Archive for the ‘AS CA57.1-1972’ Category


Every fire resistant doorset installed in Australia must be installed in accordance with the requirements of the Building Code of Australia (BCA). The current Australian Standard referred to in the BCA for Fire Resistant Doors is AS1905.1-2005 “Components for the protection of openings in fire resistant walls.

 While this article concentrates on the requirements of the fire door compliance tag, a fire door is a component of a complete doorset which includes the door leaf, or leaves, the frame (inclusive of the required frame compliance tag), hardware, seals, other attachments to the doorset (e.g. vision panels and air grilles) and the wall in which the doorset is installed including the fixing of the attachments to the door/s, the door/s to the frame and the frame to the wall.


This Blog Post is accompanied by a summary table of fire door compliance tag requirements in Australia. The table details all the relevant Australian Standards and the relevant clauses relating to fire door compliance tags. To view the table click here (sorry could not format it to fit on this Blog Post).


The fixing of a compliance tag to a fire resistant doorset has been a requirement from the initial fire door code (AS CA57, Part 1-1972) to the current time.

The door tag is an integral component of a fire-resistant doorset identifying the door and setting it apart from other doors such as solid core doors, hollow core doors and the like.

Considering this, it is clear why the compliance tag is so critical; it identifies the door as a fire-resistant door (being a component of a complete fire resistant doorset), and further gives a reference to the performance (i.e. the fire –resistant level) of the specific door.

The physical tag requirements have remained unchanged over the revisions of the relevant standards (aside from the imperial to metric changes which first appeared in the 1976 revision) but more often we are seeing tags provided by suppliers which are printed, not etched, embossed or stamped which can lead to issues in identification when tags are painted over.

Recessed or projected numbers and letters can be painted over and still be identifiable even if a solvent is used to clean the tag. This tiny little point is often missed by tag providers and this should be addressed by all who have the responsibility of manufacturing, supplying or installing compliance tags and is a clear requirement of the Standard and for good reason.

Building owners and managers should be aware of the importance of compliance tags to ensure trades such as painters are directed to treat compliance tags as they would locks and closers  and protect them prior to painting.

The fixing of the compliance tag to the door leaf is another issue. Adhesives while appropriate short term can degrade over time. This can lead to compliance tags becoming detached from the door.

Sticking a tag to a door leaf is a major contributing factor in compliance tags falling off doors and aside from the 1984 revision tags have had to be either mechanically or firmly affixed.

This small point is the bane of contention of building owners and managers who consistently see the wording “missing compliance tag, recommend new door”.

Industry providers are doing themselves an injustice in not doing these simple things to protect the end user from the premature replacement of their fire resistant doors.

The details on a compliance tag provide critical information which is used by inspectors (or should be used) to assess the fire resistant doorset during its serviceable life as it identifies the conditions by which the fire resistant doorset  was designed and should be assessed against.

These details have changed over the years so inspectors should be aware of the marking requirements for the relevant performance standard applicable to the doorset being inspected (see table above “Required Tag Details”).

If you have seen a tag in the field with the standard “AS1851” prominently displayed, this is not a compliance tag. This detail provides no assistance to the inspector of the fire-resistant doorset as it fails to provide any of the details required by AS1905.1.

Tag location is stated in general as approximate and where the placement of the tag on the hinge side of the door leaf could impact the performance of the doorset (i.e. perimeter door seals for example) there is comment to recommend the relocation of the tag to the face of the door on the top hinge side.

Who can tag a fire-resistant door has been defined since the Standard revision in 1990. In looking at the possibility of retagging a fire-resistant door which has lost its compliance tag, we must firstly satisfy ourselves that we are able to.

For doorsets manufactured and installed prior to 1990, the Standard provided no definition as to who could tag a fire-resistant doorsets and as such it would be reasonable to assume that doorsets of this era are able to be tagged by anyone who could satisfy the requirements of assessing the installation and making the determinations required by the relevant code at the time the doorset was manufactured and installed.

For doorsets installed between 1990 and 1997, the definition provided for who can tag a fire-resistant doorset was defined as “The Supplier”, defining the supplier as the sponsor of the test on the prototype fire-resistant doorset who certifies that the doorset, when installed, complies with the Standard. Considering this definition, to retag a doorset manufactured and installed during this time you would have to identify the core of the door to then identify the “Sponsor”. Additional to this would be your ability to identify the year of manufacture and installation.

For doorsets installed since 1997 the manufacturer or certifier has been defined as the allowing tagging entity. To tag a doorset manufactured and installed in this period you would have to be able to identify who the original manufacturer of the door was in order to seek their authorization to retag a fire-resistant doorset.

The issue of being able to retag a fire-resistant doorset is a hot topic with companies on both sides of the fence. The issue of “should you retag a fire door” is not discussed in this article and it is incumbent on individuals making claims of being able to retag fire-resistant doorsets that they can do so in accordance with the requirements of the Standards.

As with the physical requirements of a tag, documentation has been a requirement since 1972. The details of documents and the form in which they are provided has changed over revisions but in general, a “schedule of evidence” or “evidence of compliance with the code” has been required. An example of the documentation to be provided is given at the back of most Standard revisions.

A NOTE ON ASBESTOS

A common practice for identifying a fire-resistant doorset is to remove the lockset to expose the inner core of the door. By exposing the core an experienced individual may be able to identify the type of core and the potential manufacturer or sponsor/applicant.

If you do undertake this practice please be mindful that fire doors manufactured up until the early 1980’s were predominantly manufactured using asbestos as the core material. Removing the lockset can lead to exposure to asbestos fibres and should be avoided at all costs. If you suspect that a door may contain asbestos then it would be advised that the appropriate controls are put in place prior to removing the lockset to ensure exposed asbestos is contained.

Table below summarises State and Territory Acts and Regulations with respect to working with Asbestos.

State / Territory Act Regulations
QLD Workplace Health and Safety Act 1995 Workplace Health and Safety Regulations 2008
NSW Occupational Health and Safety Act 2000 Occupational Health and Safety Regulations 2001
ACT Work Safety Act 2008 Work Safety Legislation Amendment Act 2009 Dangerous Substances (General) Regulations 2004
VIC Occupational Health and Safety Act 2004 Occupational Health and Safety Regulations 2007
TAS Workplace Health and Safety Act 1995 Workplace Health and Safety Regulations 1998
SA Occupational Health, Safety and Welfare Act 1986 Occupational Health, Safety and Welfare (SafeWork SA) Amendment Act 2005 Occupational Health, Safety and Welfare Regulations 1995
WA Occupational Safety and Health Act 1984 Occupational Safety and Health Regulations 1996
NT Workplace Health and Safety Act 2007 Workplace Health and Safety Regulations 2008

(Source http://www.asbestosaustralia.com.au/ )

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In looking at the current Australian Standards, and having recently drafted an article on the history of fire door tags in Australia (to be possibly published in the Fire Protection Association of Australia publication “Fire Australia”), this question has been running over and over in my mind.

Some would say I need a life and I would tend to agree with you but never the less I intend to delve into this in a little greater detail.

If a tag is on the edge of a fire door, what does it mean to the average Joe public? Does it give them any assurance that the door is in fact a fire door? Would average Joe public know what the details on a tag mean or would they simply assume that it is a fire door regardless of what the tag stated?

My opinion and one which others may disagree with is that the tag on a fire door is not for average Joe public, it is for the Authorities and Service Companies who actually know what the details on the tag are supposed to mean, and what direction it provides in the ongoing maintenance and assessment of the particular fire door.

Without going into too much detail, the fire door tag provides the context, the picture of what kind of fire door it is, who made it, who tested it, what its performance level is etc.

If I walked up to the average person on the street and asked “what does AS1905.1 mean?” I am pretty sure I would receive a perplexed look and rightfully so. There is no reason why the average Joe needs to know this sort of information that is why there are professionals who provide the inspection and assessment of these assets, people who do know what these things are and more importantly what they mean and why they are so important.

Now if you agree with me so far then let’s take this a little further. The current Australian Standards require a metal tag of a certain size with certain information on it to be fitted to each fire door. The tag is generally fitted to the hinge side of the door approximately 1.5m from the finished floor level. Along comes the painter and 9 times out of 10 the tag is painted over negating any information provided as it is covered over and the tag installed was not made in accordance with the requirements of the Standard (i.e. embossed or recessed numbers and letters).

Tags also have the misfortune of falling off or being removed.

Painting a tag, tags falling off or tags being removed all have the same effect, it basically removes the information required to properly inspect, maintain and assess the fire door, the doors identity.

The question I asked myself some time ago was “Is there a better way to tag a fire door?” and the answer I came up with was a resounding yes. Technology has come a long way since the 1970’s when we saw tag requirements in an Australian Standard for fire doors (CA57.1-1972). Computers and technology in the 1970’s was vastly different to now. Where a computer may have taken up an entire floor of a building, now we can hold them in the palm of our hands. Things are just getting smaller and smaller and smarter and smarter.

One such advancement in technology has been the identification of things. We went from metal identification tags or simple labels to Bar Codes. This advancement enabled the beginning of the automation age with respect to data capture in which information could be attributed to an asset by reference to an identification method that could be read by a machine thus speeding up the process of data gathering and reporting.

While this provided some benefits, the fact that a visual line of sight was still required to enable reading of a barcode, many of the problems with metal tags still remained, namely requiring the visual identification of information to be read either by person or by machine. As with metal tags, bar codes could be rendered useless if painted over, scratched or dirty and could just as easily be removed or fall off.

The other down side to bar codes in asset identification is the ease in which they can be replicated. This ease of replication is not conducive to the identification of assets in which life safety is an issue. If an identification tag can be easily replicated then it fails on the basic level of integrity. For this reason it would not be reasonable to to replace the current method of tagging with bar codes as there is no improvement in relation to identification of the asset and no improvement in the ability to ensure life safety.

The technology I am currently heavily involved in the development of Radio Frequency Identification, in essence a bar code on steroids.

Unlike bar codes, RFID Tags do not require a line of sight i.e. you can paint right over the top of it or hide it within the asset and still be able to identify the asset by a unique identification number which is almost impossible to replicate.

The RFID tag is a tiny microchip with an integrated antenna which is read from, and written to via an RFID reader. The ability to not only read from but write to an RFID Tag gives an additional benefit which metal tags and bar codes could never provide, information about the asset at the asset.

Because we can have the tag out of sight or can paint over it, this allows the design of a housing which can be more secure and less susceptible to removal either on purpose or by accident. RFID tags are not bullet proof but they do provide a substantial number of benefits which metal tags or bar codes simply cannot match.

So in regards to improvements on the current tag specification in the Australian Standards, I see the following improvements;

  1. Can be painted over
  2. Through design can be almost impossibly to remove
  3. Can hold information about the asset at the asset
  4. Can be read from and written to

There is a down side however and that is that in order to read the RFID Tag you have to have a RFID reader and an application which allows you to obtain the details from the tag. This in essence restricts who can obtain the information, but if we consider who really needs to obtain the information then is this really an issue?

RFID Tag does cost more than a bar code or a metal tag, or at least they do at the moment, but if we look at the cost of replacing a door because the tag (i.e. a metal tag on the edge of the door as opposed to a RFID Tag fitted into the door in some manner) is missing then the initial cost of an RFID Tag vs a metal tag is quickly negated.

If my arguments at the start of this blog are correct, and a tag is really there for an authority or a service technician, then there is no real need for average Joe public to even know there is a tag there, simply because it really has no meaning for them.

The critical thing is to have the right information available to the right people (i.e. authorities and the service technicians) so inspection and assessments can be properly undertaken to ensure life safety is not compromised.

There could be an argument that you cannot force people to implement technology as this is an additional cost but are we doing ourselves an injustice by not at least considering this technology as an alternative to the existing tagging methods. Do we have to have one or the other or can we have both?

Closed systems where data is only able to be obtained if you pay a particular company a ridiculous amount of money can be counteracted by being smarter in the design of our Standards. Instead of mandating a certain type and size of an identification method why can we not have a specification of what information the tagging method needs to provide, who it needs to provide it to and further if this does take the form of electronic recording of information, specify how this data is to appear so it can be available to anyone authorised to obtain the information.

There is no reason why life safety cannot be assisted through advancements in technology. If we have a tag that is difficult if not impossible to remove then we have the essential details available at the door which guide how that door should be inspected and assessed and we further mitigate the possibility of having to replace the door just because of a missing identification tag.

I came across a very interesting term, “disruptive technology”. The term disruptive technologies (later amended to “disruptive innovation”) was coined by Clayton M. Christensen and introduced in his 1995 article Disruptive Technologies: Catching the Wave (Bower, Joseph L. & Christensen, Clayton M. (1995). “Disruptive Technologies: Catching the Wave” Harvard Business Review, January–February 1995).

A simple example is the fax machine. Business used fax machines for years then along came email. Email was a disruptive technology as it nearly overnight, changed the way we communicate in the business environment. Who is to say that RFID technology is to metal tagging what email was to the fax machine?

Technology should not be put on the back burner because it is different to the current norms, it should be properly assessed and if found to provide additional benefits which enhance the current methods and improve life safety then I feel it is our obligation to outline the potential benefits that technology may be able to provide and seek acceptance of the technology as an alternative to the existing norms.

Not many of us ride a horse to work any more!