New report examines rising arson risks in UK retail sector

Arson incidents increase across UK retail businesses

CheckFire Ltd has released a comprehensive report, The State of Arson 2024, focusing on the alarming rise of arson incidents affecting retail premises in the United Kingdom.

Data from the UK Home Office, as reported by CheckFire, indicates that over 190 deliberate fires were set in retail businesses in England by March 2024, underscoring the vulnerability of retail outlets, salons, and similar establishments to arson-related crimes.

These incidents have significant implications for businesses, often leading to substantial losses in stock and property, and sometimes causing permanent closures and job losses.

“Retail businesses face unique challenges when it comes to arson,” said Bruce Robins, director of CheckFire Ltd.

“The financial impact can be crippling, and the emotional toll on owners, employees, and customers cannot be underestimated.”

Insights and recommendations to prevent arson

The State of Arson 2024 report delivers targeted recommendations for reducing the risk of arson in retail environments.

It advises business owners to implement fire safety protocols, including installing fire alarms, securing premises with CCTV and access control systems, and ensuring that employees are trained to identify suspicious activities.

These precautions, alongside routine risk assessments, aim to minimise the likelihood of arson incidents and help businesses comply with the UK’s Regulatory Reform (Fire Safety) Order 2005.

Robins emphasised the importance of proactive measures in reducing risks, noting: “Our report provides critical insights into how retail premises can mitigate these risks and protect their livelihood from the catastrophic consequences of arson.”

Arson statistics and sector-specific data

The report highlights the increase in arson attacks across various sectors, with retail businesses being disproportionately affected.

This rise in incidents is backed by detailed statistics, offering a clearer picture of the challenges faced by UK retail establishments.

The report provides a comprehensive analysis of the current state of arson risks in the retail sector, enabling business owners to make informed decisions about fire safety.

Practical measures to enhance fire safety in retail

In addition to fire alarms and CCTV, the report suggests that business owners incorporate access control mechanisms and conduct regular risk assessments as part of a broader strategy to deter arson.

These safety measures, tailored specifically to the retail industry, offer business owners practical steps to fortify their premises against arson and contribute to a safer environment for employees and customers alike.

New report on rising UK arson risks: Summary

The State of Arson 2024 report, released by CheckFire Ltd, provides a data-driven overview of the increasing frequency of arson attacks in the UK retail sector, supported by Home Office data.

With over 190 incidents reported across England in the last year, the report details the financial and operational impacts of these incidents on businesses.

It includes tailored recommendations for retail owners, emphasising fire safety protocols such as fire alarms, CCTV, access controls, and staff training.

By implementing these measures, retail businesses can reduce their risk of arson and ensure compliance with the Regulatory Reform (Fire Safety) Order 2005.

Ramtech raises the standards of fire and life safety

Ramtech’s new white paper raises awareness of fire risk and the life safety solutions available for the US construction industry

Global wireless solutions firm Ramtech recently released an in-depth white paper addressing the US construction fire and life safety challenges that can have devastating consequences including loss of civilian life and millions of dollars in direct property damage annually.

Titled ‘No Site Left Behind: The Modern Fire and Life Safety Solutions for Construction’, the new white paper raises awareness of fire risk and the life safety solutions, including wireless fire evacuation system technology, available across America. It also highlights how more awareness and understanding of National Fire Protection Association (NFPA) guidance, specifically the NFPA 241 (Standard for Safeguarding Construction, Alteration, and Demolition Operations), must be prioritised in order to save lives and protect construction sites.

The challenge

While some factors may appear an obvious hazard, they can often be exacerbated by the way they are currently observed or dealt with but due to the breadth of the US and various conditions and landscapes, there is no one-size-fits-all solution and there are various challenges and threats to fire and life safety on construction sites.

These threats range from extreme weather or temperatures which can have an adverse effect on fires spreading or being put out to highly combustible materials and hot works causing fire by heat, sparks, embers or flame from operating equipment.

Other risks are appliances breakout areas where construction workers go to prepare hot meals and drinks can present a hazard if equipment is overused or left unattended, arson linked to a general lack of site security, electrical distribution, lighting and heating equipment used on site can start a fire and the type of building in particular, a rise in timber frame structures that can catch fire more easily. Essentially, fire risks can be found everywhere on a working or even a vacant construction site.

Following the guidance of the NFPA, specifically the NFPA 241 (Standard for Safeguarding Construction, Alteration, and Demolition Operations) and having the designated Fire Prevention Program Manager (FPPM), is vital to the fire safety of a construction site and having the designated FPPM, is vital to the fire safety of a construction site.

NFPA 241

The NFPA 241 is one of many codes and standards produced by the NFPA to help eliminate death, injury, property and economic loss due to fire, electrical and related hazards. Through regular revisions and amendments, participants in the NFPA standards development process consider the then-current and available information on incidents, materials, technologies, innovations and methods as these develop over time and that NFPA Standards reflect this consideration.

Over the years, the NFPA has continued to improve the clarity of the guidance provided. Within this latest iteration of the NFPA 241, several revisions have been made. Chapter 4 of the code, General Requirements, contains the main elements of what is being discussed in this whitepaper. It includes who is responsible for fire protection and then introduces The Fire Prevention Program.

The NFPA advises that: “The owner shall designate a person who shall be responsible for the fire prevention program and who shall ensure that it is carried out to completion… the fire prevention program manager shall have the authority to enforce the provisions of this and other applicable fire protection standards.”

In short, every construction site needs an FPPM and an alternate to ensure that site safety is maintained and processes are enforced in line with NFPA 241. This includes: Creating the NFPA 241 Plan for the site by identifying all site hazards at all times and providing solutions to overcome safety issues; Ensuring that appropriate fire evacuation and life safety systems are in place and are always working; Serving as the point of contact for any first responders; Conduct fire drills and make evacuation plans.

While every site may have an FPPM, the challenge is to ensure that the FPPM fully understands the gravity of their responsibility and is competent. This ultimately comes down to experience, training and good documentation. A well trained FPPM will know the construction site layout and how efficiently the site can be covered or evacuated, but they will also grasp the finer points of detail that could be the difference between life and death in the event of a fire, such as the turning space and road access available for firefighters, their vehicles and other first responders.

The Solutions

Ultimately, advancing the state of the solutions in the U.S. could play a significant role in adherence to NFPA 241 and therefore reaching a higher standard of fire protection and safety. By leveraging technology, building owners, site managers and fire prevention officers can get a much higher level of protection than with these conventional processes.

In most cases, this can be done cost effectively too, with forward-thinking technology that combines all the necessary elements. Detection, communication, documentation, connectivity alongside your NFPA 241 plan provides a robust life safety system fit for the industry’s current and future challenges.

Talking about the impact of Ramtech’s white paper exploring modern fire and life safety solutions for construction in North America, global marketing and business development manager James Pecz says that Since the release of the white paper, they have been overwhelmed with the positive responses and comments from the industry: “The white paper seems to have hit the spot and encouraged conversations on the current state of the construction industry’s view of fire and evacuation safety.

“The NFPA241 code is designed to encourage the industry to take the best possible steps to protect construction properties, people, and assets – but instead of contractors seeing this as an opportunity to excel and lead with best practices, the code has historically been used as way to do the bare minimum to satisfy requirements.

“We are hoping that the white paper will educate contractors in what solutions are available and encourage them to utilise new technology to enhance safety.  One thing I have learnt during my time in the construction industry is that technology moves much quicker than the regulations change, so this paper helps highlight that there are modern solutions available to help solve age-old issues.”

This article was originally published in the September edition of IFSJ. To read your FREE digital copy, click here.

New ASSA ABLOY white paper explains why architects and specifiers should care about inclusive design

With misunderstandings around inclusive design potentially leading to discrimination charges, costly legal disputes and damaged brand reputations, ASSA ABLOY Opening Solutions UK & Ireland has published a free new white paper advising architects and specifiers on the standards door opening solutions need to meet.

Titled ‘Inclusive design – why should you care?’, the new white paper can be downloaded here. The paper provides best practice advice on how to ensure door opening solutions can meet the requirements for inclusive building designs, and the risks of not complying with these.

When talking about inclusive design, many people immediately think of those with a disability or specific, specialist requirements. While inclusive design encompasses the needs of these people, its key objective is to make a site inclusive for all, no matter what. In fact, despite public perception and the wheelchair being the symbol for accessibility, less than 8 per cent of disabilities require the use of a wheelchair[1]. Whether it’s the elderly, disabled or children, everyone should be able to access and use a building and its facilities easily and safely.

Inclusive design is a key consideration for most architects and specifiers today, ensuring any barriers that might prevent an individual from using an environment freely and easily are removed. This approach must be reviewed in line with the guidelines governing inclusive design, which includes Approved Document M, the Equality Act 2010 and, crucially, BS 8300-1 and 8300-2:2018, which sets out how buildings should be designed, constructed and maintained to create an accessible and inclusive environment for all. It applies to both new builds and refurbishments.

The white paper explains the factors that architects and specifiers need to take into account for door opening solutions to be inclusive. It also covers some of the common issues with many door opening solutions available on the market, which might claim to comply with standards such as BS 8300-1 and 8300-2:2018 but do not.

For instance, many suppliers will claim to offer compliant solutions by ‘winding down’ a door closer and its spring to power setting EN1. However, while this may help people open a door more easily, it will not provide the necessary closing force. As a result, the door will not deliver the safety and security assurances demanded of an inclusive environment. It is also important to note that fire doors must have a minimum power setting of EN3 at all times, to meet these needs.

In addition to covering what the guidelines governing inclusive design state for door opening solutions, the white paper advises on how architects and specifiers can ensure these meet the necessary fire safety standards too. While fire safety has always been critical, incidents such as the Grenfell tragedy have highlighted how this issue can never afford to be an afterthought.

“Inclusive design is viewed by most architects and specifiers nowadays as a non-negotiable,” explains Eryl Jones, Manging Director of the ASSA ABLOY Door Hardware Group. “While it is the owner that ultimately bears responsibility for the design of a building, should a legal dispute arise then an architect or specifier would be called upon to explain why a solution was recommended. In the event of a discrimination claim, those that can demonstrate that they have adhered to standards such as BS 8300-1 and 8300-2:2018 will be on safer ground than those that cannot.

“Our new white paper aims to offer architects and specifiers a helpful and informative overview of why inclusive design is so important, what the guidelines governing this state, and the considerations that they need to think about when specifying a door opening solution. This means they can be confident when recommending door opening solutions for projects, ensuring everyone – from the elderly to those with a disability and children – can access and use a building and its facilities safely.

“Furthermore, with some architects and specifiers potentially facing clients that might want to do the bare legal minimum when it comes to inclusive design, the white paper also helps outline why the approach is not only the right thing to do from a social point of view, but the impact it can have commercially too. Market drivers such as an ageing population and consumer buying power mean brands that prioritise inclusive building design can enjoy greater consumer loyalty and spending opportunities, as well as increased differentiation, credibility and brand awareness. We hope that the findings included in the white paper can help support this case for architects and specifiers, when having these conversations with clients.”

Douglas Masterson, Technical Manager at the Guild of Architectural Ironmongers (GAI), adds: “It is refreshing in the current climate to see accessibility being placed firmly on the agenda through this white paper. At the moment, the headlines are rightly dominated by fire safety – following the Grenfell tragedy – and on-going issues related to the Covid-19 pandemic. While these are of huge importance, accessibility must always have room in any discussion relating to the construction industry.

“This paper states: ‘All those involved in the design and construction of a building should not simply be working towards inclusivity but demanding it every single time.’ The GAI is firmly in favour of this statement, and the correct specification of hardware in a building must have the issues of accessibility and inclusive design at its heart.”

Bob Perry, CEO of the Door Hardware Federation (DHF), comments: “It’s really good to see such an important message being highlighted in this white paper. Our society is changing – both in its demographics and its attitudes – and it is clear that any company that fails on inclusivity will be left behind. At the same time, however, the requirements around inclusive design are somewhat opaque and there is still much confusion in the industry.

“What this white paper from ASSA ABLOY does is present everything the industry needs to know about the issue. It outlines the relevant standards, explains what they really mean, and tells them exactly what they need to do to make sure their door hardware is compliant. On behalf of DHF, I recommend that it is essential reading.”

[1] Disability Sport, ‘Facts and Figures About Disabled People in the UK’, http://www.disabilitysport.org.uk/facts-and-figures-about-disabled-people-in-the-uk.html