Showing posts with label IFC. Show all posts
Showing posts with label IFC. Show all posts

Sunday, February 12, 2017

Relationships with Your Local AHJ

In the fire alarm industry we have National Codes and Standards as well as Local Ordinances to follow.  To name a few, the National Codes/Standards are the IBC (International Building Code), IFC (International Fire Code), NFPA 72, and NEC (National Electrical Code).  Now, while some of the literature in these references may be crystal clear, others are often clear as MUD!  This is why you always hear the term "Up for Interpretation".  This is an easy way for local AHJs (Authority having Jurisdiction)  to put their own spin on these references.  If you have been in the fire alarm industry long enough, then you will understand that it can get very frustrating when dealing with an AHJ that is out of line.  In these situations you must be a courteous professional that knows the codes and can stand their ground.

If you are in the fire alarm business and directly handle the design of systems, then you will more than likely deal with an AHJ on multiple occasions.  I suggest being prepared.  If you are submitting a system for review, make sure you bring the National Code references pertaining to your design. Also it is very wise to research the City's local ordinances to see if they have adopted any codes that may be more stringent than the National codes we base our systems on.  A while back when I first started designing systems, I came across a medium sized office building with a large warehouse used by a landscaping company.  With a B type occupancy and over 20 sprinkler heads, the National Code required a dedicated function sprinkler monitoring system.  I should also mention that there were less than 100 persons on floors other than the level of main egress with a total occupant load of less than 500.  With that said, only one horn would be required near the FACU.  Now the City where this building was located, had a local ordinance to require full occupant notification throughout for any B occupancy structure containing more than 100 sprinkler heads.  This was my fault for not checking with the City prior to my design.

I strongly believe that we learn from our mistakes and this particular one has taught me to really research all aspects of the design criteria before presenting a finished product to the client, FPE or AHJ.

Now in some cases, the AHJs are just plain out of line.  Fire officials typically have the attitude that more is better and in some cases they are correct.  Coming from the contracting side of the industry, I would love to see more stringent codes enforced that mandate additional equipment.  However, I also understand that money talks.  To the fire department, money is not the driving factor of their decisions.  Their job is not to help save the end-user money rather it is to instruct them on what their buildings require in the event of a fire emergency.  Us as the designers and contractors are the middle man for the clients.  It is our job to perform value engineering and get the customer a top notch system that meets all National and Local codes all without breaking the bank.  If you ever come across a hard nosed fire prevention plan checker or inspector, don't lose your cool!  This will only make matters worse and in no way help you achieve a signature on your ROC (record of completion) or permit.  In these cases I always like to ask the inspector or plan checker the following: "Can you please reference your requirement in the code so that I can apply it to my next design?".  In more cases than not, they will have to get back to you because they don't have the answer.  This is the easiest way to get them to back off.  By asking for this information, you don't sound like you are second guessing them and that you are actually relying on them for assistance.  Once they realize their requirement is not in the National or Local codes, you should be on the correct path to moving past any discrepancies.

Another great practice when designing systems for your clients is to hold pre-application meetings at the fire prevention office.  This is an excellent opportunity to lay all of your cards on the table.  Make sure to represent your clients concerns and make sure to document everything.  This makes sure that everyone is on the same playing field and shows your client that you are looking out for their best interests.

Designing fire alarm systems can be very fun and rewarding if you know what you are doing.  Make sure to become familiar with all applicable codes and regularly attend code seminars to stay ahead of the curve.

Wednesday, March 18, 2015

Pre-Wire for ADA Adaptability in R2 Occupancies

What does it mean to pre-wire for future ADA adaptability?

The 2021 International Fire Code or IFC is where we look to find out what fire alarm requirements to follow when designing systems.  Specifically Chapter 9 "Fire Protection Systems".  If we dive deeper into section 907, we are informed as to what is required for each occupancy group.

For this article, we will be reviewing the requirements for an "R-2" occupancy.  As defined in the International Building Code or IBC, an R-2 group occupancy consists of: "occupancies containing sleeping units or more than 2 dwelling units where the occupants are primarily permanent in nature, including: Apartments Houses, Boarding House with more than 16 occupants, Convents, Dormitories, Fraternities and Sororities, Hotels (non-transient), Live/Work units, Monitories, Motels (non-transient), Vacation timeshare properties."

Since this article revolves around the requirements to pre-wire for future visual alarms, we will stay away from discussing the initiating side of the code.  Full requirements for an R-2 occupancy.

International Fire Code Section 907.5.2.3.3 Pre-Wire for Group R-2


Section 907.5.2.3.3 states "In group R-2 occupancies required by section 907 to have a fire alarm systems, all dwelling units and sleeping units shall be provided with the capability to support visible alarm notification appliances in accordance with Chapter 10 of ICC A117.1.  Such capability shall be permitted to include the potential for future interconnection of the building fire alarm systems with the unit smoke alarms, replacement of audible appliances with combination audible/visible appliances. or future extension of the existing wiring from the unit smoke alarm locations to required locations for visible appliances."

This is a major upgrade in comparison to a group R-1 occupancy such as Hotels and Motels.  In these facilities, the code gives us parameters as to how many rooms with visible alarms are needed based on the total quantity of sleeping units.

"So what does all this mean?"

In basic terms all living spaces within a group R-2 occupancy must contain the necessary wires, raceways and boxes to support the ability to upgrade to audible and visual notification throughout. ADA aside, our design must provide at least 75 dB in all areas of the quest room.  On top of this, your jurisdiction may now be requiring the fire alarm occupant notification to produce a 520Hz low frequency tone in all sleeping areas.  Find out more about 520Hz requirements.

A lot of fire alarm designers are confused to the actual requirements of this code section.  To be clear, it is the intent of the code to have a fully functional low frequency audible occupant notification system that can be upgraded with visual alarms without cutting walls, adding boxes or running new conduit.  All of the necessary wire or a conduit raceway must be in place to all living spaces, sleeping rooms and bathrooms within each living space.  As stated in the paragraph above, we need a minimum of 75 dB throughout the space.  To achieve this, it's typical to have a low frequency audible appliance in each sleeping room as well as the living space.  This design makes it easy to just swap out the low frequency sounder appliance for a combination low frequency and visual appliance. Don't forget that you will need a box and wire to each restroom within the guestroom.            

ADA section 4.28 "Alarms" gives us the requirements for visual appliances within ADA compliant areas.  Pay close attention to section 4.28.4 "Auxiliary Alarms" Units and sleeping accommodations shall have visual alarms connected to the building emergency alarm system or shall have a standard 110-volt electrical receptacle into which such an alarm can be connected and a means by which a signal from the building emergency alarm system can trigger such an auxiliary alarm.  When visual alarms are in place the signal shall be visible in all areas of the unit or room. Once a group R-2 living unit is upgraded to meet ADA requirements for visual alarms, you will need a low frequency audible tone of at least 75 dB throughout as well as visual alarms in all areas of the living unit.  This includes restrooms.

Side note: NFPA 72 2022 Table 18.5.5.10.3 informs us of the candela rating required visual appliances installed in  sleeping areas.

Distance from the ceiling to the top of the visual appliance lens:
> or = to 24 inches = 110 Candela
< 24 inches = 177 Candela

This standard was put in place as smoke migrates to the ceiling in the event of a fire.  It is common sense that a more intense strobe flash would be required to shine thorough the thicker smoke found closer to the ceiling and still have the ability to awake a sleeping occupant.  This is why we are required to install a 177 candela strobe when located less than 24" from the ceiling.

Best installation method to accomplish ADA adaptability for Group R-2 occupancies.


Run a trunk run down the corridor with Notification Appliance Circuit (NAC) loops as well as a Signaling Line Circuit (SLC) pulled into a J-Box within the closet of each living unit.  It is best to pick the closet that contains the unit's breaker panel.  From this J-Box pull your notification circuit loop through all appliance locations.  In the event the room needed to become adaptable, simply splice your incoming/outgoing NAC loop through in the J-Box.  This way the notification field wiring loop within the living unit is separate from the rest of the existing building NAC circuits.  Install a single output remote power supply listed for fire within the closet and power up with a dedicated 120 AC circuit.  Use the SLC in the closet to install an addressable smoke detector and control module to protect and activate the power supply.  See the example layout below:


Group R-2 ADA Adaptability for Fire Alarm


Now keep in mind that these audible / visual notification appliances will need to activate via general alarm, floor alarm or an alarm from within the unit itself.  To activate the notification appliances from within the living unit, you could either install addressable system smoke detectors or connect addressable mini modules to the 120 VAC UBC smoke alarms.  The detectors or modules would activate the control module connected to the power supply as well as indicate a supervisory condition on the fire alarm control unit (FACU).

Tuesday, March 17, 2015

Are Low Frequency Sounders Required by Your AHJ

520Hz Low Frequency Sounders 

"Effective January 1st 2014, audible appliances provided for the sleeping areas to awaken occupants shall provide a low frequency alarm signal that complies with the following:  (1) The alarm signal shall be square wave or provide equivalent awakening ability.  (2) The wave shall have a fundamental frequency of 520 Hz +/- 10 percent."

We got a glimpse of the future requirement in the 2010 Version of NFPA 72 section 18.4.5.3 page 102.  Here we could see that come January 1st 2014, there would be a requirement for fire alarm designers to use a 520Hz square wave low frequency sounder within all sleeping areas.  There have been multiple studies performed that validate the belief that a 520 Hz low frequency audible tone will have a greater chance at awakening a sleeping occupant.  The lower frequency also has greater chances of awakening people whom are intoxicated or hard of hearing.

Lets fast forward to the 2016 edition of the standard.  NFPA 72 version 2016 notes the same requirement in section 18.4.5.3 page 112.

Click to listen to a 520Hz Low Frequency sound file.  Or a 3KHz tone typically used prior to 520Hz requirements.

Now, here we are in the year 2016 and yet not everyone is following this standard.  You may ask yourselves why is our AHJ or authority having jurisdiction not requiring our fire alarm installation company to install the new 520Hz low frequency sounders for sleeping areas.  Keep in mind that the particular state you install fire alarms in may have an older code adopted.  Click to learn the difference between fire alarm codes and standards.

How do you know if your state or region is requiring 520Hz low frequency sounders?


The International Fire Code or IFC 2018 edition chapter 80 as well as the International Building Code or IBC 2018 edition chapter 35 both reference NFPA 72 2019.  With this said, you will need to find out if your jurisdiction has adopted the 2012 or newer version of the IBC or IFC code.  Better yet, System Sensor has provided a detailed map of the States and Regions currently adopting this code.  See below:

Map for 520 Hz Low Frequency Sounders

Tuesday, October 1, 2013

CCTV Cameras that Look Like Smoke Detectors are They Allowed?

Are CCTV Cameras inside of Smoke Detectors Allowed by Code?


There are a lot of people that asking me if it is permitted to install look-a-like devices along with an approved fire alarm system.  This is mainly the case with CCTV cameras designed to look like fire alarm system smoke detectors of smoke alarms.  Now to the trained eye of a seasoned technician, it is always easy to spot these devices as they do not look like any of the system smoke detector or smoke alarm brands we have grown accustom to.

Customers like these CCTV Smoke Detector devices because it gives them the sense of security without having to display an obvious CCTV camera.  Most of the time, I feel that these are used in the situation where an owner wants to keep an eye on his or her employees.   If the  CCTV camera is hidden inside of a smoke detector, then the employees would be unaware they are being filmed and may be caught performing unlawful acts and then fired.  In the case of preventing robbery I believe you should have an obvious CCTV camera in plain sight.  This will act as a deterrent and possibly prevent any acts of theft in the first place.

Smoke Detector with CCTV CameraNow on to the question at hand.  Are these Smoke Detector Cameras permitted to be installed along side an approved fire alarm system?  Some people say no as they provide a false sense of security in the event of a fire emergency while others say it is just fine as it is not tied to or part of the system.

The International Fire Code 2015 (IFC) section 901.4.5 - Appearance of Equipment.  "Any device that has the physical appearance of a life safety or fire protection equipment that does not perform that life safety or fire protection function, shall be prohibited."

Now this is like anything else.  Always check with your local AHJ.  Typically these discrete Smoke Detector CCTV cameras will be installed after the initial fire alarm inspection and won't be seen by the AHJ.  If you notice one of these discrete smoke detector camera during a semi or annual fire alarm device test, note it down and discuss with the local AHJ.  I believe that if everyone is on the same page and you have it well documented in your Fire Alarm Inspection and Testing paperwork, then you are covered.


If you are interested in taking the NICET Test for "fire alarms" or "Inspection and Testing of Fire Alarms", then we have you covered!  We are now selling our CBT Levels 1 - 4 NICET practice test with preparation material.  This material is packed with tons of NICET practice test questions along with all code references as to where to find the answers.  We have also supplied the material with all of the necessary NICET applications, CBT calculator demonstrations, links and more.  If you need more information, feel free to send an email.  You can find the link to purchase our NICET Practice Test on the top left section of this site.

Thursday, February 17, 2011

IBC Occupancy Classifications for Fire Alarm

Occupancy Classifications Based on the International Building Code


Occupancy classifications are broken down in the 2021 IBC or International Building Code Chapter 3 "Occupancy Classification and Use". These different groups are made up for different uses and structures.  As you guessed, each occupancy classification has its own fire alarm system requirements. These fire alarm requirements are found in the IFC or International Fire Code section 907.  Below is a simple breakdown of what each occupancy classification is used for.  We have also included links that will take you directly to the fire alarm requirements for each group.

International Fire Code 2021


Occupancy Group Classifications


Assembly Group A Occupancy:  

Section 303.1 - Uses intended for the gathering together of persons for the purposes such as civic, social or religious functions, recreation, food or drink consumption or awaiting transportation. 

Section 303.1.1 -  A building or tenant space used for assembly purposes with an occupant load of less than 50 persons shall be classified as a group B occupancy.  

Section 303.1.2 - A room or space used for assembly purposes with an occupant load of less than 50 persons or less than 750 square feet in area and accessory to another occupancy shall be classified as a Group B occupancy or as part of that occupancy. 

Section 303.1.3 - Assembly rooms which are accessory to Group E are not considered as Group A.

Section 303.1.4 - Religious education rooms and auditoriums with occupant loads less than 100 persons which are accessory to churches or places of special worship, shall not be considered separate occupancies. 

Please refer to section 411 of the 2021 International Building Code for Special Amusement areas.

Note that a building or tenant space used for assembly purposes with an occupant load of less than 50 persons shall be classified as a Group B occupancy. A room or space for assembly purposes that is less than 750 square feet in area or accessory to another occupancy shall be classified as a group B occupancy or as part of that occupancy. 

Group A is divided into five sub groups as follows:

A-1: Assembly use. Usually with fixed seating, intended for production and viewing of the performing arts or motion pictures. This could include but not limited to motion picture theaters, Symphony and concert halls, television and radio stations admitting an audience, and theaters.

A-2: Uses intended for food and drink consumption. This could include but not limited to banquet halls, casino gaming areas, night clubs, restaurants, cafeterias and similar dining facilities including associated commercial kitchens, taverns, and bars.

A-3: Uses intended for worship, recreation or amusement and other assembly uses not otherwise classified. This could include amusement arcades, art galleries, bowling alleys, community halls, courtrooms, dance halls, exhibition halls, funeral parlors, greenhouses for the conservation and exhibition of plants that provide public access, gymnasiums without spectator seating, indoor swimming pools without spectator seating, indoor tennis courts without spectator seating, lecture halls, libraries, museums, places of religious warship, pool and billiard parlors, and waiting areas in transportation terminals.

A-4: Uses intended for viewing of indoor sporting events and activities with spectator seating. This can include but not limited to arenas, skating rinks, swimming pools, and tennis courts.

A-5: Uses intended for participation in or viewing outdoor activities. This can include but not limited to amusement park structures, bleachers, grandstands, and stadiums. 

Click here to find out what fire alarm equipment is required for Group A Occupancy.

Business Group B Occupancy:  


Assembly occupancies less than 50 persons and/or uses intended for office, professional or service type transactions, including storage of records and accounts. Group B occupancies can include but are not limited to the following: Airport traffic control towers, ambulatory care facilities, animal hospitals, kennels, pounds, banks, Barber and beauty shops, car washes, civic administration, clinics and outpatient facilities, dry cleaning and laundry facilities, educational occupancies for students above the 12th grade including higher education laboratories, electronic data processing, food processing establishments and commercial kitchens not associated with restaurants, cafeterias and similar dining facilities not more than 2500 square feet in area, Laboratories for testing and research, motor vehicle showrooms, post offices, print shops, professional services (architects attorneys, dentists, physicians, engineers, etc.), radio and television stations, telephone exchanges, training and skill development not any school or academic program this shall include but not limited to tutoring centers, Martial arts studios, gymnastics and similar uses regardless of the ages served, and where not classified as a group a occupancy. 

For additional information on airport traffic control towers, please refer to the 2021 International Building Code (IBC) section 304.2.

For additional information on ambulatory care facilities, please refer to the 2021 International Building Code (IBC) section 304.3.

For additional information on higher education laboratories, please refer to the 2021 International Building Code (IBC) section 304 .4.

Click here to find out what fire alarm equipment is required for Group B Occupancy.

Educational Group E Occupancy:  


Section 305.1 - Uses intended by 6 or more persons at any time for educational purposes through the 12th grade.  

Section 305.2 - Group E daycare uses for educational, supervision or personal care services for more than 6 children older than 2 and a half years of age. 

Section 305.1.1 - Religious education rooms or auditoriums that have an occupant load of less than 100 per room or space shall be classified as Group A-3 occupancies.

Section 305.2.3 - A facility having five or fewer children receiving such daycare shall be classified as part of the primary occupancy.

Click here to find out what fire alarm equipment is required for Group E Occupancy.

Factory Industrial Group F Occupancy: 


Uses intended for assembling, disassembling, fabricating, finishing, manufacturing, packaging, repair or processing operations that are not classified as Group H Hazardous or Group S Storage.  Group is divided into two sub groups.

Group F-1: Moderate Hazard - Factory industrial uses that are not classified as factory industrial F-2 low hazard shall be classified as F-1 moderate hazard and shall include but are not limited to the following: Aircraft manufacturing not including repair, appliances, athletic equipment, automobiles and other motor vehicles, bakeries, beverages over 16 per cent alcohol content, bicycles, boats, brooms and brushes, business machines, camera and photo equipment, canvas or similar fabric, carpets and rugs including cleaning, clothing, construction and agricultural machinery, disinfectants, dry cleaning and dying electric generation plants, electronics, energy storage systems in dedicated use buildings, Engines including rebuilding, food processing establishments and commercial kitchens not associated with restaurants, cafeterias and similar dining facilities more than 2500 square feet in area, furniture, hemp products, jute products, laundries, leather products, machinery, metals, millwork, motion pictures and television filming without spectators, musical instruments, optical goods, paper mills or products, photographic film, plastic products, printing or publishing, recreational vehicles, refuse incineration, Shoes, soaps and detergents, textiles, tobacco, trailers, upholstering, water and sewer treatment facilities, would distillation, and woodworking.

Group F-2: Low Hazard - Factory industrial uses that involve the fabrication or manufacturing of non combustible materials that during finishing, packing or processing do not involve a significant fire hazard shall be classified as F-2 occupancies and shall include but not limited to the following: Beverages up to and including 16% alcohol content, brick and masonry, ceramic products, foundries, glass products, gypsum, ice, and metal products (fabrication and assembly).

Uses intended for manufacturing, processing, generation or storage of materials that constitute a physical or health hazard in quantities in excess of those allowed .  Group H is divided into 5 sub groups.

Group H-1: Detonation Hazard

Group H-2: Deflagration Hazard or Accelerated Burning

Group H-3: Materials that readily support combustion or pose a physical hazard.

Group H-4: Materials are health hazard

Group H-5: Semiconductor fabrication facilities and comparable R&D areas which HPM's are used.

Due to the complex nature and multiple types of combustible/explosive material, we highly recommend you review the direct requirements found in section 307 of the 2021 International Building Code (IBC) to verify which group H occupancy your facility will be classified as. Tables 307.1(1) and 307.1(2) will provide additional information as well.

Click here to find out what fire alarm equipment is required for Group H Occupancy.

Institutional Group I Occupancy:  


Uses intended in which people are cared for or live in a supervised environment, having physical limitations because of health or age are harbored for medical treatment or other care or treatment or in which the liberty of the occupants is restricted.  Group I is divided into four sub groups.

Group I-1:  Houses more than 16 persons, on a 24 hour basis, who because of age, mental disability or other reasons, live in a supervised residential environment that provides personal care services.  Condition 1 - The occupants are capable of responding to an emergency situation without physical assistance from staff. 
Condition 2 - This occupancy condition shall include buildings in which there are any persons receiving custodial care who require limited verbal or physical assistance while responding to an emergency situation to complete building evacuation. 
This occupancy classification will include but not limited to alcohol and drug centers, assisted living facilities, congregate care facilities, group homes, halfway houses, residential board and care facilities, and social rehabilitation facilities.
A facility housing not less than six and not more than 16 persons receiving custodial care shall be classified as a group R-4 occupancy. A facility with five or less persons receiving custodial care shall be classified as a group R-3 or shall comply with the International Residential Code (IRC) provided in automatic sprinkler system is installed in accordance with sections 903.3.1.3 or section P2904 of the International Residential Code (IRC).

Group I-2:  Used for medical, surgical, psychiatric, nursing or custodial care on a 24 hour basis of more than 5 persons who are not capable of self-preservation.  
Condition 1 - This occupancy condition shall include facilities that provide nursing and medical care but do not provide emergency care, surgery, obstetrics or in-patient stabilization units for psychiatric or detoxification, including but not limited to nursing homes and foster care facilities. 
Condition 2 - This occupancy classification shall include facilities that provide nursing and medical care and could provide emergency care, surgery, obstetrics or inpatient stabilization units for psychiatric or detoxification, including but not limited to hospitals. 
Less than five people shall be considered a Group R-3. This group shall include but not be limited to the following: foster care facilities, detoxification facilities, hospitals, nursing homes, and psychiatric hospitals.

Group I-3:  Is inhabited by more than five persons who are under restraint or security and is occupied by persons who are generally incapable of self-preservation due to security measures not under the occupant's control.
Condition 1 - Group I-2 classification shall include buildings in which free movement is allowed from sleeping areas, and other spaces where access or occupancy is permitted, to the exterior via means of egress without restraint. A condition one facility is permitted to be constructed as group R.
Condition 2 - Group I-2 shall include buildings in which free movement is allowed from sleeping areas and any other occupied smoke compartment to one or more other smoke compartments. Egress to the exterior is impeded by locked exits.
Condition 3 - Group I-2 shall include buildings in which free movement is allowed within individual smoke compartments, such as within a residential unit composed of individual sleeping units and group activity spaces, where egress is impeded by remote controlled release of means of egress from such a smoke compartment to another smoke compartment.
Condition 4 - Group I-2 shall include buildings in which free movement is restricted from an occupied space. Remote controlled release is provided to permit movement from sleeping units, activity spaces and other occupied areas within the smoke compartment to another smoke compartment.
Condition 5 - Group I-2 shall include buildings in which free movement is restricted from an occupied space. Staff controlled manual release is provided to permit movement from sleeping units, activity spaces and other occupied areas within the smoke compartment to another smoke compartment.

Group I-4:  Includes buildings or structures occupied by more than 5 persons of any age who receive custodial care for fewer than 24 hours per day by persons other than parents or guardians. (Adult Day Care or Child Day Care). This group shall include but is not limited to the following: adult day care, and child day care.
Section 308.5.1 - A child day care facility that provides care for more than 5 but not more than 100 children ages two and a half years or less, where the rooms in which the children are cared for are located on a level of exit discharge serving such rooms and each of these child care rooms has an exit door directly to the exterior, shall be classified as a group E occupancy.
Section 308.5.2 - Rooms and areas located within places of religious warship that provide care during religious functions shall be classified as part of the primary occupancy.
Section 308.5.3 - A facility having five or less persons receiving custodial care shall be classified as part of the primary occupancy.
Section 308.5.4 - A facility such as above within a dwelling unit and having five or less persons receiving custodial care shall be classified as a group R-3 occupancy or shall comply with the International Residential Code (IRC).


The use of a building or structure or a portion thereof for the display and sale of gods and involves stocks of goods. This occupancy shall include but not limited to the following: department stores, drug stores, markets, greenhouses for display and sale of plants that provide public access, motor fuel dispensing facilities, retail or wholesale stores, and sales rooms.

Click here to find out what fire alarm equipment is required for Group M Occupancy.

Residential Group R Occupancy:  


The use of a building or structure or a portion thereof, for sleeping purposes when not classified as an institutional Group I or when not regulated by the International Residential Code (IRC).

Group R-1:  Residential use for occupants that are primarily transient in nature. (Boarding houses with more than 10 occupants, congregate living facilities with more than 10 occupants Hotel, Motel, Boarding Home (transient), etc.)

Group R-2:  Residential use for occupants that are primarily permanent in nature. This includes but not limited to apartment houses, congregate living facilities for 16 or more non transient occupants, boarding houses that are non transient, convents, dormitories, fraternities and sororities, monasteries, hotels, live/work units, motels, and vacation timeshare properties.

Group R-3:  Residential use for occupants that are primarily permanent in nature which does not classify as Group R-1, R-2, R-4 or I. This includes but not limited to buildings that do not contain more than two dwelling units, care facilities that provide accommodations for five or less persons receiving care, congregate living facilities with 16 or less nontransient occupants, boarding houses that are nontransient, convents, dormitories, fraternities and sororities, monasteries, congregate living facilities for 10 or less transient occupants, boarding houses for transients, and lodging houses with five or less transient guest rooms and 10 or fewer transient occupants.
Care facilities for five or less people receiving care that are located within a single-family dwelling are allowed to comply with the International Residential Code (IRC) provided they are equipped with an automatic sprinkler system installed in accordance with sections 903.3.1.3 or section P2904 of the International Residential Code (IRC).

Group R-4:  Residential use for more than 5 but fewer than 16 occupants, excluding staff, who reside on a 24 hour basis in a supervised environment. 
Condition 1 - Group R-4 shall include buildings in which all persons receiving custodial care, without any assistance, are capable of responding to an emergency situation to complete building evacuation.
Condition 2 - Group R-4 shall include buildings in which there are any persons receiving custodial care who require a limited verbal or physical assistance while responding to an emergency situation to complete building evacuation.

Click here to find out what fire alarm equipment is required for Group R Occupancy.

Storage Group S Occupancy:  


The use of a building or structure or a portion thereof, for storage not classified as a hazardous occupancy.

Group S-1:  Moderate Hazard storage. Buildings occupied for storage uses that are not classified as group S-2 of combustible items.

Group S-2:  Low Hazard storage.  Occupancies include among others, buildings used for the storage of noncombustible materials such as products on wood pallets or in paper cartoons with or without single thickness divisions or in paper wrappings. Such products are permitted to have a negligible amount of plastic trim, such as knobs, handles or film wrapping. 

Public parking garages shall comply with section 406.4 and the additional requirements of section 406.5 for open parking garages or section 406.6 for enclosed parking garages.

Utility and Miscellaneous Group U Occupancy:  


The use of a building or structure or a portion thereof, not classified by any of the above occupancy groups. This occupancy can include but not limited to: agricultural buildings, aircraft hangars accessory to a one or two family residence, barns, carports, communication equipment structures with a gross floor area of less than 1500 square feet, fences more than seven feet in height, grain silos accessory to a residential occupancy, livestock shelters, private garages, retaining walls, sheds, stables, tanks, and towers.