New Construction / NOR / V6 / 06 - Materials /

MAT 03

Information correct as of 26thFebruary 2026. Please see kb.breeam.com for the latest compliance information.

Bamboo, cork and other non-timber forest products – Responsible sourcing - KBCN1768

Non-timber forest products, such as bamboo and cork should be responsibly sourced to minimise the environmental impacts and protect local ecosystems. However, as they are not timber or timber-based products, these fall outside the scope of the Prerequisite. Where such products are integrated into a building, they should, nonetheless, be assessed and included in the calculator under ‘Other materials’.

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.
30-Oct-2025 - Applicable to HQM V6 and UKNCR V6.1
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:
30-Oct-2025 - Applicable to HQM V6 and UKNCR V6.1
14-Mar-2024 - Wording clarified and expanded. Relevant prerequisites and requirements clarified. Scheme applicability updated.

Legally harvested and traded timber – Examples - KBCN0956

The following examples are considered compliant for BREEAM: Legally harvested:
  1. Evidence of compliance with the UK government Timber Procurement Policy (see here, timber bought inside the UK only)
  2. FSC, PEFC, SFI or GiB certification
  3. Evidence of compliance with the EUTR (timber bought inside the EU only)
  4. Risk assessment/due diligence documentation demonstrating a low risk of non-compliance with the ‘legally harvested’ requirements given in the manual.
Legally traded:
  1. Evidence of compliance with the UK government Timber Procurement Policy (see here, timber bought inside the UK only)
  2. FSC, PEFC, SFI or GiB certification
  3. Risk assessment/due diligence documentation demonstrating a low risk of non-compliance with the ‘legally traded’ requirements given in the manual.
04-Dec-2025 - Examples updated to include Grown in Britain (GiB) certification. Previous reference to 'CPET' clarified as 'UK government Timber Procurement Policy'.
KBCN applied more widely to all relevant scheme issues in BREEAM and HQM

On site fabrication - KBCN1292

Where concrete (or another construction product) is produced on site, there is no requirement to provide responsible sourcing certification for the end product. As in this case fabrication on site is effectively part of the onsite building process, the certification of the individual products (e.g. aggregates, cement), as delivered to site, shall be used in the assessment instead.

Responsible sourcing certification – validity - KBCN1693

Where it can be demonstrated that the responsible sourcing certificates were valid either at the time of specification, or at the time of purchase, they may contribute to the awarding of the credits. BREEAM is primarily trying to encourage designers to take responsible sourcing into consideration when specifying or selecting products and as such it is not necessary for certification to be valid at the time of design or post-construction stage submissions.
30-Oct-2025 - Applicable to HQM V6 and UKNCR V6.1

Information correct as of 26thFebruary 2026. Please see kb.breeam.com for the latest compliance information.