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NEW QUESTION # 99
What is the maximum amount of Class IC flammable liquid permitted to be stored in the basement of a building?
Answer: D
Explanation:
Comprehensive and Detailed Step-by-Step Explanation:
Storage of Flammable Liquids:
Per NFPA 30 (Flammable and Combustible Liquids Code), Section 9.4.1, Class IC flammable liquids are not permitted to be stored in basements due to fire and explosion risks.
Why 0 Gallons is the Limit:
Flammable liquids with low flash points present significant fire hazards in basements due to limited ventilation and difficulty accessing these areas during emergencies.
Other Options Explained:
Options B (16 gal), C (64 gal), and D (180 gal): NFPA 30 explicitly prohibits Class IC liquids in basements, so these are not allowed.
Summary:
The maximum amount of Class IC flammable liquid allowed in a basement is 0 gallons.
NEW QUESTION # 100
What is the maximum volume of Class I, Class II, and Class III A liquids allowed to be stored in an individual storage cabinet?
Answer: B
Explanation:
The maximum volume of flammable and combustible liquids permitted in an individual storage cabinet is addressed by NFPA 30, Flammable and Combustible Liquids Code. Specifically:
Class I liquids are flammable liquids with flashpoints below 100°F (37.8°C).
Class II and IIIA liquids are combustible liquids with higher flashpoints but still pose significant fire hazards when improperly stored.
According to NFPA 30, Section 9.5.2, the maximum allowable quantity of Class I, II, and IIIA liquids in a storage cabinet is 120 gallons (460 liters).
Why 120 gallons?
The 120-gallon limit is determined based on:
The need to minimize fire risk and contain potential ignition sources.
Storage cabinets are designed to limit vapor emissions and resist fire exposure for a minimum duration (e.g., 10 minutes per OSHA standards).
Additional Considerations:
Cabinets must meet construction requirements outlined in NFPA 30, Chapter 9 (e.g., self-closing doors, ventilation, and fire resistance).
Exceeding the 120-gallon limit would require additional fire safety measures or a different storage approach (e.g., a flammable liquid storage room).
Reference:
NFPA 30, Flammable and Combustible Liquids Code, Section 9.5.2
OSHA 1910.106(d)(3): Storage requirements for flammable and combustible liquids.
NEW QUESTION # 101
Emergency shutoff valves and internal valves that are fitted for remote closure for LP-Gas vehicle fuel dispensing shall be tested for proper operation at what interval?
Answer: D
Explanation:
Testing intervals for emergency shutoff valves and internal valves are specified in NFPA 58, Liquefied Petroleum Gas Code.
Annually (C): Proper operation of emergency shutoff and remote closure valves must be tested at least once per year to ensure functionality during emergencies.
Monthly (A) and Quarterly (B): More frequent testing is not required by NFPA 58 for these valves.
Biennially (D): Testing every two years exceeds the allowable interval.
Reference:
NFPA 58, Section 6.14.3: Maintenance and testing requirements for LP-Gas valves.
NEW QUESTION # 102
The ex officio member of a fire code board of appeals shall represent what stakeholder(s)?
Answer: C
Explanation:
The ex officio member of a fire code board of appeals typically represents the Authority Having Jurisdiction (AHJ). According to fire code principles:
The AHJ serves as an advisory member to provide expert guidance on fire codes and regulations but does not have voting authority.
Jurisdiction's legal counsel (B): May assist with legal advice but is not considered an ex officio member.
General public (C): Does not typically fulfill the role of an ex officio member.
Appellant (D): Represents the party challenging a decision, not an ex officio role.
Reference:
NFPA 1, Annex A.1.10: Guidelines for fire code board of appeals and ex officio roles
NEW QUESTION # 103
During an inspection, it is determined that the installation of a new suppression system is significantly different from the one approved during plans review. What action should be taken by the inspector?
Answer: D
Explanation:
When a significant deviation from the approved plans is discovered during an inspection, the appropriate action is to require a submittal of a set of corrected plans. This is necessary to ensure the system is reviewed and approved in compliance with the applicable codes and standards.
Issue a violation notice (A): While this may be a secondary step if the system does not meet code, it is not the first step when encountering unapproved changes.
Evaluate the installation for compliance (B): Inspectors cannot simply evaluate the installation without updated plans, as the plans serve as the approved baseline for design compliance.
Require corrected plans (C): This step ensures that the new design is documented, reviewed, and approved before proceeding. It maintains compliance with NFPA standards.
Indicate modifications on the approved plan (D): Altering plans without proper review is not acceptable and does not ensure the system meets the original intent.
Reference:
NFPA 1 and NFPA 13: Systems must comply with approved designs and significant changes require resubmittal for review.
NEW QUESTION # 104
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