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F I S C A L I M P A C T R E P O R T
SPONSOR Stewart
DATE TYPED 03/16/05 HB
151/aHBIC/aSCORC/a
SFL#1
SHORT TITLE Roof Water Collection Minimum Standards
SB
ANALYST McSherry
APPROPRIATION
Appropriation Contained Estimated Additional Impact Recurring
or Non-Rec
Fund
Affected
FY05
FY06
FY05
FY06
Indeterminate Recurring General Fund
(Parenthesis ( ) Indicate Expenditure Decreases)
SOURCES OF INFORMATION
LFC Files
Regulations and Licensing Department
SUMMARY
Synopsis of Senate Floor Amendment #1
Senate Floor Amendment #1 provides that
the proposed standards to be determined for the voluntary
collection of precipitation from roof surfaces by the general construction and mechanical bureaus would
be for new construction projects only.
Synopsis of SCORC Amendment
The Senate Corporations and Transportation Committee amendments to House Bill 151:
1)
On page 3 of the bill, replace the committee on concerns of the handicapped with the com-
mission on disability as the party receiving copies of orders and rules adopted by the con-
struction industries commission;
2)
On page 5 of the bill, strike the New Mexico Uniform Building Code, the New Mexico Elec-
trical Code, the New Mexico Plumbing Code and the Natural Gas Code of New Mexico and
replace it with the applicable New Mexico building codes adopted pursuant to the Construc-
tion Industries Licensing Act and the LPG and CNG Act in effect at the applicable time.
Synopsis of HBIC Amendment
House Business and Industry Committee amendment to House Bill 151 adds the word “construc-
tion” to specify that the minimum Construction Industry Commission required standards would
be established with regard the construction of the precipitation collection.
pg_0002
House Bill 151/aHBIC/aSCORC/aSFL#1 -- Page 2
Synopsis of Original Bill
This bill would require the general construction and mechanical bureaus of the Construction In-
dustries Division to recommend to the Construction Industries Commission minimum standards
for the voluntary collection of precipitation from roof surfaces.
Significant Issues
According to the Regulations and Licensing Department (RLD) the Construction Industries Di-
vision (CID) is responsible for establishing and enforcing minimum standards for construction.
The collection of rainwater would be voluntary, but should the decision for collection be made,
the regulations determined by the commission would be mandated for compliance with commis-
sion rules.
RLD predicts that significant staff time would be required to research standards and form rec-
ommendations proposed in HB 151, because such standards are not addressed in the plumbing or
construction codes currently adopted by the State.
PERFORMANCE IMPLICATIONS
RLD states that CID division staff would be required to research and develop standards, conduct
public hearings and conduct rulemaking to adopt such proposed standards regarding water col-
lection found in HB 151 and that the process would be time consuming.
FISCAL IMPLICATIONS
There is no appropriation contained in HB 151.
RLD asserts that rulemaking is an expensive process and that resources such as staff salaries, and
direct costs such as publication of notices, public hearing accommodations, per diem, and publi-
cation of the proposed rule in the Register would all be affected by the proposed House Bill 151.
ADMINISTRATIVE IMPLICATIONS
RLD asserts that the task of enforcing established building codes and related rules is demanding.
OTHER SUBSTANTIVE ISSUES
RLD states that standards for water collection from roofs are not within the expertise or experi-
ence of CID staff. RLD continues that, even in areas of its expertise, CID does not develop new
standards. According to the Department, by statute the Division is required to adopt standards
that have been developed and approved by nationally recognized standards associations ( NMSA
60-13-2 R.)
RLD asserts that CID’s technical staff is heavily burdened by the volume of work associated
with enforcement of its statutes and rules.
pg_0003
House Bill 151/aHBIC/aSCORC/aSFL#1 -- Page 3
ALTERNATIVES
According to RLD, CID would be happy to participate with other agencies and members of the
public in the process of developing guidelines for water collection, and once finalized, CID could
publish these guidelines for sale.
WHAT WILL BE THE CONSEQUENCES OF NOT ENACTING THIS BILL.
Voluntary water collection is not prohibited or regulated and collections could continue; state-
recognized standards, however, would still not exist.
According to RLD, to the extent that any such water collections system involves construction,
CID is already inspecting for code compliance.
Specific state sanctioned standards regarding construction criteria for water collection would not
exist in New Mexico.
EM/lg:njw:rs