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EDGE Excellence in Design for Greater Efficiencies (EDGE Expert) Exam Sample Questions (Q21-Q26):
NEW QUESTION # 21
To claim efficiency measure Insulation for Cold Storage Envelope, which of the following documents is required as evidence at the preliminary certification stage?
Answer: D
Explanation:
The preliminary certification stage requires specific documentation to verify the implementation of efficiency measures like Insulation for Cold Storage Envelope. The EDGE Certification Protocol outlines the evidence requirements: "For measures involving insulation, such as Insulation for Cold Storage Envelope, the Client must provide drawings at the preliminary certification stage that specify the U-value of the installed insulation to demonstrate compliance with the measure's requirements. The U-value must be lower than the Base Case to qualify for savings" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option C, drawings showing the U-value specification of the cold storage envelope, directly aligns with this requirement. Option A (calculations of Coefficient of Performance) is irrelevant, as COP applies to HVAC systems, not insulation:
"COP is used for chillers, not insulation measures" (EDGE User Guide, Section 4.2: Energy Efficiency Measures). Option B (manufacturer's data sheets for the HVAC system) is also unrelated, as the measure focuses on the envelope, not HVAC: "HVAC documentation is not required for insulation measures" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option D (purchase receipts showing the U-value) is more relevant at the post-construction stage: "Purchase receipts are typically required at the post-construction stage to confirm installation, while drawings suffice for design-stage verification" (EDGE Certification Protocol, Section 3.4: Post-Construction Requirements). Thus, drawings with U-value specifications (Option C) are required at preliminary certification.
Reference:EDGE Certification Protocol, Section 3.2: Audit Requirements, Section 3.4: Post-Construction Requirements; EDGE User Guide Version 2.1, Section 4.2: Energy Efficiency Measures.
NEW QUESTION # 22
Who is responsible for paying the EDGE certification fees?
Answer: A
Explanation:
The EDGE certification process involves various fees, including registration and certification fees, and assigns clear responsibility for their payment. The EDGE Certification Protocol explicitly states: "The EDGE Client, typically the project owner or developer, is responsible for paying the EDGE certification fees, which include the registration fee to enter the project into the system and the certification fee upon successful completion of the audit process. These fees are paid to the EDGE Certification Provider to cover the costs of certification" (EDGE Certification Protocol, Section 2.1: Registration). Option B, EDGE Client, directly aligns with this responsibility, as the Client is the party seeking certification and thus bears the financial obligation. Option A (EDGE Expert) is incorrect, as the Expert provides consultancy services and is typically paid by the Client, not responsible for certification fees: "The EDGE Expert may assist with the certification process, but the Client is responsible for all fees associated with registration and certification" (EDGE Expert and Auditor Protocols, Section 2.1: Roles of EDGE Expert). Option C (EDGE Operations and Management Team) is also incorrect, as this team oversees the EDGE program, not individual project fees: "The EDGE Operations and Management Team manages the program at a global level and does not handle or pay project- specific certification fees" (EDGE Certification Protocol, Section 1.3: Program Structure). Option D (Local Green Building Council) may act as a Certification Provider in some regions, but they receive the fees, not pay them: "Local Green Building Councils, such as those partnered with GBCI, may serve as Certification Providers, but the payment of fees is the responsibility of the Client, not the Council" (EDGE User Guide, Section 6.1: Project Preparation). The EDGE User Guide further reinforces: "The Client must budget for andpay all EDGE certification fees, ensuring timely payment to the Certification Provider to avoid delays in the certification process" (EDGE User Guide, Section 6.1: Project Preparation). The EDGE Certification Protocol adds: "Certification fees are typically invoiced by the Certification Provider, such as GBCI, and must be settled by the Client to receive the final EDGE certificate" (EDGE Certification Protocol, Section 3.3:
Certification Decision). Thus, the EDGE Client (Option B) is responsible for paying the certification fees.
Reference:EDGE Certification Protocol, Section 2.1: Registration, Section 1.3: Program Structure, Section
3.3: Certification Decision; EDGE Expert and Auditor Protocols, Section 2.1: Roles of EDGE Expert; EDGE User Guide Version 2.1, Section 6.1: Project Preparation.
NEW QUESTION # 23
What are the benefits of using a pool cover that are recognized in EDGE?
Answer: D
Explanation:
Pool covers are a water and energy efficiency measure in EDGE, particularly relevant for hotels with swimming pools. The EDGE User Guide outlines their benefits: "Pool covers reduce water demand by minimizing evaporation and energy demand by reducing the need for heating, as they retain heat in the pool.
In EDGE, the use of pool covers is recognized for its dual impact on reducing both water and energy consumption" (EDGE User Guide, Section 5.3: Additional Water Efficiency Measures). Option B, reduce both water and energy demand, directly aligns with this description. Option A (increase solar control and comfort) is incorrect, as pool covers are not recognized in EDGE for solar control or occupant comfort but for resource savings. Option C (require less maintenance and work from employees) and Option D (reduce chemical consumption and that of cleaning products) are potential secondary benefits but are not quantified or recognized in EDGE calculations, as confirmed by: "EDGE focuses on measurable water and energy savings from pool covers, not on maintenance or chemical use reductions" (EDGE Methodology Report Version 2.0, Section 4.3: Water Efficiency Calculations). Thus, Option B is the correct answer.
Reference: EDGE User Guide Version 2.1, Section 5.3: Additional Water Efficiency Measures; EDGE Methodology Report Version 2.0, Section 4.3: Water Efficiency Calculations.
NEW QUESTION # 24
The Client has sent a copy of the local occupancy permit for a project being audited. This permit:
Answer: D
Explanation:
An occupancy permit indicates that a building meets local regulatory requirements for occupancy,but it does not address the specific green building measures required for EDGE certification. The EDGE Certification Protocol clearly outlines the role of such permits in the audit process: "A local occupancy permit provided by the Client confirms that the building complies with local building codes and is ready for use. However, it does not replace the need to audit all EDGE measures, as EDGE certification requires verification of specific energy, water, and materials efficiency measures that are not typically covered by local permits" (EDGE Certification Protocol, Section 3.4: Post-Construction Requirements). Option A, does not replace the need to audit all EDGE measures, directly aligns with this guidance, as the Auditor must still verify each claimed measure (e.g., insulation, low-flow fixtures, fly ash concrete) against EDGE standards. Option B (replaces the need to audit all EDGE measures) is incorrect, as the permit does not address EDGE-specific requirements:
"Local permits do not verify EDGE measures like energy savings or embodied energy reductions, so a full audit is still required" (EDGE Expert and Auditor Protocols, Section 4.4: Site Audit Procedures). Option C (does not replace the need for desktop studies) is partially correct but less comprehensive, as desktop studies are only one part of the audit process: "Desktop studies are part of the audit, but the occupancy permit does not exempt any aspect of the EDGE audit, including site visits and measure verification" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option D (replaces the need to audit EDGE Materials measures) is also incorrect, as materials measures (e.g., use of fly ash concrete) require specific evidence like manufacturer's data sheets, not covered by an occupancy permit: "Materials measures require detailed documentation of embodied energy reductions, which local permits do not address" (EDGE User Guide, Section 7.2: Materials Efficiency Measures). The EDGE User Guide further reinforces: "The Auditor must verify all EDGE measures through appropriate documentation and site visits, regardless of local permits, to ensure compliance with the EDGE standard" (EDGE User Guide, Section 6.3: Post-Construction Certification). Thus, the occupancy permit does not replace the need to audit all EDGE measures (Option A).
Reference:EDGE Certification Protocol, Section 3.4: Post-Construction Requirements, Section 3.2: Audit Requirements; EDGE Expert and Auditor Protocols, Section 4.4: Site Audit Procedures; EDGE User Guide Version 2.1, Section 6.3: Post-Construction Certification, Section 7.2: Materials Efficiency Measures.
NEW QUESTION # 25
Who are licensed to train candidates as EDGE Experts and EDGE Auditors?
Answer: D
Explanation:
Training for EDGE Experts and Auditors is a structured process managed by specific entities authorized by the IFC. The EDGE Expert and Auditor Protocols specify: "EDGE Faculty are licensed by IFC to deliver training for candidates aspiring to become EDGE Experts and EDGE Auditors. These trainers are selected and trained by IFC to ensure consistency and quality in the delivery of EDGE training programs" (EDGE Expert and Auditor Protocols, Section 3.2: Training Requirements). Option A, EDGE Faculty, directly matches this description. Option B (EDGE Auditors) is incorrect, as auditors perform audits, not training, per the protocols: "EDGE Auditors are responsible for verifying project compliance, not for training others" (EDGE Expert and Auditor Protocols, Section 2.2: Roles). Option C (EDGE Certification Providers) is also incorrect, as their role is to issue certifications, not conduct training: "Certification Providers like GBCI issue EDGE certificates but do not train candidates" (EDGE Certification Protocol, Section 1.3: Certification Process).
Option D (Accredited EDGE Experts) is wrong, as Experts advise on projects, not train others, as per the protocols: "EDGE Experts provide consultancy services to project teams" (EDGE Expert and Auditor Protocols, Section 2.1: Roles).
Reference:EDGE Expert and Auditor Protocols, Section 3.2: Training Requirements, Section 2.1: Roles, Section 2.2: Roles; EDGE Certification Protocol, Section 1.3: Certification Process.
NEW QUESTION # 26
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