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BAFE Respond to Government Fire Safety Legislation Consultation
Thursday 25th July 2019
Call for evidence: the Regulatory Reform (Fire Safety) Order 2005
BAFE, the independent register of quality fire safety service providers, have officially responded to the Government’s Regulatory Reform (Fire Safety) Order 2005 consultation.
BAFE agrees strongly with the scope of the current fire safety legislation, noting the only concern at present being the “degree/method for enforcement”, but it does enable a risk-based approach to fire safety.
BAFE does not believe that the Fire Safety Order provides a proportionate legislative approach to ensuring fire safety for business and enforcing authorities. BAFE comments that there is “no mandated competence for fire safety providers – especially for fire risk assessors who provide the key service around which the RRO [the Fire Safety Order] is based”.
BAFE believe with the current legislation, there is “too little understanding of role” for those in control of regulated premises, “especially in multiple and mixed occupancy premises”. Within the guidance documents, whilst BAFE acknowledge there is “guidance towards third party certificated competence, there is little evidence of enforcement or requirement”. This is noted later in the response that third party certification should be the “key measure” of evidential competence.
In the general application of the Fire Safety Order, BAFE take the strong stance that the legislation does not do enough to enforce competency requirements. BAFE does not believe that the expectation that Responsible Persons self-evaluate whether they are able to meet their duties under the Fire Safety Order, or require assistance is the right approach. BAFE notes that the order does not provide “clarity on the competence of providers, the requirements of the fire risk assessment and the competence of the responsible person. There should be oversight and competence requirements” [within the Order itself].
Whilst not noted in the consultation, BAFE believes that budgets should not continue to be cut for Fire and Rescue Services but rather re-distributed within their business safety and investigation teams to bolster the promotion and enforcement of the legislation as the agency for this.
BAFE calls for “mandatory competence requirements for fire risk assessors based on third party certification” to carry out a suitable and sufficient fire risk assessment and note that there is “insufficient rigour to require updates [to the assessment] with change of use and regularity”. BAFE wishes to see third party certification requirements for the competent person (both the provider company and their staff) as at present the current requirements are “too vague and not enforceable”.
The public consultation Call for evidence: the Regulatory Reform (Fire Safety) Order 2005 closes 31st July 2019 11:45pm. BAFE strongly encourage everyone to respond to this (either as an individual or company) to express your views on the current legislation. Further information can be found on the gov.uk website: https://www.gov.uk/government/consultations/the-regulatory-reform-fire-safety-order-2005-call-for-evidence
Legal obligations nationwide require the appointed responsible person for fire safety for non-domestic premises to have adequate fire protection.