concrete, wood, bamboo and cork floor finishes such as sealer, stain and finish must meet the requirements of South Coast Air Quality Management District SCAQMD) Rule 1113, Architectural Coatings, rules in effect on January 1, 2004.
- Tile setting adhesives and grout must meet South Coast Air Quality Management District (SCAQMD) Rule 1168. VOC limits correspond to an effective date of July 1, 2005 and rule amendment date of January 7, 2005.
- For carpet adhesive, concrete, wood, bamboo and cork floor finishes, and tile setting adhesives, compliance can be demonstrated with test results of:
- Total volatiles fraction, based on one of the following, provided that water and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168:
- ASTM D2369
- EPA method 24
- ISO 11890 part 1
- Total volatile organic compounds fraction, based on one of the following, provided that all VOCs with a boiling point up to 280°C (536°F) are included, and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168.
- ASTM D6886
- ISO 11890 part 2
OPTION 2
All flooring elements installed in the building interior must meet the testing and product requirements of the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda. Mineral-based finish flooring products such as tile, masonry, terrazzo, and cut stone without integral organic based coatings and sealants and unfinished/untreated solid wood flooring qualify for credit without any IAQ testing requirements. However, associated site-applied adhesives, grouts, finishes and sealers must be compliant for a mineral-based or unfinished/untreated solid wood flooring system to qualify for credit.Credit substitution available
You may use the LEED v4 version of this credit on v2009 projects. For more information check out this article. - Total volatiles fraction, based on one of the following, provided that water and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168:
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Learn more about The Cost of LEED v4 »Frequently asked questions
One flooring adhesive we are using falls under both IEQc4.1 and IEQc4.3, and is over the VOC limit. We are using the VOC budget method to meet IEQc4.1 requirements, but are we automatically disqualifed from IEQc4.3?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
The credit requirements are allowed to exempt unfinished wood flooring from the credit requirements, but wood flooring is almost always finished. This is confusing!The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
I have an international project and my flooring products aren’t tested using any of the above standards. How can I tell if they still comply?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
If I have no flooring products in the scope of my project, can I earn this credit?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
How do I handle a polished concrete floor?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
Should mineral-based finish flooring products (without any integral organic-based coatings and sealants) and unfinished/untreated solid wood flooring be documented on the IEQc4.3 LEED Online form, even though they are exempt from certification requirements?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
On a renovation, should flooring that is previously installed be subject to the credit requirements?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
Addenda
According to footnote 1 on the IEQc4.3 Form, "Mineral-based finish flooring products such as tile, masonry, terrazzo, and cut stone without any integral organic-based coatings and sealants and unfinished/untreated solid wood flooring qualify for credit without any IAQ testing requirements." Is it necessary to list them as a material on the form since there is no way to indicate that it is exempt from testing?
The project team is asking whether mineral-based finish flooring products (without any integral organic-based coatings and sealants) and unfinished/untreated solid wood flooring need to be included on the LEED IEQc4.3 (Low-Emitting Materials - Flooring Systems) Credit Form. Yes, the project team should mark the form to indicate an Alternative Compliance Path. The required narrative for the Alternative Compliance Path must include a statement that the project is applying the April 14, 2010 addenda, as well as the manufacturer and specific product description of the product claiming the exemption. Manufacturer documentation for each product claiming an exemption is NOT required. Applicable Internationally.
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© Copyright U.S. Green Building Council, Inc. All rights reserved.
Requirements
Option 1
All flooring must comply with the following as applicable to the project scope:- All carpet installed in the building interior must meet one of the following requirements:
- Meets the testing and product requirements of the Carpet and Rug Institute Green Label Plus1 program.
- Maximum VOC concentrations are less than or equal to those specified in the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda, using the office scenario as defined in Table 7.5 within the practice. The additional VOC concentration limits listed in Section 9.1a must also be met.
- Maximum VOC concentrations meet the California requirements specified above based on the following:
- California Department of Public Health (CDPH) Standard Method V1.1-2010 using test results obtained at the 14 day time point
- Projects outside the U.S. may use the German AgBB/DIBt testing method and all testing methods based on AgBB/DIBt method (GUT, EMICODE, Blue Angel) using test results obtained at the 3 day or 7 day or 14 day time point. For caprolactam, if test results obtained at the 3 day or 7 day time point is used, the emission concentration must be less than ½ of the concentration limit specified above because the emission may not have peaked at the measured time points. If a European testing method (AgBB/DIBt GUT, EMICODE, Blue Angel) had used parameters for calculating test results different from those specified in the referenced California method, then the European test results for carpets or floorings need to be converted into California air concentrations by multiplication with 0.7.
- All carpet cushion installed in the building interior must meet the requirements of the Carpet and Rug Institute Green Label program.
- All carpet adhesive must meet the requirements of IEQ Credit 4.1: Adhesives and Sealants, which includes a volatile organic compound (VOC) limit of 50 g/L (0.4 lb/gal).
- All hard surface flooring installed in the building interior must meet one of the following requirements:
- Meet the requirements of the FloorScore2 standard (current as of the date of this rating system, or more stringent version) as shown with testing by an independent third-party.
- Demonstrate maximum VOC concentrations less than or equal to those specified in the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda, using the office scenario as defined in Table 7.5 within the practice.
- Maximum VOC concentrations meet the California requirements specified above based on the following:
- California Department of Public Health (CDPH) Standard Method V1.1-2010 using test results obtained at the 14 day time point
- Projects outside the U.S. may use the German AgBB/DIBt testing method and all testing methods based on AgBB/DIBt method (GUT, EMICODE, Blue Angel) using test results obtained at the 3 day or 7 day or 14 day time point. For caprolactam, if test results obtained at the 3 day or 7 day time point is used, the emission concentration must be less than ½ of the concentration limit specified above because the emission may not have peaked at the measured time points. If a European testing method (AgBB/DIBt GUT, EMICODE, Blue Angel) had used parameters for calculating test results different from those specified in the referenced California method, then the European test results for carpets or floorings need to be converted into California air concentrations by multiplication with 0.7.
- Concrete, wood, bamboo and cork floor finishes such as sealer, stain and finish must meet the requirements of South Coast Air Quality Management District SCAQMD) Rule 1113, Architectural Coatings, rules in effect on January 1, 2004.
- Tile setting adhesives and grout must meet South Coast Air Quality Management District (SCAQMD) Rule 1168. VOC limits correspond to an effective date of July 1, 2005 and rule amendment date of January 7, 2005.
- For carpet adhesive, concrete, wood, bamboo and cork floor finishes, and tile setting adhesives, compliance can be demonstrated with test results of:
- Total volatiles fraction, based on one of the following, provided that water and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168:
- ASTM D2369
- EPA method 24
- ISO 11890 part 1
- Total volatile organic compounds fraction, based on one of the following, provided that all VOCs with a boiling point up to 280°C (536°F) are included, and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168.
- ASTM D6886
- ISO 11890 part 2
OPTION 2
All flooring elements installed in the building interior must meet the testing and product requirements of the California Department of Health Services Standard Practice for the Testing of Volatile Organic Emissions from Various Sources Using Small-Scale Environmental Chambers, including 2004 Addenda. Mineral-based finish flooring products such as tile, masonry, terrazzo, and cut stone without integral organic based coatings and sealants and unfinished/untreated solid wood flooring qualify for credit without any IAQ testing requirements. However, associated site-applied adhesives, grouts, finishes and sealers must be compliant for a mineral-based or unfinished/untreated solid wood flooring system to qualify for credit.Credit substitution available
You may use the LEED v4 version of this credit on v2009 projects. For more information check out this article. - Total volatiles fraction, based on one of the following, provided that water and exempt compounds are subtracted from total volatiles test results and the mass VOC content is calculated consistent with SCAQMD Rule 1113 and Rule 1168:
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One flooring adhesive we are using falls under both IEQc4.1 and IEQc4.3, and is over the VOC limit. We are using the VOC budget method to meet IEQc4.1 requirements, but are we automatically disqualifed from IEQc4.3?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
The credit requirements are allowed to exempt unfinished wood flooring from the credit requirements, but wood flooring is almost always finished. This is confusing!The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
I have an international project and my flooring products aren’t tested using any of the above standards. How can I tell if they still comply?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
If I have no flooring products in the scope of my project, can I earn this credit?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
How do I handle a polished concrete floor?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
Should mineral-based finish flooring products (without any integral organic-based coatings and sealants) and unfinished/untreated solid wood flooring be documented on the IEQc4.3 LEED Online form, even though they are exempt from certification requirements?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
On a renovation, should flooring that is previously installed be subject to the credit requirements?The answer to this question is available to LEEDuser premium members. Start a free trial » (If you're already a premium member, log in here.) |
According to footnote 1 on the IEQc4.3 Form, "Mineral-based finish flooring products such as tile, masonry, terrazzo, and cut stone without any integral organic-based coatings and sealants and unfinished/untreated solid wood flooring qualify for credit without any IAQ testing requirements." Is it necessary to list them as a material on the form since there is no way to indicate that it is exempt from testing?
The project team is asking whether mineral-based finish flooring products (without any integral organic-based coatings and sealants) and unfinished/untreated solid wood flooring need to be included on the LEED IEQc4.3 (Low-Emitting Materials - Flooring Systems) Credit Form. Yes, the project team should mark the form to indicate an Alternative Compliance Path. The required narrative for the Alternative Compliance Path must include a statement that the project is applying the April 14, 2010 addenda, as well as the manufacturer and specific product description of the product claiming the exemption. Manufacturer documentation for each product claiming an exemption is NOT required. Applicable Internationally.