Changes within NFPA 99 - 2012
Transcription
Changes within NFPA 99 - 2012
Changes within NFPA 99 - 2012 Health Care Facilities Code Bob Kroening Over 25 years designing, inspecting, and verifying plumbing systems in Healthcare Facilities President of Medical Gas Systems , Inc., A medical gas system consulting and verification company. MGS has been consulting, inspecting, testing, and certifying medical gas systems in the United States and Canada since 1975 Currently credentialed: Medical Gas System Installer (ASSE 6010) by National Inspection Testing Certification Corporation Medical Gas System Inspector (ASSE 6020) by National Inspection Testing Certification Corporation Medical Gas Verifier (ASSE 6030) by National Inspection Testing Certification Corporation Medical Gas Bulk System Verifier (ASSE 6035) by Medical Gas training Institute Credentialed Medical Gas Verifier (CMGV) by Medical Gas Professional Healthcare Organization Medical Gas System Instructor (ASSE 6050) by National Inspection Testing Certification corporation NFPA = National Fire Protection Association NFPA 99 “Health Care Facilities Code”, is updated by the “NFPA Technical Committee” approximately every three years. (The latest version, 2012 Edition “Health Care Facility Code” was released in October 2011 and is widely viewed as the most comprehensive medical gas system document with patient safety at its highest). NFPA 99 is adopted by states, most commonly through, the Centers for Medicare & Medicaid Services(CMS) adoption of NFPA 101 Life Safety Code NFPA 101® Life Safety Code® 2000 Edition Chapter 18 NEW HEALTH CARE OCCUPANCIES 18.3.2.4 Medical Gas. Medical gas storage and administration areas shall be protected in accordance with NFPA 99, Standard for Health Care Facilities. Minnesota and Wisconsin have adopted NFPA 101 -2000 . Because a code document cannot reference a newer version than the year of it’s issuance, NFPA 99 – 1999 is considered the enforceable code document. CMS has started the process of adopting NFPA 101-2012 Life Safety Code (in the statement announcing this, they also identified that this would include the newer version of NFPA 992012 • NFPA typically issues a new version of NFPA 99 every three years. This version was delayed several years due to some changes to the layout of the document. • They removed some of the Chapters and added other Chapter, specifically Plumbing, and Heating, Ventilating, and Air Conditioning (HVAC). • The committee changed the building types from “Levels” to “Categories”. This was to bring this document in line with other NFPA codes. • NFPA changed the name of NFPA 99 from “Health Care Facilities” to “Health Care Facilities Code”. This was requested by municipalities and other code writing agencies to allow them to adopt this document more readily. This presentation is not intended to identify all of the minor changes within the NFPA 99 -2012 document, but rather the major changes that will effect the designer in their day to day design of healthcare facilities. We recommend that you get a copy of NFPA 99 -2012 from National Fire Protection Association (www.NFPA.org) Mark Allen (a member of the NFPA 99 technical committee) also has issued a document with the changes identified. This can be downloaded from his company web page. (www.beaconmedaes.com) NFPA has also issued a new Handbook, in lieu of a NFPA 99C document, that has additional technical committee comments to help the designer understand the intent of the information within the code. NFPA 99 now identifies the four different building types as Categories 1 thru 4. • Category 1. Facility systems in which failure of such equipment or system is likely to cause major injury or death of patients or caregivers shall be designed to meet system Category 1 requirements as defined in this code. • Category 2. Facility systems in which failure of such equipment is likely to cause minor injury to patients or caregivers shall be designed to meet system Category 2 requirements as defined in this code. • Category 3. Facility systems in which failure of such equipment is not likely to cause injury to patients or caregivers, but can cause patient discomfort, shall be designed to meet system Category 3 requirements as defined in this code. • Category 4. Facility systems in which failure of such equipment would have no impact on patient care shall be designed to meet system Category 4 requirements as defined in this code. What do these categories mean? Category 1. Hospitals, Surgery Centers Category 2. Medical Office Buildings, Dialysis Treatment Centers, Clinics, Oral Surgery Facilities (The key to determining if a facility is Category 1 or 2, is what is the level of injury to patient or caregiver if the system is lost. If the system is designed to Category 2, the facility needs to have an emergency plan to deal with the loss of medical air, medical vacuum, and WAGD.) Category 3. Dental Facilities (Category 3 facilities only have Oxygen, Nitrous Oxide, Dental Air, Dental Vacuum, WAGD systems. If the facility requires additional gases, they should be considered Category 1 or 2) Category 4. Laboratories NFPA 99 1.3.4 Patient Care Rooms 1.3.4.1 The governing body of the facility or its designee shall establish the following areas in accordance with the type of patient care anticipated and with the following definitions of the classification: 1) Critical care rooms 2) General care rooms 3) Basic care rooms 4) Support rooms 1.3.4.2 Anesthesia. It shall be the responsibility of the governing body of the health care organization to designate anesthetizing locations. 1.3.4.3 Wet Procedure Locations. It shall be the responsibility of the governing body of the health care organization to designate wet procedure locations. (The engineer no longer has to guess where within the facility these areas are located) Application 1.3.1 This code shall apply to all health care facilities other than home care. 1.3.2.1 If the alteration, renovation, or modernization adversely impacts the existing performance requirements of a system or component, additional upgrading shall be required. 1.3.2.3 An existing system that is not in strict compliance with the provisions of this code shall be permitted to be continued in use, unless the authority having jurisdiction has determined that such use constitutes a distinct hazard to life. 1.3.4 Patient Care Rooms - The governing body of the facility or its designee shall establish the following areas in accordance with the type of patient care anticipated and with the following definitions of the classification: (1) Critical care rooms (3.3.138.2) (2) General care rooms (3.3.138.3) (3) Basic care rooms (3.3.138.1) (4) Support rooms (3.3.138.4) 1.3.4.2 Anesthesia. It shall be the responsibility of the governing body of the health care organization to designate anesthetizing locations. Four Levels of Anesthesia Deep Sedation/Analgesia (3.3.63.1) General Anesthesia (3.3.63.2) Minimal Sedation (3.3.63.3) Moderate Sedation (3.3.63.4) 5.1.3.3 Central Supply System Locations 5.1.3.3.1.8 The temperature minimum for CO2 and N2O systems is reduced. It will now be manufacturer’s recommendation but not less than -29°C (-20°F). (See also 9.3.7.7 and 9.3.7.8) 5.1.3.3.2 (3) Outdoor enclosures for medical gas sources now must have two egress gates. 5.1.3.3.2(10) Electrical devices in manifold rooms must be protected from damage, but no longer necessarily 1,520 mm (5 feet) above finished floor (AFF) 5.1.3.4 New Controls (regulators and their associated valves and gauges) can be mounted remotely from the source equipment if all other rules are observed. 5.1.3.5.13.2 (6) and 5.1.3.5.14.2 (7) New Requirement for clearance of 1m (3ft) around all serviced elements (container, vaporizers and regulating controls), including the EOSC. 5.1.3.5.14.3(1) Gas cylinder header per 5.1.3.5.9 with sufficient cylinder connections to provide for at least an average day’s supply with the appropriate number of connections being determined after consideration of the delivery schedule, the proximity of the facility to alternate supplies, and the facility’s emergency plan 5.1.3.5.14.5 In-building emergency reserves shall have a local signal that visibly indicates the operating status of the equipment and an alarm at all master alarms when or just before the reserve begins to serve the system 5.1.3.6.2 Uses of Medical Air. Medical air sources shall be connected to the medical air distribution system only and shall be used only for air in the application of human respiration and calibration of medical devises for respiratory application 5.1.3.6.3.4 (B) New Liquid Ring compressor seal water must be treated. 5.1.3.6.3.4 (C) 2 - 4 New Liquid Ring compressors must be provided with cylinder backup. (see Detail ) 5.1.3.6.3.12 Revised 5.1.3.5.13 Medical Air intake Location 5.1.3.6.3.12(F) Change 5.1.3.5.13.4 5.1.3.6.3.15 New A new source system for air has been added. These are proportioning systems which blend oxygen and nitrogen to make “synthetic air” 5.1.4.8 (3) New Zone valves may not be in the same room as the outlet/inlet they control. 5.1.4.8.7 Clarification 5.1.4.8.7 (zone valve located outside vital life support areas, critical care areas, and anesthetizing locations) Adds the qualifiers “anesthetic location of moderate sedation, deep sedation or general anesthesia” to the anesthetizing location rule. 5.1.4.11 In-line Check Valves. New or replacement check valves shall be as follows: 1) They shall be of brass or bronze construction 2) They shall have brazed extensions 3) They shall have inline serviceability 4) They shall not have threaded connections 5) They shall have threaded purge points of 1/8” NPT 5.1.9.1 (5) Change 5.1.9.1 (5) 5.1.9.1 (12) New Allows for communication technology other than classic “wire” to be considered. 5.1.9.1 (11) Change 5.1.9.1 (11) Methods for protecting the wiring for alarms are listed. 5.1.9.2.3 Change 5.1.9.2.3 Wiring for Master alarms is more completely detailed 5.1.9.3.5 New Wiring must preserve non-interchangeability of sensors. This additional requirement reflects the fact that most alarm installations today mount the sensor on the pipe and wire to the panel (as opposed to piping to the panel and mounting the sensors there). Therefore, not only can the sensor be mounted on the wrong pipe (a pneumatic cross connection), but the sensor can be wired to the wrong alarm (an electrical cross connection). This provision attempts to deal with this. This has been a standard feature of Beacon Medæs alarms since the 1980’s. 5.1.10.8 Clarification Allowance for threads in jointing (see also 5.1.10.8) are narrowly limited. The use of threading as a jointing technique in the pipeline is now strictly limited to the points where indicators are attached to the piping (e.g. pressure sensors, gauges) Threading is prohibited in all other locations. A big change which allows this is the elimination of the threaded check valve (see 5.1.4.11). Note that this is one difference between piping on the source side and the patient side of the source valves threading is common and entirely acceptable on the source side. 5.1.10.10 New Push fit connections (e.g. ProBite, SharkBite) are prohibited in the pipeline. Under some circumstances, they can be used on source equipment. Deleted 5.1.10.10.6 Branch piping takeoffs no longer must come out above the centerline of the main. 5.1.10.11.6.3 New Flexible connections in pipelines are defined and if equal to these requirements, permitted. 5.1.10.11.10.3 New Installers must be individually qualified. A qualified person may not “supervise” unqualified people and have them be qualified by proximity. 5.1.13.2 New (see also 5.1.13.4) Maintenance, periodic testing and qualifications for maintenance personnel 5.1.14 Category 1 Operation and Management With recent strict changes for qualification and training of installers, the industry has identified that the biggest problems reported with medical gases have shifted from installations problems, to inadequate maintenance. The addition of this section strives to address all of the major elements of a maintenance plan, including goals, timing, and the work to be included. This section also identifies the qualifications of persons maintaining medical gas systems. 5.1.14.1.4 The medical-surgical vacuum and WAGD systems shall not be used for nonmedical applications (e.g., vacuum steam condensate returns). A.5.1.14.1.4 Other examples of prohibited use of medical-surgical vacuum would be scope cleaning, decontamination, and laser plume. 5.1.14.2 Maintenance of Medical Gas, Vacuum, WAGD, and Medical Support Gas Systems Health care facilities with installed medical gas, vacuum, WAGD, or medical support gas systems, or combinations thereof, shall develop and document periodic maintenance programs for these systems and their subcomponents as appropriate the equipment installed. The facility should retain a written or an electronic copy of all findings and any corrections performed. Facilities that already have preventative maintenance programs for its medical gases will most likely meet the requirements of this section. No schedules are given by NFPA. This allows the facility to determine the frequency of maintenance based on the original quality, age and longevity, and known characteristics of the equipment it uses. Maintenance Programs Inventories Inventories of medical gas, vacuum, WAGD, and medical support gas systems shall include at least all source subsystems, control valves, alarms, manufactured assemblies containing patient gases, and outlets Inspection Schedules Scheduled inspections for equipment and procedures shall be established through the risk assessment of the facility Maintenance Programs Inspection Procedures The facility shall be permitted to use any inspection procedure(s)or testing methods established through its own risk assessment. Maintenance Schedules Scheduled maintenance for equipment and procedures shall be established through the risk assessment of the facility Maintenance Programs Qualifications Persons maintaining these systems shall be qualified to perform the operations. Training and certification through the health care facility by which such persons are employed to work with specific equipment as installed in that facility. Credentialing to the requirements of ASSE 6040, Professional Qualification Standard for Medical Gas Maintenance Personnel Credentialing to the requirements of ASSE 6030, Professional Qualification Standard for Medical Gas Systems Verifiers Inspection and Testing Operations Medical air source Room temperature Shaft seal condition Filter condition Presence of hydrocarbons Room ventilation Water quality, if so equipped Intake location Carbon monoxide monitor calibration Air purity Dew point Inspection and Testing Operations Medical Exhaust location WAGD vacuum source source Exhaust location Manifold source Ventilation Enclosure labeling Bulk cryogenic liquid source Inspected I accordance with NFPA 55 Inspection and Testing Operations Final line regulation for all positive pressure systems Delivery pressure Valves Labeling Alarms and warning systems Lamp and audio operation Alarms and warning systems Master alarm signal operation Area alarm signal operation Local alarm signal operation Inspection and Testing Operations Station outlet/inlets Flow Labeling Latching/delatching Leaks Manufactured Assemblies Employing Flexible Connection(s) Between the User Terminal and the Piping System Nonstationary booms and articulating assemblies, other than head walls utilizing connectors, shall be tested for leaks, per manufacturer’s recommendations, every 18 months or at a duration as determined by a risk assessment. DISS connectors internal to the boom and assemblies shall be checked for leakage. Medical Gas and Vacuum Systems Maintenance and Record Keeping An annual review of bulk system capacity shall be conducted to ensure the source system has sufficient capacity Central supply systems for medical gases shall conform to the following Inspected annually Be maintained by qualified person Records of annual inspection shall be maintained. Medical Gas and Vacuum Systems Maintenance and Record Keeping A periodic testing procedure for nonflammable medical gas and vacuum and related alarm systems shall be implemented Medical Gas and Vacuum Systems Maintenance and Record Keeping Procedures shall be established Maintenance program for the medical air compressor supply system in accordance with the manufacturer’s recommendations Facility testing and calibration procedure that ensures carbon monoxide monitors are calibrated at least annually Maintenance program for medical-surgical vacuum piping system Maintenance program for WAGD system Medical Gas and Vacuum Systems Maintenance and Record Keeping Audible and visual alarm indicators Periodic testing to determine that they are functioning Records shall be maintained Medical-surgical vacuum station inlet terminal performance Based on flow of free air into a station inlet while simultaneously checking the vacuum level ASSE Series 6000 Professional Qualification Standard With the publication of the new Health Care Facility Code, ASSE has issued a new Medical Gas systems Personnel Professional Qualification standard Standard #6005 - Medical Gas Systems Generalists Provides general knowledge of medical gas and vacuum systems for the purpose of providing continuing education. Eligible individuals include any person with an interest in medical gas and vacuum systems and equipment. Standard #6010 - Medical Gas Systems Installers Applies to any individual who installs medical gas and vacuum systems. Standard #6015 - Bulk Medical Gas Systems Installers Applies to any individual who installs bulk systems for medical gas at health care facilities. Standard #6020 - Medical Gas Systems Inspectors Applies to any individual who inspects the installation of medical gas and vacuum distribution systems. Standard #6030 - Medical Gas Systems Verifiers Applies to any individual who tests and verifies the operation of medical gas and vacuum systems. Standard #6035 - Bulk Medical Gas Systems Verifiers Applies to any individual who tests and verifies the operation of bulk systems for medical gas at health care facilities. Standard #6040 - Medical Gas Systems Maintenance Personnel Applies to any individual who maintains medical gas and vacuum systems. Standard #6050 - Medical Gas Systems Instructors Applies to any individual who trains or teaches installers, inspectors, verifiers and healthcare facility maintenance personnel regarding medical gas and vacuum distribution systems. Standard #6055 - Bulk Medical Gas Systems Instructors Applies to any individual who trains or teaches Bulk Medical Gas Systems Installers (6015), Verifiers (6035) and Instructors (6055). NFPA has developed new companion documents to help the designer understand the intention of the Technical Committee’s Health Care Facility Code Handbook (the full companion document to the Health Care Facility Code) • The complete text of the 2012 NFPA 99, including medical gas and vacuum system requirements formerly found in NFPA 99C* • Explanations of the intent behind requirements • Practical guidance and examples of how to apply provisions in specific situations • FAQs that highlight key concerns from the field • 500+ full-color tables, photos, and other visuals that clarify concepts. • New supplements on Security in Health Care and Disaster Recovery Medical Gas and Vacuum Systems Installation Handbook (the replacement for the NFPA 99C document) • Chapters 1-5 from the 2012 NFPA 99 plus expert commentary that explains Code intent and practical application insights • 100+ full-color photos, tables, and charts that clarify concepts • Three information-packed supplements on qualifications for personnel performing medical gas work and general brazing procedures, cleaning for oxygen service and preparing a joint for brazing, and installation testing and documentation Beacon Medaes, Mark Allen www.beaconmedaes.com This booklet will focus on the changes to Chapter 5 respecting medical gas and vacuum, and within that, Category 1 and 2 systems. It will attempt to detail the scope of a change as well as our view of the justification behind and impact of the change. Where a particular risk in implementing a change exists, we will attempt to describe the risk and offer some ideas on managing it. The reader should please understand that comments here represent the opinion of the author and are not necessarily that of NFPA or of the committee in general Questions?
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