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NEW QUESTION # 70
A high-hazard occupancy less than 200 ft² (18.6 m) in size, and with an occupant load not exceeding three, requires a second means of egress when the travel distance is greater than:
Answer: A
Explanation:
According to NFPA 101, Life Safety Code, Section 7.4.1, travel distance requirements determine when a second means of egress is necessary for small high-hazard occupancies:
For high-hazard occupancies less than 200 ft² with an occupant load of 3 or fewer, a second means of egress is required if the travel distance exceeds 20 ft (6 m).
This distance allows safe evacuation while minimizing exposure to hazardous conditions.
10 ft (A) and 15 ft (B): These distances are too restrictive based on NFPA 101.
25 ft (D): This exceeds the allowable limit.
Reference:
NFPA 101, Section 7.4.1: Means of egress requirements for small high-hazard occupancies.
NEW QUESTION # 71
In a new assembly occupancy, what is the maximum aggregate area of acoustical and decorative materials used on floor and wall areas the AHJ may approve?
Answer: B
Explanation:
Comprehensive and Detailed Step-by-Step Explanation:
Acoustical and Decorative Materials Limit:
According to NFPA 101 (Life Safety Code), Section 12.3.3.3, in new assembly occupancies, the maximum aggregate area of acoustical and decorative materials on floor and wall surfaces shall not exceed 20 percent of the surface area.
Why the 20% Limit Exists:
Decorative and acoustical materials can increase fire load and contribute to fire spread. Limiting their area ensures fire safety while accommodating aesthetics and functionality.
Other Options Explained:
Option A (10 percent): Too restrictive for the standard.
Option C (30 percent) and Option D (50 percent): Exceed the maximum allowed by NFPA 101.
Summary:
In a new assembly occupancy, the maximum aggregate area of acoustical and decorative materials allowed is 20 percent.
NEW QUESTION # 72
Prior to conducting a fire flow test of a water distribution system, a responsible person from what department should be notified?
Answer: A
Explanation:
Comprehensive and Detailed Step-by-Step Explanation:
Fire Flow Tests:
Fire flow tests are conducted to determine the available water supply for firefighting and to ensure water distribution systems meet fire protection requirements.
Who Should Be Notified:
According to NFPA 291 (Recommended Practice for Fire Flow Testing and Marking of Hydrants), the water department must be notified prior to conducting fire flow tests.
This is because the water department oversees the water distribution system and needs to monitor for any disruptions, water loss, or pressure changes caused by the test.
Other Options Explained:
Option A (Fire department): Fire departments conduct or participate in the tests but do not need to be the primary department notified.
Option B (Highway department): Not involved in water system management.
Option D (Health department): Concerned with water quality, not water flow or system capacity.
Summary:
The water department must be notified prior to a fire flow test to ensure proper coordination and monitoring of the water distribution system.
NEW QUESTION # 73
How long should records of inspections be maintained?
Answer: A
Explanation:
Comprehensive and Detailed Step-by-Step Explanation:
Retention of Inspection Records:
Per NFPA 1 (Fire Code), Section 1.7.4.3, inspection records must be maintained for as long as the facility or building remains in the jurisdiction.
This ensures historical data and accountability are available for review during subsequent inspections, audits, or legal matters.
Why "As Long as the Facility Remains" is Required:
Maintaining records ensures compliance verification, tracks violations, and provides a reference for future inspectors or AHJs.
Other Options Explained:
Option A: Subjective and does not align with code requirements.
Option B: Violations may be corrected, but records must still be maintained.
Option C: Occupancy changes do not nullify the need for record retention.
Summary:
Inspection records must be maintained as long as the facility or building remains in the jurisdiction to comply with NFPA requirements.
NEW QUESTION # 74
A highly volatile liquid is best described as having a boiling point of
Answer: C
Explanation:
Comprehensive and Detailed Step-by-Step Explanation:
Definition of Highly Volatile Liquids:
A highly volatile liquid is defined as a liquid with a low boiling point, meaning it evaporates quickly and can create hazardous vapor concentrations.
Per NFPA 30 (Flammable and Combustible Liquids Code):
Liquids with a boiling point below 68°F (20°C) are considered highly volatile.
Why 68°F (20°C) Matters:
Liquids with such a low boiling point vaporize readily at room temperature, posing significant fire and explosion hazards.
Other Options Explained:
Option B (70°F), Option C (100°F), and Option D (Greater than 212°F):
These values correspond to less volatile or moderately volatile liquids.
Summary:
A highly volatile liquid is one with a boiling point less than 68°F (20°C) due to its rapid evaporation and fire risk.
NEW QUESTION # 75
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