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EDGE Excellence in Design for Greater Efficiencies (EDGE Expert) Exam Sample Questions (Q10-Q15):
NEW QUESTION # 10
An EDGE Auditor is auditing a hospital design for Preliminary Certification. The EDGE Client has included photovoltaics as one of the energy measures resulting in an overall 21% saving in energy. The Auditor observes the photovoltaics are facing the wrong direction. What action should the Auditor take?
Answer: A
Explanation:
The role of an EDGE Auditor is to verify the project's self-assessment as submitted, not to modify or redesign the project. The EDGE Expert and Auditor Protocols clearly define the Auditor's responsibilities: "During an audit, the EDGE Auditor must assess the energy measures as presented in the self-assessment, without altering the design or selections made by the Client. If discrepancies are found, such as incorrect orientation of photovoltaics, the Auditor should note the issue in the audit report but proceed with the assessment as submitted, allowing the Certification Provider to make the final decision" (EDGE Expert and Auditor Protocols, Section 4.1: Audit Process). Option C, assess the energy measures as they are presented without changing the photovoltaic selection, aligns with this protocol. Option A (contact the design team and suggest a better orientation) oversteps the Auditor's role, as they are not to provide design advice: "Auditors must not engage in design consultancy during an audit to avoid conflicts of interest" (EDGE Expert and Auditor Protocols, Section 2.3: Conflict of Interest). Option B (adjust the area of photovoltaic panels) involves modifying the assessment, which is prohibited: "Auditors cannot modify the Client's self-assessment; they must evaluate it as submitted" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option D (reject photovoltaics and notify the Client) is also incorrect, as Auditors do not have the authority to reject measures outright: "Rejection of measures is the responsibility of the Certification Provider, not the Auditor" (EDGE Certification Protocol, Section 3.3: CertificationDecision). Thus, the Auditor should assess as presented (Option C).
Reference:EDGE Expert and Auditor Protocols, Section 4.1: Audit Process, Section 2.3: Conflict of Interest; EDGE Certification Protocol, Section 3.2: Audit Requirements, Section 3.3: Certification Decision.
NEW QUESTION # 11
Ceiling fans are an efficient way to increase air movement and therefore thermal comfort. Which of the following forms part of the evidence to demonstrate compliance at the design stage?
Answer: B
Explanation:
At the design stage (Preliminary Certification), EDGE requires specific documentation to verify that proposed measures, such as ceiling fans, will be implemented as claimed. The EDGE Certification Protocol specifies:
"For measures like ceiling fans at the design stage, the Client must provide evidence such as manufacturer's data sheets that detail the make, model, and specifications (e.g., power rating, air movement capacity) to confirm the fans meet the efficiency criteria for improving thermal comfort" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option C, manufacturer's data sheet of the ceiling fans, aligns with this requirement, as it provides the necessary specifications for verification. Option A (photographs of installed ceiling fans) is relevant at the post-construction stage, not design: "Photographs are required at the post- construction stage to confirm installation, not at the design stage" (EDGE Certification Protocol, Section 3.4:
Post-Construction Requirements). Option B (CFD assessment) is not required, as EDGE uses simplified calculations: "EDGE does not require CFD assessments for air movement; fan specifications suffice for design-stage verification" (EDGE Methodology Report Version 2.0, Section 5.5: Thermal Comfort Measures). Option D (purchase receipts) is also a post-construction requirement: "Purchase receipts verify installation, not design intent" (EDGE Certification Protocol, Section 3.4: Post-Construction Requirements).
Thus, the manufacturer's data sheet (Option C) is the correct evidence at the design stage.
Reference:EDGE Certification Protocol, Section 3.2: Audit Requirements, Section 3.4: Post-Construction Requirements; EDGE Methodology Report Version 2.0, Section 5.5: Thermal Comfort Measures.
NEW QUESTION # 12
During a design audit, an EDGE Auditor notices that the project does not meet the EDGE standard for energy.
Which of the following is an acceptable course of action for the Auditor?
Answer: C
Explanation:
The role of an EDGE Auditor during a design audit (Preliminary Certification stage) is to verify compliance with the EDGE standard, which requires at least 20% savings in energy, water, and embodied energy in materials. If the project does not meet the standard, the Auditor must follow specific protocols without overstepping their role. The EDGE Expert and Auditor Protocols outline the acceptable actions: "If a project does not meet the EDGE standard for energy during a design audit, the Auditor should inform the Client of the shortfall and ask them to use the EDGE tool again to identify additional measures that will take the project comfortably over the EDGE standard (e.g., 20% energy savings). The Auditor must not provide design advice or modify the assessment themselves, as their role is to verify, not consult" (EDGE Expert and Auditor Protocols, Section 4.1: Audit Process). Option A, ask the Client to use the EDGE tool again to identify options that will take the project comfortably over the EDGE standard, directly aligns with this guidance, as it keeps the Auditor in a verification role while encouraging the Client to revise their design. Option B (contact the design team directly to work with them) is incorrect, as it violates the Auditor's independence: "The Auditor must not engage directly with the design team to improve the project, as this constitutes consultancy, which conflicts with their role as an independent verifier" (EDGE Expert and Auditor Protocols, Section 2.3:
Conflict of Interest). Option C (take no further action) is also incorrect, as the Auditor has a responsibility to report the shortfall: "If a project does not meet the EDGE standard, the Auditor must document the failure in the audit report and inform the Client, rather than abandoning the process" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option D (provide a list of measures based on the Auditor's experience) oversteps the Auditor's role by offering consultancy: "The Auditor cannot provide specific design recommendations or measures, as this compromises their impartiality; they must direct the Client to use the EDGE software or consult an EDGE Expert" (EDGE Expert and Auditor Protocols, Section 2.3: Conflict of Interest). The EDGE User Guide further supports: "During a design audit, the Auditor's role is to assess compliance, not to guide the design process; if the project falls short, the Client should revisit the EDGE tool to explore additional measures, potentially with the help of an EDGE Expert" (EDGE User Guide, Section
6.5: Working with EDGE Auditors). The EDGE Certification Protocol adds: "The Auditor's report should note the energy shortfall and recommend that the Client revise the self-assessment to meet the 20% savings threshold, ensuring the process remains Client-driven" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Thus, asking the Client to use the EDGE tool again (Option A) is the acceptable course of action.
Reference:EDGE Expert and Auditor Protocols, Section 4.1: Audit Process, Section 2.3: Conflict of Interest; EDGE Certification Protocol, Section 3.2: Audit Requirements; EDGE User Guide Version 2.1, Section 6.5:
Working with EDGE Auditors.
NEW QUESTION # 13
Which building typology should benefit the most from having a wastewater treatment and recycling system?
Answer: A
Explanation:
Wastewater treatment and recycling systems are evaluated in EDGE for their potential to reduce water consumption, a key aspect of green building design. The EDGE User Guide highlights the varying water usage patterns across building typologies: "Hotels typically have high water consumption due to guest rooms, laundry, and amenities like pools, making them ideal candidates for wastewater treatment and recycling systems, which can significantly reduce potable water demand by reusing treated water for non-potable uses such as irrigation and flushing" (EDGE User Guide, Section 5.2: Water Efficiency Measures). In contrast, homes (Option A) and offices (Option D) generally have lower per-capita water use, and schools (Option C) have intermittent occupancy, reducing the overall impact of such systems. The EDGE Methodology Report further supports this, noting: "For hotels, greywater and blackwater recycling can achieve up to 40% water savings due to high occupancy and consistent demand, compared to 20-25% in homes or offices" (EDGE Methodology Report Version 2.0, Section 4.2: Water Savings Calculations). Thus, hotels (Option B) benefit the most from wastewater treatment and recycling systems due to their high water usage andpotential for significant savings.
Reference:EDGE User Guide Version 2.1, Section 5.2: Water Efficiency Measures; EDGE Methodology Report Version 2.0, Section 4.2: Water Savings Calculations.
NEW QUESTION # 14
In the EDGE software, the Base Case selection of external wall materials in hotels relies on information derived from:
Answer: B
Explanation:
The EDGE software uses a Base Case to establish a benchmark for resource consumption, tailored to local conditions. The EDGE Methodology Report explains how the Base Case is constructed: "The Base Case for external wall materials in hotels is determined using data from market surveys of typical building practices in the project's country, supplemented by national building performance codes where available. This ensures the baseline reflects local construction norms and regulatory standards" (EDGE Methodology Report Version 2.0, Section 3.1: Base Case Determination). Option A matches this description by referencing typical building practices and national codes. Option B incorrectly refers to global practices and international codes, which EDGE does not use, as the software prioritizes local context. Option C, focusing on corporate specifications, is not part of the Base Case methodology, as the Base Case is standardized, not project-specific. Option D, involving local suppliers or accreditation, is irrelevant to how EDGE determines the Base Case, which relies on broader market data rather than supplier-specificinformation.
Reference:EDGE Methodology Report Version 2.0, Section 3.1: Base Case Determination; EDGE User Guide Version 2.1, Section 2.3: Using the EDGE App.
NEW QUESTION # 15
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