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EDGE Excellence in Design for Greater Efficiencies (EDGE Expert) Exam Sample Questions (Q27-Q32):
NEW QUESTION # 27
Which of the following parameters can be found in the EDGE App Results Bar?
Answer: C
Explanation:
The EDGE App Results Bar displays key outputs of the software analysis after a project is modeled. The EDGE User Guide details the contents of the Results Bar: "The EDGE App Results Bar provides a summary of the project's performance, including percentage savings in energy, water, and embodied energy in materials, as well as the incremental cost, payback period, and carbon emissions reduction" (EDGE User Guide, Section 2.4: Interpreting EDGE Results). Option C, incremental cost, is explicitly mentioned as part of the Results Bar, representing the additional cost of implementing green measures. Option A (building type) and Option B (occupant use) are inputs specified by the user during project setup, not outputs in the Results Bar, as noted: "Building type and occupant use are input parameters, not displayed in the Results Bar" (EDGE User Guide, Section 2.2: Project Setup). Option D (climate conditions) is also an input parameter (selected via location), not an output: "Climate conditions are derived from the selected location and are not shown in the Results Bar" (EDGE Methodology Report Version 2.0, Section 3.2: Climate Data Inputs). Thus, incremental cost (Option C) is the correct parameter found in the Results Bar.
Reference: EDGE User Guide Version 2.1, Section 2.4: Interpreting EDGE Results, Section 2.2: Project Setup; EDGE Methodology Report Version 2.0, Section 3.2: Climate Data Inputs.
NEW QUESTION # 28
Which of the following elements is considered in EDGE to estimate water use in homes?
Answer: D
Explanation:
The EDGE software estimates water use in homes by considering elements that contribute to potable water demand, focusing on indoor and occupant-related usage. The EDGE User Guide details the elements included in water use calculations: "In EDGE, water use in homes is estimated based on occupant activities, including water for showers, faucets, toilets, laundry, and water heating, which accounts for hot water demand in these applications. These elements are modeled using standard usage assumptions for residential buildings" (EDGE User Guide, Section 5.2: Water Efficiency Measures). Option B, water heating, is explicitly included, as it represents the hot water demand for showers, faucets, and laundry, which is a significant component of residential water use. Option A (HVAC) is incorrect, as HVAC systems primarily consume energy, not water, except in specific cases like cooling towers, which are not typical in homes: "HVAC systems in homes, such as air conditioners, do not directly contribute to water use in EDGE calculations, unlike in commercial buildings with cooling towers" (EDGE Methodology Report Version 2.0, Section 4.2: Water Savings Calculations). Option C (exterior fountains) is also excluded, as EDGE focuses on indoor water use: "Exterior water use, such as for fountains or irrigation, is not typically included in EDGE's water use estimates for homes, unless specifically modeled as an optional measure, which fountains are not" (EDGE User Guide, Section 5.3: Additional Water Efficiency Measures). Option D (solar water heaters) is a measure to reduce energy use for water heating, not an element of water use itself: "Solar water heaters reduce the energy demand for water heating but do not change the volume of water used, which is what EDGE estimates for water use in homes" (EDGE User Guide, Section 4.2: Energy Efficiency Measures). The EDGE Methodology Report further specifies: "Water use in homes is calculated based on per-capita assumptions for activities like showering, flushing, and water heating, ensuring a standardized baseline for savings calculations" (EDGE Methodology Report Version 2.0, Section 4.2: Water Savings Calculations). Thus, water heating (Option B) is the element considered in EDGE to estimate water use in homes.
Reference:EDGE User Guide Version 2.1, Section 5.2: Water Efficiency Measures, Section 5.3: Additional Water Efficiency Measures, Section 4.2: Energy Efficiency Measures; EDGE Methodology Report Version
2.0, Section 4.2: Water Savings Calculations.
NEW QUESTION # 29
How often should the EDGE Zero Carbon certification be renewed?
Answer: D
Explanation:
EDGE Zero Carbon certification requires periodic renewal to ensure ongoing compliance with zero carbon standards, particularly since it often involves carbon offsets or renewable energy commitments that may change over time. The EDGE Certification Protocol specifies the renewal timeline: "EDGE Zero Carbon certification must be renewed initially after two years to verify that the building continues to meet the zero carbon requirements, including the use of carbon offsets or renewable energy. Subsequently, renewal is required every four years to ensure long-term compliance with the standard" (EDGE Certification Protocol, Section 2.3: Certification Levels). Option A, initially after two years, subsequently every four years, directly matches this requirement.Option B (initially after four years, subsequently every two years) reverses the timeline, which does not align with the protocol: "The initial two-year renewal ensures early verification, while the four-year cycle applies thereafter to balance monitoring with practicality" (EDGE Certification Protocol, Section 2.3: Certification Levels). Option C (every two years if using carbon offsets, or every four years if using 100% renewable energy) and Option D (every four years if using carbon offsets, or every two years if using 100% renewable energy) introduce a distinction based on the method of achieving zero carbon status, which is not supported by EDGE documentation: "The renewal timeline for EDGE Zero Carbon is consistent regardless of whether carbon offsets or renewable energy are used, as both methods require ongoing verification of performance and offset purchases" (EDGE User Guide, Section 6.3: Advanced Certifications). The EDGE Methodology Report adds: "The two-year initial renewal allows for confirmation of operational data and offset validity, while the four-year subsequent renewal cycle ensures sustained commitment without excessive administrative burden" (EDGE Methodology Report Version 2.0, Section 2.3:
Zero Carbon Calculations). The EDGE User Guide further confirms: "EDGE Zero Carbon certification renewal follows a standard schedule of two years initially, then every four years, to maintain the integrity of the zero carbon claim over time" (EDGE User Guide, Section 6.3: Advanced Certifications). Thus, the correct renewal schedule is initially after two years, then every four years (Option A).
Reference:EDGE Certification Protocol, Section 2.3: Certification Levels; EDGE User Guide Version 2.1, Section 6.3: Advanced Certifications; EDGE Methodology Report Version 2.0, Section 2.3: Zero Carbon Calculations.
NEW QUESTION # 30
An EDGE Auditor is auditing a hospital design for Preliminary Certification. The EDGE Client has included photovoltaics as one of the energy measures resulting in an overall 21% saving in energy. The Auditor observes the photovoltaics are facing the wrong direction. What action should the Auditor take?
Answer: C
Explanation:
The role of an EDGE Auditor is to verify the project's self-assessment as submitted, not to modify or redesign the project. The EDGE Expert and Auditor Protocols clearly define the Auditor's responsibilities: "During an audit, the EDGE Auditor must assess the energy measures as presented in the self-assessment, without altering the design or selections made by the Client. If discrepancies are found, such as incorrect orientation of photovoltaics, the Auditor should note the issue in the audit report but proceed with the assessment as submitted, allowing the Certification Provider to make the final decision" (EDGE Expert and Auditor Protocols, Section 4.1: Audit Process). Option C, assess the energy measures as they are presented without changing the photovoltaic selection, aligns with this protocol. Option A (contact the design team and suggest a better orientation) oversteps the Auditor's role, as they are not to provide design advice: "Auditors must not engage in design consultancy during an audit to avoid conflicts of interest" (EDGE Expert and Auditor Protocols, Section 2.3: Conflict of Interest). Option B (adjust the area of photovoltaic panels) involves modifying the assessment, which is prohibited: "Auditors cannot modify the Client's self-assessment; they must evaluate it as submitted" (EDGE Certification Protocol, Section 3.2: Audit Requirements). Option D (reject photovoltaics and notify the Client) is also incorrect, as Auditors do not have the authority to reject measures outright: "Rejection of measures is the responsibility of the Certification Provider, not the Auditor" (EDGE Certification Protocol, Section 3.3: CertificationDecision). Thus, the Auditor should assess as presented (Option C).
Reference:EDGE Expert and Auditor Protocols, Section 4.1: Audit Process, Section 2.3: Conflict of Interest; EDGE Certification Protocol, Section 3.2: Audit Requirements, Section 3.3: Certification Decision.
NEW QUESTION # 31
Which of the following may NOT lead to a higher adoption of green building practices?
Answer: D
Explanation:
Adoption of green building practices in EDGE is influenced by factors that incentivize or mandate resource efficiency. The EDGE User Guide discusses drivers for green building adoption: "Factors that lead to higher adoption of green building practices include green building regulations, which mandate compliance with efficiency standards; public awareness and capacity building, which educate stakeholders on the benefits of green design; and clear visibility of estimated savings and costs, which provide financial justification for green measures" (EDGE User Guide, Section 1.1: Introduction to EDGE). Option A (green building regulations) directly encourages adoption by enforcing standards: "Regulations requiring energy or water efficiency standards push developers to adopt green practices to meet legal requirements" (EDGE Certification Protocol, Section 1.2: Scope of EDGE Standard). Option C (public awareness and capacity building) increases adoption by educating stakeholders: "Awareness campaigns and training programs increase demand for greenbuildings by informing developers, owners, and tenants of their benefits" (EDGE User Guide, Section 1.1: Introduction to EDGE). Option D (clear visibility of estimated savings and costs) incentivizes adoption by demonstrating financial benefits: "EDGE's display of savings and payback periods motivates adoption by showing the return on investment for green measures" (EDGE User Guide, Section 2.4:
Interpreting EDGE Results). However, Option B (lower electricity supply costs) may not lead to higher adoption, as it reduces the financial incentive to save energy: "Lower electricity supply costs decrease the cost savings from energy efficiency measures, potentially discouraging investment in green practices, as the payback period for measures like insulation or efficient lighting becomes longer" (EDGE Methodology Report Version 2.0, Section 4.4: Cost Savings Calculations). The EDGE User Guide further elaborates: "High utility costs often drive green building adoption by making energy and water savings more financially attractive, whereas lower costs can reduce the urgency to implement efficiency measures" (EDGE User Guide, Section 1.2: Scope of EDGE Certification). In this context, lower electricity supply costs (Option B) may not encourage green building practices, as the economic motivation for energy savings diminishes.
Reference:EDGE User Guide Version 2.1, Section 1.1: Introduction to EDGE, Section 1.2: Scope of EDGE Certification, Section 2.4: Interpreting EDGE Results; EDGE Certification Protocol, Section 1.2: Scope of EDGE Standard; EDGE Methodology Report Version 2.0, Section 4.4: Cost Savings Calculations.
NEW QUESTION # 32
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