As a CASp or Accessibility consultant, you probably find yourself navigating between the requirements of the ADA Standards, the California Building Code, and legislative requirements that impact how you may review or interpret specific conditions. For Example:
You are hired to review a public accommodation which provides one Male and one Female single user restroom, as required by the California Plumbing Code (Table 422.1 for reference).
You note that both restrooms (located next to each other) have accessibility deficiencies that will need to be repaired to meet the requirements of both the CBC and ADA Standards.
Specific to California, you observe Health and Safety Code Section 118600 which indicates all single-user toilet facilities in any business establishment, place of public accommodation, or state or local government agencies shall be identified as all-gender toilet facilities by signage that complies with Title 24 of the California Code of Regulations, and designated for use by no more than one occupant at a time or for family or assisted use.
Health and Safety Code Section 118600
You are also aware of 11B-213.2, Exception 4, which indicates where multiple single user toilet rooms are clustered at a single location, 50 percent, but no fewer than one, of the single user toilet rooms for each use at each cluster shall comply with Section 11B-603.
Your client asks for a recommendation on remediation for the restrooms. Do you:
- Observe the plumbing code first, and provide an accessible male and female single restroom, then apply the ‘All Gender’ Designation (Repair Both Restrooms)?
- Observe the mandate of providing ‘All Gender’ restrooms first, then modify one restroom to provide at least one (or 50%) accessible restroom per 11B-213.2 exception 4 (Repair One Restroom, and designate it with an ISA as the accessible restroom)?
- Other