Guidance Note 8.People have been talking about that alleged requirement for as long as I can remember, but I don't know where it came from.
Guidance Note 8.People have been talking about that alleged requirement for as long as I can remember, but I don't know where it came from.
Yes, as Octopus have confirmed, bonding not required.
Hopefully Octopus will share that interpretation too.When I did my 16th our lecturer read that out to us, probably from that same document (although we were working to 16th 2004) and made his interpretation, something to the effect of:
If there is a join in a bonding conductor it should be permanent and permanent can be achieved by crimping, soldering, braizing, etc. He even mentioned two wires into one crimped lug makes it permanent and therefore continuous.
It appears to me that has been done in your case and I feel any inspector or even octopussey should have no issue with that installation.
This was certainly something which was regularly and vehemently enforced 20 years ago. However something I used to find which caused issue was an earth bar associated with a submain where services entering the area served would be bonded individually from that earth bar so very far from individual or unbroken from the MET but somehow a second inspection always seemed to override the first.
Thanks. My guess was wrong, but I suppose the myth (about an alleged regulatory requirement) it had to have come from somewhere!Guidance Note 8.
Whether it's been corrupted or not it has become a common source of C1's. However as stated in the guidance notes the modus operandi is to prevent 'other' bonded points becoming disconnected when an early one is, crimping 2 wires into one lug successfully achieves that and to date I've not had it rejected at re-inspection.Thanks. My guess was wrong, but I suppose the myth (about an alleged regulatory requirement) it had to have come from somewhere!
The wording of what you quote (with my emboldening) ("...However, it is permitted to collect them collectively or in groups where the the main bonding conductor is looped from one extraneous-conductive part to another,. Where bonding is undertaken in this way, the bonding conductor should remain unbroken at intermediate points ....") the implication is of a 'requirement', and I'm sure many readers would take it as such.
It's perfectly reasonable/sensible advice, but I personally don't think it really should be made to look like a regulatory requirement (when it'snot), do you?
Unless the crimped lug fails, unscrewing it from the gas pipe will not affect the water pipe bond, so it achieves the required function.Hopefully Octopus will share that interpretation too.
That sounds ridiculous. An EICR is surely meant to reflect the state of an installation at the time it is inspected? If, at that time, the boding is all satisfactorily connected, I really can't see how a C1 could be justified - particularly given that the situation would be fully compliant with BS7671.Whether it's been corrupted or not it has become a common source of C1's.
Indeed, and that's why I said it is 'sensible guidance'. However, it is not a regulatory requirement, and so surely should not be treated as if it were?However as stated in the guidance notes the modus operandi is to prevent 'other' bonded points becoming disconnected when an early one is ...
No, but they can refuse to install unless it meets their own particular requirements.These companies cannot make up their own wiring regulations.
This is it in a nutshell, they have a number of their own rules such as only using a separate CU regardless of what consumer unit is actually installed already.No, but they can refuse to install unless it meets their own particular requirements.
Now that (thanks to flameport) we now know 'where it came from', it's clear that the 'guidance' is very general, relating to any situation in which there are two or more extraneous-c-ps that require main bonding, and is in no way specific to gas pipes.Oh, I thought the myth applied to both.I can only remember the continuous myth relating to the gas as it is somehow more important - or maybe water companies know there is no such rule.
Ok, but, as you indicate, it is merely 'guidance' because the author thinks it should be - unlike the authors of the regulations.Now that (thanks to flameport) we now know 'where it came from', it's clear that the 'guidance' is very general, relating to any situation in which there are two or more extraneous-c-ps that require main bonding, and is in no way specific to gas pipes.
That statement would be all veryt well were it not for the fact that the author of the guidance and the authors of the regulations are, at least 'officially', one and the same (namely "the IET").Ok, but, as you indicate, it is merely 'guidance' because the author thinks it should be - unlike the authors of the regulations.
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