Now in its fifth annual release, the SM Transparency Report™ / EPD Framework Part A 2018 [2] has integrated key rulings from the new ISO 21930:2017, as determined by the SM Technical Advisory Board [3] (TAB) and public comments.
What is ISO 21930 and why is it important? ISO 21930 [4]: Sustainability in buildings and civil engineering works – Core rules for environmental product declarations of construction products and services is one of the primary standards for product category rule (PCR), life cycle assessment (LCA), and Type III environmental declaration development for building materials. It is specifically named in LEED v4 as one of the two standards for creating conformant Type III environmental declarations. Outside of Europe, this international standard (ISO 21930) is more likely to be used than the European standard (EN 15804), as it applies internationally.
The Sustainable Minds technical program was created from the ground up as a North American program, has always been LEED v4 conformant (follows EN 15804), and now integrates the elements of ISO 21930 most applicable to the North American market.
To evaluate ISO 21930:2017 for the North American market, in an October 2017 webinar [5] Doug Mazeffa (Sherwin-Williams) gave an overview of the updates in the new 2017 version and addressed the implications for creating PCRs and Type III environmental declarations. The takeaway from this webinar was that this update provides significant and useful language and rulings to integrate with SM Part A 2018. ISO 21930:2017 adopts the EN 15804 life cycle stage information module reporting and then provides much more detail, including very specific guidance for critical areas of LCA. Since this new version is more aligned with EN 15804 than in the past, PCRs that already follow EN 15804 will not require dramatic changes.
Here’s what’s new in SM Part A 2018 [2] to align with the updated ISO 21930:
Text from ISO 21930:2017 was added to remind PCR creators about variance. When creating a Type III environmental declaration that averages the LCA results of several similar products, large variations between products will create a large variance. The larger the variance, the less the average represents the intended typical product. The selection of products to be covered in an average declaration should be made so that the resulting average declaration is reasonably descriptive of the products covered. This is the reason SM Part Bs [6] are created at the product group level. A product group consists of products that deliver the SAME function and would therefore complete for the same specification.
This reminder is especially important because if complete conformance to ISO 21930:2017 is desired, the variation cannot be more than +/-10% for any impact indicator.
The requirement in Part A 2017 to report “any hazardous substances showing one or more properties as listed in existing applicable legislation” included only one example of such legislation (the United States Resource Conservation and Recovery Act). Language from ISO 21930:2017 was added to further define what type of information to report. For example:
The presence of any hazardous substances showing one or more properties as listed in existing applicable legislation shall be reported and include a description of the regulated substance, the chemical abstracts service (CAS) number, and a reference to standard(s) or regulation(s) applicable for the relevant market.
“Identification of substances of very high concern (SVHC) in a publicly available ‘Candidate List of Substances of Very High Concern for Authorisation of the European Chemicals Agency’. The list is the result of an assessment and evaluation scheme, which is part of the REACH Regulation (EC) No 1907/2006 (Registration, Evaluation, Authorisation and Restruction of Chemicals).”
The system boundary description language in ISO 21930:2017 is more descriptive than language from the same sections in EN 15804 (used for SM Part A 2017). This new language was used to make editorial changes by adding to the existing text for modules in every life cycle.
The cut-off criteria language in ISO 21930:2017 is more descriptive than language from the same section in EN 15804 (used for SM Part A 2017). This new language was used to make editorial changes by adding to the existing text.
The only technical change to the cut-off criteria was the addition of the 1% cut-off for potential environmental impacts. Part A 2017 already included a 1% cut-off for mass and energy usage. Now with this additional rule, any material or process that contributes less than 1% to mass and energy usage, but has a high effect on the potential environmental impacts, will be accounted for.
Allocation rules did not change; however, the language from ISO 21930:2017 was used to replace the existing text.
What elements were determined to be inapplicable to the North American market?
Type III environmental declarations in North America are getting used differently than in Europe and internationally. In North America, architecture, engineering, and construction professionals are using them to understand the product's life cycle impacts to help inform greener selection decisions. In Europe, they are used for green public procurement and have been developed primarily to be used in business-to-business communication.
For these reasons, the TAB identified elements of ISO 21930:2017 that would not be required for PCRs and Type III environmental declarations created for the North American market, as the LCA content would not contribute meaningful information to a non-technical reader to inform decisions. These requirements can optionally be included and are found in the SM Part A ISO 21930:2017 compatibility appendix [7]. Part A compatibility appendices are designed to enable full conformance to international standards when a PCR committee determines that the LCA and/or Type III environmental declaration must be 100% conformant. The rules in this compatibility appendix include:
ALSO new in SM Part A 2018 in response to comments from the SM TAB and the public:
When applicable, a list of substances and flows provided by the manufacturer from the foreground system which are not characterized by any of the chosen LCIA methods in this framework
A comprehensive list of the substances in the LCI with names and quantities exported from the model in the LCA program without any cut-off
Sustainable Minds is proud to introduce Part A 2018 [2] and as always, we invite ongoing comments on Part A. Review is always open. Download the comment form [8] and return to tab@sustainableminds.com [9].
Links:
[1] http://www.sustainableminds.com/files/images/blog/part_a_2018_intro.png
[2] http://www.sustainableminds.com/files/transparency/SM_Part_A_LCA_calculation_rules_and_report_requirements_2018.pdf
[3] http://www.sustainableminds.com/transparency-report-program/how-it-works
[4] https://www.iso.org/standard/61694.html
[5] http://programoperators.org/webinar-iso-21930-implementing-2017-version/
[6] http://www.sustainableminds.com/files/transparency/SM_Part_B_Product_group_definition_v2018.pdf
[7] http://sustainableminds.com/files/transparency/SM_Part_A_Compatibility_appendices_v2018.pdf
[8] http://sustainableminds.com/files/transparency/SM_Part_A_2018_review_template.xlsx
[9] mailto:tab@sustainableminds.com