New Construction / International /

V6

Information correct as of 6thMay 2024. Please see kb.breeam.com for the latest compliance information.

Accreditation – sampling and testing laboratories - KBCN1337

Analysis / testing laboratory NC 2016 or newer: Where an organisation used for the analysis of indoor air or emissions from building products is not accredited to ISO/IEC 17025, the organisation must be accredited, either by a national accreditation body, or by a member of any one of the following accreditation groups: European Cooperation for Accreditation International Accreditation Forum International Laboratory Accreditation Cooperation The accreditation must specifically cover the analysis of indoor air or emissions from building products. Other schemes: Accreditation to ISO/IEC 17025 is not required in the criteria. However, this KBCN has been applied to encourage a consistent approach towards accreditation. Accreditation by a national or internationally recognised organisation helps to ensure rigorous, consistent and reliable testing results. Sampling organisation If another organisation carries out sampling on behalf of the analysis / testing laboratory, this organisation does not need to be accredited to the above. However, they must provide a brief report justifying: This report is provided to the BREEAM assessor and submitted as supporting evidence for this issue.
31-Oct-2022 Wording clarified. Scheme applicability updated.
10-Oct-2022 Title amended for clarity. Scheme applicability updated.
24-May-2022 Updated to differentiate between sampling and analysis requirements. 
07-May-2021 Added clarification regarding alternative qualifications. 
10-May-2021 Updated scheme applicability.

Applicability – industrial asset with no office areas - KBCN1170

The issue applies only to office areas. If the building does not contain any office areas the issue is filtered out of the manual. Please note that in issue 2.0 and V6 the prerequisite is still applicable. While the requirements apply to permanently or semi-permanently occupied offices, small admin areas which are only used occasionally can be excluded. This also applies to shell only and shell and core projects, where it can be shown that no office spaces will be provided as part of the fit-out.
10-Oct-2022 - Updated to include INC V6. Title amended to align with standard KBCN naming format for clarity and consistency.

Applicability – industrial operational areas - KBCN1342

The aim of this issue is to encourage a healthy internal environment.  For the operational areas of industrial buildings, the internal environment is dictated by health and safety requirements.  This means that the BREEAM requirements should not be made applicable to them, and so the operational areas can be ignored in the assessment of Hea 02.
10-Oct-2022 - Title amended for clarity and consistency. Scheme applicability updated.

Applicability – retail asset with no office areas - KBCN0531

The compliance note regarding industrial and retail areas incorrectly suggests that the minimising sources of air pollution credits are not applicable to retail areas with no associated offices. These credits do apply to retail sales areas, although they are excluded for operational areas in industrial buildings. The 'potential for natural ventilation' credit is not applicable for retail sales areas, as it applies only to office areas. Therefore, where a retail building does not contain any office, this credit is not applicable. While the requirements apply to permanently or semi-permanently occupied offices, small admin areas, which are only used occasionally can be excluded. This also applies to shell only and shell and core new build projects, where it can be demonstrated that no office spaces will be provided as part of the fit-out. The online tool will award the credit by default in both issue 1.0 of the INC 2016 scheme and up to issue 1.4 of the IRFO 2015 scheme. When assessing against INC 2016 2.0 and V6, the online tool will instead filter this credit out.
12-Oct-2022 Title amended for clarity and consistency. Made applicable to International NC V6.
11-Sep-2018 Clarification added in relation to spaces that are used occasionally, and shell only/shell and core new build projects. 
15-Sep-2017 Clarification added on the procedure for making the 'potential for natural ventilation' credit N/A on the online tool. Technical manual to be updated accordingly in next re-issue.

Applicability of ‘Internal lighting’ and ‘zoning and occupant control’ criteria to Residential buildings - KBCN0978

These criteria, ie 7 to 9 and 11 to 13, are not applicable to Residential buildings.
Technical manual to be updated in the next reissue.

Applying the requirements to shell only + shell and core assessments - KBCN00075

A Suitably Qualified Acoustician (SQA) must carry out a quantifiable assessment of the specification of the built form, construction and any external factors that are likely to affect the indoor ambient noise levels. From this assessment, the SQA must confirm that the developer’s scope of works will enable a future tenant utilising a typical fit-out and specification to meet the levels required to demonstrate compliance with the BREEAM criteria. Where the specific room functions and areas within the building are yet to be defined, the acoustician’s assessment should demonstrate that the criteria for the most sensitive room type likely to be present in the building is capable of being achieved. Where the typical fit out would include a range of requirements (e.g. offices with a mix of open plan, cellular offices, meeting rooms and breakout areas; or retail with sales floor, stock/storage, office and staff rest areas), the acoustician should make an assessment based on a speculative layout and outline specification to determine whether the requirements of the relevant best practice standard are achievable and include examples of the most sensitive room types. Where the majority of a building’s floor plan will require high performance acoustic environments (e.g. classroom/seminar buildings), then the BREEAM requirements must be achieved for the entire shell where specific layouts are not determined by the built form. Post-construction testing is not required subject to confirmation from the project team that the built form, construction and any external factors have not changed from those used in the SQA's assessment.
14-Feb-2024 - Scheme applicability updated. Clarified applicability to shell only assessments. Title updated.
09-Aug-2019 - Updated applicability to UK NC 2018
08-Dec-2017 - Clarification added regarding post-construction evidence.
   

Approach to thermal model when using BMS - KBCN0169

Where there are smart systems such as BMS in place, modelling must consider normal operating conditions, with the heating and cooling system in operation regardless of the control strategy. In order for the design team to size the heating/cooling plant, they will carry out modelling to calculate the heat/cold loss throughout the year. Results of these calculations must be submitted, with the heating/cooling plant specification which would demonstrate that the building has been designed to ensure internal winter/summer temperatures will not drop below an acceptable level, and that in effect the winter TOR is zero.
14 Apr 2023 Applicability to UK NC2018 and UK/Int V6 confirmed

Approved Standards and Weightings (ASWL) – Applicability to BREEAM INC V6 - KBCN1489

The International New Construction 2016 country weightings in the Approved Standards and Weightings List (ASWL) are applicable to International New Construction V6. This includes: The latest version of the ASWL template must be used for newly registered assessments (see KBCN0910).
23 Mar 2022 - Updated to include additional information and align title with other content

Assessing industrial spaces – exemptions - KBCN0734

The thermal comfort criteria do not apply to the operational or storage areas typically found in industrial assets or other similar asset types. The criteria is still be applied to the other parts of the asset as appropriate. Operational and storage areas often have function-related thermal requirements determined by operational or storage needs. These functional requirements override the needs of any occupants.
17-Jan-2024 - Scheme applicability updated.
03-Nov-2020 - Issue 2.0 of UK RFO technical manual updated with new CN detailing the above.

Assessment tools – Applicability to BREEAM INC V6 - KBCN1503

The following offline (Excel) spread-sheet tools for BREEAM International New Construction 2016 remain applicable for assessments using BREEAM INC V6: The referencing of these tools will be updated shortly, to confirm this.

Asset classification – co-living developments - KBCN1568

The following is a guide only. Every co-living project will combine a varying mix of residential with managed spaces, and assessors must in all cases review the suitability of the criteria to determine the most appropriate asset classification. Co-living features Co-living developments generally combine: Classification Using building regulation classifications as a guide As a guide, assessors can also consider how their asset is classified according to local regulations. For UK NC assets, KBCN1225 provides additional clarification:

ASWL – submission timescales - KBCN0425

If no new standards are being proposed for use on a project, it is not necessary to submit an Approved Standards and Weightings List (ASWL) to BRE Global for approval. Please note that a completed list must always be submitted as part of the report submission to the Quality Assurance (QA) team. Where new standards are being proposed for use, the ASWL should be submitted to the BREEAM technical team at least 3 months prior to the submission of the assessment for QA. Those received at the same time as the report may result in a delay to the QA process. BRE Global aims to review new standards within four weeks, however this may be exceeded in cases where further investigation into the applicability of proposed new standards is required. BRE Global will keep the assessor updated of the status of the review in these instances.

Calculating EPR where there are multiple BRUKL/NCM outputs - KBCN1083

Where more than one NCM output is produced for a development, which is registered as a single assessment, an area-weighted average should be used to calculate the number of credits to be awarded. This does not apply where the ‘similar buildings’ approach is used. For for projects in England assessed under UKNC V6.0, please see KBCN1618 Projects assessed under UKNC V6.1 can upload multiple BRUKL.inp files for a single assessment and the platform will perform the calculation. See KBCN1618 Each energy performance output from the NCM output (actual CO2/m2 notional CO2/m2 etc.) must be area-weighted to produce area-weighted average values entered into the scoring and reporting tool. When applying this method, please include your area-weighting calculations and outputs as supporting evidence. The following provides an example of an area-weighting calculation for two building areas A and B, each of 500m2, for which separate NCM outputs are available:   For building area A: Notional building heating and cooling energy demand: 230 mJ/m² Actual building heating and cooling energy demand: 200 mJ/m² Notional building primary energy consumption: 300 kWh/m² Actual building primary energy consumption: 280 kWh/m² TER: 40 kg CO₂-eq/m² BER: 30 kg CO₂-eq/m²   For building area B: Notional building heating and cooling energy demand: 150 mJ/m² Actual building heating and cooling energy demand: 140 mJ/m² Notional building primary energy consumption: 200 kWh/m² Actual building primary energy consumption: 190 kWh/m² TER: 40 kg CO₂-eq/m² BER: 38 kg CO₂-eq/m²   Area-weighted values for building areas A and B (of total floor area 1000m2): Notional building heating and cooling energy demand: 230*500/1000 + 150*500/1000 = 190 mJ/m² Actual building heating and cooling energy demand: 200*500/1000 + 140*500/1000 = 170 mJ/m² Notional building primary energy consumption: 300*500/1000 + 200*500/1000 = 250 kWh/m² Actual building primary energy consumption: 280*500/1000 + 190*500/1000 = 235 kWh/m² TER: 40*500/1000 + 40*500/1000 = 40 kg CO₂-eq/m² BER: 30*500/1000 + 38*500/1000 = 34 kg CO₂-eq/m²   These area-weighted values are then used to calculate the overall EPRNC value.  
20 Sep 2023 - Minor corrections, applicability to INC V6 confirmed and cross-reference to UKNC V6 guidance added.
14 Jun 2023 - Note added to confirm this is integrated into the platform for UKNC V6.1 in all countries. 
24 Aug 2022 - Note added to confirm this is N/A to UKNC V6 for projects in England
07 Feb 2022 - Reference to 'BRUKL' amended to 'NCM output' to clarify for non-UK assessments
31 Oct 2018 KBCN clarified. Reference to EPRs and calculation example added

Centralised air handling units (AHU) - KBCN0941

The requirements of the: do not apply to centralised AHUs, where it is not technically feasible to sub-meter energy use by separate functional, tenanted or floor areas. The credit(s) will be assessed based on the remaining applicable energy uses.
06-Mar-2024 - Scheme applicability extended to V6.

Combined sub-metering – electric space / water heating and small power - KBCN00068

For bedrooms and associated spaces in: It is acceptable for an electric space or water heating system to be combined with lighting and small power, provided that sub-metering is provided for each floor plate or other appropriate sub-division. For these asset types, sub-metering electric heating in multiple bedrooms may be costly and technically challenging. Where occupants have individual control but are not responsible for paying the utility bills, the building manager may have little influence on their energy consumption. Therefore, sub-metering electric heating would provide little or no benefit in meeting the aim of the issue.
06-Mar-2024 - Scheme applicability extended to V6. 
15-Dec-2023 - Title updated to clarify that this approach can be applied to both space heating and domestic hot water heating, where appropriate.

Communal waste storage – Requirement for this to be external in Criterion 1 - KBCN1513

Communal waste storage areas can be located within the building. However, where such waste is stored internally, it must be in a location that demonstrably provides suitable environmental conditions, meets relevant fire, health and safety requirements for waste storage and has appropriate external access for waste collection.

Considerate construction: Checklist A1 – Photo card identification - KBCN1632

Checklist A1 Reference 4.e. requires the following: 'Operatives’ identification; all operatives to be provided with a photo identification clip card' However, since this was introduced into 'considerate construction' requirements, data protection legislation and expectations around privacy have progressed. This requirement can, therefore, be disregarded.

Designed-out or integrated finishes - KBCN1066

The requirements for this credit are met when either: This issue recognises avoiding unnecessary waste of materials.
16-May-2023 - Merged with KBCN0046. Scheme applicability updated. Name updated for clarity.
 

District cooling – Used in combination with local cooling - KBCN1634

Where district cooling can be considered outside the scope of the assessment, either in accordance with the Methodology section of the technical manual or in line with KBCN0759, compliance must be based on calculating the DELC for all systems. However, where the district cooling system is exempt from assessment, as described above, this should be based on a GWP of zero for the district cooling system.

Electric vehicle charging stations – Requirement to demonstrate that electric vehicles have lower CO2 emissions - KBCN1622

This requirement is now considered obsolete and it is no longer a requirement where compliant electric vehicle charging points are installed.

Emissions from products – earlier versions of AgBB standard - KBCN0655

Guidance Note GN22 lists the standard AgBB (2015) as a recognised scheme for emissions from building products for pre-December 2015 launched BREEAM schemes. Previous versions of the AgBB scheme are not listed as recognised schemes because earlier versions of AgBB did not include any requirement for the testing of Formaldehyde. If an earlier version AgBB has been used, further evidence will be required to provide additional information on the required Formaldehyde testing.
10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency. Made applicable to UK and International NC V6.

Emissions from products – EU CLP Regulation and Category 1A/B carcinogen emission limits - KBCN1280

The European Regulation (EC) No.1272/2008 on classification, labelling and packaging of substances and mixtures (‘the CLP Regulation’ or ‘CLP’) applies to all EU Member States. CLP requires manufacturers, importers, downstream users and distributors to communicate the identified hazards of a substance or mixture to the other parties in the supply chain, including to consumers. The regulation requires products with hazardous properties to be labelled in accordance with CLP before being placed on the market. CLP requires products containing any ingredients that have been classified as Category 1A and 1B carcinogens to be labelled as carcinogenic. Therefore, with respect to the BREEAM Category 1A and 1B carcinogens emission limit criteria, for products marketed in EU Member States, if a product’s safety information (e.g. safety data sheet) or a manufacturer’s declaration confirms that that the product does not need to be labelled as a Category 1A or 1B carcinogen in accordance with CLP, then this information would be an acceptable form of evidence for demonstrating compliance with the criteria.
10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency. Made applicable to UK and International NC V6.

Emissions from products – French regulations and Category 1A/B carcinogen emission limits - KBCN0741

As highlighted in Table 1 of BREEAM Guidance Note GN22, for certain product types, the French VOC regulation ('Arrêté du 19 avril 2011 relatif à l’étiquetage des produits de construction ou de revêtement de mur ou de sol et des peintures et vernis sur leurs émissions de polluants volatils') can be used to demonstrate compliance with the VOC emissions from building products requirements in pre-December 2015 launched BREEAM schemes. The emissions from building products criteria were significantly updated for the BREEAM International New Construction 2016. Unfortunately the 2011 French VOC regulation does not meet the updated performance requirements for post-November 2015 BREEAM schemes for the following reason. The updated BREEAM requirements require testing for Category 1A and 1B carcinogens (defined as “Carcinogenic compounds detectable by the VOC emission testing requirements in Table 1 and Table 2 and that are classified as category 1A or 1B carcinogens in Annex VI to Regulation (EC) No. 1272/2008 on classification, labelling and packaging of substances and mixtures, which are listed as Carcinogenic VOCs in Annex G.2 of prEN 16516 (draft)"). Annex G.2 of prEN 16516 (draft) lists a total of 57 carcinogenic substances. The 2011 French VOC regulation does not contain any requirements to test for any of these substances. BREEAM is aware of a 2009 French VOC regulation ('Arrêté du 30 avril 2009 relatif aux conditions de mise sur le marché des produits de construction et de décoration contenant des substances cancérigènes, mutagènes ou reprotoxiques de catégorie 1 ou 2') that contains performance requirements for category 1A or 1B carcinogens; however these only cover two substances in Annex G.2 (trichloroethylene and benzene). While BREEAM does not expect all of the substances in Annex G.2 to be analysed by a regulation or testing regime, we do expect more than two. Additionally only the A+ label would meet the updated BREEAM performance requirement for TVOC of 1.0 mg/m³ and only the A and A+ labels would meet the updated BREEAM performance requirement for formaldehyde of 0.06 mg/m³. As such, additional evidence would need to be provided to confirm French VOC regulation A+ labelled products are compliant with the BREEAM International New Construction 2016 performance requirements for category 1A and 1B carcinogens. As such, additional evidence would need to be provided to confirm French VOC regulation A+ labelled products are compliant with the BREEAM International New Construction 2016 performance requirements for category 1A and 1B carcinogens, (see also KBCN1280).
10-Oct-2022 - Title clarified, and amended to align with standard KBCN naming format for clarity and consistency. Made applicable to International NC V6.
26-Apr-2019 - Final paragraph and cross-reference to KBCN1280 added.

Emissions from products – Guidance Note 22 (GN22) - KBCN0719

Latest version: v2.8, January 2024 Within the Health and Wellbeing category of several BREEAM schemes, credits are awarded for specifying materials that minimise emissions from building products of formaldehyde and volatile organic compounds (VOCs). The criteria involve meeting emission level performance requirements in accordance with compliant performance and testing standards. Guidance Note 22 (GN22) lists schemes that show equivalent or better performance than the current BREEAM and HQM criteria, and therefore can be used to demonstrate compliance with the criteria. This document should be read in conjunction with the relevant assessment issue guidance provided in the appropriate BREEAM or HQM technical manual. The guidance note contains two tables: Download Guidance Note 22 View all Guidance Notes on BREEAM Projects (licensed assessors only)
01-Feb-2024 - Updated for release of GN22 2.8
31-Jan-2023 - Updated for release of GN22 2.7 
10-Oct-2022 - This KBCN merged with KBCN0646. Title amended to align with standard KBCN naming format for clarity and consistency. Made applicable to UK and International NC V6.
25-Jan-2019 - Link to Guidance Note updated
12-Mar-2018 - Link to Guidance Note updated

Emissions from products – installations manufactured off-site - KBCN0137

Internal finishes to installations manufactured off-site such as elevators need to be assessed for the emissions from products criteria. The specification of internal finishes (regardless of whether they are installed on site or in the factory) will impact on VOC emissions. By specifying low VOC finishes, design teams will be encouraging manufacturers to consider the environmental impacts of their products.
10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency. Made applicable to UK and International NC V6.
 

Emissions from products – manufacturers’ calculations for paints and varnishes - KBCN0452

Manufacturers' calculations of VOC content, based on the constituent ingredients, can be used to demonstrate compliance with the testing requirement for paints and varnishes.

10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency. Scheme applicability updated.

Emissions from products – scope of assessment - KBCN0212

General This issue covers any product installed or applied inside the inner surface of the building’s infiltration, vapour or waterproof membrane. Where this membrane is not present, it applies to the inside of the building envelope’s interior-facing thermal insulation layer. Only products that are installed or applied in parts of the building where their emissions are likely to affect indoor air quality need to be assessed. Paints and coatings Any decorative paints and varnishes that occupants are exposed to should be assessed. This is likely to include paints and coatings applied to walls, ceilings, floors, doors, etc. Whole products A finish applied to a product in the factory is assessed as a whole product, and not separately as a paint or coating. For instance, a wood panel has a finish applied in the factory. The whole panel, including all the elements that make up that panel, would need to comply with the requirements set for wood panel products in this issue. The finished product as a whole must meet the performance requirements / emission limits set in the manual.
11-Oct-2022 - Title amended for clarity and consistency. Content merged with KBCN0871.
10-Oct-2022 - Wording simplified. Scheme applicability updated.
16-Jun-2017 - Title and general principle amended to extend the applicability of the KBCN to all finishes. Paints specified for specialist applications covered in KBCN0872.
 

Emissions from products – specialist paints and coatings - KBCN0872

Where a paint or coating falls within: then the paint or coating must be assessed. Specialist paints and coatings are exempted from meeting the emission limits where there are no alternative products available that can perform the function, and still meet the emission limits. This must be clearly evidenced.
27-Oct-2022 Wording clarified. New compliance principle added from UKNC V6.
10-Oct-2022 Title amended for clarity. Scheme applicability updated.
13-Mar-2020 KBCN amended to clarify exceptions and applicability.
16-Jun-2017 Content merged with KBCN0212.

Emissions from products – testing to ISO 16000-10 - KBCN1134

Results of testing to ISO 16000-10 can be considered compliant with the relevant testing requirements of the emissions from construction products credit where the product manufacturer can demonstrate the results generated by testing to ISO 16000-10 correlate to results that would be achieved using EN 16516 or ISO 16000-9. This is because EN 16516 classifies ISO 16000-10 as an ‘indirect method’, which means “any simplified, screening, secondary, derived or alternative method. An indirect method can be applied if it provides a result that is comparable to or that correlates with the result of the reference method under the conditions applied. The validity of the correlation with the reference method is limited to the field of application for which it has been established.
11-Oct-2022 - Title amended for clarity and consistency. Scheme applicability updated.

Erratum – up to V6 – checklist A5 – lighting - KBCN1629

Item 1 of Checklist A5 states: This is incorrect. The requirements should be:

Escalators or moving walks – variable speed drive - KBCN1621

The requirements refer to 'a load sensing device that synchronises motor output to passenger demand through a variable speed drive'. The intent is that the inverter must operate full-time to moderate output based on passenger demand.

Evidence – Photographs not permitted for security reasons - KBCN0389

Where photographs are not permitted during a site visit for security reasons, in addition to any alternative evidence requirements listed in the Schedule of Evidence for each issue, the assessor will also need to provide a detailed site inspection report and/or as-built drawings (where permitted by the client). If following this approach, full justification and documentary evidence from the client will be required for QA purposes.

Evidence requirements – responsible sourcing of materials at post-construction - KBCN1599

Whilst the UK BREEAM manuals are less prescriptive in the evidential requirements to allow flexibility, to ensure consistency across the schemes, it is expected that robust evidence should be provided to verify the source of any certified materials and how the assessor has confirmed the products and manufacturers used. Evidence supplied at post construction stage must reflect the completed building and confirm the responsibly sourced materials that have been procured and installed on the project. Supporting documentation is required to validate letters of confirmation or schedules of materials. Evidence provided could include proof of purchase, for example, invoices, delivery tickets, purchase orders or correspondence from suppliers. This may be an example for each material sourced, rather than every delivery ticket for instance.  Alternatively, evidence of the use of the responsibly sourced materials may include as-built drawings, O&M documentation or site photographs.

Excluding large untreated warehouse spaces from ‘Useful floor area’ - KBCN00069

For industrial buildings, where there are offices and the untreated warehouse space does not include any energy-intensive systems or processes, the warehouse space can be excluded from the calculation of 'useful floor area' to determine whether Criterion 2 or 3 (Criterion 2 only in UK New Construction 2018) is applicable. For speculative developments, if Planning Consent includes Distribution or Warehousing (UK Planning Use Class B8 or equivalent local planning consent) and the design team and assessor can justify that this is the intended use, the above approach can be followed for untreated warehouse space. Where there is minimal energy consumption, complex sub-metering such a space would add little benefit. 
28 Oct 2022 - Applicability to INC V6 and UK NC V6 confirmed.
Wording clarified and note added relating to speculative developments - 16/12/2016
Wording clarified relating to speculative developments - 06/01/2020

Exemplary credit – Ene 01 credits required - KBCN1556

For the exemplary credit, the requirement for 'Ene 01 Reduction of energy use and carbon emissions' is to achieve four credits, (rather than the eight stated in the manual). This is due to the altered credit scale in NC V6 Ene 01. This will be updated in the next reissue of the technical manual

Exemplary level criteria – not all product categories specified - KBCN0636

The assessment of exemplary level criteria assumes that every product category is specified. It awards credit(s) based on the number of product categories that meet the exemplary levels. Where the assessment does not contain every product category, all product categories must meet the exemplary level requirements. [accordion] [accordion_block title="1 exemplary credit"] Exemplary credit requirement:  3 out of 4 product types meet the exemplary requirements. An assessment has only specified 3 product types in total. To achieve the credit, all product types must meet the exemplary criteria. [/accordion_block] [accordion_block title="2 exemplary credits"] Exemplary credit requirement: An assessment has only specified 3 product types in total. [/accordion_block] [/accordion]
19-Oct-2022 - Wording and title clarified. Scheme applicability updated. Scenario added.

Fit-out level – Selecting the appropriate assessment type - KBCN1627

Projects designed and constructed as fully fitted should not be evaluated as ‘Shell and core’ or ‘Shell-only’ where the intent is to limit the scope of the BREEAM assessment without further justification. Where the fit-out level of a project is not consistent, the BREEAM assessment type should be considered in line with KBCN0702

Flow control devices – Use of devices on individual sanitary fittings - KBCN1550

The intent of the requirement for flow control devices is to minimise the impact of undetected wastage and leaks from sanitary fittings and supply pipework. The use of flow control devices on individual sanitary fittings alone does not, therefore, fully meet this aim.

FSC and PEFC Mixed Sources certified timber - KBCN00091

Products labelled: Meet the BREEAM responsible sourcing requirements. This means any such products: Products carrying the FSC Mix label contain at least 70% FSC certified and recycled material. These products may contain a small proportion of FSC Controlled Wood (KBCN00054). However for BREEAM compliance, the FSC Mix label is sufficient to meet our requirements.
14-Mar-2024 - Wording clarified and expanded. Relevant prerequisites and requirements clarified. Scheme applicability updated.

FSC Controlled Wood - KBCN00054

The FSC Controlled Wood label minimises the risk that wood comes from illegal or controversial sources, however it does not eliminate this risk. Therefore, products which are: Do not meet the BREEAM definition of responsibly sourced. Where FSC Mix labelled products contain FSC Controlled Wood, see KBCN00091. This means that any such products:
14-Mar-2024 - Wording clarified and expanded. Relevant prerequisites and requirements clarified. Scheme applicability updated.

Guidance Notes – Applicability to BREEAM INC V6 - KBCN1502

Some Guidance Notes that apply to BREEAM International New Construction 2016 (INC 2016) remain fully or partly applicable to assessments using BREEAM International New Construction Version 6 (INC V6): Fully applicable Partly applicable Not applicable

Indoor air quality plan – Guidance Note 6 - KBCN0618

Latest version: v2.1 August 2022 Guidance Note 6 provides guidance to assessors and project teams regarding the content and rigour of an Indoor Air Quality Plan (IAQP) as required by the Hea 02 Indoor air quality criteria in the BREEAM New Construction and Refurbishment schemes. It should not be interpreted as BREEAM criteria. It is intended to provide assessors and project teams with further, flexible information and guidance regarding the rigour, content and tasks of an IAQP. Download Guidance Note 6 (licensed assessors only) View all Guidance Notes (licensed assessors only)
10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency.

Indoor air quality plan – later consideration - KBCN1544

Where BREEAM has been engaged at a later stage in the project (for instance, at the beginning of a Post-Construction Assessment) the IAQ plan must still be produced. The late stage plan must clearly identify opportunities to improve indoor air quality that: The plan is focused on decisions and actions that can still be practically carried out. The indoor air quality plan is an on-going consideration that extends into the operational life of the asset.

Indoor air quality plan – scope - KBCN0294

Where possible, the indoor air quality plan must cover all items in the criteria. This means the plan must be completed for: Within these requirements, there is flexibility for the design team to use their professional judgement to determine what is appropriate to meet the criteria. Any exclusions must be clearly evidenced and justified. As the basis for effective asset management, the indoor air quality plan must be written in a consistent and comprehensive manner. The report must address relevant aspects as fully as possible within the scope of the development.
11-Oct-2022 Title updated for clarity. Wording clarified. Content merged with KBCN0556. Reference to KBCN1544 added. Scheme applicability updated.

Internationally approved Ene 01 calculation software - KBCN1177

The following calculation software are approved internationally and can be used, provided local weather files are available in the country of the assessment. Please make sure the approved version, in brackets, is used. If you wish to use a different one, please submit a technical query to [email protected] providing details of the changes. Any software that has been approved on the ASWL for a particular country can be used in other countries, provided relevant weather files are available.
26-Mar-2024 - Scheme applicability updated.
08-Aug-2022 - Applicability to BREEAM Communities 2012 confirmed.
30-Jun-2023 - Added note relating to software approved for a particular country.

Knowledge Base – Applicability of INC 2016 KBCNs to INC V6 - KBCN1501

The transition from BREEAM International NC2016 to V6 includes a significant update to the Energy section of the technical manual, however most of the criteria in other categories remain unchanged. We are in the process of migrating KBCNs from NC2016 to V6 and adding new V6-specific content. In the meantime, assessors should consider that where the criteria have not changed in the transition, all relevant NC2016 KBCNs are valid for V6. If, having compared the criteria of both schemes, you are unsure whether a KBCN can be applied to V6, please contact us for clarification using the assessor webform.

Leak detection technologies – Compliance Principle - KBCN1566

Where it can be demonstrated that alternative water leak detection technologies can meet or exceed the capabilities of systems set out in the BREEAM guidance, subject to approval, these can also be considered compliant. It is the role of the Assessor and the project team to provide evidence and justification in a compliance principle query (see KBCN1555). The following alternative solutions are currently recognised:

Life Cycle Cost - KBCN0385

Life Cycle Costing (LCC) is a methodology that aims at selecting the optimal option amongst a number of option appraisals. An LCC should therefore consider: This allows project teams and clients to make informed choices about the long term financial implications of different design decisions.
27-Mar-2024 - Wording and requirements clarified. Scheme applicability updated.

Lifetime Homes – Accessibility criteria - KBCN1554

The technical manual refers assessors to the Lifetime Homes website, where the Design Guide was available to view. However, it has been brought to our attention that this website is currently unavailable. Unfortunately, due to potential copyright issues, BRE is unable to provide these requirements as part of our criteria. The Lifetime Homes Design Guide is available to purchase from the CAE website, here, or as a PDF download or paper copy from the BRE Bookshop, here

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.

LZC technologies – Compliance Note 5 - KBCN1615

If electricity is generated from a renewable source and used directly in the heat pump system, this can be considered in this issue, providing the LZC source is on or near site.

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; 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: 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.
24-Aug-2022 - Applicability to UKNC V6 confirmed.

Operational waste – Additional requirements for multi-residential buildings with individual bedrooms and communal facilities only - KBCN1519

These criteria are intended for situations where occupants of individual rooms have access to shared kitchens, which can be used to prepare food, regardless of whether central catering is also available. In developments where all catering is managed centrally and no communal/shared kitchens are provided, these requirements do not apply. If, for example, catering is managed centrally, but there are small satellite kitchens for staff to sort/reheat food for residents, the assessor must justify whether and to what extent recyclable waste will be generated in these kitchens and demonstrate that adequate recyclable waste storage provided as appropriate.

Pol 01 Prerequisite – Applicable standards - KBCN1537

ASHRAE standards (ASHRAE 15-2016 'Safety Standard for Refrigeration Systems' or ASHRAE 34-2016 'Designation and Safety Classification of Refrigerants') can be used in place of the ISO/EN standards referenced in the prerequisite. This is only applicable to countries outside Europe.

Post-construction measurement – formaldehyde / VOC levels exceed limits - KBCN0258

If the measured formaldehyde / VOC concentrations were above the prescribed limits, the appropriate remedial action must be taken, as described in the IAQ Plan. The criterion requires confirmation of 'the measures that have or will be undertaken' however it does not specifically address re-testing. We would expect, however that the IAQ Plan should outline what remedial measures are appropriate depending upon the severity and type of the non-compliance with prescribed limits. Such measures may include re-testing as a matter of 'best practice'. Where levels are found to exceed these limits, the project team confirms the measures that have, or will be undertaken in accordance with the IAQ plan, to reduce the TVOC and formaldehyde levels to within the above limits.
10-Oct-2022 - Title amended to align with standard KBCN naming format for clarity and consistency. Made applicable to UK and International NC V6.

Post-construction measurement – sampling methodology and KPIs - KBCN0380

When testing for VOCs post-completion and pre-occupancy, a representative sample of the building needs to be carried out. Each sample TVOC and formaldehyde measurement needs to achieve the threshold levels individually, either in the initial testing or after remedial measures have been implemented. This ensures that all tested areas of the building are below the limits, and that areas of non-compliance are not ‘averaged out’. 'When providing KPI test results for air quality post-construction / pre-occupancy within scoring and reporting tool, where the limits are exceeded and remediation and re-testing are carried out, the figure should be an average for the whole building post-remediation, as this is the key figure that reflects the building at its certified state'. Where testing is not a requirement of the IAQ Plan and this is not carried out, the original testing figures should be entered and the assessment report should provide details of the remediation measures undertaken to reduce these to within the prescribed limits.
10-Oct-2022 Title amended to align with standard KBCN naming format for clarity and consistency. Scheme applicability updated.
06-Dec-2017 Amended to account for situations where re-testing is not required by the IAQ Plan.

Post-construction measurement- TVOC concentration using BS ISO 16000-6: 2021 VOCs in air by active sampling - KBCN1642

Where BS ISO 16000-6: 2021 VOCs in air by active sampling is used, the TVOC concentration measurement can be performed over a 40-60 minute period.

Potential for natural ventilation – mechanically ventilated and mixed mode assets - KBCN1533

Scope of KBCN This KBCN clarifies the associated compliance note for this credit. Clarification Mechanically ventilated and mixed mode assets can potentially achieve the 'potential for natural ventilation' credit by:
  1. Meeting the relevant criteria for room depth and glazing area OR, where this is not possible:
  2. Show through modelling that the building has the potential to be ventilated entirely via a natural ventilation strategy.
For 2. the second paragraph of the CN allows flexibility in demonstrating adaptability to an entirely natural ventilation strategy. An asset can allow for mechanical ventilation for ≤ 5% of its annual operating hours to boost ventilation rates, and (for this credit) can still be considered to be a fully naturally ventilated strategy. ≤ 5% mechanical ventilation requirement The focus of this credit is to demonstrate future adaptability to introduce fresh air into the asset for occupant comfort, so this requirement relates only to the time that mechanical systems are used to drive air through the asset. The use of active heating / cooling is not considered in this calculation. Natural Ventilation Heat Recovery Units (NVHR) systems can also be used, provided it meets this ≤ 5% requirement. ≤ 5% is a weighted average over all of the asset's occupied spaces. The basis for the weighting will be determined by the modelling software used. Scope and time scale of modelling The modelling covers all occupied spaces. Where relevant, exclusions are allowed - see related KBCNs for details. The modelling period is one year, during the asset's operating hours. The modelling must be based on a plausible scenario that is realistic. This means that:
22-Oct-2022 Content from KBCN1126 merged to this KBCN.

Potential for natural ventilation – use of doors to comply - KBCN0690

Doors can only be used to demonstrate potential for natural ventilation where: In all cases, the use of doors must be clearly and robustly justified by the Assessor.
19-Oct-2022 - Wording clarified. Scheme applicability updated.

Prediction of operational energy consumption – alternative route to Excellent minimum standard - KBCN1336

Where the ‘Prediction of operational energy consumption’ criteria are achieved, the minimum standard for Excellent in Ene 01 is met. This is independent of meeting any minimum credit score in the issue to achieve the Excellent minimum standard. See KBCN1602. Substantial improvement To meet this minimum standard, the asset must show a substantial improvement in operational energy performance, following the ’Prediction of operational energy consumption’ criteria. This 'substantial improvement' is defined as achieving 4 credits using amended metrics generated using the dynamic simulation modelling and for: Amended definitions Performance is calculated based on amended definitions of an actual and a notional building: Amended actual building: Amended notional building: *The notional building servicing system may be replaced with a gas boiler as the heat generation source. Where the performance improvement over the amended notional building does not achieve 4 credits, the BREEAM Excellent standard may still be met. Robust evidence must be provided showing that this level of performance improvement is not possible, based on constraints outside of the control of the project team. Additional notes for UK schemes Projects assessed under UKNC V6.1 can manually input amended figures from the modelling into the platform to demonstrate the 'substantial improvement'. See "DSM Alternative Ene 01 inputs" in BREEAM Projects for this issue. For the energy modelling and reporting criteria, the CO2 metric can be calculated using either:
08-Nov-2023 - Additional wording and link to KBCN1602 added to clarify situation for UK simple buildings.
26-Jun-2023 - Content updated to apply to International schemes. Title and wording clarified. Text on manual errata in NC 2018 3.0 moved to KBCN1602.
14-Jun-2023 - Note added to confirm this is integrated into the platform for UKNC V6.1 in all countries. 
24-Aug-2022 - Content updated and applied to UKNC V6
19-Aug-2019 - Clarification for UKNC 2018 3.0.

Recyclable, general and organic waste storage – Space, labelling and segregation - KBCN1577

Strategies may vary according to the specifics of each project, their waste streams and collection arrangements. The aim of these requirements is to encourage recycling, ensuring that it is correctly sorted and to prevent cross-contamination of waste streams. Labelling the recycling area This is required to alert building users and collection agencies to the location of the recycling facility. Labelling each recyclable waste stream This can be done by labelling the bins or their dedicated space within the recycling facility, or both. Co-mingled recyclable waste This must be labelled, as above. See also additional requirements outlined in KBCN0696 General or organic waste Sufficient space for general and, where relevant, organic waste is required in addition to meeting the requirements for recyclable waste. This does not have to be within a separate facility, but if combined with recyclable waste storage, there is greater risk of cross-contamination. The following requirements therefore apply in this situation: Shell only/Shell and core projects Please also refer to KBCN1380

Residential institutions – short term stay - KBCN0811

The additional criteria for residential institutions do not apply to residential institutions - short term stay.
26-Mar-2024 - Scheme applicability corrected.

Sanitary fittings used in religious practices – updated - KBCN1624

Such fittings should not be included in the scope of this Issue. Please refer also to KBCN0418 This guidance relates to fittings and facilities used in some religious practices, for example, for washing before prayer.
03 Nov 2023 - Updated. Previous guidance was incorrect and contradicted the approach outlined in KBCN0418

Scope of issue – clarification – fixed installations - KBCN1660

The scope of this issue covers noise from external building services (or 'fixed installations' as written in the manual) serving areas designed for human comfort. The noise impact assessment excludes:

Scope of the criteria for lifts – Small service lifts (dumbwaiters) - KBCN1589

Small service lifts, of the type typically used to transport prepared food and crockery in restaurants (sometimes referred to as 'dumbwaiters'), fall outside the scope of this assessment issue.

Shower with multiple shower heads - KBCN0855

To calculate the water use of a shower with more than one shower head, one of the following should be done:
22 Feb 2024 - Applied to BIU, BREEAM NC and RFO standards

Single functional area and no tenanted areas – operational energy monitoring - KBCN00056

Where the building has a single functional or tenanted area for sub-metering, with no other significant energy uses that must be separately metered, then:
26-Mar-2024 - Wording clarified. Scheme applicability updated.

Sub-metering technologies – Compliance Principle - KBCN1561

Where it can be demonstrated that alternative sub-metering technologies can meet or exceed the capabilities of systems set out in the BREEAM guidance, subject to approval, these can also be considered compliant. It is the role of the Assessor and the project team to provide evidence and justification in a compliance principle query (see KBCN1555). The following metering standards or technologies are currently recognised as alternatives to pulsed output meters:

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: 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.

Ventilation – distance between air intakes and exhausts - KBCN0638

The minimum distance required between the building's air intakes and exhausts is described by r. Where the distance does not meet r, the design team must either:
12-Jan-2023 - Value r clarified to account for different requirements in applicable schemes.
18-Nov-2022 - Requirements clarified. Title amended for clarity.
11-Oct-2022 - Scheme applicability updated. Wording clarified. Reference to EN13779 removed for international assessments, see KBCN1054.

Ventilation – e-cigarettes - KBCN1014

The use of e-cigarettes and vaporizers is considered equivalent to smoking. A smoking ban must also include a ban on e-cigarettes and vaporizers.
11-Oct-2022 - Scheme applicability updated.
   

Ventilation – external requirement for window opening restrictors - KBCN1032

Opening restrictors to windows may sometimes need to be installed to meet: Where such external requirements are in force, these requirements cannot be used as a mitigating factor for meeting the BREEAM ventilation criteria. Even with window restrictors, adequate ventilation can still be achieved.
19-Oct-2022 Wording and title clarified. Scheme applicability updated.

Ventilation – filtration – non-residential assets - KBCN0797

Relevant specialist required The design and specification of air filtration for mechanical ventilation requires the input and review of a relevant ventilation designer or specialist. It is their responsibility to interpret the requirements of this KBCN to align with local conditions. Referenced standard The requirements for air filtration in mechanical ventilation systems follows EN 16798-3:2017 Section B4.2. This standard replaces EN 13779:2007. See KBCN1054. Supply air quality Outdoor air quality The filtering required to achieve SUP2 is affected by outdoor air quality. Outdoor air quality (ODA) in both EN 16798-3:2017 and EN 13779:2007 are defined as: As ODA definitions are relative to national air quality standards, these will depend on local regulations and the location of the asset. Please refer to the relevant specialist on how to correctly classify ODA for your asset.
18-Nov-2022 Title amended to differentiate between residential and non-residential filtration KBCNs.
06-Sep-2022 KBCN re-written and re-named to clarify BREEAM ventilation filtration requirements in relation to new ventilation standards. Scheme applicability updated.

Ventilation – filtration – residential assets - KBCN1279

Multiple-occupancy residential developments with central air conditioning systems can demonstrate compliance with criterion 6 by incorporating filtration with a filter class of F7. For single occupancy dwellings, it is sufficient to demonstrate that a suitable filtration system is incorporated in the installed HVAC system, in accordance with the manufacturers' recommendations.
18-Nov-2022 Title amended to differentiate between residential and non-residential filtration KBCNs.
10-Oct-2022 Scheme applicability updated.
14-Dec-2020 Updated to account for single-occupancy dwellings.

Ventilation – single room MVHRs - KBCN1042

Single room mechanical ventilation heat recovery units do not need to show that the air intake and exhaust are a suitable distance apart. However, the air intakes of these units must be located to minimise intake of other potential external pollutants.
11-Oct-2022 - Title amended for clarity and consistency. Wording simplified. Scheme applicability updated.

Ventilation – withdrawal of EN 13779:2007 - KBCN1054

Standard EN 13779:2007 has been withdrawn (01/02/2018) and in its place the following should be used: Non-residential buildings: Both standards provide three methods for selecting design ventilation rates: Dwellings (only applicable to the BREEAM International New Construction scheme): Both standards provide different options for selecting design ventilation rates: It is the design team’s responsibility to determine and apply the most appropriate method or option(s) for the project undergoing assessment. Existing projects can continue to use EN 13779:2007 where applicable. Any new assessment registrations should use the replacements above.
03 Nov 2022 - First paragraph, bullet 3 updated to clarify methodology
11-Oct-2022 - Scheme applicability updated.
03-May-2020 - Typo corrected to clarify that 'EN 16798-1:2019 Annex B.3 'either Category I OR Category II default design values' are to be used.
10-Jan-2020 - KBCN updated to clarify methods for complying with new standards.
01-Sep-2019 - KBCN updated to reference new standard.

Verification of measurements undertaken by non-SQA - KBCN1661

It is acceptable for individuals who do not meet the BREEAM definition of a suitably qualified acoustician (SQA) for Pol 05 to undertake the testing for this issue, provided the measurements or calculations are verified by a SQA. The SQA must review the report and confirm in writing that they have found it to:
  1. Represent sound industry practice
  2. Be appropriate given the building being assessed and scope of works proposed
  3. Avoid invalid, biased and exaggerated recommendations
Additionally, written confirmation from the SQA how they comply with the definition of a SQA is required.

Washing machines and dishwashers – Water consumption data - KBCN1571

The water consumption data used to demonstrate compliance may be based on the lowest full wash cycle (i.e. not a pre-wash cycle, for example).
Information correct as of 6thMay 2024. Please see kb.breeam.com for the latest compliance information.