AIA|LA ADVOCACY REPORT
May 21, 2024

From the desk of Will Wright, Hon. AIA|LA
Director of Government & Public Affairs



LOW IMPACT DEVELOPMENT

Since 2020, AIA|LA has been advocating for improvements to streamline the complexity of obtaining departmental clearances — especially the LID clearance, which was causing substantial procedural delays.  Over the past 18 months, LASAN was working internally to make changes and recently updated the LID ordinance and we applaud the leadership and the recent actions of LASAN to streamline the Low Impact Development (LID) process. Raising the threshold criteria from 500 square feet to 2,500 square feet of impervious area is a significant step forward and will help streamline the development of urban-infill housing and ADU’s especially.

However, a critical unforeseen issue has emerged. Many ongoing projects approved or nearing approval under the old ordinance now face unnecessary financial burdens. These projects fall under Section 2(G), requiring compliance with the stricter LID requirements, even though the new ordinance wouldn’t.

Potential Impact:

This situation unfairly compels architects and their clients to spend upwards of $10,000 to $15,000 complying with outdated regulations. This could deter construction and delay much-needed housing development in Los Angeles.

Proposed Solution:

To ensure fairness and avoid project delays, AIA LA proposes a solution aligned with LADBS’ past practices for similar situations.

We recommend allowing architects to submit a supplemental permit after the ordinance’s effective date, with associated fees, to revise LID requirements for these existing projects. This aligns with the approach taken for AB2097 (parking removal) and other code updates.

Addressing Environmental Concerns:

We understand the environmental concerns behind the initial ordinance language. AIA LA strongly supports sustainable development. However, in this specific case, applying outdated regulations to ongoing projects creates a financial hardship without any additional environmental benefit.

Request for Action:

To address this urgent matter, AIA LA requests:

  1. Clarification Memo: A clear and concise memo from LASAN explaining how Section 2(G) applies to projects already in the approval process.
  2. Internal Discussion: We urge you to facilitate discussions within LASAN to establish a practical solution for these existing projects at scale.

We believe a solution similar to our proposed supplemental permit process can be found while maintaining environmental goals.

Background:

Prior to the ordinance’s enactment, AIA LA contacted LADBS supervisors about projects with fees paid before the April 2nd effective date. Discussions indicated a supplemental permit process could be used to revise LID requirements, as was done with AB2097.  HOWEVER, it is my understanding hat LASAN would need to embrace this process internally.  

RESOURCES:

Low Impact Development (LID) Plan Check Submittal portal

Click Here to read the ordinance updating LID standards.

LID Ordinance Revision Effective April 2nd, 2024: Ordinance No. 188125

 

AIA CALIFORNIA ADVOCACY UPDATE

What You Can Do Right Now: Reuse and Retrofit Existing Buildings

The built environment is responsible for close to 40% of annual GHG emissions1 — 28% from operating the buildings we already have and 11% from building new ones. To meet global climate action targets for reducing carbon emissions we need to cut both sources of emissions. Architecture 2030 has set achievable targets:

  • Operating emissions for new buildings: 80% lower now, carbon neutral by 2030;
  • Operating emissions for existing buildings: 50% lower emissions now, carbon neutral by 2050;
  • Embodied emissions: 50% lower by 2030, zero by 2050.

Energy codes, building electrification measures, and cleaner grids are moving new buildings towards zero operating emissions, and there is growing focus on reducing the embodied emissions from construction. But these encouraging trends and codes are mostly focused on new buildings. The number of existing buildings is many times higher than the number of new buildings built each year. These existing buildings contain a huge amount of materials (and embodied carbon), they are usually not very efficient, and we can’t afford to replace them all. We cannot ignore them either.

Why Reusing and Upgrading Existing Buildings Matters

Reusing a building – including interior renovations and energy upgrades – has a much lower embodied carbon footprint than new construction – typically 50 to 75% lower, depending on the extent of the renovation. But reuse without improving efficiency is not enough, we also need to reduce current operating emissions by implementing efficiency upgrades, electrification, and cleaner sources of electricity.

Reusing and improving existing buildings also has a societal benefit – it can help rebuild existing neighborhood and financial equity, create local jobs, strengthen community control, and increase neighborhood resilience. Investment in communities that have been subjected to historic discrimination and economic “redlining”  has the potential to bring sustainable and equitable climate solutions that also have meaningful economic outcomes to the most impacted communities. To make this potential a reality, decisions must be made by and benefits accrued to those impacted or affected by the improvements.

How are we doing?

Retrofitting, renovating, adapting, and remodeling existing buildings accounted for almost half of U.S., architects billing in 2018, an unusually high level for a period of economic growth, so we are reusing a lot of our existing buildings. But we are still tearing down perfectly good, functional buildings, with many years of life left in them, and when we do renovate we aren’t reducing operating emissions as much as we need to. We need to double the rate of retrofitting our existing building stock and increase post-retrofit performance from 30% to 75%. When we take embodied carbon into account it changes the calculus of when to reuse and retrofit and when to build new. The greatly reduced embodied carbon of reuse shifts the balance towards renovation over building new.

Reusing existing buildings is emerging as a critical strategy in combating climate change. The Greenest Building: Quantifying the Environmental Value of Building Reuse,2 a seminal report published in 2011, introduced this topic, but didn’t significantly alter our approach to existing buildings and carbon emissions. With the increased attention given to embodied carbon, electrification, and zero net energy buildings, that is changing. In 2017, a group of preservation architects launched the Zero Net Carbon Collaborative (ZNCC)3.  The Climate Heritage Network (CHN)4 – focused on UN heritage sites – was launched at the Global Climate Action Summit in San Francisco a year later. Both organizations are focused on demonstrating, promoting, and realizing the carbon benefits of reusing and retrofitting existing buildings.

What can we do?

  1. Make it easier to reuse buildings: Support AIA California’s petition to amend the California Existing Building Standard to include all IEBC Compliance paths.
  2. Promote retaining and upgrading existing buildings over new construction – through awards programs, education, communication, and advocacy. Celebrate creative reuse.
  3. Before deciding to build new, consider reuse + retrofit first. Calculate the carbon emission differential.
  4. Develop materials for architects, building owners, developers, institutions, and planners on the carbon and community benefits of retaining and upgrading existing buildings.
  5. Advocate for requiring projects that demolish more than 50,000sf to evaluate the carbon impacts/benefits of reuse compared to new construction.
  6. Advocate for more aggressive goals for energy upgrades and electrification of existing buildings. (U.S. energy efficiency improvement targets are typically 20% – 50%, EU targets are 50% to 80%).
  7. Advocate for cities to remove barriers to and provide incentives to encourage reuse and retrofit.
  8. Advocate for building codes to set minimum energy performance levels and minimum technical requirements to address the renovation of existing buildings. Question to address:
    • Has the building energy code been revised in light of the renovation targets?
    • Is compliance with the building code for renovation and improvement well enforced?
    • Do the requirements actively support the uptake of deep renovations in the jurisdiction?

 References

  1. 2019 Global Status Report, Global Alliance for Building and Construction and Architecture (GABC) and Architecture 2030 https://wedocs.unep.org/bitstream/handle/20.500.11822/30950/2019GSR.pdf
  2. The Greenest Building: Quantifying the Environmental Value of Building Reuse https://forum.savingplaces.org/viewdocument/the-greenest-building-quantifying
  3. Zero Net Carbon Collaborative https://www.znccollaboration.org
  4. Climate Heritage Network http://climateheritage.org
  5. Renovate, retrofit, reuse: Uncovering the hidden value in America’s existing building stock – AIA 2019 http://content.aia.org/sites/default/files/2019-07/RES19_227853_Retrofitting_Existing_Buildings_Report_Guide_V3.pdf

Resources

  1. Embodied Carbon Benchmarking Study, Carbon Leadership Forum (CLF) – 2017 https://carbonleadershipforum.org/projects/embodied-carbon-benchmark-study/
  2. Life Cycle Assessment of Tenant Improvement in Commercial Office Buildings & Life Cycle Assessment of Mechanical, Electrical and Plumbing in Commercial Office Buildings, CLF – 2019 https://carbonleadershipforum.org/projects/lca-of-mep-systems-and-tenant-improvements/
  3. CBECS – Commercial Building Energy Consumption Survey https://www.eia.gov/consumption/commercial/data/2012/
  4. NEEA Deep Energy Savings in Existing Buildings, New Buildings Institute – https://newbuildings.org/wp-content/uploads/2015/11/NEEA_Meta_Report_Deep_Savings_NBI_Final81520111.pdf

 

AIA|LA CITY LEADERS BREAKFAST RECEPTIONS

Please join us at our next four receptions.  We’ll be organizing more in the summer!

 

AIA|LA & LACP DESIGN REVIEW SESSIONS

In 2024, we will coordinate thirty-six virtual design review sessions, which will serve as opportunities for architects and designers to help the Los Angeles City Planning’s Urban Design Studio critically review upcoming projects throughout the City.

Upcoming sessions include:

Tuesday, May 14 (10am – 12pm)

Tuesday, May 21 (10am – 12pm)

Join us here w/ RSVP to gain zoom access.

Reach out and get more involved!

 

FOR MORE INFORMATION:

Will Wright, Hon. AIA|LA
Director, Government & Public Affairs
t: 213.639.0764
e: will@aialosangeles.org
www.aialosangeles.org