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NEW QUESTION # 52
Keys necessary for the unlocking of exit doors must be individually identifiable by both sight and touch in which of the following occupancies?
Answer: A
Explanation:
In Group I occupancies (such as hospitals, nursing homes, and correctional facilities), keys necessary for unlocking exit doors must be individually identifiable by both sight and touch. This ensures quick identification of keys in an emergency, especially for staff members assisting occupants with limited mobility.
Reference to Fire Inspector Documentation:
1. 2021 International Fire Code (IFC) - Section 1010.1.9.9 (Identifiable Keys for Exit Doors in Group I Occupancies) IFC 1010.1.9.9 specifically states that in Group I occupancies, all keys used to unlock exit doors must be uniquely identifiable by both sight and touch.
This helps staff quickly locate and use the correct key in an emergency evacuation.
2. NFPA 101 - Life Safety Code (2021 Edition) - Section 18.2.2.2.6 (Key Identification in Institutional Occupancies) NFPA 101 mandates that keys in healthcare and correctional facilities (Group I) must be distinguishable by touch and sight for emergency use.
Detailed Explanation of Answer Choices:
Option A (Incorrect): Group A occupancies (Assembly) do not have this requirement.
Option B (Incorrect): Group E occupancies (Educational) do not have this specific key-identification mandate.
Option C (Correct): Group I occupancies (Institutional) require individually identifiable keys per IFC
1010.1.9.9.
Option D (Incorrect): Group R occupancies (Residential, such as apartments and hotels) do not have this specific requirement.
Thus, the correct and verified answer is: C. Group I occupancies.
NEW QUESTION # 53
Conditions that may exist and warrant a modification include all of the following except where the:
Answer: C
Explanation:
Reference to Code Modifications and Equivalency Requirements:
According to International Fire Code (IFC 2021), Section 104.10, modifications may be granted if they meet the intent of the code and do not reduce fire and life safety.
The NFPA 1 (Fire Code) and NFPA 101 (Life Safety Code) also allow modifications under specific conditions, provided safety is maintained.
Understanding the Exception in the Question:
The question asks for conditions that DO NOT warrant a modification.
Using an alternative building material alone does not justify a modification unless it meets equivalent safety standards.
Code modifications are granted based on maintaining or improving safety, not simply changing materials.
Clarification of Incorrect Answer Choices:
A: Modification does not lessen health, life, and fire safety # Correct condition for modification, so incorrect answer IFC 104.10 allows modifications as long as safety is not compromised.
C: Modification is in compliance with the intent and purpose of the code # Correct condition for modification, so incorrect answer Codes provide flexibility if the intent of fire and life safety is still met.
D: Special individual reason makes the strict letter of the code impractical # Correct condition for modification, so incorrect answer Some codes allow modifications if strict compliance is impractical, provided alternative safety measures are implemented.
Conclusion:
The correct and verified answer is B (modification requires the use of an alternative building material) because material substitution alone does not justify a modification unless safety is maintained, as per IFC
104.10 and NFPA standards.
NEW QUESTION # 54
Existing elevators in a four-story office building which are intended for use by emergency personnel for fire- fighting or rescue purposes must comply with which of the following standards?
Answer: A
Explanation:
Reference to Elevator Safety and Firefighter Use:
ASME A17.1 (Safety Code for Elevators and Escalators) establishes the safety requirements for elevators, including those designated for firefighter and emergency personnel use.
The International Fire Code (IFC) and NFPA 101 (Life Safety Code) both reference ASME A17.1 when addressing elevator safety and firefighter access.
Firefighter Access and Operation Requirements:
ASME A17.1, Section 2.27 covers Firefighter Emergency Operations (FEO), which includes:
Phase I Operation (Automatic recall of elevators to a designated floor upon activation of fire alarms).
Phase II Operation (Manual override by firefighters for rescue and suppression operations).
IFC 607.1 (2021 Edition) mandates that fire service access elevators comply with ASME A17.1 for firefighter use in high-rise and multi-story buildings.
Clarification of Incorrect Answer Choices:
A: UL 803 # Incorrect
UL 803 is not related to elevator fire safety; it pertains to electrical control panels for industrial applications.
B: NFPA 70 (National Electrical Code) # Incorrect
While NFPA 70 covers electrical wiring and circuits, it does not specifically regulate elevator emergency operations.
D: ASME A17.3 # Incorrect
ASME A17.3 is the Safety Code for Existing Elevators and Escalators, which applies to retrofits and upgrades, but ASME A17.1 is the primary code for operational and emergency use elevators.
Conclusion:
The correct and verified answer is C (ASME A17.1) because it specifically outlines the requirements for firefighter and emergency personnel elevator use, ensuring compliance with the IFC and NFPA codes.
NEW QUESTION # 55
Given: A health club contains a 1,000-sq. ft. exercise room.
Based on the square footage, what is the calculated occupant load allowed for this exercise room?
Answer: A
Explanation:
The occupant load of a space is determined using the 2021 International Building Code (IBC), Table 1004.5 - Maximum Floor Area Per Occupant.
IBC Table 1004.5 - Occupant Load Factor for Exercise Rooms:
The occupant load factor for an exercise room is 1 person per 20 square feet.
Given that the exercise room is 1,000 sq. ft.:
1,000 sq. ft. ÷ 20 sq. ft. per person = 50 occupants
Why Other Options Are Incorrect?
A: 10 - Would require a 100 sq. ft. per person load factor, which is not applicable for exercise rooms.
B: 20 - Incorrect calculation; using the correct load factor, the actual number is 50.
C: 30 - Also incorrect based on the proper load factor.
NEW QUESTION # 56
A permit is required for storage of high-pile combustible stock in a building when the area of stock exceeds
Answer: A
Explanation:
High-Pile Combustible Storage Permit Requirements
According to the International Fire Code (IFC) 2021, Section 105.6.23, a permit is required for the storage of high-pile combustible stock when the storage area exceeds 2,500 square feet.
2. Definition of High-Pile Storage
High-pile storage is defined as storage of combustible materials on racks or piles exceeding 12 feet in height (or 6 feet for highly combustible materials, such as rubber and plastics).
IFC Table 3206.2 establishes fire protection requirements based on storage height, area, and commodity class.
3. Verification of Other Options
Option A (225 sq. ft.) - Incorrect, as this is far below the 2,500 sq. ft. permit threshold.
Option B (500 sq. ft.) - Incorrect, as the fire code does not require a permit at this level.
Option C (1,000 sq. ft.) - Incorrect, as the IFC specifies 2,500 sq. ft. as the threshold for requiring a permit.
Reference Sources:
International Fire Code (IFC) 2021 - Section 105.6.23 (High-Pile Combustible Storage Permit Requirements) IFC Chapter 32 (High-Piled Storage Regulations) ICC Fire Inspector II Study Guide (2021) Thus, the correct and verified answer is: D. 2,500. #
NEW QUESTION # 57
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