Ingenieur Vol.81 January-March 2020 | Page 10

INGENIEUR parties involved in the project and in any case the end users will suffer the most. WHY THE NEED TO REGISTER INSPECTOR OF WORKS? Prior to the REA amendment in 2015, Clerk of Works were generally employed at the low entry education level of SPM with minimal training before being deployed to a site to supervise the Contractors. Many of them had difficulty understanding technical drawings and specifications or what their expected performance was in carrying out the supervision work on site. This resulted in many badly supervised projects. The problem was compounded when the COWs’ integrity could be compromised on site with monetary incentives given to them to turn a blind eye during site inspections. The resulting works could therefore become inferior and not in compliance with specifications. The accountability of the COWs was found lacking as they often move from project to project even before project completion. It was difficult to hold a COW responsible for his poor supervision work. Often the Engineer could no longer hold him accountable under the employment contract as he was no longer in his employment. In the end the Engineer would have to bear the consequences resulting from the actions of a wayward COW on site. With the advent of a number of building failures in the country, BEM recognised the need for higher quality supervision of building projects and agreed to include the registration of IOW in the REA 2015 amendments. The registration of IOW will pave the way to hold IOWs personally accountable for the supervision work within a statutory Code of Conduct stipulated for them. Any violations of the Code of Conduct will subject the IOW to disciplinary action by the Board. In serious cases they could be deregistered and barred from working as IOWs. The previous COWs had their existing rights retained and were able to register as IOWs by a given deadline. The entry education level was gradually raised to the present Diploma in Engineering level complying with the Dublin Accord for engineering technicians. New IOWs are being registered with these conditions to allow them to work as interns for a two year minimum period under a Resident Engineer or a registered IOW. After this internship they can perform the duties of a registered IOW in signing off Contractors’ works. The registration of an IOW is for a three year period and within this time he has to obtain 30 CPD hours for him to renew his registration. The CPD hours could be obtained through attending approved courses conducted by recognised professional bodies. ACCOUNTABILITY IN THE CCC PROCESS When the Certificate of Completion and Compliance (CCC) process was discussed with the intention to replace the Certificate of Fitness for Occupation prior to its implementation in 2007, all parties responsible for the works concerned were to sign off on Form G to support the issuance of Form F. The site supervision team including the IOW was to sign off together with the Contractor/Tradesman and the Submitting Person on the Form G. However this proposal was dropped after it was pointed out that IOWs were not registered persons and hence not cannot be implemented. With the registration of IOWs now in place, the BEM has been assisting the Ministry of Housing and Local Government Malaysia to restore this requirement for IOWs to sign certain Form Gs. The Uniform Building By-Laws and in particular Form G is now being revised to include the provision for IOWs to sign off on it, and to hold them accountable for the supervision of their portion of work during their work tenure on site. CONCLUSION BEM envisages all registered IOWs will bear higher responsibilities and accountability in the future and continue to progress in their careers when they achieve a higher level of professionalism and competency. With Malaysia approaching an advanced nation status, IOWs will be a much sought after profession and along with that, a much higher prospect for income advancement. 8 VOL 81 JANUARY-MARCH 2020