In-Use / USA Residential V6 /
Part 2
Information correct as of 3rdJanuary 2025. Please see kb.breeam.com for the latest compliance information.
Energy consumption reporting – Link to Man 04 - KBCN1612
The link to meeting compliance with Man 04, outlined in Ene 23 Criterion 1 is incorrect and should be disregarded.
Answer option D in Man 04 includes targets for Energy, Water and Waste. Whereas the intent of Ene 23 relates to targets for Energy only. This will be updated in the next reissue of the technical manual.
Erratum – [BIU V6 Rsl 06] – Incorrect evidence requirements for answers G – H - KBCN1696
Please note that the requirements for the report to include 'opportunities identified' and the 'key metrics' does not align with the criteria requirements. This can therefore be disregarded.
This will be updated in the next reissue of the manual
Erratum – [BIU V6.0.0 Wat 14] – Incorrect evidence requirements - KBCN1695
The criterion 3 evidence requirement, "evidence of monitoring data" is incorrect and invalid. Assessments should not try to meet this requirement.
Criterion 3 requires the water strategy to have senior management approval. This has no relation to monitoring water consumption, which is already addressed in Wat 13 Water consumption reporting.
This error will be addressed in future updates.
LZC – Local regulations and private wire arrangements - KBCN1658
Where local regulations do not permit electricity generated by on-site renewables to be connected directly to the building, and where evidence of the relevant regulations is provided at QA, the requirement for a private wire arrangement can be waived.
On-site LZC – whole site shared connection - KBCN1424
To be recognised in BREEAM, the on-site Low and Zero Carbon (LZC) technology must have a direct physical connection to the assessed asset.
OR
Where the LZC technology is;
- Located on the same site,
- Is owned and managed by the same organization as the assessed building, and
- Where it is impractical to physically connect the assessed building to the system,
It is acceptable to allocate the renewable energy generated proportionally as a calculation of the asset's predicted energy consumption compared to the total energy consumption of the whole site.
To allocate renewable electricity by proportional consumption:
- Obtain the total annual renewable electricity generated on-site.
- Exclude all renewable electricity which has been exported to the grid.
- Determine the respective electricity consumption of all assets on the whole site (predicted for new builds and measured for existing assets).
Where consumption data is missing, renewable electricity must not be allocated to the assessed asset. In this case, it is assumed that all electricity consumed is sourced from the grid.
17-Jan-2024 - Applicability BIU V6 Ene 13 removed, as this approach is not applicable to assessing the area of PV fitted.
21-Dec-2022 - Applicability to In-Use V6 confirmed.
Smoking policy – External areas - KBCN1680
The criteria do not require that the asset provide a designated external smoking area.
The intent of Specific Note 1 is that the asset management encourage compliance with the no smoking policy by identifying areas where building users are not prohibited from smoking. However, where it is justified that no such areas can be identified within proximity of the asset, this requirement can be disregarded.
Using water from natural underground sources to offset water consumption - KBCN00094
Water from natural underground sources (for instance aquifer water accessed via boreholes) cannot be used to offset:
- NC / RFO: potable water consumption.
- IU: utility supplied water consumption.
A significant amount of water used for public consumption is already drawn from aquifers. Private boreholes may be drawing water from the same sources as public utility companies.
27-Mar-2024 - Title and text updated to broaden definition. Scheme applicability updated.
Water consumption reporting – Link to Man 04 - KBCN1611
The link to meeting compliance with Man 04, outlined in Wat 13 Criterion 1 is incorrect and should be disregarded.
Answer option D in Man 04 includes targets for Energy, Water and Waste. Whereas the intent of Wat 13 relates to targets for Water only. This will be updated in the next reissue of the technical manual.
Water strategy – Replacement and Schedule - KBCN1673
Replacement
The intent is that there is a programme in place which identifies any planned refurbishments and confirms that, where relevant, the works will include upgrading high water-consuming fittings and appliances with low water-consuming equivalents.
This does not require the systematic replacement of all fittings and appliances. However, it must also include a commitment to upgrading the efficiency of existing fittings and appliances when they reach the end of their service life.
Schedule
This may include specific fittings and appliances with low water consumption, or it can be based on a performance specification that these must meet, e.g. the flow rate or efficiency rating.
Information correct as of 3rdJanuary 2025. Please see kb.breeam.com for the latest compliance information.