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Do additional bathrooms need to be accessible if accessible bathrooms already exist?

jar546

CBO
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Oct 16, 2009
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Not where I really want to be
According to the 2018 IBC Section 1109.2, all toilet rooms and bathing rooms must be accessible. This requirement applies not only to the necessary plumbing facilities, but also extends to any additional restrooms provided. Each additional restroom is typically required to be accessible, not just those that are mandatory. There are specific exceptions outlined in Section 1109.2, but outside of these, both supplementary and convenience facilities must meet accessibility standards. Moreover, even areas that are not accessible by an accessible route must still provide accessible toilet, and bathing rooms. This inclusivity supports various individuals, including those with conditions like arthritis, who benefit from features such as grab bars and lever-handled faucets. This interpretation is relevant to the 2021 and 2024 versions of the IBC as well.
 
RE: ADA, not IBC
There was an interpretation from DOJ, stating NEW Toilet rooms, only accessible from private offices shall be adaptable, (not accessible), All other New Toilet rooms SHALL be accessible.
 
2010 ADAS specifically allows 50% of single user toilet rooms that are clustered together with to not be accessible (the other 50% that are clustered with the non-accessible single-user toilet rooms must be accessible though). IBC states the same (see 2024 IBC 1110.2 exception 3).
 
In the code All new elements are required to be accessible unless technically infeasible.
Mark, in the past you’ve been pretty diligent about providing specific code references. This time, you are not getting specific with any citations. You are using generalities like “There was an interpretation from DOJ”, and “in the code all new elements are required to be accessible”, with no chapter or verse.
1. Please provide specific reference or links to the specific DOJ interpretation/wording that backs up your assertion.
2. Please critique my earlier post/response to you on the other thread about how to read Division 2 scoping.
3. Please tell me if under your interpretation every toilet stall in every new restroom added to an existing building will need to be a min. 5’ wide ADA stall. You did say “ALL new elements”, right?
 
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Mark, in the past you’ve been pretty diligent about providing specific code references. This time, you are not getting specific with any citations. You are using generalities like “There was an interpretation from DOJ”, and “in the code all new elements are required to be accessible”, with no chapter or verse.
1. Please provide specific reference or links to the specific DOJ interpretation/wording that backs up your assertion.
2. Please critique my earlier post/response to you on the other thread about how to read Division 2 scoping.
3. Please tell me if under your interpretation every toilet stall in every new restroom added to an existing building will need to be a min. 5’ wide ADA stall. You did say “ALL new elements”, right?
when I get back in town I will look through the DOJ interpretations i have to find it, or you can go to the DOJ website and look up the interp's on alterations and new construction.
 
 
when I get back in town I will look through the DOJ interpretations i have to find it, or you can go to the DOJ website and look up the interp's on alterations and new construction.
I could be missing something, but I've been looking and nothing from any state or federal agency specifically requires all restrooms to comply with the technical requirements of Ch6 of ADAS. IBC has the 50% exception, as does ADAS. Here's what I've personally found so far:
  • The California Commission on Disability Access (an arm of the DGS) states that "All new construction and modifications to public accommodations and commercial facilities must be built in compliance with the ADA’s requirements for accessible design." This is specific to Title III entities. Since this does not specify the technical requirements and is simply pointing to the ADA in general, the scoping requirement apply. Therefore, the 50% exception applies (at least in California, which implies that it's allowed by the ADA). Source
  • 28 CFR § 35.151(a)(1) states that "Each facility or part of a facility constructed by, on behalf of, or for the use of a public entity shall be designed and constructed in such manner that the facility or part of the facility is readily accessible to and usable by individuals with disabilities, if the construction was commenced after January 26, 1992." This broadly points to ADAS and not a specific section or chapter. Therefor, the scoping requirements and applicable exceptions of ADAS Ch2 apply. If you follow the scoping requirements, not all restrooms need to be accessible.
  • Per the ada.gov website (source), you need to follow the 2010 standard at minimum. The scoping requirements of Ch2 are part of the 2010 standards. "If the start date for construction is on or after March 15, 2012, all newly constructed or altered State and local government facilities must comply with the 2010 Standards. Before that date, the 1991 Standards (without the elevator exemption), the UFAS, or the 2010 Standards may be used for such projects when the start of construction commences on or after September 15, 2010." Nothing here states that you ignore the scoping requirements and jump right to the technical requirements.
  • I was unable to find anything from the DOJ that states you should ignore the scoping requirements of Ch2. Everything I've found stated that you need to follow ADAS.
Yes, CFR does state that buildings and facilities shall be accessible. However, nothing seems to override the scoping requirements of Ch2. If Ch2 of ADAS determines what does and doesn't need to be accessible at a federal level, then wouldn't following Ch2 make a facility complaint with ADAS? If Ch2 can be ignored, then what's the point of Ch2?

I'll ask again since I didn't get a response on the other post. Why have that 50% exception in code if that doesn't apply to anything? That exception does not specify that it applies to only existing restroom or new restrooms, so it should apply to both new and existing restrooms.

Is it better design to have all restrooms be accessible? Of course! It is required? I'd argue no.

I am genuinely interested in the DOJ interpretations that you have that contractive what ADAS and IBC states. I'm looking forward to seeing what you have :). I'm a CASp, so if I'm wrong about that I'd like to know as this impacts my inspections... But I need something other than just your word to believe you.
 
when I get back in town I will look through the DOJ interpretations i have to find it, or you can go to the DOJ website and look up the interp's on alterations and new construction.
Didn't realize you were out of town. I couldn't find it on the DOJ's website, so I will await your return to get your specific citation.
Thanks!
 
Didn't realize you were out of town. I couldn't find it on the DOJ's website, so I will await your return to get your specific citation.
Thanks!
Talking to the DOJ
The interpretations for the 2004 ADAAG, are no longer Valid.
I was told to Use the Verbiage in the 2010 ADASAD
So based on that, 50% shall be accessible.


U.S. Department of Justice, Civil Rights Division
ADA Information Line
800-514-0301
 
As Jeff said, there are specific exemptions in 1109.2 or 1110.2 depending on how far behind CT you are...1 and 3 are the biggies:


1110.2 Toilet and Bathing Facilities

Diagram
Each toilet room and bathing room shall be accessible. Where a floor level is not required to be connected by an accessible route, the only toilet rooms or bathing rooms provided within the facility shall not be located on the inaccessible floor. Except as provided for in Sections 1110.2.4 and 1110.2.5, at least one of each type of fixture, element, control or dispenser in each accessible toilet room and bathing room shall be accessible.
Exceptions:
  1. Toilet rooms or bathing rooms accessed only through a private office, not for common or public use and intended for use by a single occupant, shall be permitted to comply with the specific exceptions in ICC A117.1.
  2. This section is not applicable to toilet and bathing rooms that serve dwelling units or sleeping units that are not required to be accessible by Section 1108.
  3. Where multiple single-user toilet rooms or bathing rooms are clustered at a single location, at least 25 percent but not less than one room for each use at each cluster shall be accessible.
  4. Where no more than one urinal is provided in a toilet room or bathing room, the urinal is not required to be accessible.
  5. Toilet rooms or bathing rooms that are part of critical care or intensive care patient sleeping rooms serving Accessible units are not required to be accessible.
  6. Toilet rooms or bathing rooms designed for bariatrics patients are not required to comply with the toilet room and bathing room requirement in ICC A117.1. The sleeping units served by bariatrics toilet or bathing rooms shall not count toward the required number of Accessible sleeping units.
  7. Where permitted in Section 1108, in toilet rooms or bathrooms serving Accessible units, water closets designed for assisted toileting shall comply with Section 1110.2.2.
  8. Where permitted in Section 1108, in bathrooms serving Accessible units, showers designed for assisted bathing shall comply with Section 1110.2.3.
  9. Where toilet facilities are primarily for children's use, required accessible water closets, toilet compartments and lavatories shall be permitted to comply with the children's provisions of ICC A117.1.
 
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