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EDGE Excellence in Design for Greater Efficiencies (EDGE Expert) Exam Sample Questions (Q49-Q54):
NEW QUESTION # 49
An EDGE Auditor has received initial documentation from a Client which implies that measures not selected on the downloaded PDF can be claimed. What should the Auditor do?
Answer: C
Explanation:
The EDGE audit process requires that the documentation submitted by the Client accurately reflects the self- assessment in the EDGE software, ensuring consistency and transparency. The EDGE Expert and Auditor Protocols address discrepancies in documentation: "If an EDGE Auditor identifies a discrepancy between the submitted documentation and the self-assessment PDF, such as measures being claimed that were not selected in the EDGE software, the Auditor must inform the Client to update the EDGE software to reflect the correct measures and prepare a new PDF for submission. This ensures that the audit is based on an accurate representation of the project's claims" (EDGE Expert and Auditor Protocols, Section 4.2: Evidence Verification). Option C, inform the Client to update the EDGE software and prepare a new PDF, directly aligns with this protocol, as it corrects the error at the source and ensures the self-assessment matches the claimed measures. Option A (ask for advice from the EDGE Partner) is unnecessary, as the protocol provides clear guidance: "Auditors are expected to follow standard procedures for discrepancies without needing to consult the EDGE Partner, unless the issue involves a policy interpretation beyond the protocols" (EDGE Expert and Auditor Protocols, Section 4.1: Audit Process). Option B (modify the self-assessment and submit) is unethical and prohibited, as Auditors cannot alter the Client's submission: "The Auditor must not modify the Client's self-assessment in the EDGE software, as this compromises the independence of the audit process; the Client is responsible for updating the assessment" (EDGE Certification Protocol, Section 3.2:
Audit Requirements). Option D (ignore the error on PDF) is also incorrect, as ignoring discrepancies violates audit integrity: "All discrepancies between the PDF and submitted documents must be resolved before the audit proceeds, as ignoring errors could lead to incorrect certification outcomes" (EDGE Expert and Auditor Protocols, Section 4.2: Evidence Verification). The EDGE User Guide further reinforces: "The self- assessment PDF must accurately reflect the measures selected in the EDGE software, and any mismatch requires the Client to revise the assessment to ensure a fair and transparent audit" (EDGE User Guide, Section
6.2: Documentation Requirements). Thus, the Auditor should inform the Client to update the software and prepare a new PDF (Option C).
Reference:EDGE Expert and Auditor Protocols, Section 4.2: Evidence Verification, Section 4.1: Audit Process; EDGE Certification Protocol, Section 3.2: Audit Requirements; EDGE User Guide Version 2.1, Section 6.2: Documentation Requirements.
NEW QUESTION # 50
Which of the following is an EDGE measure to reduce the embodied energy in materials?
Answer: D
Explanation:
Embodied energy in materials is one of the three core pillars of the EDGE standard, focusing on reducing the environmental impact of construction materials. The EDGE User Guide lists measures that specifically target embodied energy: "To reduce embodied energy in materials, EDGE includes measures such as the use of fly ash concrete, which substitutes a portion of cement with fly ash, a byproduct of coal combustion, thereby lowering the embodied energy and carbon footprint of concrete production" (EDGE User Guide, Section 7.2:
Materials Efficiency Measures). Option B, fly ash concrete, directly aligns with this measure, as it reduces the need for high-energy cement production. Option A (external shading) impacts energy by reducing cooling loads but does not directly address embodied energy: "External shading reduces operational energy use but does not contribute to embodied energy savings unless the shading materials themselves are low-impact, which is not specified in EDGE" (EDGE User Guide, Section 3.5: Passive Design Strategies). Option C (occupancy sensors) is an energy efficiency measure for lighting, not materials: "Occupancy sensors reduce lighting energy use but have no direct impact on embodied energy in materials" (EDGE User Guide, Section
4.4: Lighting Efficiency Measures). Option D (low-flow shower heads) targets water efficiency, not materials:
"Low-flow shower heads reduce water consumption, but their embodied energy impact is minimal and not a focus of EDGE materials measures" (EDGE User Guide, Section 5.2: Water Efficiency Measures). The EDGE MethodologyReport further elaborates: "Fly ash concrete can reduce embodied energy by up to 20% compared to traditional concrete, making it a key measure in EDGE for materials efficiency, especially in high-volume applications like hospitals or hotels" (EDGE Methodology Report Version 2.0, Section 6.1:
Embodied Energy in Materials). Other materials measures in EDGE, such as using recycled steel or bamboo, are not listed among the options, making fly ash concrete (Option B) the correct choice for reducing embodied energy.
Reference:EDGE User Guide Version 2.1, Section 7.2: Materials Efficiency Measures, Section 3.5: Passive Design Strategies, Section 4.4: Lighting Efficiency Measures, Section 5.2: Water Efficiency Measures; EDGE Methodology Report Version 2.0, Section 6.1: Embodied Energy in Materials.
NEW QUESTION # 51
How often should the EDGE Zero Carbon certification be renewed?
Answer: B
Explanation:
EDGE Zero Carbon certification requires periodic renewal to ensure ongoing compliance with zero carbon standards, particularly since it often involves carbon offsets or renewable energy commitments that may change over time. The EDGE Certification Protocol specifies the renewal timeline: "EDGE Zero Carbon certification must be renewed initially after two years to verify that the building continues to meet the zero carbon requirements, including the use of carbon offsets or renewable energy. Subsequently, renewal is required every four years to ensure long-term compliance with the standard" (EDGE Certification Protocol, Section 2.3: Certification Levels). Option A, initially after two years, subsequently every four years, directly matches this requirement.Option B (initially after four years, subsequently every two years) reverses the timeline, which does not align with the protocol: "The initial two-year renewal ensures early verification, while the four-year cycle applies thereafter to balance monitoring with practicality" (EDGE Certification Protocol, Section 2.3: Certification Levels). Option C (every two years if using carbon offsets, or every four years if using 100% renewable energy) and Option D (every four years if using carbon offsets, or every two years if using 100% renewable energy) introduce a distinction based on the method of achieving zero carbon status, which is not supported by EDGE documentation: "The renewal timeline for EDGE Zero Carbon is consistent regardless of whether carbon offsets or renewable energy are used, as both methods require ongoing verification of performance and offset purchases" (EDGE User Guide, Section 6.3: Advanced Certifications). The EDGE Methodology Report adds: "The two-year initial renewal allows for confirmation of operational data and offset validity, while the four-year subsequent renewal cycle ensures sustained commitment without excessive administrative burden" (EDGE Methodology Report Version 2.0, Section 2.3:
Zero Carbon Calculations). The EDGE User Guide further confirms: "EDGE Zero Carbon certification renewal follows a standard schedule of two years initially, then every four years, to maintain the integrity of the zero carbon claim over time" (EDGE User Guide, Section 6.3: Advanced Certifications). Thus, the correct renewal schedule is initially after two years, then every four years (Option A).
Reference:EDGE Certification Protocol, Section 2.3: Certification Levels; EDGE User Guide Version 2.1, Section 6.3: Advanced Certifications; EDGE Methodology Report Version 2.0, Section 2.3: Zero Carbon Calculations.
NEW QUESTION # 52
The Base Case for utility costs:
Answer: D
Explanation:
In EDGE, the Base Case is a standardized benchmark used to calculate utility cost savings, reflecting typical resource consumption for a building in its location and typology. The term "virtual energy" in EDGE refers to the energy required for heating, cooling, lighting, and other systems, modeled as if the building operates under typical conditions without efficiency measures. The EDGE User Guide explains how utility costs are calculated: "The Base Case for utility costs includes the cost of virtual energy, which represents the modeled energy consumption for the building type in the absence of efficiency measures, alongside water consumption, using localtariffs to estimate financial impacts" (EDGE User Guide, Section 2.3: Using the EDGE App). Option B, includes the cost of virtual energy, aligns with this approach, as the Base Case accounts for all modeled energy use to establish a baseline for savings. Option A (excludes the cost of virtual energy) is incorrect, as virtual energy is a core component of the Base Case: "Virtual energy in EDGE is the theoretical energy use calculated for the Base Case, including heating, cooling, and lighting, and its cost is always included in utility cost calculations" (EDGE Methodology Report Version 2.0, Section 4.4: Cost Savings Calculations). Option C (excludes the cost of virtual energy only in homes) and Option D (includes the cost of virtual energy only in homes) are also incorrect, as the treatment of virtual energy is consistent across all typologies: "The Base Case methodology, including the inclusion of virtual energy costs, applies uniformly to all building types in EDGE, whether homes, hotels, or offices, to ensure a fair comparison of savings" (EDGE User Guide, Section 2.3: Using the EDGE App). The EDGE Methodology Report further clarifies: "Utility costs in the Base Case are derived from virtual energy and water consumption, reflecting typical usage patterns for the building type and location, ensuring that savings calculations are comprehensive and include all relevant energy demands" (EDGE Methodology Report Version 2.0, Section 4.4: Cost Savings Calculations). This consistent inclusion of virtual energy costs across all typologies makes Option B the correct answer.
Reference:EDGE User Guide Version 2.1, Section 2.3: Using the EDGE App; EDGE Methodology Report Version 2.0, Section 4.4: Cost Savings Calculations.
NEW QUESTION # 53
What is the minimum percentage of efficient lightbulbs that must be installed to claim the measure EEM22 - Efficient Lighting for Internal Areas?
Answer: B
Explanation:
The EDGE measure EEM22 - Efficient Lighting for Internal Areas focuses on reducing energy consumption through the use of efficient lighting. The EDGE User Guide specifies the requirements for this measure: "To claim EEM22 - Efficient Lighting for Internal Areas, at least 90% of the lamps in internal areas must be energy-efficient, such as LED or CFL, with a luminous efficacy of at least 80 lumens per watt. This threshold ensures significant energy savings while allowing for minimal exceptions in specific areas" (EDGE User Guide, Section 4.4: Lighting Efficiency Measures). Option C, 90%, directly matches this requirement. Option A (70%) and Option B (80%) are below the threshold, thus not qualifying for the measure. Option D (100%) exceeds the minimum requirement, but EDGE allows for flexibility with a 90% threshold to accommodate practical constraints: "A 90% requirement balances practicality with energy savings, recognizing that some areas may require specialized lighting" (EDGE Methodology Report Version 2.0, Section 5.4: Lighting Calculations). Therefore, the minimum percentage to claim EEM22 is 90% (Option C).
Reference:EDGE User Guide Version 2.1, Section 4.4: Lighting Efficiency Measures; EDGE Methodology Report Version 2.0, Section 5.4: Lighting Calculations.
NEW QUESTION # 54
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