HomeMy WebLinkAboutMemo - Read Before Packet - 1/4/2022 - Memorandum From John Phelan And Kirk Longstein Re: Questions Regarding January 4, 2022 Consent Agenda Item #4 - Requirements For The Building Energy And Water Scoring ProgramUtilities
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DATE:
TO:
FROM:
M E M O R A N D U M
January 4, 202
Mayor Arndt and Councilmembers
John Phelan, Energy Services Senior Manager
Kirk Longstein, Energy Services Project Manager
THROUGH: Kelly DiMartino, Interim City Manager
Theresa Connor, Interim Utilities Executive Director
Gretchen Stanford, Interim Deputy Director, Utilities Customer Connections
RE:Questions regarding the January 4, 2022, consent agenda item #4
REQUIREMENTS FOR THE BUILDING ENERGY AND WATER SCORING
PROGRAM
The purpose of this memo is to respond to the following questions from a Councilmember
related to the January 4, 2022, consent agenda item #4 to amend City Code sections related
to the Building Energy and Water Scoring (BEWS) program.
1. How many buildings will be affected by this ordinance?
2. What is the cost to businesses to assemble this reporting? Is this information not
already kept by Utilities?
3. Why was the prohibition for a required minimum Energy Star® score placed in the
original Code?
4. If state is only requiring reporting for buildings over 50,000 sq. ft why are we requiring
reporting for over 5000 sq. ft?
5. Are the Energy Board minutes for this discussion available?
Background
The BEWS program requires building owners to report energy and water performance
information to the City which will subsequently be available through the City’s Open Data
initiative and is managed by Utilities with a set of program rules as authorized in code, based
upon Ordinance 2018-144 (adopted December 2018). The building sizes and types of the
BEWS program were the result of an extensive 2-year engagement process with local
stakeholders. The program aims to enhance consumer choices and access to information in
the real estate market, providing simple access to information about energy and water use to
aid in sales and lease decisions. Such information can be particularly important for low to
moderate income households when comparing the utility costs between multifamily rental
options. Similarly, comparing the energy and water performance of one building against
another in the same sector allows real estate stakeholders to evaluate income potential,
operating costs and to monitor performance in the marketplace. To establish market certainty
through a critical mass of verifiable information each year, the program is mandatory rather
than voluntary.
In its first year of compliance 317 out of 347 buildings participated and building performance is
posted to the City’s public website (www.fcgov.com/benchmarking-map).
In the second year of the program’s phased implementation, 523 out of 853 buildings have
voluntarily complied ahead of the March 1, 2022, reporting deadline.
The Ordinance being considered in this agenda item amends City Code sections related to the
BEWS program to align with new State of Colorado legislation and to improve the efficiency of
administration. The ordinance does not add any new requirements for building owners.
1. How many buildings will be affected by this ordinance?
The Agenda Item summary cites approx. 2,700 commercial and multifamily buildings in error.
Starting June 1, 2022, approx. number is closer to ~1,600 covered buildings greater than 5,000
square feet (including multifamily and commercial) will be required to report data. Rowhouses
and townhomes are administratively excluded from the program requirements. The covered
buildings list represents 30 percent of the total square footage of buildings across the City’s
built environment and 53 percent of the total electricity delivered by Fort Collins Utilities.
The existing ordinance language highlights an initial phased implementation for buildings
required to submit an annual report. The phased implementation assisted City staff in
communicating with and educating all impacted stakeholders to operationalize the new
requirements. The chart below highlights the total number of covered buildings impacted by
the phased implementation:
Sector/ Year 2020 2021 2022 2023
Commercial 347 765 1,198 1,223
Multifamily - 88 180 377
Total 347 853 1,378 1,600
Buildings reporting for the first time are provided an initial 12-month grace period from the
reporting deadline which is highlighted by the program’s administrative rules and posted to the
City’s website (www.fcgov.com/bews/admin-rules).
2. What is the cost to businesses to assemble this reporting?
The State of Colorado Statute requires a $100 fee for buildings greater than 50,000 SF. The
City of Fort Collins does not require a reporting fee for the program. Building owners have
expressed the largest cost of compliance being related to the time commitment need to
complete the steps highlighted on the BEWS How to Guide. Free of charge, covered building
owners may call, email, or schedule an appointment with a BEWS Help Center to assist with
technical questions related to the reporting requirements (www.fcgov.com/BEWS-Help).
During the high call volume, the Help Center may answer an average of 25 calls per day and
approx. 2,500 emails per month. Through the Help Center, an owner may optionally choose to
make a $800 direct payment to complete the required benchmarking and reporting outlined in
§12-203 of the Code. The Help Center staff is available to support each step of the How to
Guide to assist a covered building owner.
The EPA estimates that setting up a building to benchmark using the Portfolio Manager takes
four hours per building; and, on average, benchmarked buildings reduce their energy
consumption by 2.4% annually. Several large building management companies (CBRE,
Cushman Wakefield, JLL, etc) have adjusted their national operations to comply with local
jurisdictions which require benchmarking. The industry is beginning to systematically recognize
the value of ENERGY STAR and energy use index (EUI) as key performance indicators used
to assess the investment potential prior to a building’s purchase. Similar policies around the
country, and Colorado’s new Statute are creating an expectation in the market for this
information (buildingrating.org).
3. Is this information not already kept by Utilities?
No. Fort Collins Utilities only has access to customer usage data for electric and water usage.
The BEWS program requires aggregated whole-building benchmarking data including the total
energy consumption data for an entire building. This includes natural gas data provided by
Xcel Energy and contract gas providers governed by the State of Colorado PUC Rule 3039.
4. Why was the prohibition for a required minimum Energy Star score placed in the
original Code?
The prohibition on a minimum score was initially placed in Code to emphasize the initial
program focus on building performance information availability, credibility, and transparency.
This prohibition was specific to non-City owned buildings and prior to HB 21-1286
considerations. This Code update restores part of the original intent by including building
performance standards for City owned buildings as a way to lead by example.
5. If state is only requiring reporting for buildings over 50,000 sq. ft why are we
requiring reporting for over 5000 sq. ft?
As adopted in 2018, the BEWS program requires building greater than 5,000 square feet. The
building sizes and types of the BEWS program were the result of an extensive 2-year
engagement process with local stakeholders. The current covered buildings are also reflective
of Fort Collins building stock with a predominance of smaller buildings. HB21-1286 does not
supersede or preempt Fort Collins local benchmarking requirements.
6. Are the Energy Board minutes for this discussion available?
Draft Energy Board minutes from December are attached.
CC Cyril Vidergar, Assistant City Attorney
Brian Tholl, Energy Services Supervisor
Katherine Bailey, Program Specialist
ENERGY BOARD
REGULAR MEETING – DRAFT – ABRIDGED FOR BUILDING ENERGY
WATER SCORING UPDATE
December 9, 2021 – 5:30 pm
Remote – Zoom
ROLL CALL
Board Members Present: Bill Becker, Jeremy Giovando, Alan Braslau, John Fassler
Board Members Absent: Steve Tenbrink, Dan Gould, Marge Moore,
OTHERS PRESENT
Staff Members Present: Christie Fredrickson, Adam Bromley, Cyril Vidergar, Adelle McDaniel, Honore
Depew, Kirk Longstein, Aaron Iverson, Courtney Geary, Melinda Dempsey, Drew Brooks, Brian Tholl,
Councilmember Tricia Canonico
Members of the Public: Devin Moore
MEETING CALLED TO ORDER
Chairperson Becker called the meeting to order at 5:33 pm
BUILDING ENERGY WATER SCORING LANGUAGE UPDATE
Kirk Longstein, Energy Services Project Manager
(attachments available upon request)
Building Energy and Water Scoring (BEWS) was adopted by City Council in December 2018. BEWS
requires benchmarking and transparency using the Energy Star Portfolio Manager tool for both
commercial and multifamily buildings greater than 5,000 square feet.
The City’s code began with phased implementation starting with larger buildings and will continue
downward toward smaller-sized buildings, which encompasses about 2,000 buildings in total. The first
reports were submitted March 1, 2020 and allowed for a 12-month grace period (due to COVID-19).
The City will be updating the Code language for this program to align better with a new state statute, HB
21-1286. The Code updates to the program include the following: Removing code language that prevents
future City Councils from exploring minimum Energy Star score for non-City-owned buildings; establishes
that the City manager will set BPS (Building Performance Standards) requirements by December 31,
2022 for its City-owned facilities in alignment with HB-1286; align reporting deadline to June 1; remove
requirement phasing (all buildings must begin reporting June 1, 2022); and create administrative rules for
local program alignment with the state statute.
BPS sets final, long-term standards or target for each building type; each building type, such as office,
retail, mix-use, etc., will have different targets and standards. Buildings have individual trajectories with
interim standards to check progress. Every five years, properties are evaluated to see if they are meeting
their interim targets.
Mr. Longstein explained on May 17, the federal government issued an Executive Order directing all
Federal Buildings to begin exploring BPS. On October 4, The White House Council on Environmental
Quality extended a formal invitation to participate in a national coalition of mayors and governors to
commit to adopting local building performance standards, with a goal of adopting BPS by Earth Day, April
22nd, 2024. Mayor Arndt has signaled interest in participating in the program.
At the state level, HB 21-1286 commits to BPS for buildings greater than 50,000 square feet by 2026. The
ENERGY BOARD
REGULAR MEETING
Colorado Energy Office has convened a task force to develop BPS recommendations to meet sector-wide
greenhouse gas (GHG) reduction targets of 7% by 2026 and 20% by 2030 from a 2021 baseline. These
targets align with the state’s Greenhouse Gas roadmap. Mr. Longstein is an appointed member of the
task force, which is scheduled to convene through October 2022.
Board member Fassler said his general philosophy is to get to the highest standard possible, as we know
buildings in general, but especially commercial buildings, are huge source of greenhouse gas emissions.
Mr. Longstein asked the Board to consider if the local programs size requirements (down to 5,000 square
feet) is an appropriate size level. There are about 250 buildings that would fall into that threshold, so
having community dialog around this would be helpful to staff.
Chairperson Becker wondered if building owners will feel that this program is a burden. Mr. Longstein
said it is an investment, all the efficiency measures that are currently incentivized would encourage these
types of improvements in commercial buildings. Mr. Longstein added that this program really impacts
building owners (rather than tenants) and addresses the split incentive within the commercial space.
Ensuring that tenants have the utility bill information before leasing the space provides an additional
decision point for them, it also helps them to plan better operations & maintenance budgets, rather than
just base-rent costs.
Board member Fassler wondered how a new building (shown on the map) could already be out of
compliance. Mr. Longstein clarified that if a new building received a certificate of occupancy within the
year that benchmarking is required, that building would be exempt from reporting. The building needs to
have a year of occupancy before they can report. Mr. Tholl added out of compliance language on the
map also indicates that they out of compliance with the ordinance (i.e., reporting), not necessarily poor
performance.
Chairperson Becker asked how the Board can provide guidance to staff for this program. Mr. Longstein
said this group can help inform the broader alignment to the City’s emission-free climate goals through
Our Climate Future, as well as feedback around if this is the right time and the right approach. He hopes
he can check back in with the Board as new information is released and progress is made. Mr. Tholl
asked the Board to consider if the City should accelerate beyond the state’s timeline and create
something that is Fort Collins specific, or should the state pave the way. This could be an opportunity to
lead, but there will also be places where staff could get tangled and tied up, so they would appreciate any
feedback or thoughts as things are progressing.
Board member Fassler said it seems like an opportunity to identify the City’s biggest users and the
biggest priorities and wondered if there is a plan to identify the worst building in the City and heavily
incentivize them to make the changes. Mr. Longstein said that is a good point, and other utilities seem to
be catching up to that idea as well. The City has not had an opportunity to do that yet, but the program
was never intended to be a public shaming either.