Please can anyone clarify something that has got me going round in circles.
In a proposed mixed use development, one of the lifts in each of three medium rise residental blocks descends to the basement car park where in accordance with 5.43 there will be a protected lobby.
I had specified initially an FD30S door to create the lobby and FD30 door (the lift sliding door) to the protected shaft. The BCO has refused to accept the lift door as part of the protected lobby approach as it has no smoke performance and is requiring a double lobby with two FD30S doors between the lift and the car park in addition to the FD30 lift cage door.
Now what is really puzzling me is that a further residential block linking to the same car park is higher and requires a firefighting shaft with firefighting lift. Now here the car park has a single FD60S door at basement level leading into the firefighting lobby which contains a firefighting lift. But a single door here is fine?
Have I got this wrong and missed something or should I dig my heels in?
The BCO will not accept single FD60 door in lieu of the two FD30 doors because he says it will be difficult for wheelchair users.
My opinion would be that Table B1 only specifies an FD30(s) on a lobby "approach" to a lift shaft (which I would have defined as being the first door of the two). In every other scenario there is no requirement for smoke seals to be installed to the lift doors. Technically on sliding lift doors this is a problem to achieve.
If the lift was located within the protected stair, the lift door would only need to be an FD30 (para 5.43), therefore the total separation would be an FD30(s) and an FD30, so smoke would have to go through an FD30(s) and two FD30 doors to penetrate the stair. In your scenario it would be no worse and the risk would be less, because as you point out the lift is separated from the stair which is the area we do not want the smoke to penetrate, so smoke would have to pass through an FD30(s) then two FD30 doors, and even at this point it would not be in the stair!!!
My next view would be that again as you say this provision would not be required if it was a firefighting shaft in which the lift will still be in use in fire conditions. If this lift is not forming part of the fire fighting shaft it will not be in use in a fire scenario, so its protection is surely less important.
"The BCO will not accept single FD60 door in lieu of the two FD30 doors because he says it will be difficult for wheelchair users" - as long as you can achieve the 30N opening force as recommended in BS8300 there is no restriction on the weight, size or any other factor of the door!!