Technical Committee on Medical Equipment (HEA-MED)

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Technical Committee on Medical Equipment () M E M O R A N D U M DATE: May 24, 2016 TO: and Alternate Members of the Technical Committee on Medical Equipment () FROM: Chelsea Tuttle, Staff Liaison SUBJECT: AGENDA PACKAGE NFPA 99 Second Draft Meeting (A2017) Enclosed is the agenda for the NFPA 99 Second Draft meeting of the Technical Committee on Medical Equipment, which will be held on Monday, June 20, 2016 at the Crowne Plaza Dallas Downtown, in Dallas, TX. Please review the attached Public Comments in advance, and if you have alternate suggestions, please come prepared with proposed language and respective substantiation. If you have any questions prior to the meeting, please do not hesitate to contact me at: Office: (617) 984-7376 Email: ctuttle@nfpa.org For administrative questions, please contact Elena Carroll at (617) 984-7952. I look forward to working with everyone.

Technical Committee on Medical Equipment () NFPA 99 Second Draft Meeting (Annual 2017) Monday, June 20, 2016 Crowne Plaza Dallas Downtown 1015 Elm Street, Dallas, TX 75202 AGENDA Monday, June 20, 2016 1. Call to Order 8:00 am (6/20) 2. Introductions and Attendance 3. Chairman Comments 4. Approval of Previous Meeting Minutes 5. Staff Liaison Presentation on NFPA Revision Process and A2017 Cycle 6. Preparation of the Second Draft Review Public Comments Create Second Revisions 7. New Business 8. Adjournment Please submit requests for additional agenda items to the chair and staff liaison at least seven days prior to the meeting.

Technical Committee on Medical Equipment () NFPA 99 Second Draft Meeting (Annual 2017) Monday, June 20, 2016 Crowne Plaza Dallas Downtown 1015 Elm Street, Dallas, TX 75202 Key Dates for the Annual 2017 Revision Cycle Public Input Closing Date July 6, 2015 Final Date for First Draft Meeting September 14, 2015 Final First Draft Posted March 7, 2016 Public Comment Closing Date May 16, 2016 Final Date for Second Draft Meeting July 25, 2016 Posting of Ballot by September 5, 2016 Ballots due by September 26, 2016 Correlating Committee Second Draft Meeting by November 21, 2016 Final Second Draft Posted January 16, 2017 Closing Date for Notice of Intent to Make a Motion (NITMAM) February 20, 2017 Issuance of Consent Document (No NITMAMs) May 12, 2017 NFPA Annual Meeting (Boston) June 4-7, 2017 Issuance of Document with NITMAM August 10, 2017 Technical Committee deadlines are in bold.

Technical Committee Roster

Address List No Phone Medical Equipment Health Care Facilities Donald D. King Chair 1663 Stanmore Drive Pleasant Hill, CA 94523 SE 10/29/2012 Barry E. Brown Airgas, Inc. 3426 Starwood Trail Lilburn, GA 30047-2445 Alternate: Corky Bishop 05/13/2016 Chelsea Tuttle IM 8/2/2010 Lisa Carr Christiana Care Health Services 5 Ivy Court Wilmington, DE 19808 U 08/17/2015 Charles Connor Detroit Medical Center 3663 Woodward Avenue, 2-719 Detroit, MI 48201 U 03/07/2013 David A. Dagenais Wentworth-Douglass Hospital 789 Central Avenue Dover, NH 03820 NFPA Health Care Section U 10/23/2013 Keith Ferrari Praxair, Inc. 2807 Gresham Lake Road Raleigh, NC 27615 Compressed Gas Association Alternate: Gary L. Bean M 1/25/2007 Gerald R. Goodman Texas Woman s University Health Care Administration Program 6700 Fannin, #7015 Houston, TX 77030 SE 1/10/2008 Pamela Gwynn UL LLC 12 Laboratory Drive Research Triangle Park, NC 27709-0163 Alternate: Paul David Evers RT 10/23/2013 Alan Lipschultz HealthCare Technology Consulting LLC 114230 Strand Drive, #306 North Bethesda, MD 20852 Association for the Advancement of Medical Instrumentation M 1/25/2007 John Maurer The Joint Commission 1 Renaissance Boulevard Oak Terrace, IL 60181 E 10/23/2013 Ronald C. Reynolds Virginia State Fire Marshal s Office 1005 Technology Park Drive Glen Allen, VA 23102 E 08/09/2012 Ezra R. Safdie US Department of Veterans Affairs Office of Construction & Facilities Management 425 Eye Street Washington, DC 20002 U 3/4/2008 Lawrence S. Sandler 25661 Springtide Court Bonita Springs, FL 34135 SE 1/25/2007 Kevin A. Scarlett Washington State Department of Health 5801 60th Street West University Place, WA 98467-2831 E 07/29/2013 1

Address List No Phone Medical Equipment Health Care Facilities Robert M. Sutter B&R Compliance Associates PO Box 20603 Lehigh Valley, PA 18002 Alternate: Kenneth Gerard Funk SE 1/25/2007 Chad E. Beebe Voting Alternate ASHE - AHA PO Box 5756 Lacey, WA 98509-5756 05/13/2016 Chelsea Tuttle U 03/05/2012 Gary L. Bean Alternate Air Products & Chemicals, Inc. 1132 Satellite Blvd. NW, Suite 100 Suwanee, GA 30024-2868 Compressed Gas Association : Keith Ferrari M 7/23/2008 Corky Bishop Alternate Airgas USA LLC 8136 NW 82nd Street Oklahoma City, OK 73132-4109 : Barry E. Brown IM 12/08/2015 Paul David Evers Alternate UL LLC P.O. Box 2713 Valrico, FL 33595 : Pamela Gwynn Chelsea Tuttle Staff Liaison National Fire Protection Association One Batterymarch Park Quincy, MA 02169-7471 RT 04/05/2016 3/1/2016 Kenneth Gerard Funk Alternate Environmental Technologies Associates (ETA), Inc. 240 Ashland Trail Tyrone, GA 30290 : Robert M. Sutter SE 07/29/2013 2

Technical Committee Distribution

Distribution by % Medical Equipment Name Company Representation Class Office John Maurer The Joint Commission E Ronald C. Reynolds Virginia State Fire Marshal s Office E 05/13/2016 Kevin A. Scarlett Washington State Department of Health E Voting Number 3 Percent 19% Barry E. Brown Airgas, Inc. IM Voting Number 1 Percent 6% Keith Ferrari Praxair, Inc. CGA M Alan Lipschultz HealthCare Technology Consulting LLC AAMI M Voting Number 2 Percent 13% Pamela Gwynn UL LLC UL RT Voting Number 1 Percent 6% Donald D. King SE Chair Gerald R. Goodman Texas Woman s University SE Lawrence S. Sandler SE Robert M. Sutter B&R Compliance Associates SE Voting Number 4 Percent 25% Lisa Carr Christiana Care Health Services U Charles Connor Detroit Medical Center U David A. Dagenais Wentworth-Douglass Hospital NFPA/HCS U Ezra R. Safdie US Department of Veterans Affairs USVA U Chad E. Beebe ASHE - AHA ASHE U Voting Alternate Voting Number 5 Percent 31% Total Voting Number 16

Previous Meeting Minutes

MINUTES NFPA Technical Committee on Medical Equipment () August 11, 2015 First Draft Meeting Sheraton Inner Harbor Hotel Baltimore, MD 1. Call to Order. The meeting was called to order at 8:00 am on Tuesday, August 11, 2015 by Committee Chair, Donald King. 2. Attendance and Introductions: Attendance was taken and those present at the meeting introduced themselves and stated who they represent on the committee. Those who were present at the meeting are listed below: Technical Committee Members Present Name King, Donald Chair Connor, Charles Dagenais, Dave Ferrari, Keith Gwynn, Pamela Lipschultz, Alan Maurer, John Safdie, Ezra Sandler, Lawrence Scarlett, Kevin Sutter, Robert- Beebe, Chad Alternate Fettes, William Alternate Chase, Barry NFPA Staff Representing ASHE Detroit Medical Center NFPA Health Care Section Compressed Gas Association Underwriters Laboratories AAMI The Joint Commission US Department of Veterans Affairs Washington State Department of Health B&R Compliance Associates ASHE Airgas, Inc. NFPA

3. Chairman Comments: Don King spoke to the agenda for the meeting and provided opening comments. 4. Minutes Approval: The minutes of the May 20, 2013 Second Draft Meeting were approved as distributed in the Agenda Package. 5. Staff Liaison Presentation: Barry Chase gave a staff presentation for the meeting which included general meeting procedures and a review of the Annual 2017 revision cycle. 6. Development of First Draft: The committee reviewed all 27 public input (PI) and resolved them by either providing a committee statement or by creating a first revision (FR) based on the PI. Other First Revisions were also created. See the First Draft and First Draft Report for the official committee actions. 7. New Business: A task group was formed to address the requirements for cylinder storage. The members on this task group are Dave Dagenais (chair), Keith Ferrari, Bill Fettes, and Kevin Scarlett 8. Next Meeting: TBD in the late June/July 2016 timeframe. 9. Meeting Adjourned: The meeting was adjourned at 5:00 pm on August 11, 2015.

Public Comments

http://submittals.nfpa.org/terraviewweb/formlaunch?id=/terraview/c... 1 of 1 5/17/2016 3:41 PM Public Comment No. 29-NFPA 99-2016 [ Global Input ] The Correlating Committee is directing and HEA-ELS to evaluate references to 60601 and determine if AAMI or the international version should be referenced. Consistency should be maintained throughout the code. Additional Proposed Changes File Name Description Approved CCN_19.pdf 99_CC Note 19 Statement of Problem and Substantiation for Public Comment This Public Comment appeared as CC Note No. 19 in the First Draft Report. Related Item Correlating Committee Note No. 19-NFPA 99-2015 [Section No. 10.5.2.2] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Wed Mar 16 08:38:01 EDT 2016 Copyright Assignment I, Tc On Hea-Aac, hereby irrevocably grant and assign to the National Fire Protection Association (NFPA) all and full rights in copyright in this Public Comment (including both the Proposed Change and the Statement of Problem and Substantiation). I understand and intend that I acquire no rights, including rights as a joint author, in any publication of the NFPA in which this Public Comment in this or another similar or derivative form is used. I hereby warrant that I am the author of this Public Comment and that I have full power and authority to enter into this copyright assignment. By checking this box I affirm that I am Tc On Hea-Aac, and I agree to be legally bound by the above Copyright Assignment and the terms and conditions contained therein. I understand and intend that, by checking this box, I am creating an electronic signature that will, upon my submission of this form, have the same legal force and effect as a handwritten signature

of 145 http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 5/17/2016 3:43 PM Public Comment No. 32-NFPA 99-2016 [ Section No. 3.3.141 ] 3.3.141 Relocatable Power Tap (RPT). Multiple-outlet power cord that can be used to channel electricity from a single outlet. (MED) Statement of Problem and Substantiation for Public Comment I suggest deleting this definition from Chapter 3. The definition used conflicts with first several words of 10.2.3.6 "Two or more power receptacles supplied by a flexible cord..." In addition, to my knowledge, the First Revision title of 10.2.3.6 is the only place where the term "Relocatable Power Tap" is used in the document. The purpose of the Chapter 3 definitions "Multiple Outlet Connection" was the title of 10.2.3.6 in the 2015 edition, and was never defined in Chapter 3 previously. Assuming that the only instance of "Relocatable Power Tap" is the title of 10.2.3.6, the existing wording of 10.2.3.6 adequately defines the term "Relocatable Power Tap." Section 3.1 allows for a term to be defined within another chapter (not Chapter 3). Related Item First Revision No. 517-NFPA 99-2015 [New Section after 3.3.143] Submitter Information Verification Submitter Full Name: Alan Lipschultz Organization: HealthCare Technology Consulti Affilliation: Association for the Advancement of Medical Instrumentation Street Address: City: State: Zip: Submittal Date: Thu Mar 17 20:43:05 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 00 of 145 5/17/2016 3:43 PM Public Comment No. 28-NFPA 99-2016 [ Section No. 10.1 ] 10.1* Applicability. 10.1.1 This chapter shall apply to the performance, maintenance, and testing of electrical equipment in health care facilities, as specified in Section 1.3. 10.1.2 Experimental or research apparatus built to order or under development shall be used under qualified supervision and shall have a degree of safety that is equivalent to that described herein or that has been deemed acceptable by the facility. 10.1.3* Reserved. Additional Proposed Changes File Name Description Approved CCN_16.pdf 99_CC Note 16 Statement of Problem and Substantiation for Public Comment This Public Comment appeared as CC Note No. 16 in the First Draft Report. The Correlating Committee directs to revise the applicability statement in 10.1. The statement should be similar to either what is done in chapters 5 and 6 or to what Chapter 12 and 13 do. For example; 5.1.1.5 The following sections of this chapter shall apply to the operation, management, and maintenance of Category 1 medical gas and vacuum systems in both new and existing facilities: (1) 5.1.2 (2) 5.1.3.1 (3) 5.1.3.2 (4) 5.1.3.3.4 (5) 5.1.3.6.2 (6) 5.1.3.8.4.2 (7) 5.1.14 OR 12.1* Applicability. This chapter shall apply to new and existing health care facilities. Related Item Correlating Committee Note No. 16-NFPA 99-2015 [Section No. 10.1] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Wed Mar 16 08:35:58 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 01 of 145 5/17/2016 3:43 PM Public Comment No. 103-NFPA 99-2016 [ Section No. 10.2.3.6 ] 10.2.3.6 Relocatable Power Taps. Two or more power receptacles supplied by a flexible cord shall be permitted to be used to supply power to plug-connected components of a movable equipment assembly that is pole-, rack-, table-, pedestal-, or cart-mounted, provided that all of the following conditions are met: (1) * The receptacles are securely attached to the equipment assembly. (2) * The sum of the ampacity of all appliances connected to the outlets does not exceed 75 percent of the ampacity of the flexible cord supplying the outlets. (3) The ampacity of the flexible cord is in accordance with NFPA 70. (4) The electrical and mechanical integrity of the assembly and its securement method are regularly verified and documented. Taps. (5) Relocatable power taps shall be listed in accordance with UL 1363A, Outline of Investigation for Special Purpose Relocatable Power Statement of Problem and Substantiation for Public Comment Section 11.1.4.1 of NFPA 1 requires relocatable power taps to be listed. Requiring the relocatable power taps used in healthcare facilities to be listed in accordance with UL 1363A will address the requirements currently in NFPA 99 and address additional safety requirements, such as use of hospital-grade receptacle outlets and plugs, integrity of the enclosures, and testing for grounding and leakage current. Related Item First Revision No. 501-NFPA 99-2015 [Section No. 10.2.3.6] Submitter Information Verification Submitter Full Name: Kelly Nicolello Organization: UL LLC Affilliation: UL LLC Street Address: City: State: Zip: Submittal Date: Sun May 15 11:42:50 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 02 of 145 5/17/2016 3:43 PM Public Comment No. 11-NFPA 99-2016 [ Section No. 10.2.3.6 ] 10.2.3.6 Relocatable Power Taps. Two or more power receptacles supplied by a flexible cord shall be permitted to be used to supply power to plug-connected components of a movable equipment assembly that is pole-, rack-, table-, pedestal-, or cart-mounted, provided that all of the following conditions are met: (1)* The receptacles are securely attached to the equipment assembly. (2)* The sum of the ampacity of all appliances connected to the outlets does not exceed 75 percent of the ampacity of the flexible cord supplying the outlets. (3) The ampacity of the flexible cord is in accordance with NFPA 70. (4) The electrical and mechanical integrity of the assembly and its securement method are regularly verified and documented. Additional Proposed Changes File Name Description Approved CCN_26.pdf 99_CC Note 26 Statement of Problem and Substantiation for Public Comment NOTE: This Public Comment appeared as CC Note No. 26 in the First Draft Report and is related to Public Input No. 316. The Correlating Committee directs to address Public Input 316 which was originally addressed to Chapter 6. The issue of RPTs is under the jurisdiction of and not HEA-ELS. Related Item Public Input No. 316-NFPA 99-2015 [Section No. 6.3.2.2.7.1] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Tue Mar 15 12:59:53 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 03 of 145 5/17/2016 3:43 PM Public Comment No. 12-NFPA 99-2016 [ Section No. 10.3.6.3 ] 10.3.6.3 An acceptable test configuration shall be as illustrated in Figure 10.3.6.3. Figure 10.3.6.3 Test Circuit for Measuring Leakage Current Between Patient Leads and Ground Nonisolated. Additional Proposed Changes File Name Description Approved CCN_18.pdf 99_CC Note 18 Statement of Problem and Substantiation for Public Comment NOTE: This Public Comment appeared as CC Note No. 18 in the First Draft Report on First Revision No. 507. The Correlating Committee directs to review the ballot comment on FR 507 and determine if Figure 10.3.6.3 is drawn appropriately. Related Item First Revision No. 507-NFPA 99-2015 [Section No. 10.3.6] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Tue Mar 15 13:02:29 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 04 of 145 5/17/2016 3:43 PM Public Comment No. 30-NFPA 99-2016 [ Section No. 11.1 ] 11.1 Applicability. 11.1.1 This chapter shall apply to the performance, maintenance, and testing of gas equipment in health care facilities, as specified in Section 1.3. 11.1.2* This chapter shall apply to the use, at normal atmospheric pressure, of all of the following: (1) Nonflammable medical gases (2) Vapors and aerosols (3) Equipment required for the administration of 11.1.2(1) and 11.1.2(2) 11.1.3 When used in this chapter, the term oxygen shall be intended to mean 100 percent oxygen as well as mixtures of oxygen and air. 11.1.4* This chapter shall not apply to special atmospheres, such as those encountered in hyperbaric chambers. 11.1.5* Reserved. Additional Proposed Changes File Name Description Approved CCN_17.pdf 99_CC Note 17 Statement of Problem and Substantiation for Public Comment This Public Comment appeared as CC Note No. 17 in the First Draft Report. The Correlating Committee directs to revise the applicability statement in 11.1. The statement should be similar to either what is done in chapters 5 and 6 or to what Chapter 12 and 13 do. For example; 5.1.1.5 The following sections of this chapter shall apply to the operation, management, and maintenance of Category 1 medical gas and vacuum systems in both new and existing facilities: (1) 5.1.2 (2) 5.1.3.1 (3) 5.1.3.2 (4) 5.1.3.3.4 (5) 5.1.3.6.2 (6) 5.1.3.8.4.2 (7) 5.1.14 OR 12.1* Applicability. This chapter shall apply to new and existing health care facilities. Related Item Correlating Committee Note No. 17-NFPA 99-2015 [Section No. 11.1] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Wed Mar 16 08:40:56 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 05 of 145 5/17/2016 3:43 PM Public Comment No. 14-NFPA 99-2016 [ Section No. 11.3 ] 11.3 Cylinder and Container Storage Requirements. 11.3.1 For the purpose of this section, the health care facility s governing body shall define criteria for determining full cylinders and containers. 11.3.2 Full cylinders and containers shall be stored in accordance with this section. 11.3.3 Full cylinders and containers shall be segregated from all others. 11.3.4* Storage for nonflammable gases equal to or greater than 85 m 3 (3000 ft 3 ) at STP shall comply with 5.1.3.3.2 and 5.1.3.3.3. 11.3.5* Storage for nonflammable gases greater than 8.5 m 3 (300 ft 3 ), but less than 85 m 3 (3000 ft 3 ), at STP shall comply with the requirements in 11.3.5.1 through 11.3.5.8. 11.3.5.1 Storage locations shall be outdoors in an enclosure or within an enclosed interior space of noncombustible or limited-combustible construction, with doors (or gates outdoors) that can be secured against unauthorized entry. 11.3.5.2 Oxidizing gases such as oxygen and nitrous oxide shall not be stored with any flammable gas, liquid, or vapor. 11.3.5.3 Oxidizing gases such as oxygen and nitrous oxide shall be separated from combustibles or flammable materials by one of the following: (1) Minimum distance of 6.1 m (20 ft) (2) Minimum distance of 1.5 m (5 ft) if the entire storage location is protected by an automatic sprinkler system designed in accordance with NFPA 13 (3) A gas cabinet constructed per NFPA 30 or NFPA 55, if the entire storage location is protected by an automatic sprinkler system designed in accordance with NFPA 13 11.3.5.4 Gas cylinder and cryogenic liquid container storage shall comply with 5.1.3.3.3and 5.1.3.3.4. 11.3.5.5 Cylinder and container storage locations shall comply with 5.1.3.2.12 with respect to temperature limitations. 11.3.5.6 Cylinder or container restraints shall comply with 11.6.2.3. 11.3.5.7 Smoking, open flames, electric heating elements, and other sources of ignition shall be prohibited within storage locations and within 6.1 m (20 ft) of outside storage locations. 11.3.5.8 Cylinder valve protection caps shall comply with 11.6.2.2(4). 11.3.6 Storage for nonflammable gases with a total volume equal to or less than 8.5 m 3 (300 ft 3 ) shall comply with the requirements in 11.3.6.1 and 11.3.6.2. 11.3.6.1 Individual cylinder storage associated with patient care spaces, not to exceed 2100 m 2 (22,500 ft 2 ) of floor area, shall not be required to be stored in enclosures. 11.3.6.2 Precautions in handling cylinders specified in 11.3.6.1 shall be in accordance with 11.6.2. 11.3.7 When small-size (A, B, D, or E) cylinders are in use, they shall be attached to a cylinder stand or to medical equipment designed to receive and hold compressed gas cylinders. 11.3.8 Individual small-size (A, B, D, or E) cylinders available for immediate use in patient care spaces shall not be considered to be in storage. 11.3.9 Cylinders shall not be chained to portable or movable apparatus such as beds and oxygen tents. 11.3.10 Signs.

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 06 of 145 5/17/2016 3:43 PM 11.3.10.1 Storage locations meeting the requirements of 11.3.4 or 11.3.5 shall have precautionary sign, readable from a distance of 1.5 m (5 ft), shall be displayed on each door or gate of the storage room or enclosure. 11.3.10.2 The sign shall include the following wording as a minimum: CAUTION OXIDIZING GAS(ES) STORED WITHIN NO SMOKING Additional Proposed Changes File Name Description Approved CCN_15.pdf 99_CC Note 15 Statement of Problem and Substantiation for Public Comment This Public Comment appeared as CC Note No. 15 in the First Draft Report. Section 11.3 includes references back to Chapter 5, construction requirements. The Correlating Committee directs to provide the criteria for new and existing in Chapter 11 to avoid future reference coordination issues. Related Item Correlating Committee Note No. 15-NFPA 99-2015 [Section No. 11.3] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Tue Mar 15 14:32:20 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 07 of 145 5/17/2016 3:43 PM Public Comment No. 15-NFPA 99-2016 [ Section No. 11.3 ] 11.3 Cylinder and Container Storage Requirements. 11.3.1 For the purpose of this section, the health care facility s governing body shall define criteria for determining full cylinders and containers. 11.3.2 Full cylinders and containers shall be stored in accordance with this section. 11.3.3 Full cylinders and containers shall be segregated from all others. 11.3.4* Storage for nonflammable gases equal to or greater than 85 m 3 (3000 ft 3 ) at STP shall comply with 5.1.3.3.2 and 5.1.3.3.3. 11.3.5* Storage for nonflammable gases greater than 8.5 m 3 (300 ft 3 ), but less than 85 m 3 (3000 ft 3 ), at STP shall comply with the requirements in 11.3.5.1 through 11.3.5.8. 11.3.5.1 Storage locations shall be outdoors in an enclosure or within an enclosed interior space of noncombustible or limited-combustible construction, with doors (or gates outdoors) that can be secured against unauthorized entry. 11.3.5.2 Oxidizing gases such as oxygen and nitrous oxide shall not be stored with any flammable gas, liquid, or vapor. 11.3.5.3 Oxidizing gases such as oxygen and nitrous oxide shall be separated from combustibles or flammable materials by one of the following: (1) Minimum distance of 6.1 m (20 ft) (2) Minimum distance of 1.5 m (5 ft) if the entire storage location is protected by an automatic sprinkler system designed in accordance with NFPA 13 (3) A gas cabinet constructed per NFPA 30 or NFPA 55, if the entire storage location is protected by an automatic sprinkler system designed in accordance with NFPA 13 11.3.5.4 Gas cylinder and cryogenic liquid container storage shall comply with 5.1.3.3.3and 5.1.3.3.4. 11.3.5.5 Cylinder and container storage locations shall comply with 5.1.3.2.12 with respect to temperature limitations. 11.3.5.6 Cylinder or container restraints shall comply with 11.6.2.3. 11.3.5.7 Smoking, open flames, electric heating elements, and other sources of ignition shall be prohibited within storage locations and within 6.1 m (20 ft) of outside storage locations. 11.3.5.8 Cylinder valve protection caps shall comply with 11.6.2.2(4). 11.3.6 Storage for nonflammable gases with a total volume equal to or less than 8.5 m 3 (300 ft 3 ) shall comply with the requirements in 11.3.6.1 and 11.3.6.2. 11.3.6.1 Individual cylinder storage associated with patient care spaces, not to exceed 2100 m 2 (22,500 ft 2 ) of floor area, shall not be required to be stored in enclosures. 11.3.6.2 Precautions in handling cylinders specified in 11.3.6.1 shall be in accordance with 11.6.2. 11.3.7 When small-size (A, B, D, or E) cylinders are in use, they shall be attached to a cylinder stand or to medical equipment designed to receive and hold compressed gas cylinders. 11.3.8 Individual small-size (A, B, D, or E) cylinders available for immediate use in patient care spaces shall not be considered to be in storage. 11.3.9 Cylinders shall not be chained to portable or movable apparatus such as beds and oxygen tents. 11.3.10 Signs.

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 08 of 145 5/17/2016 3:43 PM 11.3.10.1 Storage locations meeting the requirements of 11.3.4 or 11.3.5 shall have precautionary sign, readable from a distance of 1.5 m (5 ft), shall be displayed on each door or gate of the storage room or enclosure. 11.3.10.2 The sign shall include the following wording as a minimum: CAUTION OXIDIZING GAS(ES) STORED WITHIN NO SMOKING Additional Proposed Changes File Name Description Approved CCN_20.pdf 99_CC Note 20 Statement of Problem and Substantiation for Public Comment This Public Comment appeared as CC Note No. 20 in the First Draft Report. The Correlating Committee is directing to review section 11.3.6.1 and determine if proposed changes to allowed smoke zone size in NFPA 101 will effect this requirement. The TC should also determine if the intent is to match up to a smoke zone or if it is actually meant to be a certain square footage of floor space. Clarify application for new and existing. Related Item Correlating Committee Note No. 20-NFPA 99-2015 [Section No. 11.3] Submitter Information Verification Submitter Full Name: Tc On Hea-Aac Organization: CC on Health Care Facilities Street Address: City: State: Zip: Submittal Date: Tue Mar 15 14:41:51 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 09 of 145 5/17/2016 3:43 PM Public Comment No. 67-NFPA 99-2016 [ Section No. 11.3.5.4 ] 11.3.5.4 Gas cylinder and cryogenic liquid container storage shall comply with 5.1.3.3.3and 5. 1.3.3.4. Statement of Problem and Substantiation for Public Comment The stricken paragraph (5.1.3.3.4) refers back to 5.1.3.3.2 again. This will undo the change made in FR 511 where 5.1.3.3.2 was deleted and makes the requirements for 300 to 3000 cu ft just as strict as those for storage over 3000 cu ft. 5.1.3.3.4 also refers to empty cylinders, which FR 511 was trying to avoid. Related Item First Revision No. 511-NFPA 99-2015 [Section No. 11.3] Submitter Information Verification Submitter Full Name: Corky Bishop Organization: Airgas USA LLC Street Address: City: State: Zip: Submittal Date: Mon Apr 11 10:46:05 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 10 of 145 5/17/2016 3:43 PM Public Comment No. 33-NFPA 99-2016 [ Section No. 11.3.10.1 ] 11.3.10.1 Storage locations meeting the requirements of 11.3.4 or 11.3.5 shall have precautionary sign signage, readable from a distance of 1.5 m (5 ft), shall be displayed on each door or gate of the storage room or enclosure. Statement of Problem and Substantiation for Public Comment Editorial - First draft wording did not make sense. Related Item First Revision No. 511-NFPA 99-2015 [Section No. 11.3] Submitter Information Verification Submitter Full Name: Alan Lipschultz Organization: HealthCare Technology Consulti Affilliation: Association for the Advancement of Medical Instrumentation Street Address: City: State: Zip: Submittal Date: Thu Mar 17 21:08:24 EDT 2016

http://submittals.nfpa.org/terraviewweb/contentfetcher?commentpara... 11 of 145 5/17/2016 3:43 PM Public Comment No. 34-NFPA 99-2016 [ Section No. 11.3.10.2 ] 11.3.10.2 The sign Sign(s) shall include the following wording as a minimum: CAUTION OXIDIZING GAS(ES) STORED WITHIN NO SMOKING Statement of Problem and Substantiation for Public Comment The words "The sign" inappropriately limited the section to a singular sign. Related Item First Revision No. 511-NFPA 99-2015 [Section No. 11.3] Submitter Information Verification Submitter Full Name: Alan Lipschultz Organization: HealthCare Technology Consulti Affilliation: AAMI Street Address: City: State: Zip: Submittal Date: Thu Mar 17 21:17:39 EDT 2016