Thread Content
1. A few days ago, someone came to the company for an inspection and pointed out that the generator room had a diesel storage tank with a capacity of 3 cubic meters, which did not comply with building codes”; 2. The \"Safety Acceptance Evaluation Report\" classifies this building as Category C in terms of fire hazard, with a fire resistance rating of Grade 2; most diesel in China is classified as Category C, so this should be in compliance. 3. Code for Building Design 5.4.13 stipulates requirements for diesel generators in civil buildings. . . The total storage capacity shall not exceed 1 cubic meter. . . ”Does it also apply to chemical plants? Is the prosecutor’s opinion correct, and how should it be corrected? Please give me some advice: hug::hug::hug:
1. Chapter 5 is the chapter dedicated to civil buildings. 2. The generator room within the factory is considered an auxiliary production facility, and Article 3.3.7 of the building codes should be applied. For reference.
I see. Does the factory building mentioned here include the generator room as well?
Must the diesel generator room designed for factory production comply with the \"Code for Electrical Design of Civil Buildings\" JGJ16-2008? The Code for Electrical Design of Civil Buildings requires that the fire hazard classification for machine rooms and oil storage areas be Category C, with a fire resistance rating of Grade 1.
The diesel generator room is considered a building and must comply with building code requirements.