No, they have a product standard don't they?
Fair enough. Thanks.I can't think of anything common in a domestic situation other than a CU that be considered an assembly.
Grid switches, per se, undoubtedly do, but what about 'assemblages' of them? Perhpas more to the point, what about a collection of assorted grid modules in a grid box - switches, fuses, dimmers, indicators etc. etc. ... does that not qualify as 'an assembly'?No, they have a product standard don't they?

Consumer unit (may also be known as a consumer control unit or electricity control unit). A particular type of distribution board comprising a type-tested co-ordinated assembly for the control and distribution of electrical energy, principally in domestic premises, incorporating manual means of double-pole isolation on the incoming circuit(s) and an assembly of one or more fuses, circuit-breakers, residual current operated devices or signalling and other devices proven during the type-test of the assembly as suitable for such use.
I don't think any of that is an issue as regards th new reg, since is says that it relates to:As some as altered from the original you lose the type-tested which has been a problem with the wording of Part P of course if anything went wrong they would still be held libel and it was rather a lame excuse but unless amendment 3 has also changed the wording of the definitions which it may have done since competent has gone then any small alteration from standard and it's a distribution unit but not a consumer unit.
... which I reckon covers anything resembling a CU, type-tested or not, doesn't it?"Within domestic (household) premises, consumer unit and similar switchgear assemblies ...
Yes, that would also be my feeling.I think it does. I think the wording is designed to stop people putting in stuff made from inflammable plastics under the guise of "It's not a CU, it's a distribution board".
Not bought a copy yet. (Tempted to wait until they correct all the mistakes).They don't have to be metal - just 'non-combustible'.
Of course there isn't - indeed, if anything, it's a surprise that it hasn't previously been a requirement.Actually there's nothing wrong with requiring CUs to be made of stuff which doesn't easily catch fire.
I think primarily the latter, not helped by what we've been told (assuming it's true), that at least a couple of major players are seemingly going to 'drop' plastic CUs. I don't think there is anything wrong with the wording of the regulation, per se, but the misinterpretation by those who are not paying proper attention is probably not helped by the fact that a Note to the reg singles out 'ferrous' metal as the only example given of a material which is deemed to be non-combustible.But it does seem that the impression being given, or the common interpretation of the requirement, is that means metal CUs, so either the wording is misleading, or people aren't thinking and paying attention.
Nope, no definition, other than a requirement that it complies with BS EN 61439-3 (does that define it?) and a note indicating that an example of a material deemed to be non-combustible is ferrous metal.Do they define "non-combustible"?
Obviously not, but that may be clarified in the Standard. I think that Standards often define 'non-combustible' in an manner that does not mean "will not catch fire at any temperature". Indeed, I believe that in many contexts, something which 'catches fire' but then fairly rapidly 'self-extinguishes' would be classified as 'non-combustible'.Do they really mean non-combustible, i.e. simply-will-not-catch-fire-at-any-temperature?
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